STATEMENT OF UNDISPUTED FACTS.
=========================
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
MEMORANDUM OF POINTS &
AUTHORITIES IN SUPPORT OF
MOTION FOR SUMMARY
ADJUDICATION AS TO THE
ELEVENTH CAUSE OF ACTION
=========================
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
A case heard by the Fifth District Court of Appeals in Ohio in which a landowner claimed that the relatively little drilling done on a small portion of their land should allow them to reclaim title to the mineral rights and release the unused portions of the land to another driller. The court disagreed, ruling the language in the lease does not allow it.
BRIEF IN SUPPORT OF AMENDED PLAINTIFF’S MOTION TO COMPEL WITH SANCTIONSAlvin Sutherlin, Jr
This document is a brief in support of a motion to compel the production of body camera footage and related records from a 2013 police incident. It alleges that key exculpatory footage was withheld from the plaintiff during criminal proceedings, in violation of discovery obligations and his civil rights. It requests that the court order the defendants to produce unedited body camera footage and audit records to identify all footage from the named officers involved in the incident.
Kurdish Television Satellite Network Proposal /G.A.P. INTERNATIONAL Gérard Angé
This proposal from G.A.P. International outlines plans to launch a satellite television network called Kurdish Television North America to broadcast Kurdish programming via satellite to viewers in North America. The proposal is dated November 2000 and provides satellite services through G.A.P. International located in San Rafael, California.
Fbi case gap international & win tv theft 2011Gérard Angé
Gerard Ange is a victim of theft by Gap International, a Turkish/American company. Over six years, Gap International stole Ange's television broadcast businesses, destroying $50 million and ruining his finances and credit. When Ange sought legal justice, Judge John M. True III denied Ange his constitutional right to an attorney and ordered him to represent himself. This effectively denied Ange his right to a fair trial and justice under the law. Ange believes larger forces may have been involved in subverting his legal rights to protect corporate interests.
Opposition To Motion To Dismiss S Gerard Ange V Templer FGérard Angé
THE END GAME...
WHEN CORPORATIONS AND CEO'S CAN PAY TO SUBVERT THE FABRIC OF OUR CONSTITUTIONAL RIGHTS THAT PROTECT ALL CITIZENS. THEN... WE ALL LOSE.
THESE ARE THE OFFICIAL COURT TRANSCRIPTS & COURT DOCUMENTS:
After SIX YEARS and $100,000.00 in legal fees... OUR CASE DAMAGES WERE THROWN OUT BY A "SURPRISE SUBSTITUTED JUDGE" & ON A TRUMPED UP PHONY MISSING "Assignment of Claims" DOCUMENTS THAT WERE NEVER MISSING AT ALL.
READ THE SHOCKING OFFICIAL COURT TRANSCRIPTS AND THEN DECIDE FOR YOURSELF WHY OUR CONSTITUTIONAL RIGHT TO TRIAL WAS DENIED BY A SUBSTITUTED JUDGE.
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
The document is a motion filed by the defense attorney Ralph Megna on behalf of their client, who has been indicted on drug and paraphernalia charges. The motion requests several forms of relief from the court, including inspection of grand jury minutes, dismissal of indictment, a Huntley hearing on statements made by the defendant, a Wade hearing on identification procedures, disclosure of Brady material, a Sandoval hearing, and leave to make further motions. The attorney provides supporting arguments for each request.
Stem OPT Extension Judge Decision - Jan 23, 2016happyschools
This document is a memorandum opinion from the United States District Court for the District of Columbia regarding a motion from the Department of Homeland Security (DHS) seeking to extend a stay of vacatur for an interim final rule. The court had previously vacated the rule for lack of notice and comment procedures but stayed the vacatur for 6 months to allow DHS time to issue a new rule. DHS now seeks a 90 day extension of the stay, arguing it needs more time to avoid a regulatory gap. The plaintiff opposes, arguing the court lacks jurisdiction during the pending appeal and DHS fails to show extraordinary circumstances for relief. The court grants DHS's motion, finding it has jurisdiction and DHS has shown circumstances warrant
MEMORANDUM OF POINTS &
AUTHORITIES IN SUPPORT OF
MOTION FOR SUMMARY
ADJUDICATION AS TO THE
ELEVENTH CAUSE OF ACTION
=========================
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
A case heard by the Fifth District Court of Appeals in Ohio in which a landowner claimed that the relatively little drilling done on a small portion of their land should allow them to reclaim title to the mineral rights and release the unused portions of the land to another driller. The court disagreed, ruling the language in the lease does not allow it.
BRIEF IN SUPPORT OF AMENDED PLAINTIFF’S MOTION TO COMPEL WITH SANCTIONSAlvin Sutherlin, Jr
This document is a brief in support of a motion to compel the production of body camera footage and related records from a 2013 police incident. It alleges that key exculpatory footage was withheld from the plaintiff during criminal proceedings, in violation of discovery obligations and his civil rights. It requests that the court order the defendants to produce unedited body camera footage and audit records to identify all footage from the named officers involved in the incident.
Kurdish Television Satellite Network Proposal /G.A.P. INTERNATIONAL Gérard Angé
This proposal from G.A.P. International outlines plans to launch a satellite television network called Kurdish Television North America to broadcast Kurdish programming via satellite to viewers in North America. The proposal is dated November 2000 and provides satellite services through G.A.P. International located in San Rafael, California.
Fbi case gap international & win tv theft 2011Gérard Angé
Gerard Ange is a victim of theft by Gap International, a Turkish/American company. Over six years, Gap International stole Ange's television broadcast businesses, destroying $50 million and ruining his finances and credit. When Ange sought legal justice, Judge John M. True III denied Ange his constitutional right to an attorney and ordered him to represent himself. This effectively denied Ange his right to a fair trial and justice under the law. Ange believes larger forces may have been involved in subverting his legal rights to protect corporate interests.
Opposition To Motion To Dismiss S Gerard Ange V Templer FGérard Angé
THE END GAME...
WHEN CORPORATIONS AND CEO'S CAN PAY TO SUBVERT THE FABRIC OF OUR CONSTITUTIONAL RIGHTS THAT PROTECT ALL CITIZENS. THEN... WE ALL LOSE.
THESE ARE THE OFFICIAL COURT TRANSCRIPTS & COURT DOCUMENTS:
After SIX YEARS and $100,000.00 in legal fees... OUR CASE DAMAGES WERE THROWN OUT BY A "SURPRISE SUBSTITUTED JUDGE" & ON A TRUMPED UP PHONY MISSING "Assignment of Claims" DOCUMENTS THAT WERE NEVER MISSING AT ALL.
READ THE SHOCKING OFFICIAL COURT TRANSCRIPTS AND THEN DECIDE FOR YOURSELF WHY OUR CONSTITUTIONAL RIGHT TO TRIAL WAS DENIED BY A SUBSTITUTED JUDGE.
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
The document is a motion filed by the defense attorney Ralph Megna on behalf of their client, who has been indicted on drug and paraphernalia charges. The motion requests several forms of relief from the court, including inspection of grand jury minutes, dismissal of indictment, a Huntley hearing on statements made by the defendant, a Wade hearing on identification procedures, disclosure of Brady material, a Sandoval hearing, and leave to make further motions. The attorney provides supporting arguments for each request.
Stem OPT Extension Judge Decision - Jan 23, 2016happyschools
This document is a memorandum opinion from the United States District Court for the District of Columbia regarding a motion from the Department of Homeland Security (DHS) seeking to extend a stay of vacatur for an interim final rule. The court had previously vacated the rule for lack of notice and comment procedures but stayed the vacatur for 6 months to allow DHS time to issue a new rule. DHS now seeks a 90 day extension of the stay, arguing it needs more time to avoid a regulatory gap. The plaintiff opposes, arguing the court lacks jurisdiction during the pending appeal and DHS fails to show extraordinary circumstances for relief. The court grants DHS's motion, finding it has jurisdiction and DHS has shown circumstances warrant
Judge True followed through with his threat he made to us in June, and ruled to dismiss our case against the defendants. He explained that the reason he dismissed the case was because of his previous ruling on June 10, 2009: (When he moved forward to have a trial "without Plaintiff's attorney present"). Judge John M. True went on to say that because of his ruling on June 10th, that the Plaintiffs didn't have any damages or any case left to fight. He then ruled to dismissed all charges against the defendants. By doing that Judge John M. True III denied our Constitutional Right to a Trial for the crimes committed against us.
AN ADDITIONAL ACTION: A MONETARY JUDGEMENT WILL BE GRANTED AGAINST US:
Judge John M.True III had stated that; "He will be granting a judgement against us to pay for all the defendants legal expenses". (A figure after six years could very well be as high as $1 Million dollars.)
OUR FUTURE:
We are now seeking additional funding for an Appeal and for a complete formal investigation into the replacement of Judge Barbara Miller and the odd rulings and Judicial actions exhibited in the court by Judge John M. True III.
We were intentionally denied our rights to a Trial and to Justice for the crimes that were committed against us.
We not only ask for our Constitutional rights... We Demand them !
Thank you for taking the time to read about our pursuit for justice.
Gérard Angé
President, CEO,
G.A.P. International &
World Indigenous Network / WIN-Tv
(both California Corporations)
Objection To Third Proposed Order Granting Dismiss Gap Gerard Ange Win-Tv vs ...Gérard Angé
First, I am not an Attorney. I was ordered into “Pro Se” against my will, by The Honorable John M. True, III. I am here because I am a victim of crimes against my two corporations and myself. I have come here to find Justice.
Opposition To Proposed Order Granting Dismissal: Gerard Ange G.A.P. INTERNATI...Gérard Angé
This document is a plaintiff's opposition to a proposed order granting a motion to dismiss filed by the defendant Gap International. The plaintiff makes 5 issues/arguments in opposition: 1) There was an observed violation of ex parte rules in the courtroom where the judge acknowledged reviewing defendant's documents without providing them to plaintiff. 2) The proposed order tries to make defendants appear innocent but excludes key evidence. 3) Evidence of a second theft of plaintiff's property was excluded. 4) Defendants continued registering plaintiff's stolen property for 6 years. 5) No law would allow defendants' actions and the dismissal prevents the truth from being determined at trial. The plaintiff believes further investigation is warranted.
FIRST> GAP & WINTV FAXED & SIGNED CORPORATE ASSIGNMENTS 2005Gérard Angé
THE FIRST GAP & WINTV FAXED & SIGNED CORPORATE ASSIGNMENTS 2005 with prior attached email from Eric Schenk and copy of fax cover with signed assignments.
NO ONE IS OR WAS HIDING ANYTHING! ~ BECAUSE ~ WE LET THE FACTS SPEAK FOR THEMSELVES ~
Gap Pa Productions Of Documents Response Only And CoverGérard Angé
Gap PA Productions of Documents Response and Cover Letter. > Defendants total lack of production of documents.
The Plaintiffs produced over a thousand documents to the defendant Gap of PA But In return: Gap of PA only produced 64 documents to us! They refused 90% of the requests for documents things like board meeting minutes at the time of the theft and phone records related to the case. Of those sixty-four documents that they did produced= fifty of those documents were copies of documents that we gave to them. of the 14 documents left: included (9) Nine emails with the 90% of text deleted.
DEPOSITION OF DEFENDANT / JON GREENAWALT DIRECTOR OF WEB DEVELOPMENT GAP INT...Gérard Angé
DEPOSITION OF DEFENDANT / Jon Greenawalt DIRECTOR OF WEB DEVELOPMENT GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
OTHER DEFENDANTS:
=========================
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
How I Founded G.A.P. International Broadcasting leading to Both TheftsGérard Angé
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------------------
Gerard Ange'
President, CEO
G.A.P. International, (a California Corporation)
World Indigenous Network Corporation
3879 Magnolia Drive,
Palo Alto, CA 94306
Cell 415-717-8302
Gerard_Ange@win-tv.net
http://www.win-tv.net
http://www.linkedin.com/in/gerardange
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
THEFT #2 .WIN-TV.COM our Web Site & Power PointGérard Angé
THEFT #2 The www.WIN-TV.COM Web Site & Power Point presentation was Stolen on December 07, 2003 three hours after we called Gap International and threaten legal action If the didn't return our property.
-------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------------------
Gerard Ange'
President, CEO
G.A.P. International, (a California Corporation)
World Indigenous Network Corporation
3879 Magnolia Drive,
Palo Alto, CA 94306
Cell 415-717-8302
Gerard_Ange@win-tv.net
http://www.win-tv.net
http://www.linkedin.com/in/gerardange
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
THEFT #2
Our WIN-TV First Round funding was destroyed all our investors and our email was stolen on December 07, 2003 three hours after we called Gap International and threaten legal action If the didn't return our property.
-------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
-----------------------------------------------------------------------
WIN-TV Executive Summery/Gerard Ange' CEO
-------------------------------------
Gerard Ange'
President, CEO
G.A.P. International, (a California Corporation)
World Indigenous Network Corporation
3879 Magnolia Drive,
Palo Alto, CA 94306
Cell 415-717-8302
Gerard_Ange@win-tv.net
http://www.win-tv.net
http://www.linkedin.com/in/gerardange
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
GAP INTERNATIONAL & WIN-TV TIMELINE INFORMATION ON BOTH THEFTS Gérard Angé
Gap International theft Time-Line of www.gapinternational.com WIN-Tv FBI CASE ICC # I05071411389175
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
Acolyte Episodes review (TV series) The Acolyte. Learn about the influence of the program on the Star Wars world, as well as new characters and story twists.
04062024_First India Newspaper Jaipur.pdfFIRST INDIA
Find Latest India News and Breaking News these days from India on Politics, Business, Entertainment, Technology, Sports, Lifestyle and Coronavirus News in India and the world over that you can't miss. For real time update Visit our social media handle. Read First India NewsPaper in your morning replace. Visit First India.
CLICK:- https://firstindia.co.in/
#First_India_NewsPaper
Essential Tools for Modern PR Business .pptxPragencyuk
Discover the essential tools and strategies for modern PR business success. Learn how to craft compelling news releases, leverage press release sites and news wires, stay updated with PR news, and integrate effective PR practices to enhance your brand's visibility and credibility. Elevate your PR efforts with our comprehensive guide.
Here is Gabe Whitley's response to my defamation lawsuit for him calling me a rapist and perjurer in court documents.
You have to read it to believe it, but after you read it, you won't believe it. And I included eight examples of defamatory statements/
El Puerto de Algeciras continúa un año más como el más eficiente del continente europeo y vuelve a situarse en el “top ten” mundial, según el informe The Container Port Performance Index 2023 (CPPI), elaborado por el Banco Mundial y la consultora S&P Global.
El informe CPPI utiliza dos enfoques metodológicos diferentes para calcular la clasificación del índice: uno administrativo o técnico y otro estadístico, basado en análisis factorial (FA). Según los autores, esta dualidad pretende asegurar una clasificación que refleje con precisión el rendimiento real del puerto, a la vez que sea estadísticamente sólida. En esta edición del informe CPPI 2023, se han empleado los mismos enfoques metodológicos y se ha aplicado un método de agregación de clasificaciones para combinar los resultados de ambos enfoques y obtener una clasificación agregada.
An astonishing, first-of-its-kind, report by the NYT assessing damage in Ukraine. Even if the war ends tomorrow, in many places there will be nothing to go back to.
Judge True followed through with his threat he made to us in June, and ruled to dismiss our case against the defendants. He explained that the reason he dismissed the case was because of his previous ruling on June 10, 2009: (When he moved forward to have a trial "without Plaintiff's attorney present"). Judge John M. True went on to say that because of his ruling on June 10th, that the Plaintiffs didn't have any damages or any case left to fight. He then ruled to dismissed all charges against the defendants. By doing that Judge John M. True III denied our Constitutional Right to a Trial for the crimes committed against us.
AN ADDITIONAL ACTION: A MONETARY JUDGEMENT WILL BE GRANTED AGAINST US:
Judge John M.True III had stated that; "He will be granting a judgement against us to pay for all the defendants legal expenses". (A figure after six years could very well be as high as $1 Million dollars.)
OUR FUTURE:
We are now seeking additional funding for an Appeal and for a complete formal investigation into the replacement of Judge Barbara Miller and the odd rulings and Judicial actions exhibited in the court by Judge John M. True III.
We were intentionally denied our rights to a Trial and to Justice for the crimes that were committed against us.
We not only ask for our Constitutional rights... We Demand them !
Thank you for taking the time to read about our pursuit for justice.
Gérard Angé
President, CEO,
G.A.P. International &
World Indigenous Network / WIN-Tv
(both California Corporations)
Objection To Third Proposed Order Granting Dismiss Gap Gerard Ange Win-Tv vs ...Gérard Angé
First, I am not an Attorney. I was ordered into “Pro Se” against my will, by The Honorable John M. True, III. I am here because I am a victim of crimes against my two corporations and myself. I have come here to find Justice.
Opposition To Proposed Order Granting Dismissal: Gerard Ange G.A.P. INTERNATI...Gérard Angé
This document is a plaintiff's opposition to a proposed order granting a motion to dismiss filed by the defendant Gap International. The plaintiff makes 5 issues/arguments in opposition: 1) There was an observed violation of ex parte rules in the courtroom where the judge acknowledged reviewing defendant's documents without providing them to plaintiff. 2) The proposed order tries to make defendants appear innocent but excludes key evidence. 3) Evidence of a second theft of plaintiff's property was excluded. 4) Defendants continued registering plaintiff's stolen property for 6 years. 5) No law would allow defendants' actions and the dismissal prevents the truth from being determined at trial. The plaintiff believes further investigation is warranted.
FIRST> GAP & WINTV FAXED & SIGNED CORPORATE ASSIGNMENTS 2005Gérard Angé
THE FIRST GAP & WINTV FAXED & SIGNED CORPORATE ASSIGNMENTS 2005 with prior attached email from Eric Schenk and copy of fax cover with signed assignments.
NO ONE IS OR WAS HIDING ANYTHING! ~ BECAUSE ~ WE LET THE FACTS SPEAK FOR THEMSELVES ~
Gap Pa Productions Of Documents Response Only And CoverGérard Angé
Gap PA Productions of Documents Response and Cover Letter. > Defendants total lack of production of documents.
The Plaintiffs produced over a thousand documents to the defendant Gap of PA But In return: Gap of PA only produced 64 documents to us! They refused 90% of the requests for documents things like board meeting minutes at the time of the theft and phone records related to the case. Of those sixty-four documents that they did produced= fifty of those documents were copies of documents that we gave to them. of the 14 documents left: included (9) Nine emails with the 90% of text deleted.
DEPOSITION OF DEFENDANT / JON GREENAWALT DIRECTOR OF WEB DEVELOPMENT GAP INT...Gérard Angé
DEPOSITION OF DEFENDANT / Jon Greenawalt DIRECTOR OF WEB DEVELOPMENT GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
OTHER DEFENDANTS:
=========================
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
How I Founded G.A.P. International Broadcasting leading to Both TheftsGérard Angé
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------------------
Gerard Ange'
President, CEO
G.A.P. International, (a California Corporation)
World Indigenous Network Corporation
3879 Magnolia Drive,
Palo Alto, CA 94306
Cell 415-717-8302
Gerard_Ange@win-tv.net
http://www.win-tv.net
http://www.linkedin.com/in/gerardange
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
THEFT #2 .WIN-TV.COM our Web Site & Power PointGérard Angé
THEFT #2 The www.WIN-TV.COM Web Site & Power Point presentation was Stolen on December 07, 2003 three hours after we called Gap International and threaten legal action If the didn't return our property.
-------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------------------
Gerard Ange'
President, CEO
G.A.P. International, (a California Corporation)
World Indigenous Network Corporation
3879 Magnolia Drive,
Palo Alto, CA 94306
Cell 415-717-8302
Gerard_Ange@win-tv.net
http://www.win-tv.net
http://www.linkedin.com/in/gerardange
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
THEFT #2
Our WIN-TV First Round funding was destroyed all our investors and our email was stolen on December 07, 2003 three hours after we called Gap International and threaten legal action If the didn't return our property.
-------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
-----------------------------------------------------------------------
WIN-TV Executive Summery/Gerard Ange' CEO
-------------------------------------
Gerard Ange'
President, CEO
G.A.P. International, (a California Corporation)
World Indigenous Network Corporation
3879 Magnolia Drive,
Palo Alto, CA 94306
Cell 415-717-8302
Gerard_Ange@win-tv.net
http://www.win-tv.net
http://www.linkedin.com/in/gerardange
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
GAP INTERNATIONAL & WIN-TV TIMELINE INFORMATION ON BOTH THEFTS Gérard Angé
Gap International theft Time-Line of www.gapinternational.com WIN-Tv FBI CASE ICC # I05071411389175
=========================
THE DEFENDANTS:
ANTHONY TEMPLER /
CURRENTLY RESIDING AT:
Zille Str. 69, 10575
BERLIN, GERMANY
LAST KNOWN USA ADDRESS: ANTHONY TEMPLER/
ATANDA WEB PRESENCE SERVICES
939 61ST STREET, SUITE #13
OAKLAND, CA 94608-1301
-------------------------------------------------------------
GAP INTERNATIONAL INC. 700 OLD MARPLE ROAD, SPRINGFIELD, PENNSYLVANIA
----------------------------------------------------------
MORE INFORMATION ON THE THEFT:
http://www.win-tv.net/GAP_WINTV_Site/GAP_WIN-Tv_Website_Theft.html
----------------------------------------------------------
Acolyte Episodes review (TV series) The Acolyte. Learn about the influence of the program on the Star Wars world, as well as new characters and story twists.
04062024_First India Newspaper Jaipur.pdfFIRST INDIA
Find Latest India News and Breaking News these days from India on Politics, Business, Entertainment, Technology, Sports, Lifestyle and Coronavirus News in India and the world over that you can't miss. For real time update Visit our social media handle. Read First India NewsPaper in your morning replace. Visit First India.
CLICK:- https://firstindia.co.in/
#First_India_NewsPaper
Essential Tools for Modern PR Business .pptxPragencyuk
Discover the essential tools and strategies for modern PR business success. Learn how to craft compelling news releases, leverage press release sites and news wires, stay updated with PR news, and integrate effective PR practices to enhance your brand's visibility and credibility. Elevate your PR efforts with our comprehensive guide.
Here is Gabe Whitley's response to my defamation lawsuit for him calling me a rapist and perjurer in court documents.
You have to read it to believe it, but after you read it, you won't believe it. And I included eight examples of defamatory statements/
El Puerto de Algeciras continúa un año más como el más eficiente del continente europeo y vuelve a situarse en el “top ten” mundial, según el informe The Container Port Performance Index 2023 (CPPI), elaborado por el Banco Mundial y la consultora S&P Global.
El informe CPPI utiliza dos enfoques metodológicos diferentes para calcular la clasificación del índice: uno administrativo o técnico y otro estadístico, basado en análisis factorial (FA). Según los autores, esta dualidad pretende asegurar una clasificación que refleje con precisión el rendimiento real del puerto, a la vez que sea estadísticamente sólida. En esta edición del informe CPPI 2023, se han empleado los mismos enfoques metodológicos y se ha aplicado un método de agregación de clasificaciones para combinar los resultados de ambos enfoques y obtener una clasificación agregada.
An astonishing, first-of-its-kind, report by the NYT assessing damage in Ukraine. Even if the war ends tomorrow, in many places there will be nothing to go back to.
1. 1 Mattaniah Eytan (State Bar No. 68561)
Eric Schenk (State Bar No. 100193)
2 LAW OFFICES OF MATTANIAH EYTAN
21 Tamal Vista Blvd., Suite 219
3 Corte Madera, CA 94925
4 Counsel for plaintiff Gerard Angé; in his individual capacity
and as assignee forWorld Indigenous Network Corporation; and
5 G.A.P. International
6
7 SUPERIOR COURT OF CALIFORNIA
8 COUNTY OF ALAMEDA – UNLIMITED CIVIL JURISDICTION
9 GERARD ANGÉ, an individual, etc. ) Case No. RG0 5241337
)
10 Plaintiff, ) PLAINTIFF’S SEPARATE STATEMENT
) OF UNDISPUTED MATERIAL FACTS
11 v. ) IN SUPPORT OF MOTION FOR
) SUMMARY ADJUDICATION
12 ANTHONY TEMPLER et al. )
) Date: , 2007
13 Defendants. ) Time:
) Dept:
14 )
) Trial Date: to be determined
15 And Related Cross-complaints. )
)
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19
20 Plaintiff Gerard Angé submits this statement of undisputed material facts, together with
21 references to supporting evidence, in support of his motion for summary adjudication as to the
22 Eleventh Cause of Action of plaintiff’s Complaint:
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F:ANGEMSAsep stmt.wpd
Separate Statement re MSA
2. 1 ISSUE 1 – PLAINTIFF AND/OR HIS ASSIGNOR, G.A.P. INTERNATIONAL, INC., a
CALIFORNIA CORPORATION, WAS THE LEGITIMATE OWNER OF THE RIGHTS TO
2 THE DOMAIN NAME www.gapinternational.com AT THE TIME TEMPLER BEGAN TO
HOST THE WEBSITE ASSOCIATED WITH THAT DOMAIN NAME
3
UNDISPUTED MATERIAL FACTS: SUPPORTING EVIDENCE:
4
1. Gerard Angé began doing business 1. Declaration of Gerard Angé
5 as Gerard Angé Productions, International in (“Angé Dec”) at paragraph 2.
approximately 1985 or 1986. The business
6 done as Gerard Angé Productions,
International, both before and after
7 incorporation has been related to providing
satellite hookups for transmission of live
8 events.
9 2. In January 2000, through the web 2. Angé Dec at paragraph 2 and
hosting company, QuickBooks, Angé applied corresponding Exhibit.
10 for and obtained rights to the worldwide web
domain name, gapinternational.com.
11
3. Pursuant to my rights as owner of 3. Angé Dec at paragraph 3.
12 the domain name gapinternational.com, I
arranged for a website related to the business
13 of Gerard Angé Productions, International to
be set up with the web address
14 www.gapinternational.com in or around the
first half of 2000.
15
16 4. In or about September 2000, Angé 4. Angé Dec at paragraph 4.
took all steps necessary to have Gerard Angé
17 Productions, International, Inc. (“G.A.P.
CA”) incorporated under the laws of the
18 State of California.. Thereafter, the rights to
the domain name gapinternational.com
19 belonged to G.A.P. CA.
20 5. At all times from September 2000 5. Angé Dec at paragraph 5 and
through the present, G.A.P. CA was corresponding Exhibit.
21 commonly known at “G.A.P. International”
and both its stationery and its website (prior
22 to its being commandeered) identified its as
such.
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F:ANGEMSAsep stmt.wpd
2 Separate Statement re MSA
3. 1 6. In or about March 2002, 6. Angé Dec at paragraph 6.
QuickBooks informed Angé that it would no
2 longer be providing web hosting services.
Consequently, he made efforts to locate
3 another company or individual who could
provide that service for me. An individual
4 who worked with G.A.P. CA, Tom Knight,
informed Angé that he knew an individual,
5 Anthony Templer, dba Atanda Web Presence
Services, who could provide the web hosting
6 services G.A.P. CA needed.
7 7. Shortly after Tom Knight told 7. Angé Dec at paragraph 7.
Angé about Mr. Templer, Templer and Angé
8 met and Templer agreed to provide G.A.P.
CA and another project that Angé was
9 developing, World Indigenous Network
Corporation (“Win-TV”) with internet related
10 services including, inter alia, web hosting.
11 8. Accordingly, in or around the 8. Angé Dec at paragraph 8.
beginning of April, 2002, Angé provided Mr.
12 Templer with all of the information he needed
to provide web hosting services, including,
13 inter alia, the passwords necessary to contact
QuickBooks on behalf of G.A.P. CA and
14 Win-TV and take over web hosting from
QuickBooks.
15
16 9. On or about April 7, 2002, Templer 9. Angé Dec at paragraph 9 and
notified Angé by email that he (Templer) had corresponding Exhibit.
17 accomplished the transition in web hosting
from QuickBooks to Templer’s operation and
18 he would be hosting the G.A.P. CA domain
name thereafter.
19
20 10. Templer informed Angé although 10. Angé Dec at paragraph 10 and
the technical contact information for the corresponding Exhibit.
21 domain had been changed that Angée was still
listed as the Administrator and that G.A.P.
22 CA’s address was listed as the address for the
administrator.
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F:ANGEMSAsep stmt.wpd
3 Separate Statement re MSA
4. 1 ISSUE 2 – NEITHER PLAINTIFF NOR ANYONE ELSE ASSOCIATED WITH G.AP. CA
TRANSFERRED OWNERSHIP INTERESTS IN THE DOMAIN NAME
2 www.gapinternational.com EITHER EXPRESSLY OR BY OPERATION OF LAW TO
TEMPLER OR ANYONE ELSE
3
4 11. At no time from the date Angé 11. Angé Dec at paragraph 11.
first acquired the domain name
5 gapinternational.com in 2000 until it wound
up under the control of defendant Gap
6 International, Inc., a Pennsylvania corporation
(“GAP PA”) did the registration for the the
7 domain name gapinternational.com expire or
lapse.
8
9 12. At no time from the date Angé 12. Angé Dec at paragraph 12.
first acquired the domain name
10 gapinternational.com in 2000 until it wound
up under the control of defendant GAP PA
11 did Angé agree to or know of the transfer of
ownership rights or interests in the domain
12 name gapinternational.com except to the
extent it became the property of G.A.P. CA
13 upon the incorporation of G.A.P. CA.
14
15 13. Neither Angé, nor anyone else 13. Angé Dec at paragraph 13.
with the authority to act on behalf of G.A.P.
16 CA ever suggested to Templer that Angé or
G.A.P. CA was transferring any sort of
17 ownership interest or rights in the
gapinternational.com domain name to
18 Templer or Atanda and Templer never
suggested to Angé that he (Templer ) believed
19 or understood that Angé or G.A.P. CA
intended to transfer any rights in the
20 gapinternational.com domain name to
Templer or Atanda.
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F:ANGEMSAsep stmt.wpd
4 Separate Statement re MSA
5. 1 ISSUE 3 – AT NO TIME DID TEMPLER, NEITHER IN HIS CAPACITY AS AN
INDIVIDUAL OR dba ATANDA WEB PRESENCE SERVICES HAVE A LEGITIMATE
2 COMMERCIAL CONNECTION TO THE DOMAIN NAME www.gapinternational.com SUCH
AS WOULD ALLOW HIM TO LEGALLY MAINTAIN OWNERSHIP OF THAT
3 DOMAIN NAME
4 14. The domain name, 14. Templer’s Admission of Request
gapinternational.com, does not CONSIST for Admission No. 1 as reflected in Exhibit A
5 (“as that term is used in 15 U.S.C. § and B to Declaration of Eric Schenk (“Schenk
1125(d)(1)(B)(i)(II)) of Templer’s or Dec”).
6 Atanda’s legal name.
7 15. The domain name, 15. Templer’s Admission of Request
gapinternational.com, does not CONSIST of a for Admission No. 2 as reflected in Exhibit A
8 name that is otherwise commonly used to and B to Schenk Dec.
identify you.
9
10 16. Templer and/or Atanda never 16. Templer’s Admission of Request
used the domain name gapinternational.com for Admission No. 3 as reflected in Exhibit A
11 in connection with the bona fide offering of and B to Schenk Dec.
any goods or services.
12
13 17. Templer and/or Atanda never had 17. Templer’s Admission of Request
a bona fide noncommercial or fair use of a for Admission No. 4 as reflected in Exhibit A
14 mark (as that phrase is used at 15 U.S.C. § and B to Schenk Dec.
1125(d)(1)(B)(i)(IV)) similar to “GAP
15 International” in a site accessible under the
domain name gapinternational.com.
16
17 18. Templer and/or Atanda sold the 18. Templer’s Admission of Request
domain name gapinternational.com to for Admission No. 5 as reflected in Exhibit A
18 defendant GAP International, Inc., a and B to Schenk Dec.
Pennsylvania corporation for financial gain
19 without having used, or having an intent to
use, the domain name in the bona fide
20 offering of any goods or services.
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F:ANGEMSAsep stmt.wpd
5 Separate Statement re MSA
6. 1 ISSUE 4 – GAP INTERNATIONAL, INC., a Pennsylvania corporation, (“GAP PA”) HAD NO
LEGITIMATE BASIS TO BELIEVE THAT TEMPLER AND/OR ATANDA HAD A
2 LEGITIMATE ENTITLEMENT TO OWNERSHIP OF THE DOMAIN NAME
www.gapinternational.com BEFORE, DURING, OR AFTER GAP PA “PURCHASED” THAT
3 DOMAIN NAME FROM TEMPLER AND/OR ATANDA
4 19. Throughout the fall of 2003, GAP 19. Deposition of Jon Greenawalt
PA knew that it was illegal for a party to take attached as Exhibit C to Schenk Dec
5 ownership of a domain name to which it had (hereinafter “Greenawalt Depo”) at 31:12 –
no legitimate commercial connection other 15.
6 than to sell it.
7 20. Prior to November 2003, GAP PA 20. Greenawalt Depo at 17:18 –
learned that the domain name, 25:22, 31:22 – 32:2 and Angé Dec at
8 gapinternational.com was used as the web paragraph 14 and corresponding Exhibit E.
address for G.A.P. CA.
9
10 21. GAP PA knew of no commercial 21. Greenawalt Depo at 31:12 – 32:8;
connection Templer and/or Atanda had to the 37:18 – 38:6; 44:25 – 46:14 and
11 domain name gapinternational.com other than corresponding Exhibit G-8.
that it was listed as the owner by a web
12 service named whoFLY and that Atanda
hosted the website at the gapinternational.com
13 web address.
14 22. Even after being contacted by 22. Greenawalt Depo at 54:19 – 56:23
G.A.P. CA, GAP PA continued to assert and Corresponding Exhibit G-9.
15 without obtaining any confirmation that
Templer and/or Atanda had legal standing to
16 sell the gapinternational.com domain name to
GAP PA.
17
18 LAW OFFICES OF MATTANIAH EYTAN
19
20 Date: April , 2007 By: _______________________________
Eric Schenk
21 Attorneys for plaintiff Gerard Angé
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F:ANGEMSAsep stmt.wpd
6 Separate Statement re MSA