NIZKOR.ORG web site operator, Ken McVay's, current and long running denial
quoted and all of his dishonesty exposed;
"The Nizkor Project has no operations of any sort whatsoever within the
United States. Neither The Nizkor Project nor Ken McVay has ever received any
money from the "San Antonio Area Foundation - Nizkor Fund" AND you are also
on record as stating: "...The San Antonio Area Foundation has never paid
me - or anyone else, to my knowledge... I have no connection in San Antonio,
and neither does Nizkor. Get used to it" on June 2, 2000.
http://nizkor.org/ftp.cgi/people/m/mcvay.ken/2000/San_Antonio_Area_Foundation_donation
(This is kind of fun. You keep making an ass of yourself, and I'll keep
laughing at you.)"
-Subject: Re: What did Kenny McVay do with money he claims he never got?
-Organization: The Nizkor Project, http://www.nizkor.org/
-From: kmc...@vex.net (Ken McVay)
-Message-ID: <xO%P9.1985$C43.13...@news.nnrp.ca>
-Date: Mon, 30 Dec 2002 17:57:49 GMT
Now addressed to NIZKOR operator Ken McVay:
You can laugh all you want and deny all you want but your previous postings
and what your allies have posted prove what you claim above to be bold faced
lies. Just what did you do with that $50,000 and all of the other donations
you have received from the San Antonio Area Foundation; whom you claimed as
a source of your financing and as a source of funding?
<start/quote>
From: kmc...@nizkor.almanac.bc.ca (Ken McVay OBC)
Subject: The Nizkor Project appreciates your support
Date: 1996/09/05
Message-ID: <50n608$9...@nizkor.almanac.bc.ca>
x-network: http://www.nizkor.org/
organization: The Nizkor Project
[...]
In the United States, checks should be made payable to:
"SAN ANTONIO AREA FOUNDATION - Nizkor Fund"
and should be mailed to:
San Antonio Area Foundation
Nizkor Fund
P.O. Box 120366
San Antonio, TX 78212-9566
The funds you have provided have been used to provide substantial
improvements in service.
<end/quote>
You claimed at the top of this post: "The San Antonio Area Foundation has
never paid me, or Nizkor, and neither myself nor Nizkor has any connection
with the San Antonio Area Foundation" but your post above contradicts your
claim with your very own words of: "SAN ANTONIO AREA FOUNDATION - Nizkor Fund..
The funds you have provided have been used to provide substantial
improvements in service."
If you never received any money from the San Antonio Area Foundation - Nizkor
Fund then why did you give thanks?
How about these posts which prove you solicited funds through the San
Antonio Area Foundation? Are you still claiming: "Neither The Nizkor
Project nor Ken McVay has ever received any money from the "San Antonio
Area Foundation - Nizkor Fund" despite all the time you solicited American
donations through them?
<start/quote>
From: ja...@voyager.net (Jamie McCarthy)
Subject: Re: the new, revised Nizkor
Date: 1996/12/03
Message-ID: <jamie-03129...@clmx43.dial.voyager.net>
references: <3298694d...@news.gte.net>
organization: Voyager Information Networks, Inc.
newsgroups: alt.revisionism
Fre...@pizza.slice (a troll) wrote:
> Take a look at the nizkor site now.
>
> Gone are the references to the synagogue [...]
This is news? It's been that way since September; at that time, the
Zikaron Tolerance and Remembrance Society and the San Antonio Area
Foundation were both established.
That information again, for anyone who missed it:
NIZKOR FUNDING:
CANADA & THE UNITED STATES
[...]
THE UNITED STATES
In the United States, donations for the project's efforts should be
made payable to:
San Antonio Area Foundation - Nizkor Fund
and should be mailed to:
San Antonio Area Foundation
Nizkor Fund
P.O. Box 120366
San Antonio, TX 78212-9566
American donors may deduct contributions as provided in section 170 of
the Internal Revenue Code. Bequests, legacies, devises, transfers, or
gifts are deductible for federal, estate, and gift tax purposes if
they meet the applicable provisions of Code sections 2055, 2106 and
2522.
We very much appreciate your donations, which assist in the
development and enhancement of The Nizkor Project website. Thank You.
--
Jamie McCarthy http://www.absence.prismatix.com/jamie/
ja...@voyager.net Co-Webmaster of http://www.nizkor.org/
<end/quote>
Did your co-webmaster, Jamie McCarthy, lie about the San Antonio Area
Foundation - Nizkor Fund existing? Does not the above prove that your
Nizkor Project is tied to the San Antonio Area Foundation - Nizkor Fund?
What have you done with all the donations you are now denying ever
receiving? You aren't guilty of tax evasion are you? It would be easy
for a Canadian citizen to sneak money from America and not report any
of it on his tax returns I'd imagine.
Here you are proclaiming the San Antonio Area Foundation handles your
American donations (which you claim now you never received);
<start/quote>
From: Ken McVay (kmc...@veritas.nizkor.org)
Subject: Re: McVay Confirms Nizkor's ADL Connection: Mossad and ARA Also Allies.
Newsgroups: alt.revisionism
Message-ID: <5n6ib9$f3h$1...@eclipse.txdirect.net>
Date: 1997/06/05
In article <5n400d$s...@crack.usaor.net>, i...@usaor.net (William "Ian
McKinney Roger Hughes" Scott) wrote:
>McVay admits the ADL collects and disburses the money to Nizkor. Just
The ADL is an American organization. American funds donated to The
Nizkor Project are handled by the San Antonio Area Foundation, which
has no ties to the ADL. (Sorry, no banana)
<end/quote>
Here you are again confirming the San Antonio Area Foundation handles your
American donations;
<start/quote>
From: Ken McVay (kmc...@veritas.nizkor.org)
Subject: Re: Nizkor under B'nai B'rith auspices?!
Newsgroups: alt.revisionism
Message-ID: <5m1sqg$rse$1...@eclipse.txdirect.net>
Date: 1997/05/22
In article <5m11au$4...@access1.digex.net>, mst...@access.digex.net wrote:
> As you could tell from the Nizkor web page, Nizkor's funding in Canada
>is now coordinated through the Zikaron Tolerance and Remembrance Society,
>an independent organization. In the United States, it is channeled
>through the Nizkor Fund of the San Antonio Area Foundation, which is a San
>Antonio umbrella organization something like the United Way.
Zikaron remains a supporter of the Nizkor Project, but Canadian
_national_ funding is now managed by the B'nai Brith Foundation, in
Toronto. B'nai Brith Foundation does not, however, support Nizkor
financially - it simply receives donations from the public, issues
receipts if the donations exceed $10, and disperses donated funds as
required.
In short, the B'nai Brith Foundation operates exactly as does the San
Antonio Area Foundation - as an umbrella organization....
<end/quote>
Are you still going to insist you never "received any money from the
"San Antonio Area Foundation - Nizkor Fund" in all that time?
If you never received any money from the San Antonio Area Foundation - Nizkor
Fund then why did you list them as a source of your financing as you claimed
here?
<start/quote>
From: kmc...@nizkor.almanac.bc.ca (Ken McVay OBC)
Subject: Nizkor Project financing and Kleinsorg's slandering Germans
Date: 1996/06/15
Message-ID: <4pvbkg$a...@nizkor.almanac.bc.ca>
In article <31c2fa3a...@news.annap.infi.net>,
h...@annap.infi.net (Horst Kleinsorg) wrote, in response to my
suggestion that he actually do some research:
>First tell us who is financing your Nizkor, then we perhaps can
>talk.
Thank you for bringing that up, Mr. Kleinsorg. I am financed
by thousands of "just plain folks" who wish to support my
work. In Canada, they make their cheques payable to
Congregation Emmanu-El / Nizkor Project
and mail them to:
Congregation Emmanu-El / Nizkor Project
1461 Blanshard St.
Victoria, BC
V8W 2J3
In the United States, they make their cheques payable to:
SAN ANTONIO AREA FOUNDATION - Nizkor Fund
and mail them to:
San Antonio Area Foundation
Nizkor Fund
P.O. Box 120366
San Antonio, TX 78212-9566
Once again, Mr. Kleinsorg, thank you for asking. I trust this
open, public response will satisfy your query.
By the way, Mr. Kleinsorg... now that I have responded openly
and honestly to your question, perhaps you can tell us what
difference it makes who finances my work... you are still
slandering Germans, and the German military, and I fail to see
how my financing changes that.
The Nizkor Project (Canada) - An Electronic Holocaust Educational Resource
[Ftp] http://www.almanac.bc.ca/cgi-bin/ftp.pl?
[Europe] ftp://nizkor.iam.uni-bonn.de/pub/nizkor/
http://www.almanac.bc.ca/ (Under construction - permanently!)......unlearn
<end/quote>
If you never received any money from the San Antonio Area Foundation - Nizkor
Fund then why did you claim they were a source of financing? Why are you
changing your tune? Have you reported those American donations on your
Canadian tax return over all these years? Hmmmh?
Did Laura Finsten lie about you getting funding from the San Antonio Area
Foundation - Nizkor Fund as shown here?
<start/quote>
From: Laura Finsten <fin...@mcmail.CIS.McMaster.CA>
Subject: Re: Yet another Nazional Appliance Illiteracy Alert!
Date: 1997/06/08
Message-ID:
<Pine.SOL.3.96.97060...@mcmail.CIS.McMaster.CA>
On Sat, 7 Jun 1997, Michael wrote:
> All your b s aside above (as though Bnai Brith only took checks and
> gave them to Nizkor; all innocent and stuff. Ask any professional who
> deals with not-for-profits about the ease of shuffling funds.)
I have no idea how common such "shuffling [of] funds" may be. But the key
issue here is whether you have any evidence at all to support your much
repeatedly but utterly empty claim that this is the case with the
arrangement between Nizkor and B'nai Brith? I don't see any of you trying
to smear the San Antonio Area Foundation which, ironically, has probably
provided more funding for the project since it has a far larger pool of
donors to draw upon....
<end/quote>
Laura Finsten stated: "the San Antonio Area Foundation which, ironically,
has probably provided more funding for the project since it has a far
larger pool of donors to draw upon" concerning your Nizkor Project but
you still claim: "The Nizkor Project has no operations of any sort whatsoever
within the United States. Neither The Nizkor Project nor Ken McVay has ever
received any money from the "San Antonio Area Foundation - Nizkor Fund." The San
Antonio Area Foundation has never paid me, or Nizkor, and neither myself
nor Nizkor has any connection with the San Antonio Area Foundation."
Do not forget what the San Antonio Area Foundation itself shows about funding
the Nizkor Fund in the Year 2000 Report.
<start/quote>
http://www.saafdn.org/pdf/Fin2000.pdf
[Link active for downloading and for verification December 19, 2002.
(I have already downloaded and archived the PDF in case it becomes
unavailable for some reason.)]
Our mission: Helping donors achieve their charitable goals
Annual Report 2000
^^^^^^^^^^^^^^^^^^
San Antonio Area Foundation
Growing to Give, Giving to Grow
Page 3
Fund Types
The San Antonio Area Foundation is dedicated to improving the quality
of life in our community through funding that impacts vital nonprofit
organizations so they can help people in time of need.
Discretionary Funds
^^^^^^^^^^^^^^^^^^^
These funds enable the Area Foundation to respond
flexibly to changing community needs and emergencies.
Decisions on how to most appropriately use these
funds are left to the discretion of the Area Foundation’s
Advisory Committees and Board of Directors. Any size
gift may be given as a discretionary gift.
You’ll find many reasonable options for creating your
own fund in the paragraphs that follow. However,
if you wish to contribute to the work of the Area
Foundation and do not see an option that suits your
plan for giving, we invite you to contribute to an
existing discretionary fund. One of the many advantages
of this type of giving is that there is no minimum
contribution — you may give as little or as much as
you wish, as often as you wish.
[...]
Unrestricted Net Assets
AS OF DECEMBER 31 , 2000
Discretionary (unrestricted) 20 %
^^^^^^^^^^^^^
Donor Advised Funds 36 %
Designated Funds 4 %
Field of Interest Funds 23 %
Scholarship Funds 17 %
Page 4
Discretionary Funds
^^^^^^^^^^^^^^^^^^^
Alamo Fund
Phoebe P. and John H. Foster Memorial Fund
Nat and Mannie Goldsmith Memorial Trust
Ruth Lang Charitable Fund
[...]
Beulah M. and Felix J. Katz Memorial Trust
Beta and Melvin Leazar Memorial Fund
Nizkor Fund
^^^^^^^^^^^
Mary Kay Owens Memorial Fund
Gaynelle and Gene Rankin Endowment Trust
[...]
S A N A N T O N I O A R E A F O U N D A T I O N
Post Office Box 120366 I San Antonio, Texas 78212
210-225-2243 I 210-225-1980 Fax
w w w. s a a f d n . o r g
<end/quote>
How about what a local San Antonio news paper published about the
San Antonio Area Foundation handing you a $50,000 check? Are they
lying too or does the actual evidence prove you are a tax cheater?
<start/quote>
San Antonio Express-News
August 3, 1996
Page 10B
"Internet project won't let Holocaust be forgotten"
By Thomas Edwards
Express-News Staff Writer
"Nizkor" in Hebrew means "we will remember," but it is also a
solemn promise Holocaust researcher Kenneth McVay has taken to
the Internet so that people will never forget the atrocities of
Nazi Germany.
Now his task has gotten a little easier with a $50,000 grant from
the philanthropic San Antonio Area Foundation to the Nizkor
Project, an international computer web site directed by the 55-
year-old McVay from his home in Vancouver Island, Canada.
The Nizkor project not only provides information on Hitler's
bloody pogroms but is also intended to counter the claims of
"deniers" (as McVay calls them) -- modern-day neo-Nazis and
extremists who use their own web sites to deny that the
extermination of 12 million Jews and others ever took place
during World War II.
"They (deniers) think the Holocaust is a Jewish propaganda thing,"
said McVay this week during a visit to the Jewish Federation of
San Antonio. "I have come to see Holocaust denial as a function
of racism."
McVay and a group of Holocaust experts plan a panel discussion at
7 p.m. Sunday on "Fighting Hate on the Internet" at the
federation office, 8434 Ahern Drive behind North Star Mall.
The grant will allow McVay and his associates to unveil two new,
extremely fast computers at an undisclosed location in San
Antonio -- undisclosed because of threats from extremists, he
said.
These computers will be linked to others in Germany and Canada to
provide easily accessible information about the Holocaust and
hate groups.
The Nizkor Project is not only a tool to fight bigotry, it has
also "make an impact in terms of Holocaust education," McVay said.
Some of the new material he will add to the web site -- which
will have sound and movement -- includes speeches by Nazi
statesmen advocating genocide, 68 volumes of military
documentation from the Nuremburg war crimes tribunals and
material from the National Archives in Washington.
Some of the new material is being donated by San Antonio resident
Harry Mazal, who is the director of the Nizkor Project in the
United States. Mazal also has one of the world's largest private
collections of Holocaust material.
While the task sounds monumental and is expected to take years to
complete, McVay is not daunted.
"Every item that appears on the net takes away another lie"
promoted by neo-Nazis, he said.
The web address for the Nizkor Project is www.nizkor.org.
<end/quote>
The article above can be confirmed at: http://archives1.newsbank.com/
Now click San Antonio-Express News Archives or:
http://archives.newsbank.com/saenews
You will be taken to a page with a very long URL and this is what
I just got:
http://archives9.newsbank.com/cgi-bin/user/home.pl/SAEC?nb_id=N61V4EQBZ2V0dGltZW9mZGF5OjE6MTQ6NjQuMTUyLjI0NS4xNjk
Once there click on the link contained within this passage:
A <search> in S.A. NewsArchives produces a list of story summaries
that include the headline, date, author, and first few sentences of
articles containing your search terms. The headline list is free. You
will be prompted to purchase a subscription to SA NewsArchives (if you
don't already have one) to view the full text of articles.
You will be taken to another page with the search engine and that
page was linked by this link:
http://archives9.newsbank.com/ar-search/we/Archives?p_action=keyword&p_theme=SAEC&p_product=SAEC
Once there set the search engine for:
Search for: Nizkor
Limit Search by Date: All documents
If you all do the above you should get this result:
1 record(s) found (Search results: 1 - 1)
August 3, 1996 San Antonio Express-News
Internet project won't let Holocaust be forgotten
Thomas Edwards Express-News Staff Writer
"Nizkor" in Hebrew means "we will remember," but it is also a solemn
promise Holocaust researcher Kenneth McVay has taken to the Internet
so that people will never forget the atrocities of Nazi Germany. Now
his task has gotten a little easier with a $50,000 grant from the
philanthropic San Antonio Area Foundation to the Nizkor Project, an
international computer web site directed by the 55-year-old McVay from
his home in Vancouver Island, Canada. The Nizkor project
[View the full-text article, 526 words]
<end/search>
Notice to lurkers: You will have to order a subscription to be able
to retrieve the whole article but what the excerpts shows proves McVay
lies when he claims: "The Nizkor Project has no operations of any sort
whatsoever within the United States. Neither The Nizkor Project nor Ken
McVay has ever received any money from the "San Antonio Area Foundation
- Nizkor Fund." The San Antonio Area Foundation has never paid me, or
Nizkor, and neither myself nor Nizkor has any connection with the San
Antonio Area Foundation."
IOW everyone is a liar but Ken McVay!!
The term AUDIT keeps popping up in my mind!
BTW you denied being linked to two organizations but the evidence proves
otherwise. You claimed in this document from your web site;
<start/quote>
http://nizkor.org/ftp.cgi/people/m/mcvay.ken/2000/San_Antonio_Area_Foundation_donation
No one ever gave me $50,000. That sum was donated to the San Antonio
Area Foundation. $40,000 was invested, at the direction of the donor,
in the purchase of two Sun computer systems. $10,000 was invested in
an endowment fund in accordance with the regulations set by the San
Antonio Area Foundation. The San Antonio Area Foundation has never
paid me - or anyone else, to my knowledge. They have, however,
invested the donation as they were directed and legally bound to do.
The computers are in use to this day, confronting and refuting
Holocaust denial, but I have nothing to do with their operation,
maintanence or development.
You can verify their existence by visiting
http://www.holocaust-history.org and http://thhp.org.
I have no association with either organization, and never have...
<end/quote>
You lied when you stated concerning "holocaust-history.org" and
"thhp.org" when you stated: "I have no association with either
organization, and never have.." (Don't forget you have been caught
lying about never getting any money from the San Antonio Area
Foundation as was proven beyond any doubt higher up in this very
post).
http://www.ghwk.de/engl/linksengl1.htm
(Link active January 2, 2003)
House of the Wannsee Conference
Memorial and Educational Site
The Mazal Library - A Holocaust Resource
c/o The San Antonio Area Foundation - Nizkor Fund
600 Sandau, San Antonio, Tx 78216
http://www.mazal.org
You also posted this;
<start/quote>
From: kmc...@veritas.nizkor.org (Kenneth McVay, OBC)
Newsgroups: alt.revisionism
Subject: STILL Waiting for Donnie..... (Or "Bradbury: Wrong Again")
Date: 5 Jan 2001 00:32:08 GMT
Message-ID: <9334m8$1nm1$1...@news.tht.net>
Whois: mazal.org
Server: -automatic-
Registrant:
San Antonio Area Foundation - Nizkor Fund c/o BASIC (MAZAL2-DOM)
600 Sandau Suite 400
San Antonio, TX 78216 US
<end/quote>
You verified the WhoIs return as being authentic yet you stated:
"What Mr. Bradbury has failed to demonstrate is that The Nizkor
Project, which I direct, has any association whatsoever with the
"San Antonio Area Foundation - Nizkor Fund."
I have shown above that you are connected to the "San Antonio Area
Foundation - Nizkor Fund" with your own writings.
Compare the above info to the following which you claim:
"I have no association with either organization, and
never have" referring to "holocaust-history.org" and
"thhp.org".
Registrant:
The Holocaust History Project (HOLOCAUST-HISTORY-DOM)
600 Sandau Suite 400
San Antonio, TX 78216 US
Domain Name: HOLOCAUST-HISTORY.ORG
Administrative Contact, Technical Contact:
Mazal, Harry (HM1296) hma...@TXDIRECT.NET
The Mazal Library
600 Sandau, Suite 400
San Antonio, TX 78216 US
210-377-2742
Record expires on 18-Sep-2009.
Record created on 17-Sep-1997.
Database last updated on 2-Jan-2003 05:32:43 EST.
<end/quote>
http://www.holocaust-history.org/donations/
Ralf P. Loserth, Treasurer
The Holocaust History Project, Inc.
600 Sandau Road
Suite 400
San Antonio, Texas 78216
<end/quote>
Domain Name: THHP.ORG
Created on..............: Fri, Mar 17, 2000
Expires on..............: Mon, Mar 17, 2003
Record last updated on..: Wed, Dec 18, 2002
Organization:
Jamie McCarthy
Jamie McCarthy
P.O. Box 20394
Kalamazoo, MI 49019 US
Phone: 616-375-7528
Email: ja...@mccarthy.org
<end/quote>
Jamie McCarthy was your co-webmaster (shown higher up in this post)
at one time yet you claim to have never been associated with either
org. The facts prove otherwise. You have been associated with the
people behind those organizations and those organizations are those
people such as your NIZKOR.ORG is you.
I.E.
Registrant:
The Nizkor Project
P.O. Box 244, Station A
Nanaimo, BC V9R5K9 CA
Domain: NIZKOR.ORG
Registrar: DomainBank.com
Administrative Contact:
McVay, Kenneth KMC...@VERITAS.NIZKOR.ORG
P.O. Box 244, Station A
Nanaimo, BC V9R5K9 CA
(PHONE) 416-966-0461
Technical Contact:
McVay, Kenneth kmc...@nizkor.org
P.O. Box 244, Station A
Nanaimo, BC V9R5K9 CA
(PHONE) 416-966-0461
Record created on 1996-07-18
Record expires on 2004-07-17
Database last updated Fri Jan 03 12:05:42 EST 2003
<end>
Do not forget these posts and archives which link you to the
San Antonio Area Foundation:
From: kmc...@veritas.nizkor.org (Kenneth McVay, OBC)
Newsgroups: alt.revisionism,alt.politics.white-power,alt.flame.jews
Subject: Re: Lookie lookie what we got here.
Date: Thu, 16 Aug 2001 21:55:02 +0000 (UTC)
Organization: The Nizkor Project, http://www.nizkor.org/
Message-ID: <9lhffm$25ck$1...@news.tht.net>
There is no connection between Nizkor and the San Antonio Area
Foundation, period. Whatever "Nizkor Fund" exists, if indeed one does,
has nothing whatsoever to do with the Nizkor Project or with me.
If you have evidence that "San Antonio Area Foundation - Nizkor Fund
c/o BASIC" has anything whatsoever to do with either The Nizkor
Project or Ken McVay, by all means present it.
<end/quote>
As for your challenge: "If you have evidence that "San Antonio Area
Foundation - Nizkor Fund c/o BASIC" has anything whatsoever to do with
either The Nizkor Project or Ken McVay, by all means present it."
I PRESENT:
<start/quote>
Put up or shut up, Mr. Giwer
http://www.nizkor.org/hweb/people/m/mcvay-ken/put-up-shut-up.html
[UseNet headers trimmed]
From: kmc...@nizkor.org (Ken McVay OBC)
Subject: Put up or shut up, Mr. Giwer: The Himmler tape
Date: 22 Aug 1996 14:48:35 -0700
Message-ID: <4vikjj%24...@nizkor.almanac.bc.ca>
"Mr. Giwer will agree to the immediate release of the trust funds to the
San Antonio Area Foundation Nizkor Fund as a tax-exempt donation. If the
recording is determined to be fraudulent by reasonable scientific standards,
the trust funds will be returned to Mr. Giwer immediately, and the Nizkor
Project will immediately tender reasonable interest on the full amount to
Mr. Giwer..."
<end/quote>
Looks like you are linked to that San Antonio Area Foundation Nizkor Fund
to me or else why would you be mentioning Matt Giwer making a donation?
One of your allies, Michael Ragland, posted this as late as June 27, 2002:
From: ragl...@webtv.net (Michael Ragland)
Newsgroups: alt.revisionism
Subject: Re: Some Holes, Some Holocaust (Danny Keren)
Date: Thu, 27 Jun 2002 23:19:26 -0400 (EDT)
Message-ID: <14152-3D1...@storefull-2253.public.lawson.webtv.net>
References: <3D1BC57C...@sympatico.ca>
Veri Sign Whois
http://www.netsol.com/cgi-bin/whois/whois
Enter mazal.org and read results
You are Here:WHOIS -> Search Results
Search Results
Registrant:
San Antonio Area Foundation - Nizkor Fund c/o BASIC (MAZAL2-DOM)
600 Sandau Suite 400
San Antonio, TX 78216 US
Domain Name: MAZAL.ORG
Administrative Contact, Technical Contact:
Mazal, Harry (HM1296) hma...@TXDIRECT.NET
The Mazal Library 600 Sandau, Suite 400 San Antonio, TX 78216 US
210-377-2742
Record expires on 28-Jun-2006.
Record created on 27-Jun-1997.
Database last updated on 27-Jun-2002 22:55:14 EDT.
<end/quote>
Still want to stick with your lie?
The Nizkor Project -- Ken McVay Director
P.O. Box 244, Station A
Nanaimo, B.C. V9R 5K9 Canada
1-250-616-9431
1-416-966-0461
also
http://webpositiongold.kenmcvay.com/contact-webpositiongold.htm
McVay Consulting Group
P.O. Box 244, Station A
Nanaimo, B.C. V9R 5K9 Canada
Canonical name: kenmcvay.com
Addresses: 209.151.84.95
Residential address:
995 Bowen Road, Apt. 3108
Nanaimo, British Columbia V9R 2A4
1-250-616-9431
______________________________________________________________________
Posted Via Uncensored-News.Com - Still Only $9.95 - http://www.uncensored-news.com
<><><><><><><> The Worlds Uncensored News Source <><><><><><><><>
IN THE COURT OF COMMON PLEAS OF LEHIGH COUNTY
CIVIL DIVISION -- LAW
YALE F. EDEIKEN :
:
Plaintiff :
:
vs. : No. 99-C- 2786
:
SCOTT BRADBURY a/k/a :
"DOC TAVISH" a/k/a :
"doc_t...@bigfoot.com" a/k/a :
"sonnyboy@ flash.net" :
:
[removed]xxxxxxxxxxxxx :
Bellville TX xxxxxxxxx :
:
Defendant JURY TRIAL DEMANDED
COMPLAINT
1 Plaintiff Yale F. Edeiken (hereinafter "Plaintiff") is a an
adult citizen and resident of Lehigh County, Pennsylvania.
2. Defendant Scott Bradbury (hereinafter "Defendant") is an adult
citizen and resident of the State of Texas residing at [removed]xxxxxxxxx,
Bellville, Austin County, Texas xxxxx with a telephone number of
xxx-xxx-xxxx.
3. At all times material hereto Defendant was supplied access to
the Internet and to electronic mail (hereinafter "e-mail")by Flash.net
Communications, Inc., (hereinafter "flash.net") an internet service
provider located in Forth Worth, Texas, and by other internet service
providers unknown to Plaintiff including several services which allowed
Defendant to publish and communicate by e-mail anonymously.
4. At all times material hereto Defendant published material on
the Internet and by e-mail using aliases which include but are not limited
to of "Doc Tavish," "sonn...@flash.net," "Secret Squirrel," "Mixmaster,"
"Horst Wessel," "-88-," and "Heinrich Himmler."
5. Defendant is a virulent anti-Semite who refers, inter alia, to
Jews as "vermin," advocates a "final solution" to the "Jewish problem" in
the United States and endorses the stereotype of Jews propagated by Julius
Striecher and Adolf Hitler stating, inter alia:
"What I like is the Nazi stereotype which shows the Jew as having
brushy eye brows, close set dark beady eyes and all accented by the
bulbous proboscis (big hook nose). I've seen the cartoons which shows Jews
looking like rats and I really think they are some of the most hilarious
visual images around- after all look at the typical Hollywood comedians--
all Jews! Who can't laugh at those rat like faces with the wiggling bushy
eye brows and those rat like snozzolas flapping in the breeze!"
6. At all times material hereto Defendant uses the services
provided by flash.net, with the knowledge and approval of flash.net, to
propagate his message of hate on the internet.
7. In addition to propagating his anti-Semitic propaganda on the
internet, Defendant has in the past and continues in the present to conduct
campaigns of harassment, defamation, and threats of violence against
individuals, including inter alia, the Plaintiff to this action, who
oppose his bigotry meant to frighten, annoy, and intimidate his opponents.
8. Said campaign of stalking and intimidation has been a
consistent pattern of behavior conducted by the Defendant over an extended
period of time.
9. Said campaign has included in the past threats of violence
against his opponents which has included, inter alia, the following threats
of violence:
a. On December 19, 1996, the Defendant publically made the following
threat to Keith Morrison, a citizen of Canada "I am a good shot Talmudist
if you come and find me I will demonstrate my skill to you. Do you have
any idea what the Desert Eagle .50 would do to your head? I would be legal
too- self defense from a rabid virulent anti-Christ. I promise you that
your kind are not welcome in my part of the country and I am on first name
basis with the local D.A. Hunt me down and you will be put out of your
misery like a rabid dog. One shot one kill. dead eye Doc Tavish."
b. On March 9, 1997, Defendant publically made the following
threat to person unknown "Author: Billy Dale McTavish . . . .Vengeance is
sweet and I know that the day will come when I'll get to see the sneak
that did this to me get a thorough interrogation from Bruno! I will love
standing there watching him peel your skin off layer by layer with his lash
and ever so methodically. Your screams of pain will fall on deaf ears. I
will take extreme delight in watching the foam come spewing out of your
vile mouth as Bruno gives you another! Do not worry for I will not let him
kill you. You must heal up and become well- so the process can start right
back over again to be repeated again and again. You will see no end to your
pain! I solemnly promise the day will come when the tables will turn.
Destiny will place you at my feet and you will pray for death and it will
by no means come. /s/ Tavish."
c On April 15, 1997, Defendant published the following threat to Daniel
Keren, Ph. D.: "I do believe that Bruno would derive great pleasure in
applying his craft to Mr. Keren. Yes Bruno is from the old Bavarian School
of inquisitive acquisition. Bruno knows how to stimulate every nerve but
yet not do any sort of damage. Yes Bruno would spend hours in a cold dark
damp dungeon with him. Bruno is a firm believer in the old adage: "No pain,
no gain." :-) Mr. Keren will probably over react to Bruno BUT Bruno went
back home to Bavaria a while back because certain ones in this ng hurt his
feelings! He is a big dumb brute in the common sort of way but he's such a
likable lug too! I may be able to persuade him to come back but I don't
know. If I can get Bruno back then may be Gunther and Gerhardt may return
too! They all claim that life is too hard for them in America with all of
this hatred by Nizkooks running around. They say it reminds them of when
the Communists ruled and how the Commies kept files on everyone. Reminds me
of what commie East Germany used to be!"
d. On May 2, 1998, Defendant published the following threat to someone
who disagreed with one of his bigoted rants:: "I just wish these dumb asses
would realize that they can't get away with this. I'll send a copy to
tavish-central, a copy to the Houston Branch of the FBI and a copy to the
nut cake's ISP. Now people can understand why I positively abhor the
majority of Kikes I encounter. Bruno at the moment is muttering about how
nice it would be if he would be allowed to interrogate this person. I agree
that Bruno should be able to apply his talents. I could picture Bruno being
slow and very methodical too! :-)"
e Defendant published the following threat to Mark Van Alstine, a
researcher on the Holocaust: " . . . . . Mr. Van Alstine is a saboteur of
Nizkor [http://nizkor.org; a site on the Internet about the history of the
Holocaust] and that is all we need to bring hin in for an especially
vigorous interrogation! He will not be so cocky after Bruno works with him.
Don't worry Bruno has never killed anyone yet and he is a master at his
craft. Bruno could rightfully be called a master of pain for he knows how
to work every nerve and fiber to achieve the results desired with the very
least amount of tissue damage. The man is devoted to his work as a true
artisan!"
f Defendant has published the following threat to Jeffrey G. Brown
"I'll beat you to a bloody pulp."
g. Defendant has publically addressed the following threat to a person
publishing anonymous material: "Why don't you identify yourself then? Bruno
has already picked the lash he will use in my interrogation of you. He at
first opted for his short fat bull whip. This whip does not cut the flesh
but it makes extremely painful throbbing welts that only diminish in pain
over a few days. He has chosen his custom stage coach style whip that is
nearly twenty feet long. Each stroke is just like a hot knife hitting
butter. This whip n each stroke cuts beyond the subcutaneous epidermal
layers. He'll literally peel you like an onion. Each stroke of this lash
will feel just like having a white hot wire streak across your back and
buttocks. Bruno is an artisan at his craft and he most eagerly awaits
hoisting you up in manacles to administer the "truth serum." I will relish
watching you flop around like a fish. Pleasant dreams!"
h. Defendant addressed the following threat to Joel Rosenberg, a citizen
of Minnesota: " Herr Rosenberg so very nice of you to slither out and play
tonight! We all see that you have not for once changed your tone yes? You
will change your tune very soon! They all do; believe me they all do! We
have a nice damp dungeon all prepared for you in Berlin. We will talk at
great length and get to the very root of your attitude yes? I personally
will not let Bruno interrogate you too long no!"
i. Defendant publically addressed the following threat of violence to
another person: "Yeah SOG [sic] just keep your mouth running while you can.
You'll be squealing like stuck pig when we shove the rotisserie skewer
where the sun don't shine on April 20th! You'll cook quite well over an
open fire! You'll probably give us all gas BUT that is why we'll have
plenty of Tagment [sic] on hand. Burp! Bruno says that he knows how to
tenderize you too. I think he wants to use his 20 foot whip! Ouch!:
j. Defendant has publically addressed the following threat to another
person: "I can only say that Bruno knows that this happened and right now
he is outside practicing with his whip. Her looks mighty g-d damned furious
in the hot Texas sun cracking that whip. Damn it sounds like a 30' 06 going
off each time he pops that thing. I'd hate to "Count 25" for him! Yes,
indeedy!! :-) Doc Tavish Singing "Our Day Will Come!"
k. In December, 1999, Defendant publically addressed the following threat
to Sara Salzman, a citizen of Colorado: "Bruno [sic] eagerly awaits the day
when he is able to peel your kind like onions with his lash. I could just
see the sweat and blood spray when Bruno lays on the flay. In your case I
wouldn't want him to damage your hide. I want a new shade for my floor lamp
and a new holster for my Desert Eagle pistol. Bruno would, in your case,
use electricity and the various exploitations of body cavities with large
blunt objects. :-) . . . . .Mazel Tob you witch. /s/ Doc Tavish.
j. On or about December 7, 1999, Defendant published the following threat
to an unknown person: "I will get revenge sooner or later for your inciting
blacks to harass me by e-mail. You're on federal territory now! You WILL be
ferreted out- make no mistake about it! BTW if you were to only think about
it- your very actions only make others believe that I am justified in my
dislike of your kind. You are sneaky rat like vermin meant to be hunted
down and eliminated. :-) Just call me the Verminator! /s/ Doc Tavish/"
10. Said campaign of threats was maliciously designed to frighted,
intimidate, annoy, harass, and silence any person who objected to
Defendant's anti-Semitic agenda by having a chilling effect on any person
expressing or considering expressing opposition to Defendant's bigotry.
11. Said campaign of harassment and intimidation has included,
inter alia, the publication of the private names and addresses of his
victims and their families with suggestions of violence and the offering of
rewards to those who would supply him with the addresses and telephone
numbers of his victims.
12. Said campaign of harassment has included the forging of
communications and publishing such forgeries representing that they
originated with the victims of his campaigns of harassment.
13. Said campaign of harassment has included the publication and
circulation of claims which are false and known by Defendant to be false
concerning the sexual orientation and practices of his opponents.
14. Said campaign of harassment has included harassment by sending
his opponents harassing electronic communications (e-mail) including sexual
innuendo, threats, and bigoted slurs.
15. Defendant is supported and assisted in his campaigns of
harassment as aforesaid by various accomplices who Plaintiff believes and
therefore avers include, inter alia:
16. The aforesaid campaigns arise from Defendant;'s pathological
hatred of Jew and/or any person opposed to his pathological hatred and are
conducted maliciously, wantonly, wilfully, and recklessly by the Defendant
and his accomplices and in outrageous disregard of the rights of his
victims with the specific purpose of intimidating and silencing his
opponents, intentionally causing them mental distress, anguish and grief,
and adversely affecting their reputation in the communities in which they
reside.
17. That such purpose and intent of Defendant is known to
Defendant's accomplices who actively support Defendant's goals and purposes
and assist him in stalking his victims during his campaigns of harassment,
defamation, and intimidation.
18. Such agreement on the part of his accomplices includes the
ethnic prejudice and hatred that motivates Defendant.
19. That said accomplices include, inter alai:
a. David E. Michael, a British neo-Nazi and denier of the Holocaust who is
an adherent of and/or organizer for the neo-Nazi British National Party.
b. Don Ellis, an anti-Semite and debunker of the Holocaust who resides in
Star City, Arkansas.
c. A person publishing material on the internet through remarq.com under
various pseudonyms including but not limited to, "Mike Kalvatis," "Pat
Blakely," "Jesus Christ," "RevWhte," "Rabbi Brimstone" and various forged
headers. Plaintiff believes and therefore avers that said person is the
aforementioned Don Ellis.
20. That the various accomplices of Defendant are aware of his
activities and act in concert with him and with his aid, assistance and
approval.
21. That the existence, purpose, nature, and intent of Defendant's
activities is know to flash.net which continues to allow the Defendant to
use their facilities for such purposes and otherwise supports the
activities of the Defendant.
COUNT I: Harassment by Telephonic Communication
21. Plaintiff hereby incorporates by reference Paragraphs 1
through 20 of this Complaint as though set forth fully at length.
22. At various times Defendant has communicated with Plaintiff by
electronic mail (e-nail) which is sent through interstate telephone lines
and received through a telephone connection maintained by Plaintiff and, as
such, constitutes telephonic communication.
23. That as part of his campaign of harassment and intimidation
Defendant has, in the past, sent Plaintiff electronic communications
consisting of the word "kike" repeated several hundred times.
24. That on December 5, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"You only want to blow Joe
You want to suck Joe's Aryan cock, don't you Yale?
Doc Tavish"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-1."
25 That on December 5, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
Joe me thinks Yale wants to suck your cock and you're right --Yale is a
queer -- he does suck cock
Doc Tavish"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-2."
26 That on December 5, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"Are you homosexual, Yale?
Your last lines look like a faggot speaking or are you merely trying to
make trouble like a malicious fag does
Doc Tavish"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-3."
27. That on December 5, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"Yale wants to suck your cock Joe and he doesn't know how to ask so he
persists in his silly games to get your attention -- fags are in a lot of
ways just like little girls -- just ignore cock sucker Edeiken and he'll
most likely will try to go after another person."
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-4"
28 That on December 5, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"and you still want to wrap your lips around his aryan cock"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-5."
29 That on December 6, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
Yale Edeiken wants to suck Joe Bellinger's cock
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-6"
30. That on December 6, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"Yale still wants to suck Joe's aryan cock"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-7"
31 That on December 6, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"So why do you still want to suck his cock?
Do you think you'll become a man by ingesting his manhood?
Doc Tavish"
32 That on December 6, 1998, Defendant sent Plaintiff
an electronic communication stating in pertinent part:
"And you're still a flaming fag cock sucker/"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-9."
33. That on December 6, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"What are you doing, Yale trolling for young boys again ? We all know you
have homosexual tendencies and you call all people homophobes who
oppose"gay rights" We also know how you have slandered the most righteous
Rev Fred Phelps in the past for his stands against the homosexual
lifestyle.
When are you militant homosexuals going to stop your perversions and seek
to live a meaningful life with purpose? Why do you wish to portray
yourself as a thirteen year old female -- what would your neighbors in
Allentown Pennsylvania think of your current degradation -- have you no
pride at all?"
I guess all you want to do is suck some young boys cock -- typical
homosexual sympathist from Nizkor you are -- why are Nizkorians so
pro-homosexual -- is it because all of you or at least most of you are
homosexual. If any group is comprised of liars it has to be your group
because you all even stoop to trying to deceive nature -- now go play with
your Barbie doll faggot child molester
Doc Tavish:
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-10."
34 That on December 8, 1998, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
All Nizkooks need to be apprehended, interrogated, and placed in protective
custody until a final solution can be made.
Doc Tavish"
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A11."
35 That on July 31, 1998, Defendant sent Plaintiff an electronic
communication stating in pertinent part:
"You want to suck Tavish's, Vange's and Phillips' Nazi cocks. Why does your
side call others homophobes? You must either be homo or at least
sympathetic to their utterly disgusting ways! I'd bet that you suck cock
and butt fuck too! Careto deny it?
Bickhus Dickhus
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-12."
36. That on November 11, 1999, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"You want to lick Tavish's prick like a little kid licks a lollipop."
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-13."
37 That on November 11, 1999, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"You only act up because Tavish won't let you use your tongue on him."
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-14."
38 That on November 11, 1999, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"Yale and Jeffrey want to gang rape Tavish because Tavish won't give in to
their homosexual lusts."
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-15."
39 That on November 11, 1999, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"You are just as much of a filthy little cock sucker vermin as your butt
buddy Jeff Brown. You have to rely on out of context quotes and character
assassination. It would be a pleasure to see someone slowly work you over
with an ice pick Yale!"
--digsig
Authentic Doc Tavish
191xllxyGtVQwy0mtCiBjivyX+knCUXYwdRt ptdrtqb
qfQbXQtisWlB/E1+yWkYkw1Wr7mGiAFcJ w6Wl/aU
4GEbQtlQOHN/G3asOLBC9JmQXWuqXwj BnPCuOV9cd
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-16."
40. Said telephonic communications were intended and designed to
alarm, harass, intimidate, annoy, distress, and inflict emotional distress
upon Plaintiff and that such damages actually occurred.
41. As a result of which Plaintiff suffered great distress and
mental anguish and was deprived of the enjoyment of life's pleasures.
42, Said telephonic communications were received by the Plaintiff
within the City of Allentown, County of Lehigh, Commonwealth of
Pennsylvania whereby jurisdiction is vested in this Honorable Court.
43. Said telephonic communications were made in violation of the
criminal laws of the United States and the criminal laws of the
Commonwealth of Pennsylvania.
44, Said telephonic communications were made in violation of the
laws of the Commonwealth of Pennsylvania related to ethnic intimidation.
45. Said telephonic communications were made willfully, wantonly,
and in outrageous disregard of the rights of Plaintiff with the malicious
intent of harassing, alarming, annoying, and/or intimidating Plaintiff and
to have a chilling effect upon his exercise of his right of free speech.
WHEREFORE Plaintiff demands compensatory damages in an amount in
excess of the statutory limit for arbitration in the Court of Common Pleas
of Lehigh County, Commonwealth of Pennsylvania together with punitive
damages in excess of the statutory limits for arbitration in the Court of
Common Pleas of Lehigh County, Commonwealth of Pennsylvania together with
interest costs and a reasonable attorney's fee.
COUNT II: Harassment by Terorrostic Threat
46. Plaintiff hereby incorporates by reference Paragraphs 1
through 45 of this Complaint as though set forth fully at length.
47. Defendant has, at various times, publically made threat of
violence against Plaintiff consistent with the pattern of his threats
against others.
48 That on November 11, 1999, Defendant sent Plaintiff an
electronic communication stating in pertinent part:
"You are just as much of a filthy little cock sucker vermin as your butt
buddy Jeff Brown. You have to rely on out of context quotes and character
assassination. It would be a pleasure to see someone slowly work you over
with an ice pick Yale!"
--digsig
Authentic Doc Tavish
191xllxyGtVQwy0mtCiBjivyX+knCUXYwdRt ptdrtqb
qfQbXQtisWlB/E1+yWkYkw1Wr7mGiAFcJ w6Wl/aU
4GEbQtlQOHN/G3asOLBC9JmQXWuqXwj BnPCuOV9cd
Said telephonic communication is attached hereto and made part
hereof as Exhibit "A-16."
49. Said telephonic communication was received by the Plaintiff
within the City of Allentown, County of Lehigh, Commonwealth of
Pennsylvania whereby jurisdiction is vested in this Honorable Court.
50. On November 14, 1999, Defendant made the following public
statement to Plaintiff:
"I'd say that the above is explicit evidence of libel and slander. I surely
wish Mr. Richard Phillips et al immediately files suit, has subpoenas
herewith issued. I will be glad to attend the trial and I hope that a good
public flogging is part of the reparations Yale has to receive in lieu of
monetary damages he will have to render. . . . BTW Richard- Bruno has
volunteered to administer the flogging if is permissible [sic] by the
court. He has been practicing a lot lately. Perhaps he senses something
in the air. I hate saying it but he is somewhat bestial or animalistic in
his instincts but he is loyal to me to the end."
51. On December 18, 1999, Defendant published the following threat
to Plaintiff:
Subject: Re: WHERE OR WHERE IS TAVISH - I'm standing behind you with my
Desert Eagle .50AE locked and loaded.. . . . . . . I'm standing behind you
with my Desert Eagle .50AE locked and loaded slowly squeezing the trigger
for an excellent one shot- one kill! :-) Sleep on that a whil "nazihunter."
Doc Tavish Knowing Time is on His Side"
52. On December 18, 1999 Defendant published the following
threat to Plaintiff:
"Remember Yale- the jury award I seek is not monetary but to have full
access to you for thirty [sic] minutes in front of the court house to
literally beat you black and blue without any civil or criminal
repercussions. I really believe that this would be the only fair and
equitable verdict! : It will be just you and me Yale and I promise you that
you will think a long damned time because you will hurt for a long time
before you will engineer anymore of your malicious devilish mischief. Doc
Tavish Merrily Waiting on Judgment Day."
53. On December 19, 1999, Defendant published the following
threat to Plaintiff:
"Subject: Re: WHERE OR WHERE IS TAVISH (Standing Behind Yale With a Big Fat
Truncheon) . . . . Give me a break and just let a court grant me thirty
minutes immunity from any criminal or civil action- I would just love to
beat Yale to a jolly bloody pulp in front of his family. To me this is the
only form of fair justice. I promise that I will not take his life nor do
any permanent physical harm but I guarantee Yale will be sore for a very
long time. That is a solemn promise I would like to make and keep!"
54. Defendant has repeatedly published this and similar threats
to Plaintiff on various occasions since the original publication of these
threats.
55. Said threats were intended and designed to alarm, harass,
intimidate, annoy, distress, and inflict emotional distress upon Plaintiff
and that such damages actually occurred.
56. As a result of which Plaintiff suffered great distress and
mental anguish and was deprived of he enjoyment of life's pleasures.
57. Said threats were made over the internet in violation of the
criminal laws of the United States and the criminal laws of the
Commonwealth of Pennsylvania.
58, Said threats were made in violation of the laws of the
Commonwealth of Pennsylvania related to ethnic intimidation.
59. Said threats were made willfully, wantonly, and in outrageous
disregard of the rights of Plaintiff with the malicious intent of
harassing, alarming, annoying, and/or intimidating Plaintiff and to have a
chilling effect upon his exercise of his right of free speech.
WHEREFORE Plaintiff demands compensatory damages in an amount in
excess of the statutory limit for arbitration in the Court of Common Pleas
of Lehigh County, Commonwealth of Pennsylvania together with punitive
damages in excess of the statutory limits for arbitration in the Court of
Common Pleas of Lehigh County, Commonwealth of Pennsylvania together with
interest costs and a reasonable attorney's fee.
COUNT III: Harassment by Incitement of Others
60. Plaintiff hereby incorporates by reference Paragraphs 1
through 59 of this Complaint as though set forth fully at length.
61. As part of his consistent pattern of harassment Defendant has,
individually and in collaboration with others published the names,
addresses, and telephone numbers of his opponents with requests that others
harass those who object to the anti-Semitic propaganda he distributes.
62. Said information has included the names, addresses, and
telephone numbers of his detractors families, parents, children, employers,
associates, and neighbors with instructions that they be contacted with
false and/or outrageous material about his detractors private lives.
63. Said campaigns of stalking and harassment have included the
offering of rewards and other encouragements to various of Defendant's
accomplices to provide him with such information to assist Defendant in his
stalking, harassment, and intimidation of his victims.
64. Together with the accomplices named above and various others
unknown to Plaintiff, Defendant has compiled and published and/or assisted
in the compilation and publication of the "Nizkor Telephone Book" which
publishes such information in a malicious effort to harass, annoy, and
intimidate his detractors and to have a chilling effect upon their exercise
of their right of free speech
65. Such acts were done maliciously with the intent of harassing,
annoying and intimidating his detractors, adversely affecting their private
lives and employment, and chilling their exercise of their right of free
speech.
66. In or about April, 1998, Defendant commenced such a public
campaign of stalking, harassment, and intimidation against Plaintiff.
67. Prior to commencing this campaign of harassment Defendant
published the following statement on April 28, 1998, directed at Plaintiff
under his nom de plume of "Doc Tavish":
Hey, Yale, you were right about you being easy to find . What do the folks
in Allentown think knowing the have a socialist living on the block? :-) Be
sure to give my regards to "Alta" if you get my drift! /s/ Tavish
Said publication is attached hereto and made part hereof as Exhibit "B-1."
68. Said message was intended and published in order to alarm and
harass Plaintiff and by making him believe that Defendant knew where
Plaintiff lived, intimidate Plaintiff from publishing material critical of
Defendant.
69. At approximately the same time Defendant, referring to himself
as "Gumshoe Tavish" made similar claims about the location of one Jeffrey
G. Brown and threatened to reveal to the alleged neighbors of Jeffrey G.
Brown that he was a pederast.
70. Shortly thereafter Defendant began to publish Plaintiff's
name, address, and telephone number using a variety of services which
disguised his location together with requests that others harass the
Plaintiff.
71. The first such message was published on June 1, 1998, with the
phrase "Reach out and touch someone." Attached. Said post is attached
hereto and made part hereof as Exhibit "B-2."
72. That the intention of such message was to alarm Plaintiff and
intimidate him from criticizing Defendant and inciting others to criminally
harass Plaintiff.
73, That similar messages were published by Defendant on a regular
and continual basis with the final form of the message being to following
example published on December 7, 1999:
Yale F. Edeiken, ZHID, of 1590 Alta Dr., Allentown, Pa, wants lots of
late night callers, and will even welcome visitors, late nights, to
discuss the Holohoax. He can be reached at 610 435-9820 He even likes
discussing, and even meeting with faggots, and other pedophiles to discuss
matters. His specialties are butt-fucking, cocksucking, and fondling
tinky winkies.
Yale likes to go to peep shows and likes group grope at the local gay bar
in Allentown. -88- Horst Wessel
Said publication is attached hereto and made part hereof as Exhibit
"B-3."
74. Said message was published by Defendant over one hundred (100)
times.
75. That the intention of such message was to alarm Plaintiff and
intimidate him from criticizing Defendant and inciting others to criminally
harass Plaintiff.
76. In addition to publishing the Plaintiff's name, address, and telephone
number, Defendant acting individually and by and/or in concert with his
aforementioned accomplices published the names addresses and telephone
numbers of Plaintiff's ,family including his wife, father, brother, sister,
stepmother and business associates with similar invitations to harass,
annoy and frighten them.
77. Said information was provided both separately and as part of
the aforementioned "Nizkot Telephone Book" where other opponents of
Defendant and his accomplices were similarly harassed.
78. All such publications were made either by the Defendant and/or
with his knowledge, consent, approval, and cooperation.
79. Said publications and incitements were intended and designed
to alarm, harass, intimidate, annoy, distress, and inflict emotional
distress upon Plaintiff and others and that such damages actually occurred.
80. As a result of which Plaintiff suffered great distress and
mental anguish and was deprived of he enjoyment of life's pleasures.
91. Said publications and incitements were made over the internet
in violation of the criminal laws of the United States and the criminal
laws of the Commonwealth of Pennsylvania.
82, Said threats were made in violation of the laws of the
Commonwealth of Pennsylvania related to ethnic intimidation.
83. Said threats were made willfully, wantonly, and in outrageous
disregard of the rights of Plaintiff with the malicious intent of
harassing, alarming, annoying, and/or intimidating Plaintiff and to have a
chilling effect upon his exercise of his right of free speech.
WHEREFORE Plaintiff demands compensatory damages in an amount in
excess of the statutory limit for arbitration in the Court of Common Pleas
of Lehigh County, Commonwealth of Pennsylvania together with punitive
damages in excess of the statutory limits for arbitration in the Court of
Common Pleas of Lehigh County, Commonwealth of Pennsylvania together with
interest costs and a reasonable attorney's fee.
COUNT IV: Defamation
84. Plaintiff hereby incorporates by reference Paragraphs 1
through 83 of this Complaint as though set forth fully at length.
85. As part of his publications concerning Plaintiff and other,
Defendant consistently fabricated false allegations against Plaintiff and
others and knowingly published said fabrications as fact with the malicious
intent of damaging the reputations of Plaintiff and others.
87. Said fabrications were known by the Defendant and his
accomplices to be false and defamatory.
88. Many of the said defamatory publications were made directly to
third parties within the Commonwealth of Pennsylvania with the intention of
damaging the reputation of Plaintiff within the community in which he
resides thereby vesting jurisdiction with this Honorable Court.
89. On or about October 26, 1999, Defendant began a campaign of
defamation against Plaintiff by publishing a claim that Plaintiff had sent
hin and electronic communication stating: ""Scottie if only I have you just
one night I's give you something no woman will ever be able to give you.
Give up women and join our ranks." Said publication is attached hereto and
made part hereof as Exhibit "C-1."
90. Said publication was false and defamatory in that it
represented that Plaintiff had made unwanted sexual advances to Defendant.
91. No such communication was made but, rather, it was
maliciously fabricated by Defendant with the intent of defaming Plaintiff.
92. When Plaintiff complained to Defendant about his forgery,
Defendant again published said forgery and threatened to send said
publication to Plaintiff's internet service provider who would then
"wonder" about the Plaintiff. Said publication is attached hereto and made
part hereof as Exhibit "C-2."
93. Said publication is a direct admission of the malicious intent
on the part of Defendant to defame Plaintiff.
94. On or about November 2, 1999, Defendant published the claim
that "You have threatened to do a "homosexual gang rape" to be ASSisted by
your pals Jeffrey G. Brown and Ken McVay - what else can you say other than
you're gay? /s/ Doc Tavish." Said publication is attached hereto and made
part hereof as Exhibit "C-3."
95. Said publication was false and defamatory in that it
represented that Plaintiff had threatened Defendant with sexual
molestation.
96. No such communication was made but, rather, it was
maliciously fabricated by Defendant with the intent of defaming Plaintiff.
97 On or about October 27, 1999, Defendant published an article
entitled "Attention Faggots Yale F. Edeiken and Jeffrey G. Brown" in which
he again repeated\ his allegation that Plaintiff had made unwanted sexual
advances to him. Said publication is attached hereto and made part hereof
as Exhibit "C-4."
98. Said publication was false and defamatory in that it
represented that Plaintiff had made unwanted sexual advances to Defendant.
99. On or about October 27, 1999, Defendant again maliciously
published a communication which he falsely and maliciously claimed had been
written by the Plaintiff and, again, falsely and maliciously claimed that
the Plaintiff had made unwanted sexual advances to hi,. Said publication
is attached hereto and made part hereof as Exhibit "C-5."
100. Said defamatory publication was forwarded directly to
Enter.net, business located within the County of Lehigh. Commonwealth of
Pennsylvania, thereby vesting jurisdiction in this Honorable Court.
101. On or about October 28, 1999, Defendant again refused to
retract his false and defamatory statements insisting that the fabrications
he had published were accurate. Said publication is attached hereto and
made part hereof as Exhibit "C-6."
102. Defendant again forwarded said malacious and defamatory
communication to Enter.net, a third person located within Lehigh County,
Commonwealth of Pennsylvania.
103. On or about October 28, 1999, Defendant again refused to
retract his false and defamatory statements insisting that the fabrications
he had published were accurate, stating in pertinent part:
". . . . what we have here is a textbook case of how homosexuals really
hate being rejected. Yale will not take "NO" as answer [sic] O don't
care that he can use his tongue in his misguided attempt to show "50 Ways
to Leave My (Female) Lover."
Said publication is attached hereto and made part hereof as Exhibit "C-7."
104. On or about November 3, 1999, published a false and
defamatory statement claiming that Plaintiff was sexual pervert engaging in
sex with animals. Said publication is attached hereto and made part
hereof as Exhibit "C-8."
105. On or about November 3, 1999, Defendant made a further false
and defamatory publication again stating that Plaintiff had sex with
animals and further stating that Plaintiff was a "neo-Bolshevist" who
wanted to turn the United States into a Soviet-style dictatorship. Said
publication is attached hereto and made part hereof as Exhibit "C-9."
106. On or about November 7, 1999, Defendant again fabricated
material which he claimed had been written by Plaintiff and maliciously
published it on the int4rnet and sent a copy of his false and defamatory
statement to Enter.net, a business located within the County of Lehigh,
Commonwealth of Pennsylvania. Said publication is attached hereto and made
part hereof as Exhibit "C- 10."
107. On or about November 11, 1999, Defendant published the
following false and defamatory statement about Plaintiff on the internet
stating in pertinent part:
" . . . . .faggots Brown and Edeiken will positively not leave me alone.
What is it about homosexuals that the more they are rejected and dejected
the more they have to keep coming after a person? It must be some
"feminine" quirk resembling "hell hath no fury like a rejected or scorned
woman." . . . .Again Yale F.. Edeiken won't leave me alone and now his
fellow anti-Christ and Sodomite is moving in for the kill. See what being
the quintessential Aryan gets you."
Said publication is attached hereto and made part hereof as Exhibit "C-11."
108. In addition to the defamatory material recited above
Defendant has continually referred to Plaintiff in his various publications
as a "shyster," a "criminal" and a "Bolshevist."
109. In each of the hundreds of times Defendant has maliciously
published such false and defamatory material both published on the internet
and communicated to third persons within the County of Lehigh, Commonwealth
of Pennsylvania material Defendant has intended to adversely effect the
reputation of the Plaintiff.
110. Plaintiff has continually contacted Defendant, informed him
of the defamatory nature of the material that he publishes and sends to
third parties.
111. Plaintiff has additionally contacted Flash.net Communications
and informed them of the various defamatory statements made by Defendant
and the various forgeries he has distributed through their facilities.
112. In response to the demands for retraction Defendant has
replied "Fuck off, Kike." and "Eat shit, Kike."
113. Defendant has, further, acted in concert with Flash.net
Communications to block any demands for a retraction by threatening the
internet services of others.
114. Defendant has, further, acted in concert with his accomplices
named above to further spread the defamatory statements published by
Defendant.
115. Said publications and their distribution were intended and
designed to injure the reputation of Plaintiff and alarm, harass,
intimidate, annoy, distress, and inflict emotional distress upon Plaintiff
and others and that such damages actually occurred.
116. As a result of which Plaintiff suffered great distress and
mental anguish and was deprived of the enjoyment of life's pleasures.
116. Said defamation was done maliciously willfully, wantonly, and
in outrageous disregard of the rights of Plaintiff with the malicious
intent of harassing, alarming, annoying, and/or intimidating Plaintiff and
to have a chilling effect upon his exercise of his right of free speech.
WHEREFORE Plaintiff demands compensatory damages in an amount in
excess of the statutory limit for arbitration in the Court of Common Pleas
of Lehigh County, Commonwealth of Pennsylvania together with punitive
damages in excess of the statutory limits for arbitration in the Court of
Common Pleas of Lehigh County, Commonwealth of Pennsylvania together with
interest costs and a reasonable attorney's fee.
COUNT V: Invasion of Privacy
117. Plaintiff hereby incorporates by reference Paragraphs 1
through 116. of this Complaint as though set forth fully at length.
118. The falsehoods and forgeries as stated above constitute an
invasion of privacy under the false light doctrine.
119. Said invasions of privacy and their distribution were
intended and designed to injure the reputation of Plaintiff and alarm,
harass, intimidate, annoy, distress, and inflict emotional distress upon
Plaintiff and others and that such damages actually occurred.
120. As a result of which Plaintiff suffered great distress and
mental anguish and was deprived of the enjoyment of life's pleasures.
121. Said invasions of privacy were done maliciously willfully,
wantonly, and in outrageous disregard of the rights of Plaintiff with the
malicious intent of harassing, alarming, annoying, and/or intimidating
Plaintiff and to have a chilling effect upon his exercise of his right of
free speech.
WHEREFORE Plaintiff demands compensatory damages in an amount in
excess of the statutory limit for arbitration in the Court of Common Pleas
of Lehigh County, Commonwealth of Pennsylvania together with punitive
damages in excess of the statutory limits for arbitration in the Court of
Common Pleas of Lehigh County, Commonwealth of Pennsylvania together with
interest costs and a reasonable attorney's fee.
Respectfully submitted,
________________________
Yale F. Edeiken
c/o Trainor Law Offices
1720 Fairmont Street
Allentown PA 18104
610-435-9820
--
http://www.amazon.com/exec/obidos/ASIN/0465021522/thenizkorproject:
Lying About Hitler, by Dr. Richard Evans
http://www.amazon.com/exec/obidos/ASIN/0393020444/thenizkorproject
The Holocaust on Trial, by D.D. Guttenplan
>Archive/File: people/b/bradbury.scott/Edeiken-v-Bradbury.C1
Thoroughly debunked with:
http://groups.google.com/groups?hl=&selm=ja362v4amltqohp97uo053rju5erbf80qr%404ax.com
Subject: Ken McVay's "Edeiken-v-Bradbury.C1" Is Filled With Lies and Perjury...
Date: Mon, 13 Jan 2003 13:23:54 -0600
Message-ID: <ja362v4amltqohp97...@4ax.com>