Nyani Ngabu
Platinum Member
- May 15, 2006
- 97,847
- 141,232
Mkuu ukiona Sarah Palin anatumwa ku defend Red States...ujue maji yako shingoni. Ila ninachowapendea hawa jamaa ni spirit yao ya ajabu...especially campaign managers na right wing pundits. Leo Rick Davis alikuwa kwenye simu na kichaa mmoja hivi anaitwa Scott Hennen. Hennen akamuuliza Davis.."How are things going in the campaign? Jibu.." People shouldn't be worried, we've got them were we wanted.....You know we are closing the polls."
Haya akaja Sean Insanity kwenye show yake..."Folks polls are tightening...John McCain is closing in...most polls are within the margin of error..." and I am sitting there with all the polls on my desktop and saying to myself there is no way this is accurate information.....someone is lying to their base here.
Hapana bana, endorsement ya Powell haijashtua watu. Huyu bwana sio conservative wa kweli na mara kibao kulikuwa na tetesi atahama chama long before you and I even knew of Obama. He supports affirmative action...sasa ni doctrinaire conservative wangapi wanao support affirmative action? Ndo maana nasema kama ikitokea Clarence Thomas ndio anam endorse Obama kutakuwa na kasheshe bin vurugu....
Wewe hiyo ya Nancy umeitoa wapi? Maana kabibi ka watu kametoka hospitali juzi tu hapa na sidhani kama kako kwenye mood ya kum endorse mtu. Kwanza nadhani kamesham endorse McCain...
Kuhusu Miafrika Ndivyo Tulivyo....well, what can I say? You issue your own verdict on it coz I'm not on a crusade to change anybody's mind, opinion, delusions, fantasies, or pipedreams.....
Haya basi Leo hii tena (that one) alikuwa na watu 50,000 + kule Orlando.
Source: Palm Beach Post: Palm Beach & Treasure Coast news, sports, entertainment, jobs, cars, homes
Palin's Campaign vs. McCain's
When Sarah Palin disagrees with John McCain, it means something. Or does it?
By John Dickerson
Has Sarah Palin "gone rogue"? For the last few weeks, Republicans inside and outside the McCain campaign have speculated about those moments when Palin and John McCain have appeared to disagree: Palin pressed to have the campaign compete for Michigan voters when strategists had given up on the state. She disagreed with McCain's opposition to a marriage amendment. She disagreed with McCain's opposition to removing North Korea from the list of terrorist nations. She thinks the campaign should talk about Barack Obama's ties to his former pastor Jeremiah Wright.
Even on Team Maverick, a vice-presidential candidate's job is to agree with the candidate at the top of the ticket. The only exception is when campaign strategists carefully orchestrate a schismand we know when these moments are coming because everyone in the press is invited to watch.
But Palin's disagreements don't appear to be a part of a larger strategy. So, political insiders have started asking whether Palin is simply undisciplined or is intentionally ignoring the playbook. And if it's intentional, the question becomes: Is she putting her own political self-interest ahead of her running mate's?
As Obama's fortunes have improved, these questions have grown only more intense. I am sorry to report that I do not know the answers. But that's OK: Neither does anyone else. In fact, any answers you hear will almost certainly speak less to Palin's motivations than to those of the people talking about her.
Sunday, Palin appeared to call another audible. While McCain was defending his campaign's robo-calls attacking Barack Obama, Palin was knocking them. She said they were irritating voters and represented the "old conventional ways of campaigning." Palin appeared to be joining with Sen. Susan Collins of Maine and other Republicans who oppose the tactic. Plus, she used the word conventional to describe the McCain tactics. That's a word Obama uses to attack.
What was Palin up to? The question came up in my political conversations Monday morning. Several Republican veterans thought she was trying to distance herself from campaign strategy, which has been roundly criticized in GOP circles, to maintain her political viability for the future. The transcript, however, shows that Palin doesn't seem to be criticizing the tactic so much as bemoaning the fact that the campaign is stuck in a place where it has to use it. She's not making a moral argument that might burnish her credentials for the future as a reasonable person. She's just off-message.
Two weeks before, I was hearing the exact opposite spin: not that Palin was distancing herself from the campaign, but that the campaign was distancing itself from her. When Palin picked up her attacks on Obama, McCain loyalists, and even some inside his campaign, suggested that she'd done so on her own accord. Dressed in camouflage and night-vision goggles, she'd snuck out to hold rallies suggesting Obama palled around with terrorist William Ayers. She'd also told William Kristol that Obama's former pastor Jeremiah Wright was an appropriate topic of discussion, even though McCain had once said it was not.
This spin, the Palin-as-a-lone-wolf story, had the advantage of allowing McCain himself to remain above the fray while his campaign reaped the benefits of Palin's attacks. But if Palin-as-rogue was the strategyand there's some evidence it wasit was a failure. Polls have shown that voters have a dimmer view of McCain because of these attacks. Obama's stature seems only to have grown.
Others argued that Palin's motives for picking up the attacks were not strategic but self-interested. By taking a tougher approach with Obama, she was aligning herself with conservative thinkers who have urged McCain to fight harder. If the McCain campaign is unsuccessful, she could say she was trying to do the right thing but was held back. A similar strategy was supposedly behind her opposition to the campaign's retreat from Michigan. If McCain loses, Palin will have proved that she was in favor of a more vigorous campaigna useful position to cite if she hopes to run for national office again. And by supporting the gay-marriage-ban amendment, she keeps her ties strong to evangelical voters.
Part of this speculation is normal for any vice-presidential candidate. We've forgotten, during the Cheney years, that competing agendas always accompany any political partnership. Cheney had no future political ambitions (sadly), so no one speculated about how he might be positioning himself politically in the last eight years.
Also fueling the discussion about Palin's motivations is the brewing conversation that attends any campaign that appears to be on the ropes with two weeks to go. Democrats want to push the idea she's out for herself because it suggests that if the No. 2 on the ticket is looking out for her future, the race must really be over. Aides inside the campaign want to retain their political viability, so they blame Palin for the loss. The "going rogue" story line contributes to the idea that she sunk the effort. If they advocated for Palin in the first place, they can try to say (implausibly) that they never thought she'd be as bad as she's turned out to be.
Palin and her behavior have become a part of the crucial postmortem (pre-mortem?) for those hoping to affect the next generation of conservative thinking. McCain could still win. But as his fortunes appear to dim, those with the first explanations for his failure stand the best chance of shaping the post-McCain party.
Those outside the campaign who were against the Palin pick, meanwhile, want to characterize her as a purely self-interested politicianit's final proof of their prescience. Those who want to blame the campaign strategists paint Palin as a political natural damaged by a ham-handed campaign. One Republican veteran said that when Palin was asked to link Obama to Ayers, she resisted. It was McCain aides who pushed her to pick up the attack. A McCain aide tells me the exact opposite is true. Palin was regularly asking to be more aggressive.
With so many permutations and mixed motivations, the Palin saga is starting to feel like a Restoration play. (I hope in the end all the characters come onstage and all is revealed.) What does Sarah actually think? Who knows? Unlike previous vice-presidential candidates and most other politically ambitious people, she doesn't have a political hack who has been at her side for years, protecting her political portfolio and spinning the press to preserve her reputation. If she really wants to have a national political future, now may be the time for her to go out and get herself one.
Hahaha, kwikwikwiiii! Let the BLAME game begin. GOP wameanza mapema na kuna article nzuri imeandikwa na Carville na Begala huko HuffPost, nimecheka sana. Soma hapa
Kwa kweli ingawa Carville is sometimes highly irritating and can be really vicious, lakini here they showed some serious sense of humor.
Sasa hawa GOP sijui watasema akina Kristol na wengine pia wamem-endorse Obama because of the race?
Sijui watasema nini? Wamekosa hoja wanaleta vioja!!!
Those people came to out to cheer for Hillary most likely not Obantu. Anyways, Obantu was pulling large crowds in the primaries for example in Philadelphia but Hillary still whipped him decisively in that state. That goes to show you American people aren't ready for Obantu no matter how much the media campaigns for him. Bottom line is Obantu hasn't closed this election and my radar still says he will lose.
Obama & DNC Admit All Allegations of Federal Court Lawsuit - Obamas Not Qualified to be President
Obama Should Immediately Withdraw his Candidacy for President
For Immediate Release: - 10/21/08 - Complete contact details and pdfs of this press release and motions filed by plaintiff Berg today are at the end of this article
(Lafayette Hill, Pennsylvania 10/21/08) - Philip J. Berg, Esquire, the Attorney who filed suit against Barack H. Obama challenging Senator Obamas lack of qualifications to serve as President of the United States, announced today that Obama and tbe DNC ADMITTED, by way of failure to timely respond to Requests for Admissions, all of the numerous specific requests in the Federal lawsuit. Obama is NOT QUALIFIED to be President and therefore Obama must immediately withdraw his candidacy for President and the DNC shall substitute a qualified candidate. The case is Berg v. Obama, No. 08-cv-04083.
Berg stated that he filed Requests for Admissions on September 15, 2008 with a response by way of answer or objection had to be served within thirty [30] days. No response to the Requests for Admissions was served by way of response or objection. Thus, all of the Admissions directed to Obama and the DNC are deemed ADMITTED. Therefore, Obama must immediately withdraw his candidacy for President.
OBAMA - Admitted:
1. I was born in Kenya.
2. I am a Kenya natural born citizen.
3. My foreign birth was registered in the State of Hawaii.
4. My father, Barrack Hussein Obama, Sr. admitted Paternity of me.
5. My mother gave birth to me in Mombosa, Kenya.
6. My mothers maiden name is Stanley Ann Dunham a/k/a Ann Dunham.
7. The COLB [Certification of Live Birth] posted on the website Fightthesmears.com is a forgery.
8. I was adopted by a Foreign Citizen.
9. I was adopted by Lolo Soetoro, M.A. a citizen of Indonesia.
10. I was not born in Hawaii.
11. I was not born at the Queens Medical Center in Hawaii.
12. I was not born at Kapiolani Medical Center for Women and Children in Hawaii.
13. I was not born in a Hospital in Hawaii.
14. I am a citizen of Indonesia.
15. I never took the Oath of Allegiance to regain my U.S. Citizenship status.
16. I am not a natural born United States citizen.
17. My date of birth is August 4, 1961.
18. I traveled to Pakistan in 1981 with my Pakistan friends.
19. In 1981, I went to Indonesia on my way to Pakistan.
20. Pakistan was a no travel zone in 1981 for American Citizens.
21. In 1981, Pakistan was not allowing American Citizens to enter their country.
22. I traveled on my Indonesian Passport to Pakistan.
23. I renewed my Indonesian Passport on my way to Pakistan.
24. My senior campaign staff is aware I am not a natural born United States Citizen.
25. I am proud of my Kenya Heritage.
26. My relatives have requested changes to the portion of my birth certificate that identifies my first name.
27. My relatives have requested changes to the portion of my birth certificate that identifies my last name.
28. My relatives have requested changes to the portion of my birth certificate that identifies my place of birth.
29. I requested changes to the portion of my birth certificate that identifies my first name.
30. I requested changes to the portion of my birth certificate that identifies my last name.
31. I requested changes to the portion of my birth certificate that identifies my place of birth.
32. The document identified as my Indonesian School record from Fransiskus Assisi School in Jakarta, Indonesia is genuine.
33. I went to a Judge in Hawaii to have my name changed.
34. I went to a Senator and/or Congressman or other public official in Hawaii to have my name changed.
35. I had a passport issued to me from the Government of Indonesia.
36. The United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a natural born United States citizen.
37. I am ineligible pursuant to the United States Constitution to serve as President and/or Vice President of the United States.
38. I never renounced my citizenship as it relates to my citizenship to the country of Indonesia.
39. I never renounced my citizenship as it relates to my citizenship to the country of Kenya.
40. I am an Attorney who specializes in Constitutional Law.
41. Kenya was a part of the British Colonies at the time of my birth.
42. Kenya did not become its own Republic until 1963.
43. I am not a Naturalized United States Citizen.
44. I obtained $200 Million dollars in campaign funds by fraudulent means.
45. I cannot produce a vault (original) long version of a birth certificate showing my birth in Hawaii.
46. My vault (original) long version birth certificate shows my birth in Kenya.
47. The only times I was to a Hospital in Hawaii was for check-ups or medical treatments for illnesses.
48. Queens Medical Center in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
49. Kapiolani Medical Center for Women and Children in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
50. I was born in the Coast Province Hospital in Mombasa, Kenya.
51. I represented on my State Bar application in Illinois that I never used any other name other than Barack Hussein Obama.
52. I went by the name Barry Soetoro in Indonesia.
53. My Indonesian school records are under the name of Barry Soetoro.
54. I took an Oath to uphold the United States Constitution when admitted to the State Bar of Illinois to practice Law.
55. I took an Oath to uphold the United States Constitution when I was Sworn into my United States Senate Office.
56. I hold dual citizenship with at least one other Country besides the United States of America.
DNC - Admitted:
1. The DNC nominated Barrack Hussein Obama as the Democratic Nominee for President.
2. The DNC has not vetted Barrack Hussein Obama.
3. The DNC did not have a background check performed on Barrack Hussein Obama.
4.The DNC did not verify Barrack Hussein Obamas eligibility to serve as President of the United States.
5. The DNC admits Barrack Hussein Obama was born in Kenya.
6. The DNC admits Barrack Hussein Obama is not a natural born United States citizen.
7. The DNC admits Barrack Hussein Obama was not born in Hawaii.
8.The DNC admits they have not inquired into Barrack Hussein Obamas citizenship status.
9. The DNC admits they have a duty to properly vette the Democratic Nominee for President.
10.The DNC admits Lolo Soetoro, M.A., an Indonesian citizen adopted Barrack Hussein Obama.
11. The DNC admits the Credentials Committee has been aware of this lawsuit since August 22, 2008 as the lawsuit was faxed to our Washington D.C. Office on August 22, 2008.
12. The DNC admits their Credentials Committee failed to verify and/or inquire into the credentials of Barack Hussein Obama to serve as the President of the United States.
13. The DNC admits their Credential Committees Report failed to address the issues of Barack Hussein Obamas ineligibility to serve as President of the United States.
14.The DNC admits Howard Dean, Chair Person has and had knowledge Barack Hussein Obama was born in Kenya and ineligible to serve as the President of the United States.
15. The DNC admits Plaintiff and all Democratic citizens of the United States have been personally injured as a result of not having a qualified Democratic Presidential Nominee to cast their votes upon.
16. The DNC admits Plaintiff and all citizens of the United States have a Constitutional Right to vote for the President of the United States and to have two (2) qualified candidates of which to choose from.
17. The DNC admits Plaintiff and all citizens of the United States have a Constitutional right to have a properly vetted Democratic Presidential Nominee of which to cast their vote.
18. The DNC admits an FBI background check is not performed on the Presidential or Vice Presidential Candidates.
19. The DNC admits the United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a natural born United States citizen.
20. The DNC admits they collected donations on behalf of Barack Hussein Obama for his Presidential campaign.
21. The DNC admits Plaintiff and Democratic citizens donated money based on false representations that Barack Hussein Obama was qualified to serve as the President of the United States.
22. The DNC admits if Barack Hussein Obama is elected as President and allowed to serve as President of the United States in violation of our Constitution, it will create a Constitutional crisis.
23. The DNC admits Barack Hussein Obama took an Oath to uphold the United States Constitution.
24. The DNC admits allowing a person who is not a natural born citizen to serve as President of the United States violates Plaintiffs rights to due process of law in violation of the United States Constitution.
25. The DNC admits allowing a person who is not a natural born citizen to serve as President of the United States violates Plaintiffs rights to Equal Protection of the laws in violation of the United States Constitution.
26. The DNC admits the function of the DNC is to secure a Democratic Presidential Candidate who will protect Democratic citizens interests, fight for their equal opportunities and fight for justice for all Americans.
27. The DNC admits the Democratic National Committee has been promoting Barack Hussein Obamas Presidential election knowing he was ineligible to serve as President of the United States.
Our website obamacrimes.com now has 50.7 + million hits. We are urging all to spread the word of our website and forward to your local newspapers, radio and TV stations. Berg again stressed his position regarding the urgency of this case as, we the people, are heading to a Constitutional Crisis if this case is not resolved forthwith.
Philip J. Berg, Esquire
555 Andorra Glen Court, Suite 12
Lafayette Hill, PA 19444-2531
Cell (610) 662-3005
(610) 825-3134
(800) 993-PHIL [7445]
Fax (610) 834-7659
philjberg@obamacrimes.com
So Obantu's Hawaii visit is not for attending to his ailing grandmother but to forge another birth certificate? Bwahahahahaha! This is getting good.
....President & Commander in Chief, Barack Obama...get used to it!
...not in united states labda your hometown punjab obama will lose...na inaonekana your ignorance is disguised in racism & bigotry!
Obama & DNC Admit All Allegations of Federal Court Lawsuit - Obamas Not Qualified to be President
Obama Should Immediately Withdraw his Candidacy for President
For Immediate Release: - 10/21/08 - Complete contact details and pdfs of this press release and motions filed by plaintiff Berg today are at the end of this article
(Lafayette Hill, Pennsylvania 10/21/08) - Philip J. Berg, Esquire, the Attorney who filed suit against Barack H. Obama challenging Senator Obamas lack of qualifications to serve as President of the United States, announced today that Obama and tbe DNC ADMITTED, by way of failure to timely respond to Requests for Admissions, all of the numerous specific requests in the Federal lawsuit. Obama is NOT QUALIFIED to be President and therefore Obama must immediately withdraw his candidacy for President and the DNC shall substitute a qualified candidate. The case is Berg v. Obama, No. 08-cv-04083.
Berg stated that he filed Requests for Admissions on September 15, 2008 with a response by way of answer or objection had to be served within thirty [30] days. No response to the Requests for Admissions was served by way of response or objection. Thus, all of the Admissions directed to Obama and the DNC are deemed ADMITTED. Therefore, Obama must immediately withdraw his candidacy for President.
OBAMA - Admitted:
1. I was born in Kenya.
2. I am a Kenya natural born citizen.
3. My foreign birth was registered in the State of Hawaii.
4. My father, Barrack Hussein Obama, Sr. admitted Paternity of me.
5. My mother gave birth to me in Mombosa, Kenya.
6. My mothers maiden name is Stanley Ann Dunham a/k/a Ann Dunham.
7. The COLB [Certification of Live Birth] posted on the website Fightthesmears.com is a forgery.
8. I was adopted by a Foreign Citizen.
9. I was adopted by Lolo Soetoro, M.A. a citizen of Indonesia.
10. I was not born in Hawaii.
11. I was not born at the Queens Medical Center in Hawaii.
12. I was not born at Kapiolani Medical Center for Women and Children in Hawaii.
13. I was not born in a Hospital in Hawaii.
14. I am a citizen of Indonesia.
15. I never took the Oath of Allegiance to regain my U.S. Citizenship status.
16. I am not a natural born United States citizen.
17. My date of birth is August 4, 1961.
18. I traveled to Pakistan in 1981 with my Pakistan friends.
19. In 1981, I went to Indonesia on my way to Pakistan.
20. Pakistan was a no travel zone in 1981 for American Citizens.
21. In 1981, Pakistan was not allowing American Citizens to enter their country.
22. I traveled on my Indonesian Passport to Pakistan.
23. I renewed my Indonesian Passport on my way to Pakistan.
24. My senior campaign staff is aware I am not a natural born United States Citizen.
25. I am proud of my Kenya Heritage.
26. My relatives have requested changes to the portion of my birth certificate that identifies my first name.
27. My relatives have requested changes to the portion of my birth certificate that identifies my last name.
28. My relatives have requested changes to the portion of my birth certificate that identifies my place of birth.
29. I requested changes to the portion of my birth certificate that identifies my first name.
30. I requested changes to the portion of my birth certificate that identifies my last name.
31. I requested changes to the portion of my birth certificate that identifies my place of birth.
32. The document identified as my Indonesian School record from Fransiskus Assisi School in Jakarta, Indonesia is genuine.
33. I went to a Judge in Hawaii to have my name changed.
34. I went to a Senator and/or Congressman or other public official in Hawaii to have my name changed.
35. I had a passport issued to me from the Government of Indonesia.
36. The United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a natural born United States citizen.
37. I am ineligible pursuant to the United States Constitution to serve as President and/or Vice President of the United States.
38. I never renounced my citizenship as it relates to my citizenship to the country of Indonesia.
39. I never renounced my citizenship as it relates to my citizenship to the country of Kenya.
40. I am an Attorney who specializes in Constitutional Law.
41. Kenya was a part of the British Colonies at the time of my birth.
42. Kenya did not become its own Republic until 1963.
43. I am not a Naturalized United States Citizen.
44. I obtained $200 Million dollars in campaign funds by fraudulent means.
45. I cannot produce a vault (original) long version of a birth certificate showing my birth in Hawaii.
46. My vault (original) long version birth certificate shows my birth in Kenya.
47. The only times I was to a Hospital in Hawaii was for check-ups or medical treatments for illnesses.
48. Queens Medical Center in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
49. Kapiolani Medical Center for Women and Children in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
50. I was born in the Coast Province Hospital in Mombasa, Kenya.
51. I represented on my State Bar application in Illinois that I never used any other name other than Barack Hussein Obama.
52. I went by the name Barry Soetoro in Indonesia.
53. My Indonesian school records are under the name of Barry Soetoro.
54. I took an Oath to uphold the United States Constitution when admitted to the State Bar of Illinois to practice Law.
55. I took an Oath to uphold the United States Constitution when I was Sworn into my United States Senate Office.
56. I hold dual citizenship with at least one other Country besides the United States of America.
DNC - Admitted:
1. The DNC nominated Barrack Hussein Obama as the Democratic Nominee for President.
2. The DNC has not vetted Barrack Hussein Obama.
3. The DNC did not have a background check performed on Barrack Hussein Obama.
4.The DNC did not verify Barrack Hussein Obamas eligibility to serve as President of the United States.
5. The DNC admits Barrack Hussein Obama was born in Kenya.
6. The DNC admits Barrack Hussein Obama is not a natural born United States citizen.
7. The DNC admits Barrack Hussein Obama was not born in Hawaii.
8.The DNC admits they have not inquired into Barrack Hussein Obamas citizenship status.
9. The DNC admits they have a duty to properly vette the Democratic Nominee for President.
10.The DNC admits Lolo Soetoro, M.A., an Indonesian citizen adopted Barrack Hussein Obama.
11. The DNC admits the Credentials Committee has been aware of this lawsuit since August 22, 2008 as the lawsuit was faxed to our Washington D.C. Office on August 22, 2008.
12. The DNC admits their Credentials Committee failed to verify and/or inquire into the credentials of Barack Hussein Obama to serve as the President of the United States.
13. The DNC admits their Credential Committees Report failed to address the issues of Barack Hussein Obamas ineligibility to serve as President of the United States.
14.The DNC admits Howard Dean, Chair Person has and had knowledge Barack Hussein Obama was born in Kenya and ineligible to serve as the President of the United States.
15. The DNC admits Plaintiff and all Democratic citizens of the United States have been personally injured as a result of not having a qualified Democratic Presidential Nominee to cast their votes upon.
16. The DNC admits Plaintiff and all citizens of the United States have a Constitutional Right to vote for the President of the United States and to have two (2) qualified candidates of which to choose from.
17. The DNC admits Plaintiff and all citizens of the United States have a Constitutional right to have a properly vetted Democratic Presidential Nominee of which to cast their vote.
18. The DNC admits an FBI background check is not performed on the Presidential or Vice Presidential Candidates.
19. The DNC admits the United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a natural born United States citizen.
20. The DNC admits they collected donations on behalf of Barack Hussein Obama for his Presidential campaign.
21. The DNC admits Plaintiff and Democratic citizens donated money based on false representations that Barack Hussein Obama was qualified to serve as the President of the United States.
22. The DNC admits if Barack Hussein Obama is elected as President and allowed to serve as President of the United States in violation of our Constitution, it will create a Constitutional crisis.
23. The DNC admits Barack Hussein Obama took an Oath to uphold the United States Constitution.
24. The DNC admits allowing a person who is not a natural born citizen to serve as President of the United States violates Plaintiffs rights to due process of law in violation of the United States Constitution.
25. The DNC admits allowing a person who is not a natural born citizen to serve as President of the United States violates Plaintiffs rights to Equal Protection of the laws in violation of the United States Constitution.
26. The DNC admits the function of the DNC is to secure a Democratic Presidential Candidate who will protect Democratic citizens interests, fight for their equal opportunities and fight for justice for all Americans.
27. The DNC admits the Democratic National Committee has been promoting Barack Hussein Obamas Presidential election knowing he was ineligible to serve as President of the United States.
Our website obamacrimes.com now has 50.7 + million hits. We are urging all to spread the word of our website and forward to your local newspapers, radio and TV stations. Berg again stressed his position regarding the urgency of this case as, we the people, are heading to a Constitutional Crisis if this case is not resolved forthwith.
Philip J. Berg, Esquire
555 Andorra Glen Court, Suite 12
Lafayette Hill, PA 19444-2531
Cell (610) 662-3005
(610) 825-3134
(800) 993-PHIL [7445]
Fax (610) 834-7659
philjberg@obamacrimes.com
Obama & DNC Admit All Allegations of Federal Court Lawsuit - Obamas Not Qualified to be President
Obama Should Immediately Withdraw his Candidacy for President
For Immediate Release: - 10/21/08 - Complete contact details and pdfs of this press release and motions filed by plaintiff Berg today are at the end of this article
(Lafayette Hill, Pennsylvania 10/21/08) - Philip J. Berg, Esquire, the Attorney who filed suit against Barack H. Obama challenging Senator Obamas lack of qualifications to serve as President of the United States, announced today that Obama and tbe DNC ADMITTED, by way of failure to timely respond to Requests for Admissions, all of the numerous specific requests in the Federal lawsuit. Obama is NOT QUALIFIED to be President and therefore Obama must immediately withdraw his candidacy for President and the DNC shall substitute a qualified candidate. The case is Berg v. Obama, No. 08-cv-04083.
Berg stated that he filed Requests for Admissions on September 15, 2008 with a response by way of answer or objection had to be served within thirty [30] days. No response to the Requests for Admissions was served by way of response or objection. Thus, all of the Admissions directed to Obama and the DNC are deemed ADMITTED. Therefore, Obama must immediately withdraw his candidacy for President.
OBAMA - Admitted:
1. I was born in Kenya.
2. I am a Kenya natural born citizen.
3. My foreign birth was registered in the State of Hawaii.
4. My father, Barrack Hussein Obama, Sr. admitted Paternity of me.
5. My mother gave birth to me in Mombosa, Kenya.
6. My mothers maiden name is Stanley Ann Dunham a/k/a Ann Dunham.
7. The COLB [Certification of Live Birth] posted on the website Fightthesmears.com is a forgery.
8. I was adopted by a Foreign Citizen.
9. I was adopted by Lolo Soetoro, M.A. a citizen of Indonesia.
10. I was not born in Hawaii.
11. I was not born at the Queens Medical Center in Hawaii.
12. I was not born at Kapiolani Medical Center for Women and Children in Hawaii.
13. I was not born in a Hospital in Hawaii.
14. I am a citizen of Indonesia.
15. I never took the Oath of Allegiance to regain my U.S. Citizenship status.
16. I am not a natural born United States citizen.
17. My date of birth is August 4, 1961.
18. I traveled to Pakistan in 1981 with my Pakistan friends.
19. In 1981, I went to Indonesia on my way to Pakistan.
20. Pakistan was a no travel zone in 1981 for American Citizens.
21. In 1981, Pakistan was not allowing American Citizens to enter their country.
22. I traveled on my Indonesian Passport to Pakistan.
23. I renewed my Indonesian Passport on my way to Pakistan.
24. My senior campaign staff is aware I am not a natural born United States Citizen.
25. I am proud of my Kenya Heritage.
26. My relatives have requested changes to the portion of my birth certificate that identifies my first name.
27. My relatives have requested changes to the portion of my birth certificate that identifies my last name.
28. My relatives have requested changes to the portion of my birth certificate that identifies my place of birth.
29. I requested changes to the portion of my birth certificate that identifies my first name.
30. I requested changes to the portion of my birth certificate that identifies my last name.
31. I requested changes to the portion of my birth certificate that identifies my place of birth.
32. The document identified as my Indonesian School record from Fransiskus Assisi School in Jakarta, Indonesia is genuine.
33. I went to a Judge in Hawaii to have my name changed.
34. I went to a Senator and/or Congressman or other public official in Hawaii to have my name changed.
35. I had a passport issued to me from the Government of Indonesia.
36. The United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a natural born United States citizen.
37. I am ineligible pursuant to the United States Constitution to serve as President and/or Vice President of the United States.
38. I never renounced my citizenship as it relates to my citizenship to the country of Indonesia.
39. I never renounced my citizenship as it relates to my citizenship to the country of Kenya.
40. I am an Attorney who specializes in Constitutional Law.
41. Kenya was a part of the British Colonies at the time of my birth.
42. Kenya did not become its own Republic until 1963.
43. I am not a Naturalized United States Citizen.
44. I obtained $200 Million dollars in campaign funds by fraudulent means.
45. I cannot produce a vault (original) long version of a birth certificate showing my birth in Hawaii.
46. My vault (original) long version birth certificate shows my birth in Kenya.
47. The only times I was to a Hospital in Hawaii was for check-ups or medical treatments for illnesses.
48. Queens Medical Center in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
49. Kapiolani Medical Center for Women and Children in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
50. I was born in the Coast Province Hospital in Mombasa, Kenya.
51. I represented on my State Bar application in Illinois that I never used any other name other than Barack Hussein Obama.
52. I went by the name Barry Soetoro in Indonesia.
53. My Indonesian school records are under the name of Barry Soetoro.
54. I took an Oath to uphold the United States Constitution when admitted to the State Bar of Illinois to practice Law.
55. I took an Oath to uphold the United States Constitution when I was Sworn into my United States Senate Office.
56. I hold dual citizenship with at least one other Country besides the United States of America.
DNC - Admitted:
1. The DNC nominated Barrack Hussein Obama as the Democratic Nominee for President.
2. The DNC has not vetted Barrack Hussein Obama.
3. The DNC did not have a background check performed on Barrack Hussein Obama.
4.The DNC did not verify Barrack Hussein Obamas eligibility to serve as President of the United States.
5. The DNC admits Barrack Hussein Obama was born in Kenya.
6. The DNC admits Barrack Hussein Obama is not a natural born United States citizen.
7. The DNC admits Barrack Hussein Obama was not born in Hawaii.
8.The DNC admits they have not inquired into Barrack Hussein Obamas citizenship status.
9. The DNC admits they have a duty to properly vette the Democratic Nominee for President.
10.The DNC admits Lolo Soetoro, M.A., an Indonesian citizen adopted Barrack Hussein Obama.
11. The DNC admits the Credentials Committee has been aware of this lawsuit since August 22, 2008 as the lawsuit was faxed to our Washington D.C. Office on August 22, 2008.
12. The DNC admits their Credentials Committee failed to verify and/or inquire into the credentials of Barack Hussein Obama to serve as the President of the United States.
13. The DNC admits their Credential Committees Report failed to address the issues of Barack Hussein Obamas ineligibility to serve as President of the United States.
14.The DNC admits Howard Dean, Chair Person has and had knowledge Barack Hussein Obama was born in Kenya and ineligible to serve as the President of the United States.
15. The DNC admits Plaintiff and all Democratic citizens of the United States have been personally injured as a result of not having a qualified Democratic Presidential Nominee to cast their votes upon.
16. The DNC admits Plaintiff and all citizens of the United States have a Constitutional Right to vote for the President of the United States and to have two (2) qualified candidates of which to choose from.
17. The DNC admits Plaintiff and all citizens of the United States have a Constitutional right to have a properly vetted Democratic Presidential Nominee of which to cast their vote.
18. The DNC admits an FBI background check is not performed on the Presidential or Vice Presidential Candidates.
19. The DNC admits the United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a natural born United States citizen.
20. The DNC admits they collected donations on behalf of Barack Hussein Obama for his Presidential campaign.
21. The DNC admits Plaintiff and Democratic citizens donated money based on false representations that Barack Hussein Obama was qualified to serve as the President of the United States.
22. The DNC admits if Barack Hussein Obama is elected as President and allowed to serve as President of the United States in violation of our Constitution, it will create a Constitutional crisis.
23. The DNC admits Barack Hussein Obama took an Oath to uphold the United States Constitution.
24. The DNC admits allowing a person who is not a natural born citizen to serve as President of the United States violates Plaintiffs rights to due process of law in violation of the United States Constitution.
25. The DNC admits allowing a person who is not a natural born citizen to serve as President of the United States violates Plaintiffs rights to Equal Protection of the laws in violation of the United States Constitution.
26. The DNC admits the function of the DNC is to secure a Democratic Presidential Candidate who will protect Democratic citizens interests, fight for their equal opportunities and fight for justice for all Americans.
27. The DNC admits the Democratic National Committee has been promoting Barack Hussein Obamas Presidential election knowing he was ineligible to serve as President of the United States.
Our website obamacrimes.com now has 50.7 + million hits. We are urging all to spread the word of our website and forward to your local newspapers, radio and TV stations. Berg again stressed his position regarding the urgency of this case as, we the people, are heading to a Constitutional Crisis if this case is not resolved forthwith.
Philip J. Berg, Esquire
555 Andorra Glen Court, Suite 12
Lafayette Hill, PA 19444-2531
Cell (610) 662-3005
(610) 825-3134
(800) 993-PHIL [7445]
Fax (610) 834-7659
philjberg@obamacrimes.com