ARE ILLEGAL ALIENS ACTING AS OFFICERS OF THE COURT IN THE UNITED STATES TO TRAFFIC CHILDREN IN CPS SCHEME? – – – SHOWDOWN IN U.S. COURT (TN) STARTS TODAY AFTER CHATTANOOGA LAW FIRM FILES MOTION TO STRIKE JOURNALIST’S DEMAND TO KNOW JUST EXACTLY WHO CHAMBLISS, BAHNER & STOPHEL ARE REALLY REPRESENTING

Document 42 brings down the house.

by Pentagon Pedophile Task Force on August 2, 2023 – USA

Are government agencies across the United States using Illegal Aliens as official ‘Officers of the Court’ to take children away from their parents under the guise of ‘child protection’?

CHAMBLISS, BAHNER & STOPHEL, P.C., the Tennessee law firm who claim they are representing former Ohio Judge Frank Fregiato and his wife, Cynthia Fregiato, have filed a MOTION to the U.S. Court in Tennessee’s Eastern District to STRIKE a document from the record, which was filed by Timothy Charles Holmseth, the Plaintiff in the case.

The MOTION was filed today.

The Chattanooga law firm is asking the federal judge to STRIKE Document 42 of case number 2:23-cv-00011. 

The backstory of the case is truly frightening and may reveal details that could lead to a Constitutional crisis, as well as matters of National Security.

The married Fregiato couple (Frank and Cynthia) have become well-known as the Judge and County Clerk husband and wife team who set up a mom & pop “Domestic Violence” court in Belmont County, Ohio. The existence of what appears to be a racketeering operation disguised as a court was exposed after investigative journalist Timothy Charles Holmseth filed a civil rights lawsuit against Ohio Governor Mike DeWine and other public officials who used USPS and FED EX in a fraudulent scheme and hoax to issue a ‘civil stalking order’ against Holmseth – in their hopes of shutting down Holmseth’s news coverage of child exploitation and human trafficking that was being staged out of Ohio.

In 2009 Holmseth began investigating an international child exploitation and human trafficking operation that was being operated by various government agencies across the United States, including an agent of the FBI. Holmseth was investigating leads that the Government was using un-registered Foreign Agents, Non-American Citizens, and Illegal Aliens as Officers of the Court to kidnap children from their parents under the guise of a child protection action.

It appears Document 42 hit a nerve, and CHAMBLISS, BAHNER & STOPHEL, P.C do not want the document being considered by the Court or seen by the American public.

Holmseth believes CHAMBLISS, BAHNER & STOPHEL, P.C may be representing the interests of people, parties, corporations, foreign entities, and various associations that they are not putting on the record.

DOCUMENT 42 BRINGS DOWN THE HOUSE

~BEGIN CLIP DOC. 42~

  1. This case came into existence solely because of the illegal and unlawful actions of Defendants who devised a plan to interfere with Plaintiff’s journalism, and with an existing RICO claim that had been filed by Plaintiff in Middle District of Tennessee. Plaintiff’s RICO claim involved details of an international human trafficking operation. This case is complex litigation due to the fact Defendants used the United States Postal Service and FED EX to advance their criminal scheme and hoax against Plaintiff whereby they obviously engaged in deliberate and purposeful MAIL FRAUD and INTERSTATE WIRE FRAUD. PLAINTIFF NEEDS THE NAMES OF ALL PARTIES BEING REPRESENTED BY CHAMBLISS, BAHNER & STOPHEL AND THE SCOPE OF ALL LEGAL RELATIONSHIPS
  2. Plaintiff needs and demands to know exactly who Furrow and Siciliano are representing. Plaintiff needs to know the scope of said binding representation. Plaintiff needs verified proof on the record. Plaintiff needs to know this information for purposes of insurance and bonding and possible criminal unseen conspiracies by Defendants.
  3. Plaintiff does NOT KNOW if Furrow and Siciliano are representing other entities that are contracted and/or associated with the legal husband and wife Defendant Frank Fregiato and Defendant Cynthia Fregiato. This includes any contracts and employment with the STATE OF OHIO, County of Belmont, Ohio, Guardian Ad Litem programs, Social Services programs, dot gov websites (.gov websites), all applicable BAR Associations, Memberships, private societies, and/or others.
  4. Plaintiff needs to know if Furrow and Siciliano are acting on behalf of the Board of Professional Responsibilities, or, alternatively, are they acting on behalf of the BAR Association, and/or any other potential unknown variable.

~END CLIP DOC. 42~

This story is developing.

About Author