Dear [ Jewish Board of Family and Children Services, JBFCS ]: An American Constituent is seeking settlement, recovery of damages and relief due to incitements of grievances/causation of action whereas defendant is liable and responsible, Defendant: [The Jewish Board : 135 W 50th Street
New York, NY 10020]
An American Constituent Demands Settlement, under penalties of perjury, to the best of his ability; pursuant to:
Cause and Necessity:
More Information/General Index, To be Produced Upon Request granted reasonable cause and need for provisional supplementation, subject to nonnegotiable associated fees
Constitutional Order:
All Rights Reserved.
More Information/General Index, To be Produced Upon Request granted reasonable cause and need for provisional supplementation, subject to nonnegotiable associated fees
Supreme Rule of Law:
As subjected
More Information/General Index, To be Produced Upon Request granted reasonable cause and need for provisional supplementation, subject to nonnegotiable associated fees
Status(es) with respective jurisdiction:
As of 1/25/2022 irrevocably, all rights reserved
More Information/General Index, To be Produced Upon Request granted reasonable cause and need for provisional supplementation, subject to nonnegotiable associated fees
Capacities of the Petitioning, as of February 1st 2022;
All rights reserved
More Information/General Index, To be Produced Upon Request granted reasonable cause and need for provisional supplementation, subject to nonnegotiable associated fees
Settlement: SEE ATTACHED
Amount: 25 Million US Dollars (25,050,000.22)
Executive Order to Resident Facility, mandating compliance: JBFCS Kaplan House, 74 Saint Marks Place, 2nd Floor, New York, NY
All rights reserved