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First Superseding Document List of 050617 UND Pence 2017 - (D/L U...17) (D/L ...N...050617....)

Author - Robert J. More, anselm45@gmail.com, 708 317-8812, contingency - G. Watts, gww1210@aol.com, 863 688-9880

1. D/L 050617U...17 X

2. Document List and Collection of Documents of 041717 in re Op...Desecration...Pence.... X

3. Report Regarding 2009, 2011, 2013, 2014, 2016, and 2017 Components of Operation NUND Desecration Rectification Project ("ONUNDDRP")

4. Document List - ONUNDDRP March 2009 - Present

5. Video of NUND 18 USC 242, 1346, 1961/IN Official Misconduct Statute Violations Perpetrated Against RJM et al in 2009 Component of ONUNDDRP

6. 28 USC 2241 Pre-trial Detainee Habeas Corpus Form Fileable as Single Judge Motion to CCA 7 Sr. Judge Daniel Manion as a "Ticket to Return to Re-Circulation in the Presently Extant Apostate Amerikhazarian Society" for IL, IN and WI Activity, Regarding Any and All Abuses of Enforcements of Alleged Malum Prohibitum Offenses as a Pretext for Deprivations of Rights Guaranteed by the Constitution and Laws of the u.s. of A., Particularly the Specific Provisions of the Bill of Rights Including the Ninth Amendment Presumption of Liberty Catch-all in Re Which Any Activity Conductor Whose Priorities and Record of Activity Would Satisfy a Certain Demonstrable Minimum Threshold for Matt. 19:17 Compliance

7. RJM Damages Prevention/Mitigation Record of Activity

8. Attorney Disciplinary Complaints - NUND Counsel, SJC Prosecutor(s), Nominal u.s. of A. Attorney General E. Holder, United States Attorney for ND of IN Clapp, AUSA - ND of IN Hayes, AUSA Jane Doe Who Refused to Endeavor to Institute Charges in 2014-2016 Against the Soetoro Chapter in the Notre Dame Desecration Villians

9. Law Enforcement Decertification Petitions - Miscreants from NUNDSP, SJCSP, ISP, U.S.M.S, F.B.I., u.s. Secret Service

10. NUND State of IN Charter Rescission Petition - Educational Institution

11. Petitions for Indictments Federal- Jenkins, Soetoro, Corr, NUND Miscreants Johnson, Schirripa, Dossman, Fleck, Pavnica, SJCSP Miscreants ... Blanc, Corvales, Shepard, Bradley, SJCP Dvorak, ASJCP Wanneke, SJC Clerk ..., Asst. SJC Clerk(s), SJC Judges Scopelitis, Stienke, Chapleau

12. Petitions for Indictments State - Jenkins, Soetoro, Corr, NUND Miscreants, SJCSP Miscreants, SJCP Dvorak, ASJCP Wanneke, SJC Clerk ..., Asst. SJC Clerk(s)

13. Judicial Inquiry Board Complaints -Scopelitis, Stienke, Chapleau

14. Property Lien Upon NUND Claimed Property

15. Address at Pentacost, 1941 of Pope Pius XII - Demonically Controlled Criminal Societal Institutions the Bane of the De Facto, as Distinct from the Nominal, Catholic's, Existence X

16. NUND Charter Revocation Petition - Municipality

17. Nominal St. Joseph County, IN Charter Revocation Petition - County

18. Nominal State of Indiana Charter Revocation Petition - State

19. Nominal u.s. of A. - Declaration of Relinquishment of Authority Necessary to Compel Compliance with Nominally Legal Edicts in Non-Malum in Se Matters

20. Roman Catholic Dispute Resolution Chart

21. Rule of Law v Reign of Terror Standards

22. Duties of Certain Classes of Laypersons - Moral Theology in Four Volumes - Fr. H. Davis S.J.

23. Magna Charta Cl. 61

24. Notice to Members of Nominal Government Policing/Intelligence Procuring/Military Entities -see post in table of contents included in URL listed in ULC of document in re which this entry constitutes a component part whereof Y

25. Invitation to Rothschilds et al to Confess Culpability for Treason, Crimes Against Humanity, Debauching of the Nominal u.s. of A.'s Currency, Relinquish Unjust-enrichment Emanating Windfall Nominal Resource Claims, Accept Life Sentence to Patagonia or Equivalent Solitary Confinement - see post in table of contents included in URL listed in ULC of document in re which this entry constitutes a component part whereof Y

26. Nominal NUND Rescission of V.P. M. Pence Commencement 2017 Invitation X

27. V.P. M. Pence Rescission of Nominal NUND Commencement 2017 Invitation X

28. RJM to NUND Proposed Release and Satisfaction of 042317 X

29. RJM to V.P. M. Pence Proposed Release and Satisfaction of 042317 X

30. Criminal Complaint Against NUND & Individual Activity Conductors Conducting Activity Under Color of Law and Pretext of Legitimacy of 042317 - ISMA CLT both Federal and State Law Violations

31. Criminal Complaint Against NUND & NUND Individual Activity Conductors Conducting Activity Under Color of Law and Pretext of Legitimacy of 042317 - Nominal Federal

32. Criminal Complaint Against NUND & NUND Individual Activity Conductors Conducting Activity Under Color of Law and Pretext of Legitimacy of 042317 - Nominal State

33. Civil Complaint Against NUND & Individual Activity Conductors Conducting Activity Under Color of Law and Pretext of Legitimacy, & V.P. M. Pence of 042317 - ISMA CLT both Federal Claims and State Common Law Claims

34. Civil Complaint Against NUND & Individual Activity Conductors Conducting Activity Under Color of Law and Pretext of Legitimacy, & V.P. M. Pence of 042317 - Nominal Federal and State Adjudicative Tribunals*, Federal Constitutional and Statuory Claims, State Common Law Claims

35. Youtube video of SJCSP, NNDSP 18 USC 242, 1346 Violating Seizure of Robert J. More on 051709

36. NNDSP Sgt. Pavnica Fabricated Crime Report Regarding 18 USC 242, 1346, Violating, Which if Transmitted by Wire Also Included 1961 et seq., Violations, Seizure of Robert J. More on 051709

37. Complaint Against ISMA Members Form Y

38. Disclaimer Schedule X

39. General Disclaimer X

40. Nominal Government Interaction Disclaimer X

41. Proposed Verified Statement of V.P. M. Pence of 042317 X

42. Proposed Verified Statement of NUND President J. "Judas" Jenkins of 042317 X

43. Proposed Verified Statement of Monitor of "vice.president@whitehouse.gov" email address of 042317 X

44. Proposed Verified Statement of Monitor of NUND email addresses of 042317 X

45. Some Facts Regarding the Death of Former NUND Trustee and Father of Four, Mr. David R. Duerson

46. Postulated Basement Floor and Cap as of 042317 in re:

47. Bottom Basement Floor Threshold Bids as of 042317 in re:

48. Sign #1 - Beware Children!!!!!!! This is not a (smiley face picture) (Heaven Mural - Sistine Chapel) but rather an Eph. 5:8, Jn. 8:44, 3:19 (091101 Atrocity Fireball picture) (Skull and Cross Bones Image) Abomination Unto the Lord, Menace to Everything His Omnipotence Christus Rex can still justify not hating entity (the UND). - URL - jn21-15protectr.tripod.com/NUNDdesrectsign1.html

49. Sign #2 - URL - jn21-15protectr.tripod.com/NUNDdesrectsign1.html

50. Billboard #1 - the Sins, Betrayals, Debts and Shame of V.P. M. Pence - URL - jn21-15protectr.tripod.com/NUNDdesrectsign1.html

51. Billboard #2 - the Sins, Betrayals, Debts and Shame of NUND - URL - jn21-15protectr.tripod.com/NUNDdesrectsign1.html

52. Operation NUND Desecration Rectification Bounties Offered &/or Paid

53. Operation NUND Desecration Rectification Bounties Available

54. ISMA - From ISMA - Sponsorship of Jas. 2:13, Jn. 21:15, Matt. 28:20, Ja. 1:27, Matt. 19:17, 6:13, Projects Formula

55. NUND Desec. Rect. Project Donation/Sponsorship Remission Formula - to ISMA

56. NUND ODR -Go Fund Me

57. Countdown - Next Daybreak, Day of Fast, Sunday, Holy Day of Obligation, Scheduled Confession, Lotto Ticket Purchase, NUND Scheduled Street Presentation, NUND v USC Home Football Game, NUND Commencement, Commencement of ISMA CLT Adjudications, First Republican Presidential Debate of 2020 Election Cycle, u.s. of A. Presidential Inauguration Day of 012020, His Omnipotence, Christus Rex Apoc. 1:7 Avenging Return

58. May 13, 2017 - Commemoration of 100th Anniversary of the Appearance of Mater Dei (Our Mother of Sorrows) at Fatima, Portugal

59. Reverse Martial Law Endorsement/Demand of ... Regarding ISMA Member RJM X

60. Reverse Martial Law Endorsement/Demand Regarding ............., Issued by ISMA Member RJM X

61. Various Formulas Via Which Liberation from the Presently Extant and Operative Jewish Supremacist Global Plantation Owners Consummation of Enslavement and Extermination of the Goyim Apparatus Could be Accomplished

62. Pope Pius X's 1904 Declination of Founder of Modern Zionism, T. Hertzel's Proposed Apostolic See's Endorsement of the Establishment of the State of Israel

63. Pope Pius X's Identification at the Beatification of St. Joan of Arc of the Cause of All of the World's Problems - the "Easy-going worldliness of Catholics"

64. Proposed Ground Rules for Litigation in Nominal u.s. of A. Adjudicative Tribunals

65. First 20 Problems Regarding Adjudicative Hyrdoplaning and Other Causes Resulting in Inavailability of Legitimate Adjudications in Contemporary Amerkhazaria

65. Culpability of Federal Grand Jurors for Deprivation of Independence of Federal Grand Jury

66. Actual Presumptions Upon Which Reliance is Demonstrably Predicated Regarding Priorities According to Which Nominal Government Activity is Ordinarily and Customarily Conducted in Contemporary Amerikhazaria, Other than in Counties Sheriffed by a CSPOA Sheriff such as Glen Palmer in Daly County, OR, or the Prototype of such Sheriff - John McDougall, former Sheriff of Lee Cty. FL.

67. Pro-bono proof-reading invitation.

68. Identification of RJM X

69. FRN Use Disclaimer X

70. Alternatives and/or Complements to the "Reverse Martial Law" Demand via Which the Incremental Dismantling and/or Immediate Implosion of the Jewish Supremacist Genocide via Democide of the Goyim Consumation of Enslavement/Extermination Apparatus Which has been Hoisted Upon the Constitutional Republican u.s. of A. Can be Executed and Completed - Commonality with Entry # 61 herein supra.

71. RJM concession position of 050217

72. Umbrella Operations - Operation Ultimate Catastrophic-Loss Proofing, Operation Individual Euthanization/Global Mass Liquidation Proofing , Operation Ransom the Captives

73. Inextricably Interconnected Operations at ...Degree



74. FOIA List for NUND Desecration Rect...2017

75. 100th Anniversary of the Holy Office Confirmed Appearance of the Mater Dei at Fatima Portugal

76. Proposed Initial inchoate statement of President of the Nominal u.s. of A., Donald Trump Regarding Any Invitation of the Nominal University of Notre Dame to Address its 2017 Commencement, Completed on 031017, Before Author of Statement had Become Cognizant of Invitation Issued in Such Regard on 030217, and now Converted into Statement of Pres. Mr. Trump Regarding V.P. M. Pence's Acceptance of Invitation this Document Concerns X

77. Posterity's Next-Friend Condemnation of M. Pence Eulogy of Fr. Hesburg/NUND Commencement 2017 Participation

78. Duties of Certain Classes of Laypersons - Moral Theology in Four Volumes - Fr. H. Davis, S.J.

79. Initial Demonstration of Non-unconcern ...Pence Chapter of ...Operation ...Notre Dame Desecration Rectification X

80. Initial Demonstration of Non-unconcern of Robert J. More Regarding NUND Desecration Rectification Project - Pence 2017 Component whereof, Collection of Documents X

81. Operation NUND Desecration Rectification - 2016 Chapter X

Entries included in the list included herein supra adjacent to which there is an "X" were included in the documents posted and transmitted on 050617 in re the matters this conveyance concerns.

In regard to entries included in the list included herein supra adjacent to which there is a "Y", any such document can be found in the website "thirstforjustice.tripod.com" or "jn21-15protctr.tripod.com".

In regard to other entries included herein supra, either such documents will be included in future versions of the document collection(s) which supersede the document collection this conveyance concerns or URL's will be provided in re whereto in any such future collection(s).



Document # 68 from D/L of ...050617

Identification of RJM

RJM is the acronym for Robert J. More - former alumni of the nominal Univ. of Notre Dame. One Page History and Operational Capacity Profile and References Available Via Request Whereof Transmitted to: 708 317-8812, anselm45@gmail.com, URL included in ULC of Document Collection of Which this Document Constitutes a Component Document



Doc. # 15. from D/L ..N.. 050617

Address at Pentacost, 1941 of Pope Pius XII - Demonically Controlled Criminal Societal Institutions the Bane of the De Facto, as Distinct from the Nominal, Catholic's Existence

"The inversion of means and ends, which results in giving the value of ultimate end to what is only a means for attaining it, or in viewing persons as mere means to that end, engenders unjust structures which 'make Christian conduct in keeping with the commandments of the divine Law-giver difficult and almost impossible.'" - Address at Pentacost, 06011941 - Pope Pius XI

26. Nominal NUND Rescission of V.P. M. Pence Commencement 2017 Invitation

Nominal Univ. of Notre Dame Rescission of V.P. M. Pence Commencement 2017 Invitation

The invitation issued earlier this year to Vice President of the nominal u.s. of A. Michael Pence to address the nominal Notre Dame Graduating Class of 2017 and/or receive any type of honor is herein rescinded.

/s/ John Jenkins President of Nominal University and Quasi-Municipality via Marsh v AL (_U.S._) of Notre Dame

27. V.P. M. Pence Rescission of Nominal NUND Commencement 2017 Invitation X

V.P. M. Pence Rescission of Nominal NUND Commencement 2017 Invitation

Vice President of the nominal u.s. of A., Michael Pence, herein formally rescinds his previously declared acceptance of the invitation issued earlier this year by the nominal Univ. of Notre Dame to address the nominal Notre Dame Graduating Class of 2017 and/or receive any type of honor from such institution and/or quasi-municipality.

/s/ Vice President of the nominal u.s. of A. Michael Pence



28. RJM to NUND Proposed Release and Satisfaction of 042317 X

Proposed Release and Satisfaction of 042317 Robert J. More, formerly a member of the nominal Univ. of Notre Dame Graduating Class of 1983, to the NUND

Either repent of all sin, wickedness, crimes and injury otherwise culpably caused by the activity of the nominal U of N.D., issue abjurations and apologies and make restitution in re whereto, via a published plan in re whereto, including the transfer of the entirety of whatever would constitute the entirety of the endowment of such entity to a board of nominal U of N.D. ("NUND") Custodians, subject to return to the NUND upon adequate compliance with all terms of this document, or

remove the statute of Mater Dei from its administration building, remove any reference to Mater Dei from the name of the entity now referencing itself as the University of Notre Dame, and disburse to Robert J. More (former Class of '83, diploma returned to Atty Thomas Dixon '84 '92L in June of 2009) and the 100 poorest in spirit alumni, students, instructors, staff members, benefactors and/or otherwise affiliated persons ("100"), whereof, selected via either election or appointment of a stipulated appointer or board of appointers, all of which "fund custodians" would have had to have procured the approval of Robert J. More, Michael and Peter Dimond, and as a "fourth assessor of fitness" either Jeffrey Lonigro or Bradley Ball, the sum of two billion dollars in FRN's accompanied by a disclaimer and apology for still using this unconstitional (U.S. Constitution, Art.I, Sect.8, Cl.5) and immoral currency this long after the FRA was enacted in 1914, plus some apportionment of what has been procured since the 2009 Commencement Desecration to be disbursed according to a published schedule, such that the funds so disbursed can be used for the fulfillment of the mandate according to which Pope Gregory XVI permitted such school to be chartered as a Roman Catholic institution, in the first instance - namely the execution of a component of the consent-based mandate present in Jn. 21:15, as explicated over the centuries by the Infallible Magisterium of the Catholic Church (Matt. 16:18, Vatican Council - Decree on Papal Infallibility), most recently in the Encyclicals, Quas Primum, Divini Illius Magistri, Divini Redemptoris and Mystici Corporis (though the issuance of such charter preceded these promulgations), in the ongoing temporary competition between good and evil (Rom. 12:21), such that the largest possible number of souls can procure the ultimate and consummate deliverance from all evils (Matt. 6:13) via the maximized utilization of the funds disbursed, according to a formula which would result in Robert J. More not receiving any remuneration the expenditure of which would not require the approval of all of the 100 referenced herein.

Note: This is likely to be the best offer the NUND is ever going to receive.

For the Record, Upon Consummation of the Transmission of the consideration referenced in the PR&S of 042317 included herein supra, RJM will provide and publish a statement signed by RJM in which will be included a stipulation that RJM would/will never participate in any military venture against the UND in regard to any activity conducted prior to 050617, whereby. This conveyance does not constitute any type of quid pro quo but simply consitutes a pledge binding RJM under pain of grave sin for any disregard whereof. Via the non-military removal of the statute as referenced herein, such removal whereof would completely and entirely eliminate any possibility of the removal whereof via any type of military via the rendering of any such type removal unnecessary and thus unjustified.

The NUND could in accepting and performing upon the proposal included herein cover a contingency in which an insurrection would commence in the nominal u.s. of A. - a contigency the proximity to which this nominal nation has arrived some time ago, as was demonstrated in the watershed, bell-weather acquittal of the Oregon Occupiers on 10/27/16 (see Health Ranger Michael Adams of Natural News article - "...100 days..." posted in October of 2016.

RJM can confirm that actions, activities, and developments involving the NUND such as J. Judas Jenkins kiss of the Infanticidist, Euthanizationist, Sodomy Championing, etc. etc. Tyrant by Usurpation Barry Soetoro have not exactly endeared it to the AR-15 equipped and trained component of the Adherents to Catholic Compatible Positions regarding the natural law's (Rom. 2:15) prohibitions upon the sins referenced herein supra component of the population of the nominal u.s. of A.





Document # 29. of D/L of ...N...050617

Proposed Release and Satisfaction of 042317 of Robert J. More to V.P. M. Pence

Robert J. More herein stipulates that Vice President of the nominal u.s. of A. Michael Pence (VPMP) will never be sued for any activity conducted, left unconducted and/or any combination whereof, by him if RJM receives notice by 051317 that VPMP has rescinded his acceptance of the invitation of the Nominal Univ. of Notre Dame in its entirety and that he will not be participating in any way in such entities Commencement program for 2017.

/s/ Robert J. More



Document # 38 from D/L ...NUND...050617

ISMA Disclaimer Schedule X

thirstforjustice.tripod.com/ismamasdiscsched041417.html

ISMA Master Disclaimer Schedule - disclaimers/apologies/explanations/pledges /petitions/claim protecting protests/complaint filings against ISMA members formula

1. General

2. Unavoidable Interactions with Nominal Government Entities and Officials 3. FRN useage, 4. Jewish office/civil employment/profession/meal sharing Papal prohibition 5. Anti-semitic, protection of converted and tolerandus, jews from hostility - explanation 6. Associations and affiliations prior to adherence to PLMECD and application of principle in Canon 2200.2 to self, 7.Nominal Catholic 8. Nominal Christian 9. unsettled accounts of conscience ("UAC")- debts owed to component of Catholic Cause to which RJM understands RJM will have to provide an accounting 10. UAC - debts of RJM to CC via Other Humans 11. ISMA complaint forms, 12. Joint cooperative ventures including females Protocols - attire and decorum 13. Females in LEO, 14. Entity specific disclaimers 15. Ordination/pedigree/geneology disclaimers

16. Sunday Commerce/Labor

17. Proseltysm Prohibition

18. Dimonds disclaimer

19. LOA disclaimer

20. Disclaimer in re Non-Catholic Deceased

21. Disclaimer - Compliance with Malum Prohibitum Laws

22. Disclaimer - Compliance with Facially and/or Purportedly Valid Nominal Legal Edicts Under Protest w/ No Claim to Any Consideration Relinquished in Any Deference Ever Demonstrated in re Whereto IAGI

23. Disclaimer - Parents & Siblings

24. Disclaimer - Perplexed Conscience Protocols

25. Disclaimer u.s. of A. VP M. Pence

26. Disclaimer - Concessions unintentionally made/Protection of ... and Pre-emption of Scandal

27. Disclaimer - Historical Accuracy/Disinformation Susceptibility/Dissemination

28. Disclaimer -

29. Catchall Disclaimer



Document # 39 from D/L of ...NUND....

ISMA General Disclaimer - RJM

Master Disclaimer List - Disclaimer #1 - Apology for any ‘net harm” caused by activity conducted by RJM is herein expressed. Claims for any “net damages” caused can be remitted to the URL included herein. Restitution will be made upon conviction in any given instance. Since RJM is under censure, he cannot simply speak freely. At: "thirstforjustice.tripod.com/ismacan1325cocupdate7516.html" is posted a document which, pursuant to the Code of Conduct of the ISMA, RJM has committed himself to transmit to others in circumstances of the type present in regard to the circumstances presently encountered. In a nutshell, RJM is an adherent to the Plain Language Meaning of the 1441 Papal Encyclical Cantate Domino, to the 1928 Papal Promulgation regarding the requirements for modesty in dress, to the 1928 Encyclical Mortalium Annos restricting the association of Catholics with Non-Catholics to matters not distinctively religious in character and to the proposition that Pope Pius XI’s exposition regarding the pre-eminence of the priority of the defense of one’s country in Divini Redemptoris is not simply some pius platitude, but is rather a practical imperative; and that beyond these points, that St. Leonard’s “Doctrine of the Fewness of the Saved” and St. Philip Neri’s expressed concerns about the net harm his record of activity may have caused the Catholic Cause constituted responses to actual graces. This document has been presented pursuant to the provisions of Luke 9:26 and Canon 1325.1 of the 1917 CCL, delineating RJM’s moral burden as he presently understands it in re whereto. Any reading of it to this juncture is much appreciated. If any reader whereof would possibly ever have any question(s) demonstrably evidently compatible with a concern to procure eventual deliverance from all evils, he or she might possibly be interested in positing to RJM in re these or any other suchlike matter, RJM can be reached at: 708 317-8882 or at: anselm45@gmail.com, and likewise for any assistance RJM might ever be capable of providing to help anyone procure such deliverance (Mt. 6:13) if evidently more useful sources of information and/or assistance, respectively, would not be available, IAGI. Robert J. More - Heb. 10:31, Jas. 2:13, 1 Cor. 10:13. Other than in re what has been stated herein supra, and/or whatever incidental utility one might procure from RJM’s activity (eg. the enemies engaged with him may from any such engagement(s) have a harder time oppressing others than would be the case in the absence of RJM’s activity IAGI), unless one’s priorities are very similar to those of St. John the Baptist, one probably would not be grateful for any time and/or energy consumed in regard to anything involving RJM and RJM, like St. Philip remains pre-eminently concerned to not cause, via any unjustified act(s), omission(s) and/or concessions any net damage to anyone’s prospects for deliverance from all evils. RJM’s convictions are simply not, to understate the case, irresistibly attractive.



Document # 40 from D/L ...NUND ....050617

Nominal Government Interaction Disclaimer

thirstforjustice.tripod.com/ismagovtdisten041317.html

disclaimers/apologies/explanations/pledges/petitions/complaint filings against formula ISMA members - Disclaimer Master List - Disclaimer #2

Disclaimer in re Evidently Unavoidable, Except at Evident Unjustifiable Cost &/or  Loss, Interactions Between Lesser Catholic, Former “Friend of the World” (Ja. 4:4) Now  in Recovery, Scandalized and Disapproving, Constituent of Traitor (Patriot Act, NDAA 1021, Supporter of the Terror State Pope Pius X Explained to T. Herzel in 1904 that the Apostolic See could not Endorse, who as Indiana Governor Participated At Least Via Activity Left Unconducted in the Deprivation of the Protection the Prospect of Criminal Prosecution is Supposed to Provide to the Preborn in not Criminalizing the Murder Whereof, and the Deprivation of the Protection from Adoption by Sexual Perverts not Even Required to Keep Their Perversion Concealed to the Infants Incapable of Protecting Their Own Interests in Not Being Adopted by Individuals Patently Unfit to Adopt Children, Eulogizer of Arch-villain of Catholic Cause, Rothschild Controlled Council on Foreign Relations Member Fr. Theodore Hesburg, and in Consenting to Address Nominal UND ("NUND") 2017 Commencement - Constructive Endorser of Infanticide, Sodomy and the Blatant, Flagrant and Brazen Disregard of the Natural Born Citizen Clause Requirements for the Ascendancy to the Office of the POTUS, via the NUND's Constructive Endorsement whereof in the Soetoro 2009 Honor and and of the 091101 Mass Murder of Over 2700 Americans via the NUND's Constructive Endorsement whereof via the Non-recission of the 091101 Orchestrator Bush 2001 Honor, Long After It had Become Obvious that the 19 Goatherders with Plastic Box-cutters Explanation for such Atrocity was Simply Untenable) but Maybe Still Not Willing to Openly Worship Lucifer, at Least, Not Yet, and In Any Case, Vastly Less Damage-inflicting and Dangerous than the Tim Kaine Reptile Alternative Last November, and and Actually, Still Prospective Convert to Defacto Catholicism, Vice President M. Pence - Robert J. More and (Member(s)) of Any and All Government Entit(y)(ies)

So as, inter alia, to avoid the incurrment of culpability for sin via   the contribution, howsoever unintendedly  to the conferment of the appearance of legitimacy and correlative acceptability upon the existence and/or activity of any government entit(y)(ies) which are demonstrably to a measure of moral certainty, de facto, instruments of the Jewish Supremacist, Evident Apoc. 2:9, and 3:9 Consummation of the Enslavement and Extermination  of the Non Neo-Nazi Component of the World’s Population Agenda in participating in any practically unavoidable interactions wherewith in any given instance, RJM herein submits this disclaimer, subject to modification and/or supersession in the future. Robert J. More, anselm45@gmail.com, thirstforjustice.tripod.com.



Document # 69 from D/L of ...NUND....

FRN Use Disclaimer

thirstforjustice.tripod.com/ismadisc3frnuse041517.html

FRN Useage - ISMA Member, Robert J. More ("RJM") herein apologizes and explains regarding his participation in any transaction in Federal Reserve Notes as of this date, as follows: RJM apologizes that as of this date, the protection of the purchasing power of the currency of the nominal u.s. of A. guaranteed by Art. I, Section 8, cl. 5 of the Constitution of the u.s. of A. still has not been restored, and that RJM is still participating in any such use, and invokes the protection of evidently practical necessity in any such participation, noting the evident absence of any papal condemnation of the transacting wherewith thru 10/28/1958, and pledges to redouble his endeavors to assist in the bearing of the burden of the restoration of such purchasing power in concordance with William Still's quoting of W. J. Bryan that this issue is the fundamental political/economic issue, notwithstanding that other sins are morally worse, the non-solution of which renders solutions to any of the plethora of other problems presently afflicting society's members unaccomplishable. Disclaimer #3 from ISMA Master Disclaimer List - disclaimers/apologies/explanations/pledges /petitions/claim protecting protests/complaint filings against ISMA members formula

Document # 41. from D/L

Proposed Verified Statement of V.P. M. Pence of any date included herein .... Regarding Ignorance/Knowledge of Email Document Transmission From Robert J. More and/or "anselm45@gmail.com" and/or any other email address and/or via any other source of Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017"

Pursuant to the provisions of 28 USC 1746, I, Michael Pence do herein aver that I have never received any information regarding any Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017", nor any other conveyance, nor information from anyone claiming the name of Robert J. More.

/s/ Michael Pence, ____________

Document # 42. from D/L of ...NUND...

Proposed Verified Statement of NUND President J. "Judas" Jenkins of 042317

Proposed Verified Statement of John Jenkins of any date included herein .... Regarding Ignorance/Knowledge of Email Document Transmission From Robert J. More and/or "anselm45@gmail.com" and/or any other email address and/or via any other source of Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017"

Pursuant to the provisions of 28 USC 1746, I, John Jenkins do herein aver that I have never received any information regarding any Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017", nor any other conveyance, nor information from anyone claiming the name of Robert J. More.

/s/ John Jenkins, ______________

Document # 43 from D/L ...NUND... 050617

Proposed Verified Statement of Monitor of "vice.president@whitehouse.gov" email address of any date after 050617

Proposed Verified Statement of Monitor of "vice.president@whitehouse.gov" email address of any date after 050617 which date is .... Regarding Ignorance/Knowledge of Email Document Transmission From Robert J. More and/or "anselm45@gmail.com" and/or any other email address and/or via any other source of Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017"

Pursuant to the provisions of 28 USC 1746, I, name of monitor of "vice.president@whitehouse.gov" email address do herein aver that I have never received any information regarding any Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017", nor any other conveyance, nor information from anyone claiming the name of Robert J. More.

/s/ ______________________, ____________



44. Proposed Verified Statement of Monitor of NUND email addresses

Proposed Verified Statement of Monitor of President of Nominal University of Notre Dame email address of any date after 050617

Proposed Verified Statement of Monitor of President of Nominal University of Notre Dame email address of any date after 050617 which date is .... Regarding Ignorance/Knowledge of Email Document Transmission From Robert J. More and/or "anselm45@gmail.com" and/or any other email address and/or via any other source of Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017"

Pursuant to the provisions of 28 USC 1746, I, name of monitor of President of Nominal University of Notre Dame email address do herein aver that I have never received any information regarding any Collection of Documents in which were included the entirety of and/or any of the following words: "Notre Dame Desecration Rectification Project...2017", nor any other conveyance, nor information from anyone claiming the name of Robert J. More.

/s/ ______________________, ____________

Document # 59 from D/L of ...NUND...050617

Reverse Martial Law Endorsement/Demand of ... Regarding ISMA Member RJM

thirstforjustice.tripod.com/ismadecuncontem012317.html - Demand for Declaration of Unconstitutionality Template- –“Reverse Martial Law”

I, ………………………………………………………………, do herein demand that a declaration be issued by (this Court – (name here….)) (this Legislative Body –(name here….)) confirming that the entirety of the contents of any and all of the criminal codes presently applicable in …(name of applicable legal jurisdiction/sovereignty here ….) over which this entity possesses nominal authority have been declared to be unconstitutional as in the absence of this declaration any of such might have ever been applied in any given instance to any and all activity ever conducted by Robert J More ("RJM") which would not be demonstrably malum in se (as distinct from malum prohibitum) in character until either 1.) RJM enters eternity, 2.) Christ returns and avenges all, as of that juncture, unavenged, injustices, or 3.) a.) the control of the money supply of the nominal u.s. of A. would have been returned either actually or constructively, to the Article I, Section 8, Clause 5 source in which it was originally established, b.) the entirety of the unjust enrichment-emanating windfall monetary and/or resource appropriation procured via the enactment, maintenance and/or application of the provisions (“enactment…provisions”) of the patently unconstitutional Federal Reserve Act of 1913 would have been recovered from any and all net temporary economic beneficiaries of such enactment…provisions still alive at this juncture in history (“still…history”) by the identifiable and demonstrable net victims whereof still…history, and c.) the administration of what would have been demonstrated via legitimate adjudication(s) to constitute the evidently just recompense for the enactment….provisions whereof would have been administered to the perpetrators of such defraudment still alive at whatever juncture in history it would be at which such adjudiciation(s) would have been completed. ___________________, ___________________, --The moral basis for the contents of this document and the claim that no position and/or arrangement incompatible wherewith could possibly possess any moral legitimacy is posted here: “thirstforjustice.tripod.com/ismadecunconmorba012317.html”



60. Reverse Martial Law Endorsement/Demand Regarding ............., Issued by ISMA Member RJM

thirstforjustice.tripod.com/ismadecuncontem012317.html - Demand for Declaration of Unconstitutionality Template- –“Reverse Martial Law”

I, Robert J. More, do herein demand that a declaration be issued by (this Court – (name here….)) (this Legislative Body –(name here….)) confirming that the entirety of the contents of any and all of the criminal codes presently applicable in …(name of applicable legal jurisdiction/sovereignty here ….) over which this entity possesses nominal authority have been declared to be unconstitutional as in the absence of this declaration any of such might have ever been applied in any given instance to any and all activity ever conducted by ……………………….………………which would not be demonstrably malum in se (as distinct from malum prohibitum) in character until either 1.)………. enters eternity, 2.) Christ returns and avenges all, as of that juncture, unavenged, injustices, or 3.) a.) the control of the money supply of the nominal u.s. of A. would have been returned either actually or constructively, to the Article I, Section 8, Clause 5 source in which it was originally established, b.) the entirety of the unjust enrichment-emanating windfall monetary and/or resource appropriation procured via the enactment, maintenance and/or application of the provisions (“enactment…provisions”) of the patently unconstitutional Federal Reserve Act of 1913 would have been recovered from any and all net temporary economic beneficiaries of such enactment…provisions still alive at this juncture in history (“still…history”) by the identifiable and demonstrable net victims whereof still…history, and c.) the administration of what would have been demonstrated via legitimate adjudication(s) to constitute the evidently just recompense for the enactment….provisions whereof would have been administered to the perpetrators of such defraudment still alive at whatever juncture in history it would be at which such adjudiciation(s) would have been completed. ___________________, ___________________, --The moral basis for the contents of this document and the claim that no position and/or arrangement incompatible wherewith could possibly possess any moral legitimacy is posted here: “thirstforjustice.tripod.com/ismadecunconmorba012317.html”



Document # 34 from D/L ...N...17

Civil Complaint Against NUND & Individual Activity Conductors Conducting Activity Under Color of Law and Pretext of Legitimacy, & V.P. M. Pence of 042317 - Nominal Federal and State Adjudicative Tribunals*, Federal Constitutional and Statuory Claims, State Common Law Claims (* The use of the word "Tribunals" herein for the rigged apparatus'es in which citizens of the now nominal u.s. of A. are subjected to arrogations, usurpations, encroachments and predations of almost every conceivable type in no way constitutes any indication of either a lack of concern for the incalcuable damage which Lucifer has succeeded in perpetrating upon the Catholic Cause via the activity conducted in such entities and the correlative cost in human suffering whereof, nor any lack of a commitment to eliminate such unjustifiably dangerous to all legitimate reliance interests entities and rectify the countless comparatively enormous injustices inflicted wherethru).

Superior Court of Saint Joseph County, IN

Robert J. More, Plaintiff, Plaintiff For Third Party Plaintiff’s…et al

v

University of “Notre Dame” et al


Document List of ...

Doc List of ....

Civil Cover Sheet

Initial Component of Complaint of 050717 or whenever submitted if ever submitted, ....(enter date here)

Promissory Note in re 2017 Components of NUND Desecration

Proposal re Waiver of Summons in a Civil Case

Waiver of Summons in a Civil Case

Subpeona Duces Tecum Issued ...Regarding Any Possible Misappropriation of Funds

Preliminary Petition to ISMA CLT of 051317 or later (enter date here......) for Issuance of Nihil Obstat re “RJM v University of ‘Notre Dame’ et al”

Provision of Notice of Email Address to Which Persons Possessing Interest May Submit Documents…

Memorandum of Points and Authorities Regarding Third Party Standing of ...2017

Notice of Intent to Present Evidence to (Special) Grand Jury….

Decl. Unconstitutionality …RJM”

Notice to Judges, Clerks, Security LEO’s, Retained Attorneys in re “More et al v UND et al”

First Superseding Component B/4 1200 on 5/15/17 of Complaint of ...

Report of 050617, 051317, 051717 in re More et al v UND et al

Notre Dame Desecration Rectification Project Online Docket

Disclaimers

Second Superseding Component ....of Complaint of 5/8/17

Prevention/Mitigation of Damages Record

Notice of Unwillingness to Defer to Demonstrably Demonically Instigated Activity Including F & F Such Type Activity Perpetrated by Government Officials and the Khazars Who Push Their Buttons and Pull Their Strings




Superior Court of Saint Joseph County, IN


Robert J. More, Plaintiff, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As All Baptized Children Not :Possessing The Use Of Reason Prior To The Feast Of The Ascension Of 2018, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As All Octogenarian Notre Dame Alumni Too Feeble To Oppose The Notre Dame 2016Commencement Obamanation/Predation, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As All Members Of Any Policing Entity Who Would Understand That They Would Be Obliged To Refuse To Comply With Any Order Which Would Require Them To Interfere With Either Any Morally Legitimate Vigilante Measure(S) Which Would Ever Be Executed For The Purposes Of Either The Vindication Of Legitimate Reliance Interests Created By The Interplay Of The Activity Of The University Of Notre Dame (“UND”) Both In The Oral And Inscripted Conveyances Thereof And In Its Activity In Which No Declaration May Have Been Consciously Intended, But In Regard To Which A Reliance Interest Would Have Accrued From Activity Conducted In (A) Given Instance(S)Which In Some Form It Could Justifiably Be Claimed Would Have Constituted Implied Assertions Of The Intentions Of The UND, And In Regard To Which The Actors Who Have Relied Upon Conveyances Of The UND Would Have Justifiably Relied, And The Activity Of Such Actors In Response Thereto, And/Or Any Morally Legitimate Endeavors To Exercise Any Constitutionally Protected Liberty And/Or Property Interest, Which Would Concern The Inalienable Right To Life Of All Human Persons From The Moment Of Conception Unto That Of Natural Death Upon Among Other Basis, The Indisputably True Claim That There Is No Such Thing As An Absolute Property Right Of Any Type, Much Less Such Type Right On Property Housing Federal Depositories And Subsidized By Federal Funds, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Whose Legitimate Reliance Interest Were Disregarded And Defrauded When Claimant To The Office Of The VPOTUS Mr. J. Biden and/or Mr. John Boehner, Receive(d) Something Other than (a) Criminal Summons(es) For Treason from the UND, But Whose Concerns To Avoid The Consequences In Terms Of Retaliation Of Affirmatively Opposing Such Measures, Would Have Chilled Such Persons Into Silence In This Regard, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Those University Of Notre Dame (“UND”) Alumni, Students, Faculty And Staff Who May Have Incurred A Measure Of Interference With Their Mental Tranquility, Mental And/Or Emotional Distress From The UND 2016 Commencement Which Would Not Be Less Than The Measure Of The Injury In Such Regard According To Which Persons Claiming Such Type Injury(Ies) In Indiana Have Recovered Damages And/Or Procured Injunctive Relief In The Past, But Who - Would Imputable To Whatever Combination Of Concern(S) To 1.) Keep Their Activity Within Their Understanding Of The Motif Described In Col. 3:3, 2.) Avoid The Appearance Of Impure Motives In Seeking Legal Relief In Regard Thereto, 3.) Avoid Encountering The Type Of Retaliation Which Has So Often Accompanied The Active Opposition To Evil Which Is Non-Token In The Theatre Of Earthly Existence, 4.) Ignorance Of Legal Thresholds, Procedures, Principles And/Or Practices And/Or 5.) Any Other Such Type And/Or Similar Or Related, Motivation, - Not File The Type Of Complaint In Which This Caption Is Contained, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Those The Members Of The Congregation Of The Holy Cross Who Do Not Fit Into Any Of The Classes Defined Herein Supra, But Whose Injuries Are The Same Or Similar To Those Of The Individuals Described Herein Supra, Most Especially, The Elderly And Disabled Infirm Members Thereof In Regard To Whom The Concern To Not Have Perpetrated Upon Them The Type Of Expulsion Without Any Provision For His Sustenance Fr. John O’Connor O.P. Had Perpetrated Upon Him By The Dominican Province Of Which He Had Been A Member For Decades Prior To Such Expulsion, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Those Individuals Who As Of The Moment Of The Filing Of This Complaint Have Still Not Filed Any Complaint Against The UND Re The UND 2016 Commencement, Out Of A Concern To Not Cause The Task Of Procuring Relief In A Legal Proceedings In Presently Operative “Non-Common Law Courts” Re The UND 2016 Commencement By Those They Presume To Be More Knowledgeable And Skilled In The Law Than They Understand Themselves To Be (“Those More Capable In The Law”) To Be Made More Difficult By The Filing Of A Complaint Of Lesser Potency Than A Complaint Which Might Be Filed By Those More Capable In The Law

Plaintiff”s

v

University of “Notre Dame” (“U‘ND’”) , President of U‘ND’ Mr. J. Jenkins, Vice President of the nominal u.s. of A. Michael Pence, Monitor of "vice.president@whitehouse.gov" (in scenario of perpetration of malefaction(s) or unjustified dereliction of duty, Any and All Administrators of the U‘ND’ Who Have Used any Wire or the Mail to Perpetrate Any Fraud Regarding the U‘ND’ Commencement Ceremony of 2016, Former Claimant to the Office of the Presidency of the united States of America – Mr. Barry Soereto (aka B.H. Obama), Former Claimant to the Office of Vice President of the u.s. of A. – Joseph Biden, John Boehner, Fr. Donald Wuerl, Haines Clothing Manufacturer, Champion Sportswear, Russell Sportswear, Fruit of the Loom Clothing Manufacturer, Wilson Sportswear, Saint Joseph’s County Sheriff, Saint Joseph County Sheriff’s Department Deputies, South Bend Police Department, United States Marshal Service, Federal Bureau of Investigation, John Doe Policing Entity to be Named When Identity Ascertained (Anti-Defamation League, Mr. Abraham Foxman, Rothschild Family ILMembers John and Jane Doe’s #1-40, Rothschild Banking Empire and Affiliates – All Trespass On The Case Defendants Who May or May Not Be Kept in Case, Depending on Inter Alia, Relief Could be Procured Without Keeping Them in the Case),


Initial Abbreviated Component Of 5/06/17 Of Complaint Of 050817, Possibly to be Superseded and Repeatedly Replaced by Future Superseding Versions Thereof, As the Adjudication of Such Complaint Proceeds to the Extent RJM’s Participation in the Litigation It Concerns Would be Necessary in Order for RJM to Procure a Nihil Obtat from the ISMA Common Law Tribunal Regarding the Matters It Concerns in Order to Adequately Protect and Vindicate the Demonstrable Interests of the Catholic Cause in re the Matters this Document Concerns


Preface 1: The Collection of Documents referenced in Document #80 of the D/L ...N...17 has been emailed to "vice.president@whitehouse.gov" at least ten times, if not many more since 041717 and to the email address presently available from the NUND for its president, and no response has been forthcoming from either, necessitating RJM's progression into the next stage of the dispute resolution script operative for the dispute this entry in this document in this collection of documents, concerns.

Preface 2: But for the Actionable Fraud, Counterfeiting and/or Debauching of the Currency and Violations of Countless Other Provisions of Various Criminal Codes which have been perpetrated by the Rothschilds, the members of the Other Nine Khazarian Banking Families and the Rest of the Committee of 300, and the Actionable Participation Wherein, Respectively, of Countless Slavemaster Class, Neo-Nazi, Goyim Enslavers and Exterminators, the filing of this complaint would never have been necessary, and but for the Tortiously Actionable Activity of the rest of those listed as Defendants in this complaint, it would not have to have been filed in regard to any and all tortious activity conducted by any of such individuals, respectively.

It is being filed on the Gideon v Wainwright, bare bones, no provision for any toleration for the prevention of the remedying of the evils and injuries it concerns attributable to any alleged and/or actual lack of compliance with any given procedural requirement in regard to which any such type claim of alleged lack of such type compliance might ever be posited, and with notice of intent to bring any and all deficiencies ever demonstrated into a condition in which adequate compliance with all applicable rules and requirements would have been accomplished.

The entirety of the contents of Case # 3 09 CV 221, filed in the USDC for the ND of IN in 2009 are incorporated herein by reference as if fully set forth herein, with dates and names modified where necessary in order to adequately effectively bring such contents into applicability in regard to this complaint


Introduction:

This soon to be superceded, complaint filed in the most abbreviated and skeletal initial version thereof, form, in which it may or may not be filed before 051917, pursuant to Robert J. More’s (“RJM”s) understanding of the application to the activity of RJM in the circumstances of His Omnipotence, Christus Rex’es permissive providence presently extant of the requirements of the mandate issued in Jn. 21:15 to St. Peter and in Matt. 28:20 to all of the First Apostles, and through vehicle(s) of the Roman Catholic Doctrines of Perpetual Papal Succession and Apostolic Succession, respectively as such apply to the activity of RJM and persons similarly situated, as such requirements have been subjectively ascertained by RJM via reference to the teaching of the Identifiable Non-counterfeit Magisterium of the Roman Catholic Church (Matt. 16:18) , most especially through the promulgations of Pope’s Pius IX, Leo XIII, Pius X and Pius XI, and in particular in the Encyclicals Humanun Genus, Rerum Novarum and Sapientiae Christianae of Pope Leo XIII, and Quas Primas, Mit Brenneder Sorge and Divini Redemptoris of Pope Pius XI, and in the spirit of among other agendas, that described in NAACP v Burton (_U.S._) (describing the multiple legitimate purposes of civil litigation other than solely the procurement of monetary damages for private wrongs causing unjustifiable injuries) concerns, will have to be posted and transmitted in a most abbreviated form due to several causes not completely within RJM’s control and RJM needs instructions in regard to the procedure via which litigants can procure an audience in the USDC for the NDI, South Bend,

6. RJM is proceeding on Plaintiff For Third Party Plaintiff basis for the Parties identified in the caption to this complaint and will explicate the causes RJM is bringing in this case on ...once RJM can file electronically.

7. This “…Complaint of (some date between 050817 and 051519), if filed, will have been filed according to the liberal notice pleading standard applicable to cases filed in State and/or Federal Courts for the purposes of ensuring that it is filed soon enough for RJM to litigate the issue of the TRO he may seek to procure prior to Sunday 5/21/17.

8. No nominal statute of limitations issues regarding the multiple forms of monetary damages which RJM will seek if M. Pence participates in the NUND 2017 Commencement Exercise, will be present at any point in the near future, but if M. Pence does participate wherein, RJM will seek monetary damages on the basis of reckless infliction of severe emotional distress, detrimental reliance, fraud, tortious interference with the net worth of an alumni of the UND and of the value of such person’s estate, attractive nuisance on behalf of all baptized children not possessing the use of reason, a variation of an implied warranty of merchantability, and possibly civil RICO, among other legal theories for recovery for injuries which would be unjustifiably caused should the U ‘ND’ permit the “Commencement of 5/21/16” plans to be implemented.

9. This Court (for Federal) Possesses Jurisdiction Over All Of The Private Party Defendants (“PPD”)’S Included In The Case This Complaint Concerns (“This Case”) Upon The Basis That There Exists A Complete Diversity Of Citizenship Between Robert J. More (“RJM”) And Every One Of The Individual PPD’s Named Herein Which Confers Jurisdiction Upon This Court Pursuant To The Provisions Of 28 USC 1332 and/or (RJM cannot recall the SCOTUS cases authorizing jurisdiction of State Courts over federal claims at this moment, but will provide such in the future), Since The Damages Sought Herein Are Over $75, 000.00, And For All Claims Including Allegations Of Conspiracy With Government Actors To Accomplish The Perpetration Of Deprivation(S) Of Constitutionally Protected Life, Liberty And/Or Property Interests Under The Color Of Law And Pretext Of Legitimacy Which Are Actionable Pursuant To The Provisions Of 42 USC 1983, 42 USC 1985(2), 42 USC 1986, The Bivens Doctrine, 18 USC 1961 Et. Seq. Upon The Basis That Such Claims Of Such Conspiracy Would Bring This Complaint Under both State and Federal Jurisdiction Because This Court for Federal)Possesses Authority Pursuant To 28 USC 1343 Over Claims Actionable Pursuant To The Provisions Of 42 USC 1985 And 1983 .

10. This Court Possesses Jurisdiction Over All D’s Included In This Case Who May Be Sued Due To Their Conduct In The Execution Of The Authority Of A Given Government Office Regarding The Matters Concerning The Torts Which May Be Perpetrated And/Or The Tort Liability Otherwise Incurred as of 5/08 and/or 5/19 of 2017, And Of Political Subdivision(S) Of IN, D’s Via The Machinery Of 42 USC 1983, 1985(2), 18 USC 1961 Et Seq. Pursuant To The Provisions Of Applicable State and Federal Constitutional Provisions and/or Laws, (28 USC 1332 And 28 USC 1343 And Against The Federal Actors Included In This Complaint Pursuant To The Provisions Of 28 USC 2671 Et Seq And The Bivens Doctrine.

11. This Court possesses jurisdiction to grant the declaratory and injunctive relief RJM herein seeks pursuant to applicable equitably principles (the provisions of 28 USC 2201 and 2202).


Count #1 - Reckless Infliction Of Severe Emotional Distress

12. Plaintiff Herein Complains That D’s U ‘ND’, President Jenkins and other D’s Have Conducted Activity Conducted By Them During The Period Of 3/20/16, in Committing to the Conferring of a Laetare Medal upon J. Biden and J. Boehner, Until The Present, At A Standard Of Accountability Which Has Not Been High Enough For RJM To Not Have Incurred Severe Emotional Distress Therefrom In Their Executing The Respective Acts Which Directly, Or Indirectly But Not Outside Of The Sphere Of Tort Liability Applicable Thereto, Resulted Which Distress Was Entirely Foreseeable.

13. The Damages Sought In This Count Are Over $75,000.00, but the U ‘ND’ can ensure the dismissal of this complaint by either rescinding such awards, or removing the statue of the BVM from the dome of its Administration Bldg and removing her name from its name.


Count #2 Injunction to Prevent Interference with Any Endeavor to Cover the Statue of the BVM with a black Funeral Crepe on 5/21/17

14. Plaintiff herein moves this Court to issue an order enjoining any interference with any endeavors that might be undertaken to cover the statue of the BVM with any type of covering on 5/21/17 if M. Pence participates in the NUND 2017 Commencement Exercise.


Count #3 - Trespass On the Case - M. Pence

15. Plaintiff Herein Complains That if Defendant M. Pence participates in the NUND Commencement Exercise of 2017 that he will (incur) (have incurred) tort liability in

Trespass on the Case in that any such type participation would constitute in RJM's subjective understanding of God's classification system, an at least constructive ratification of, that is the remission of the conferrence of appearance of acceptability and in re the few left for whom acceptability would be predicated upon apprehended legitimacy, legitimacy as well, upon, the enormous evil Lucifer has perpetrated in the Soetoro, Biden and Boehner, Ginsburg, and prior to that the non-condemnation and/or rescission of whatever honor Geo. W. Bush received after the indispensable role in the 091101 atrocity played by him had long beome obvious to the not for all practical purposes hopelessly jaundiced eye, not to mention his responsibility for fabrication of the "Weapons of Mass Destruction" fable as a pretext for the predatory military invasion of Iraq and the actual invasion whereof, the nominal government orchestrated murder of Paul Hill, and torture and murder of Teresa Schiavo and the murders of the members of Barksdale Nine, the inevitable effect of which participation would be the further darkening of mind, hardening of heart, and entrenching in malice of the NUND, which development would substantially exacerbate the presently existing conflict between RJM et al and the NUND et al in that the prospects of settlement - removal of the Statute of Mary from the Adminstration Bldg, and her name from the name of the University, and the remission of $2 billion dollars from such entity's present endowment to a body of asset custodians responsible to ensure that any and all funds received would be used for the fulfillment of the Jn. 21-15, Matt. 28:20 mandate in exchange for indemnified assurances that RJM will/would avoid any and all contact with what would then constitute the former NUND, will have been substantially diminished from any such participation.


Count #4 Reckless Infliction Of Severe Emotional Distress/Interference with Mental Tranquility -M. Pence

16. Plaintiff Herein Complains That D M. Pence Has Conducted Activity During The Period Of 3/10/17 thru the date of the completion of the composition of this document, in Committing to the participation in the NUND 2017 Commencement Exercise, At A Standard Of Accountability Which Has Not Been High Enough For RJM To Not Have Incurred Severe Emotional Distress Therefrom In His Executing The Respective Acts Which Directly, Or Indirectly But Not Outside Of The Sphere Of Tort Liability Applicable Thereto, Resulted Which Distress Was Entirely Foreseeable.

17. The Damages Sought In This Count Are Over $75,000.00, but the NUND and M. Pence can ensure the dismissal of any and all counts included in this complaint regarding any matter solely concerning the NUND 2017 Commencement Exercise via the recission of either the invitation (NUND) or the acceptance of the invitation (M. Pence), or removing the statue of the BVM from the dome of its Administration Bldg and removing her name from its name.

Count #2 Injunction to Prevent Interference with Any Endeavor to Cover the Statue of the BVM with a black Funeral Crepe on 5/21/17

18. Plaintiff herein moves this Court to issue an order enjoining any interference with any endeavors that might be undertaken to cover the statue of the BVM with any type of covering on 5/21/17 if M. Pence participates in the NUND 2017 Commencement Exercise.


Count #5 - Product Liability

19. Plaintiff Herein Complains That D NUND has been producing a product - namely graduates from it, that have not demonstrated the type of commitment to the adequate bearing of the burden of an adult Catholic that would have to be present for the NUND to be inculpable for the comparatively enormous damage incurred by the Catholic Cause from the activity conducted by such graduates, especially given the exploitation of the association of any given graduate's priorities and/or activity with Mater Dei, via which many of such graduates have succeeded in inducing the predication of reliance in innumerable matters to the comparatively enormous detriment of those who have predicated reliance in any given instance upon a reputation and/or general connection with Mater Dei, that would have been entirely incompatible, IAGI, with a given exploiter's actual priorities and record of activity

Among other sources of demonstrable evident net detriment to what now constitutes Amerikhazarian Society, RJM herein includes herein only the names of Mr. Thomas Carney, D. Hynes, C. Zorich, J. Franzcek, and H. Lienenweber. This count will be further explicated at some future juncture

Plaintiff Demands Trial By Jury In This Case.

Plaintiff Avers That All Factual Averments Contained Herein Are True And That Any And All Claims Based Upon Information And Belief, That He Verily Believes Such To Be True.

Robert J. More]

Life Is Fragile, Handle With Prayer, And Even Beyond The Ordinary Tender Loving Care To Which The Weakest And Most Vulnerable Are Entitled, When A Situation Arises Such As The Teresa Schiavo Disability, All Of The Stops (ie. Including the Use of Whatever Military Means would ever have to be used in order to protect measures of consideration of demonstrably greater importance than any claim of any criminality and violence perpetrator to procure/retain protection from the foreseeable unintended consequences in any given instance of the use of demonstrably contra-predatory force against criminality and violence) Must Be Pulled Out And The Type Of Red Carpet Treatment His Omnipotence Himself Has Demonstrated For His Creatures In Becoming Man And Redeeming The Many (Et Multos) Cannot Remain Not Provided Without In Any Non-Provision Thereof, Ensuring the Betraying of Everything Truly Catholic.


Promissory Note in Regard to Robert J. More v Univ. of Notre Dame Complaint of 5/08/17

I, Robert J. More (“RJM”), to herein aver under penalty of perjury that if the filing fee for the filing of this complaint does not end up getting paid by the University of Notre Dame and/or any of the other Defendants included in the case this document concerns, and/or any benefactor who might decide to remit the fee wherefore; that within the limits the moral law would permit in this regard, that it will be paid by RJM out of what would constitute RJM’s share of what is recovered upon the divestiture of the control of the money supply of the nominal u.s. of A. and the hundreds of trillions of dollars in unjust enrichment amassed by the Rotshchilds, et al ("the members of the other Nine Jewish Supremacist banking families", "Committee of 300", "Global Plantation Owners", “Khazars” etc. etc.) since the Patently Unconstitutional Enactment of the Federal Reserve Act ("FRA") and prior to that any treasonous and/or otherwise criminal frauds, artifices and/or subterfuges ever used to procure resources from 1789 to the date of the Enactment of the FRA, by the members of such groups

/s/ Robert J. More




Document # 76 from D/L ...N...17



Initial inchoate statement of President of the Nominal u.s. of A., Donald Trump Regarding Any Invitation of the Nominal University of Notre Dame to Address its 2017 Commencement, Completed on 031017, Before Author of Statement had Become Cognizant of Invitation Issued in Such Regard on 030217, and now Converted into Initial Statement of Pres. Mr. Trump Regarding V.P. M. Pence's Acceptance of Invitation this Document Concerns

Inchoate Version, Subject to Future Supersession, of Proposed Response of President Donald Trump of March 10, 2017 to Invitation of Nominal University of Notre Dame to Address its 2017 Commencement

To all of those possessing an interest in the issue of whether or not I, as the President of the nominal u.s. of A., ought to address the Nominal University of Notre Dame’s (“NUND”) 2017 Commencement if invited to do so, I offer what follows as my initial response to the postulation of such issue:

Various disclaimers are included at the end of this expostulation, and such expostulation cannot be understood except in conjunction with the consideration whereof,



Hopefully, at some future date, the NUND can produce a record of activity indicative of the radical modification of priorities suggested herein supra, which would permit my participation in the promotion of an agenda not incompatible with the goals of this administration and basic tenets of human decency. It is to such tenets and the people persevering in the labor of restoring them – the people who elected me – the types of people the NUND, in May of 2009 illegally seized and prosecuted without probable cause that any crime had been committed - to which and whom, respectively, I owe allegiance, and I am hoping and praying that the NUND can make the modifications necessary to rejoin, or as the case might be in any given instance, join, such group, because, after all where there is conscious life, there is both burden (Matt. 19:17) and hope (Lk. 1:37, Matt. 28:20), and Jesus is the Lord of regeneration (Apoc. 21:5).



Donald Trump, President of the nominal u.s. of A., March 10, 2017

The entirety of the "Initial inchoate statement of President Donald Trump Regarding Any Invitation of the Nominal University of Notre Dame to Address its 2017 Commencement" is adopted this day as Vice President of the u.s. of A. Michael Pence's Recission of His Prior Acceptance of the Invitation Issued by the Nominal University of Notre Dame to Address Its 2017 Graduating Class at its 2017 Commencement

Vice President of the Nominal u.s. of A. Michael Pence, May ..., 2017









penceund2017comfspin041717.html







Posterity's Next-Friend Condemnation of M. Pence Eulogy of Fr. Hesburg/NUND Commencement 2017 Participation

Document List of 041717 in re Operation Nominal Notre Dame Desecration Rectification Project - Pence Activity Component - D/L NUND Pence in 041717

1. D/L NUND Pence in 041717



- documents

RJM letters to J. Judas Jenkins prior to 051709

RJM communications with NUND Office of Legal Counsel, Office of News and Affairs, NUND Security Police prior to 051709

R. J. More et al v NUND et al -Federal Court Attempted Filing in USDC for ND of IN in W.E. 5/16/09

R. J. More et al v NUND et al -St.Joseph County, IN, Court Attempted Filing in USDC for ND of IN in W.E. 5/16/09

RJM - arrest -police reports, jail dmission, possession inventory, jail release, bond form,

Discovery materials provided, deposition transcripts, arrest report, etc.

... ... ... ... ...

RJM notice to County Attorney in re IN statute of intent to sue

RJM notifications of NUND, All parties participating in depositions taken in criminal charges

RJM lawsuits filed in 2011, Judge D. Chapleau - stick-it,

RJM notices to Prosecutors, Judges, NUND attorneys,

...was there any civil filing in 2013?

RJM Petition for Indictment - 2014, and all related notices, memorandum, etc.

RJM Petition for Indictment - 2016 and all related notices, memorandum, etc.

RJM Letter to Nominal u.s. of A. Pres. Trump re NUND Commencement 2017 of ....

Documents not recalled on 041717 but Recalled at Some Later Date

Master Disclaimer List

Disclaimer - General

Damages Mitigating, Restitution Making, Temporary Voluntary Bridge Plank in Bridge to Ultimate and Consummate Deliverance from All Evils

2. Trespass on the Case - Ratification - remission of conferrence of appearance of acceptability and in re the few left for whom acceptability would be predicated upon apprehended legitimacy, legitimacy as well -effect is fortification and calcification of the enormous evil Lucifer has perpetrated in the Soetoro, Biden and Boehner, Ginsburg, and prior to that the non-condemnation and/or rescission of whatever honor Geo. W. Bush received after the indispensable role in the 091101 atrocity played by him had long beome obvious to the not for all practical purposes hopelessly jaundiced eye, not to mention his responsibility for the murder of Paul Hill, and torture and murder of Teresa Schiavo - effect of further darkening of mind, hardening of heart, entrenching in malice -substantially exacerbating the presently existing conflict in that the prospects of settlement - remove the Statute of Mary and remit $2 billion dollars to have been diminished X

Nominal tort - B < L X P

Reckless interference with mental tranquility -seeing Luficer exploit the association with sacred things to advance his getting souls into hell agenda

constructive endorsement

condemnation of speech of Pence at ceremony for Hesburgh -those who praise the wicked and those who condemn the just, both are an abomination unto the Lord`

sickness and twistedness - 15-25 % of Lot's wife seekers to retain something that has been long lost - the haven in the heartless world

RJM's present inchoate and un-proofread proposed release and satisfaction to the nominal U of ND of 041017 heading towards the Protest of V.P. Pence's acceptance of the UND's recent invitation to address its 2017 commencement X


Either repent of all sin, wickedness, crimes and injury otherwise culpably caused by the activity of the nominal U of N.D., issue abjurations and apologies and make restitution in re whereto, via a published plan in re whereto, including the transfer of the entirety of whatever would constitute the entirety of the endowment of such entity to a board of nominal U of N.D. ("NUND") Custodians, subject to return to the NUND upon adequate compliance with all terms of this document, or

remove the statute of Mater Dei from its admin bldg and disburse to Robert J. More (former Class of '83, diploma returned to Atty Thomas Dixon '84 '92L in June of 2009) and the 100 poorest in spirit alumni, students, instructors, staff members, benefactors and/or otherwise affiliated persons ("100"), whereof, selected via either election or appointment of a stipulated appointer, the sum of two billion dollars in FRN's accompanied by a disclaimer and apology for still using this unconstitional (U.S. Constitution, Art.I, Sect.8,Cl.4) and immoral currency this long after the FRA was enacted in 1914, plus some apportionment of what has been procured since the 2009 Commencement Desecration to be disbursed according to a published schedule, such that the funds so disbursed can be used for the fulfillment of the mandate according to which Pope Gregory XVI permitted such school to be chartered as a Roman Catholic institution, in the first instance - namely the execution of the consent-based mandate present in Jn. 21:15, as explicated over the centuries by the Infallible Magisterium of the Catholic Church (Matt. 16:18, Vatican Council - Decree on Papal Infallibility), most recently in the Encyclicals, Quas Primum, Divini Illius Magistri, Divini Redemptoris and Mystici Corporis (though the issuance of such charter preceded these promulgations), in the ongoing temporary competition between good and evil (Rom. 12:21), such that the largest possible number of souls can procure the ultimate and consummate deliverance from all evils (Matt. 6:13) via the maximized utilization of the funds disbursed, according to a formula which would result in Robert J. More not receiving any remuneration the expenditure of which would not require the approval of all of the 100.

Best offer UND is going to get - FTR RJM will agree never to participate in an

y military venture against the UND in regard to any activity conducted prior to 041717 - not a quid pro quo but simply a pledge - via the non-military removal of the statute ... renders its removal via any type of military venture unnecessary and thus unjustified....

UND cover contingency in which insurrection would commence - a contigency the proximity to which this nominal nation has arrived, the watershed, bell-weather acquittal of the Oregon Occupiers demonstrates - but for which - HR M Adams - 100 days

judas jenkins kiss



Robert J. More -

RJM proposed release and satisfaction to M. Pence of 041717 X


Document #81 from D/L of ...N...17


Collection of Documents Delivered by Robert J. More to Superior Court of St. Joseph IN Clerk on 5/13/16



http://ThirstForJustice.tripod.com/und2016desrectdlsjc51316in.html

http://ThirstForJustice.tripod.com/und2016desrectdlsjc51316in.html


http://ThirstForJustice.net/und2016desrectdlsjc51316in.html


----Copy of documents delivered to Clerk of Court of Superior Court of Saint Joseph County, IN on 5/13/16, except that copies actually submitted had Robert J. More’s signature whereupon at the end of both the complaint and promissory note

/s/Robert J. More ----



Superior Court of Saint Joseph County, IN

Robert J. More, Plaintiff, Plaintiff For Third Party Plaintiff’s…et al

v

University of “Notre Dame” et al


Document List of 5/13/16

Doc List of 5/13/16 X

Civil Cover Sheet X

Initial Component of Complaint of 5/13/16 X

Promissory Note X

Proposal re Waiver of Summons in a Civil Case

Waiver of Summons in a Civil Case

Subpeona Duces Tecum Issued on to Defendant Mr. B. Soetoro Demanding Production of Evidence of Regarding Misappropriation of Funds

Subpeona Duces Tecum Issued on UND President J. Jenkins Demanding Production of Records in re Misappropriation of Funds

Subpeona Duces Tecum Issued on Joseph Biden re Participation in Misappropriation of Funds

Preliminary Petition to ISMA CLT of 5/13/16 for Issuance of Nihil Obstat re “RJM v University of ‘Notre Dame’ et al”

Provision of Notice of Email Address to Which Persons Possessing Interest May Submit Documents…

Proposed Settlement Offer of 5/13/16 to Univ. of Notre Dame, John Jenkins, Joseph Biden, John Boehner, Fr. Donald Wuerl

Memorandum of Points and Authorities Regarding Third Party Standing of 5/13/16

Notice of Intent to Present Evidence to (Special) Grand Jury….

Decl. Unconstitutionality …RJM”

Proposed Verified Statement of John Jenkins of 5/13/16

Notice to Judges, Clerks, Security LEO’s, Retained Attorneys in re “More et al v UND et al”

First Superseding Component B/4 1200 on 5/15/16 of Complaint of 5/13/16

Report of 5/14/16, 5/30/16, 11/15/16 in re More et al v UND et al

Notre Dame Desecration Rectification Project Online Docket

Disclaimers

Second Superseding Component by 11/15/16 of Complaint of 5/13/16

ISMA Complaint Form

Prevention/Mitigation of Damages Record

Notice of Unwillingness to Defer to Demonstrably Demonically Instigated Activity Including F & F Such Type Activity Perpetrated by Government Officials and the Khazars Who Push Their Buttons and Pull Their Strings

21. Master Document List for More v U’ND’ et al

Entries included in the list included herein supra adjacent to which there is an “X” have been submitted for filing on 5/13/16




Superior Court of Saint Joseph County, IN


Robert J. More, Plaintiff, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As All Baptized Children Not :Possessing The Use Of Reason Prior To The Feast Of The Ascension Of 2018, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As All Octogenarian Notre Dame Alumni Too Feeble To Oppose The Notre Dame 2016Commencement Obamanation/Predation, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As All Members Of Any Policing Entity Who Would Understand That They Would Be Obliged To Refuse To Comply With Any Order Which Would Require Them To Interfere With Either Any Morally Legitimate Vigilante Measure(S) Which Would Ever Be Executed For The Purposes Of Either The Vindication Of Legitimate Reliance Interests Created By The Interplay Of The Activity Of The University Of Notre Dame (“UND”) Both In The Oral And Inscripted Conveyances Thereof And In Its Activity In Which No Declaration May Have Been Consciously Intended, But In Regard To Which A Reliance Interest Would Have Accrued From Activity Conducted In (A) Given Instance(S)Which In Some Form It Could Justifiably Be Claimed Would Have Constituted Implied Assertions Of The Intentions Of The UND, And In Regard To Which The Actors Who Have Relied Upon Conveyances Of The UND Would Have Justifiably Relied, And The Activity Of Such Actors In Response Thereto, And/Or Any Morally Legitimate Endeavors To Exercise Any Constitutionally Protected Liberty And/Or Property Interest, Which Would Concern The Inalienable Right To Life Of All Human Persons From The Moment Of Conception Unto That Of Natural Death Upon Among Other Basis, The Indisputably True Claim That There Is No Such Thing As An Absolute Property Right Of Any Type, Much Less Such Type Right On Property Housing Federal Depositories And Subsidized By Federal Funds, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Whose Legitimate Reliance Interest Will Have Actually Or Evidently, Allegedly, Been Disregarded And Defrauded If Claimant To The Office Of The VPOTUS Mr. J. Biden and/or Mr. John Boehner, Receive(s) Anything Other than (a) Criminal Summons(es) For Treason from the UND, But Whose Concerns To Avoid The Consequences In Terms Of Retaliation Of Affirmatively Opposing Such Measures, Would Have Chilled Such Persons Into Silence In This Regard, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Those University Of Notre Dame (“UND”) Alumni, Students, Faculty And Staff Who May Have Incurred A Measure Of Interference With Their Mental Tranquility, Mental And/Or Emotional Distress From The UND 2016 Commencement Which Would Not Be Less Than The Measure Of The Injury In Such Regard According To Which Persons Claiming Such Type Injury(Ies) In Indiana Have Recovered Damages And/Or Procured Injunctive Relief In The Past, But Who - Would Imputable To Whatever Combination Of Concern(S) To 1.) Keep Their Activity Within Their Understanding Of The Motif Described In Col. 3:3, 2.) Avoid The Appearance Of Impure Motives In Seeking Legal Relief In Regard Thereto, 3.) Avoid Encountering The Type Of Retaliation Which Has So Often Accompanied The Active Opposition To Evil Which Is Non-Token In The Theatre Of Earthly Existence, 4.) Ignorance Of Legal Thresholds, Procedures, Principles And/Or Practices And/Or 5.) Any Other Such Type And/Or Similar Or Related, Motivation, - Not File The Type Of Complaint In Which This Caption Is Contained, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Those The Members Of The Congregation Of The Holy Cross Who Do Not Fit Into Any Of The Classes Defined Herein Supra, But Whose Injuries Are The Same Or Similar To Those Of The Individuals Described Herein Supra, Most Especially, The Elderly And Disabled Infirm Members Thereof In Regard To Whom The Concern To Not Have Perpetrated Upon Them The Type Of Expulsion Without Any Provision For His Sustenance Fr. John O’Connor O.P. Had Perpetrated Upon Him By The Dominican Province Of Which He Had Been A Member For Decades Prior To Such Expulsion, Plaintiff For Third Party Plaintiff’s Whose Class Members Are Defined As Those Individuals Who As Of The Moment Of The Filing Of This Complaint Have Still Not Filed Any Complaint Against The UND Re The UND 2016 Commencement, Out Of A Concern To Not Cause The Task Of Procuring Relief In A Legal Proceedings In Presently Operative “Non-Common Law Courts” Re The UND 2016 Commencement By Those They Presume To Be More Knowledgeable And Skilled In The Law Than They Understand Themselves To Be (“Those More Capable In The Law”) To Be Made More Difficult By The Filing Of A Complaint Of Lesser Potency Than A Complaint Which Might Be Filed By Those More Capable In The Law

Plaintiff”s

v Case # 3

University of “Notre Dame” (“U‘ND’”) , President of U‘ND’ Mr. J. Jenkins, Any and All Administrators of the U‘ND’ Who Have Used any Wire or the Mail to Perpetrate Any Fraud Regarding the U‘ND’ Commencement Ceremony of 2016, Present Claimant to the Office of the Presidency of the united States of America – Mr. Barry Soereto (aka B.H. Obama), Present Claimant to the Office of Vice President of the u.s. of A. – Joseph Biden, John Boehner, Fr. Donald Wuerl, Haines Clothing Manufacturer, Champion Sportswear, Russell Sportswear, Fruit of the Loom Clothing Manufacturer, Wilson Sportswear, Saint Joseph’s County Sheriff, Saint Joseph County Sheriff’s Department Deputies, South Bend Police Department, United States Marshal Service, Federal Bureau of Investigation, John Doe Policing Entity to be Named When Identity Ascertained (Anti-Defamation League, Mr. Abraham Foxman, Rothschild Family ILMembers John and Jane Doe’s #1-40, Rothschild Banking Empire and Affiliates – All Trespass On The Case Defendants Who May or May Not Be Kept in Case, Depending on Inter Alia, Relief Could be Procured Without Keeping Them in the Case),


Initial Abbreviated Component Of 5/13/16 Of Complaint Of 5/13/16, To Be Soon Superseded and Repeatedly Replaced by Future Superseding Versions Thereof, As the Adjudication of Such Complaint Proceeds to the Extent RJM’s Participation in the Litigation It Concerns Would be Necessary in Order for RJM to Procure a Nihil Obtat from the ISMA Common Law Tribunal Regarding the Matters It Concerns in Order to Adequately Protect and Vindicate the Demonstrable Interests of the Catholic Cause in re the Matters this Document Concerns


Preface: 1. But for the Actionable Fraud, Counterfeiting and/or Debauching of the Currency and Violations of Countless Other Provisions of Various Criminal Codes which have been perpetrated by the Rothschilds, the members of the Other Nine Khazarian Banking Families and the Rest of the Committee of 300, and the Actionable Participation Wherein, Respectively, of Countless Slavemaster Class, Neo-Nazi, Goyim Enslavers and Exterminators, the filing of this complaint would never have been necessary, and but for the Tortiously Actionable Activity of the rest of those listed as Defendants in this complaint, it would not have to have been filed in regard to any and all tortious activity conducted by any of such individuals, respectively.

It is being filed on the Gideon v Wainwright, bare bones, no provision for any toleration for the prevention of the remedying of the evils and injuries it concerns attributable to any alleged and/or actual lack of compliance with any given procedural requirement in regard to which any such type claim of alleged lack of such type compliance might ever be posited, and with notice of intent to bring any and all deficiencies ever demonstrated into a condition in which adequate compliance with all applicable rules and requirements would have been accomplished.

The entirety of the contents of Case # 3 09 CV 221, filed in the USDC for the ND of IN in 2009 are incorporated herein by reference as if fully set forth herein, with dates and names modified where necessary in order to adequately effectively bring such contents into applicability in regard to this complaint


Introduction:

This soon to be superceded, complaint filed in the most abbreviated and skeletal initial version thereof, form, in which it is being filed on 5/13/16 pursuant to Robert J. More’s (“RJM”s) understanding of the application to the activity of RJM in the circumstances of His Majesty, Christus Rex’es permissive providence presently extant of the requirements of the mandate issued in Jn. 21:15 to St. Peter and in Matt. 28:20 to all of the First Apostles, and through vehicle(s) of the Roman Catholic Doctrines of Perpetual Papal Succession and Apostolic Succession, respectively as such apply to the activity of RJM and persons similarly situated, as such requirements

have been subjectively ascertained by RJM via reference to the teaching of the Identifiable Non-counterfeit Magisterium of the Roman Catholic Church (Matt. 16:18) , most especially through the promulgations of Pope’s Pius IX, Leo XIII, Pius X and Pius XI, and in particular in the Encyclicals Humanun Genus, Rerum Novarum and Sapientiae Christianae of Pope Leo XIII, and Quas Primas, Mit Brenneder Sorge and Divini Redemptoris of Pope Pius XI, and in the spirit of among other agendas, that described in NAACP v Burton (_U.S._) (describing the multiple legitimate purposes of civil litigation other than solely the procurement of monetary damages for private wrongs causing unjustifiable injuries) concerns, had to be filed in a most abbreviated form due to several causes not completely within RJM’s control and RJM is committed to presenting a Petition for the Issuance of a Temporary Restraining Order to the USDC for the NDI, South Bend on 5/15/09 or 5/16/09 and needs instructions in regard to the procedure via which litigants can procure an audience in the USDC for the NDI, South Bend, between the hours of 4:00 p.m. on Friday and 9:00 a.m. on Monday, in case RJM cannot procure such on 5/15/09 during ordinary court hours.

6. RJM is proceeding on Plaintiff For Third Party Plaintiff basis for the Parties identified in the caption to this complaint and will explicate the causes RJM is bringing in this case on 5/13/16 once RJM can file electronically.

7. This “…Complaint of 5/13/16….” is being filed according to the liberal notice pleading standard applicable to cases filed in State and/or Federal Courts for the purposes of ensuring that it is filed soon enough for RJM to litigate the issue of the TRO he seeks to procure prior to Sunday 5/15/16.

8. No statute of limitations issues regarding the multiple forms of monetary damages which RJM will seek if Biden and Boehner are awarded any award on 5/15/16, are present at any point in the near future, but if either receives any award, RJM will seek monetary damages on the basis of reckless infliction of severe emotional distress, detrimental reliance, fraud, tortious interference with the net worth of an alumni of the UND and of the value of such person’s estate, attractive nuisance on behalf of all baptized children not possessing the use of reason, a variation of an implied warranty of merchantability, and possibly civil RICO, among other legal theories for recovery for injuries which would be unjustifiably caused should the U ‘ND’ permit the “Commencement of 5/15/16” plans to be implemented.

9. This Court Possesses Jurisdiction Over All Of The Private Party Defendants (“PPD”)’S Included In The Case This Complaint Concerns (“This Case”) Upon The Basis That There Exists A Complete Diversity Of Citizenship Between Robert J. More (“RJM”) And Every One Of The Individual PPD’s Named Herein (presuming Soereto/Obama now is considered to reside in Washington, D.C. and if this not the case, RJM might dismiss him from this case) Which Confers Jurisdiction Upon This Court Pursuant To The Provisions Of 28 USC 1332 and/or (RJM cannot recall the SCOTUS cases authorizing jurisdiction of State Courts over federal claims at this moment, but will provide such in the future), Since The Damages Sought Herein Are Over $7500.00, And For All Claims Including Allegations Of Conspiracy With Government Actors To Accomplish The Perpetration Of Deprivation(S) Of Constitutionally Protected Life, Liberty And/Or Property Interests Under The Color Of Law And Pretext Of Legitimacy Which Are Actionable Pursuant To The Provisions Of 42 USC 1983, 42 USC 1985(2), 42 USC 1986, The Bivens Doctrine, 18 USC 1961 Et. Seq. Upon The Basis That Such Claims Of Such Conspiracy Would Bring This Complaint Under both State and Federal Jurisdiction Because This Court Possesses Authority Pursuant To 28 USC 1343 Over Claims Actionable Pursuant To The Provisions Of 42 USC 1985 And 1983 .

10. This Court Possesses Jurisdiction Over All D’s Included In This Case Who May Be Sued Due To Their Conduct In The Execution Of The Authority Of A Given Government Office Regarding The Matters Concerning The Torts Which May Be Perpetrated And/Or The Tort Liability Otherwise Incurred as of 5/15/16, And Of Political Subdivision(S) Of IN, D’s Via The Machinery Of 42 USC 1983, 1985(2), 18 USC 1961 Et Seq. Pursuant To The Provisions Of Applicable State and Federal Constitutional Provisions and/or Laws, (28 USC 1332 And 28 USC 1343 And Against The Federal Actors Included In This Complaint Pursuant To The Provisions Of 28 USC 2671 Et Seq And The Bivens Doctrine.

11. This Court possesses jurisdiction to grant the declaratory and injunctive relief RJM herein seeks pursuant to applicable equitably principles (the provisions of 28 USC 2201 and 2202).


Count #1 - Reckless Infliction Of Severe Emotional Distress

13. Plaintiff Herein Complains That D’s U ‘ND’, President Jenkins and other D’s Have Conducted Activity Conducted By Them During The Period Of 3/20/16, in Committing to the Conferring of a Laetare Medal upon J. Biden and J. Boehner, Until The Present, At A Standard Of Accountability Which Has Not Been High Enough For RJM To Not Have Incurred Severe Emotional Distress Therefrom In Their Executing The Respective Acts Which Directly, Or Indirectly But Not Outside Of The Sphere Of Tort Liability Applicable Thereto, Resulted Which Distress Was Entirely Foreseeable.

The Damages Sought In This Count Are Over $75,000.00, but the U ‘ND’ can ensure the dismissal of this complaint by either rescinding such awards, or removing the statue of the BVM from the dome of its Administration Bldg and removing her name from its name.

Count #2 Injunction to Prevent Interference with Any Endeavor to Cover the Statue of the BVM with a black Funeral Crepe on 5/15/11

Plaintiff herein moves this Court to issue an order enjoining any interference with any endeavors that might be undertaken to cover the statue of the BVM with any type of covering on 5/15/16 if the U “ND’ does not disinvite Soereto/Obama.


Plaintiff Demands Trial By Jury In This Case.

Plaintiff Avers That All Factual Averments Contained Herein Are True And That Any And All Claims Based Upon Information And Belief, That He Verily Believes Such To Be True.

Robert J. More]

Life Is Fragile, Handle With Prayer, And Even Beyond The Ordinary Tender Loving Care To Which The Weakest And Most Vulnerable Are Entitled, When A Situation Arises Such As The Teresa Schiavo Disability, All Of The Stops Must Be Pulled Out And The Type Of Red Carpet Treatment His Majesty Himself Has Demonstrated For His Creatures In Becoming Man And Redeeming The Many (Et Multos) Cannot Remain Not Provided Without In Any Non-Provision Thereof, Betraying Everything Truly Catholic.



Promissory Note in Regard to Robert J. More v Univ. of Notre Dame Complaint of 5/13/16

I, Robert J. More (“RJM”), to herein aver under penalty of perjury that if the filing fee for the filing of this complaint does not end up getting paid by the University of Notre Dame and/or any of the other Defendants included in the case this document concerns, and/or any benefactor who might decide to remit the fee wherefore; that within the limits the moral law would permit in this regard, that it will be paid by RJM out of what would constitute RJM’s share of what is recovered upon the divestiture of the control of the money supply of the nominal u.s. of A. and the hundreds of trillions of dollars in unjust enrichment amassed by the Rotshchilds, et al ("the members of the other Nine Jewish Supremacist banking families", "Committee of 300", "Global Plantation Owners", “Khazars” etc. etc.) since the Patently Unconstitutional Enactment of the Federal Reserve Act ("FRA") and prior to that any treasonous and/or otherwise criminal frauds, artifices and/or subterfuges ever used to procure resources from 1789 to the date of the Enactment of the FRA, by the members of such groups

/s/ Robert J. More


Document #80 from D/L ...N...17


thirstforjustice.tripod.com/undpencedlin041717.html

Document List of 041717 in re Operation Nominal Notre Dame Desecration Rectification Project - Pence Activity Component - D/L NUND Pence in 041717

1. D/L NUND Pence in 041717 X

2. Initial Complaint to M. Pence("M.P") , NUND, Invitation to Resign/Abolish NUND, Apology & Pledge to Posterity/Notice of Intent to Sue -ISMA CLT and Nominal Government Hell Hole Tribunals X

3. Document List of 5/13/16 X

4. More et al v UND et al Complaint of 5/13/16 X

5. Errata for More et al v ND et al Complaint of 5/13/16

Time and Resource Consumption Record - Prior to 10:00 on 041817 - to be provided at some future date, 041817 -10:00 - 1310

Documents included herein supra adjacent to which there is an "X" were posted in the ISMA website, emailed to the NUND Office of General Counsel, NDSP, Any Main NUND email address, and to the closest thing to an email address for V.P. Pence found by 041817



Document #2 from D/L NUND Pence in 041717

Initial Complaint to M. Pence("M.P") , NUND, Invitation to Resign/Abolish NUND, Apology & Pledge to Posterity/Notice of Intent to Sue -ISMA CLT and Nominal Government Hell Hole Tribunals

Robert J. More

anselm45@gmail.com, 708 317-8812, communication failure contingency - G.W. Watts, gww1210@aol.com, 863 688-9880

041817

Mr. V.P. Pence ("MP") , President of the NUND Quasi-Municipality J. Judas Jenkins ("JJJ"), and anyone and everyone else to whom it is addressed and/or who might, attributable to whatever combination of contributing factors, end up reading it,

This document constitutes an initial promulgation regarding the scheduled NUND commencement participation of MP from Robert J. More ("RJM") in the form of a Jas. 2:13 ("for those who have shown mercy need have no fear of judgment") demonstration of non-unconcern of RJM for the prospects for eventual delverance from all evils (Mt. 6:13) of all members of posterity, the present possessors of the grace of justification, and beyond that, all of those not for all practical purposes beyond the reach of God's mercy - for whom an eternity in hell is all but a foregone conclusion.

RJM herein demands that at the very least MP, 1.) apologize to all of those referenced herein supra for eulogizing Archvillian of the Catholic Cause, Fr. Theodore Hesburg, 2.) immediately inform the NUND that for reasons analagous to but considerably more substantial than the reasons Mary A. Glendon refused to participate in the NUND 2009 desecration, that he will not be participating in the 2017 commencement, and 3.) specifically apologize to all of those traumatized, scandalized, subjected to NUND criminality and violence and otherwise unjustifiably injured in the Commencement 2009 desecration and indeed full frontal assault upon everything His Omnipotence Christus Rex can still justify not hating from his improvident acceptance of the NUND's recent invitation.

Notice is herein provided that should RJM become cognizant that M.P. would have executed numbers 2 and 3 listed herein supra, that RJM will discard the legal complaint which he has begun to compose in which M.P. is listed as a defendant, specifically for trespass on the case in terms of the ratification effect of past NUND malefactions which his initial acceptance effected, the consequences of which will foreseeably be to entrench the NUND in its present institutionalized iniquity, insulated from remedying via conventional non-military means, and reckless infliction of severe emotional distress/interference with mental tranquility.

In any scenario, "Qui nocentibus parcit, innocentibus punit" and "Fiat justicia, ruat caelum" will continue to constitute the core principles upon which the response of RJM to the acceptance of such invitation will be predicated.

Included herein infra is a copy of the document list and corresponding document collection dated 05/13/16 regarding the Commencement 2016 component of the Operation NUND Desecration Rectification Project.

First Superseding Component of the document collection of which this document constitutes a component part scheduled to be issued on 4/22/17.

RJM pledges to posterity that absent trully extenuating afflicting circumstances, that RJM will contribute at least as much against Lucifer's NUND Commencement 2017 Component of His NUND Desecration Agenda - specifically the use of MP to "normalize" and hence, entrench upon redefinition downward of various indescribably important principles, the Soetoro, Biden, Ginsburg and for that matter Bush malefactions/scandals, as was the "widow's mite" contributed against the 2009 and 2016 components of such Agenda.

/s/ Robert J. More Rom. 12:18-21