Wednesday, March 19, 2008
SCROLL TO BOTTOM FOR AUDIO RECORDINGS OF NEW JERSEY CORRUPTION
Posted by Cindy Feiler Jampel at 8:56 AM 0 comments
Cynthia Jampel's Letter to Judge Accurso: March 19, 2008
Posted by Cindy Feiler Jampel at 7:08 AM 0 comments
HELLO, MR FRANCO,ESQ. YOU'RE NOT A PARTY TO THIS ACTION,BUT I'M SO HAPPY THAT YOU SUBPOENAED MY BANK ACCOUNT...
IT ONLY PROVES THAT ONE OF US IS NOT A LIAR
CAN YOU EVER TELL THE TRUTH?
Cynthia Jampel
3308 French Drive
Bridgewater, New Jersey 08807
Brian Cige, Esq
7 East High Street
Somerville, New Jersey
08876
Norman Tauger
8301 Summit Way Superior Court Of New Jersey
Watchung, New Jersey Somerset County Superior Court
07069 Law Division
Telephone: (908) 393 4300
Cynthia Jampel
Plaintiff, pro se
V.
Norman Tauger
Defendant, pro se
Re: Docket No: L-481-07
March 15, 2008
Dear Honorable Judge Accurso,
The undersigned is Plaintiff, pro se in the above referenced matter.
Since the last appearance before the court on February 1, 2008, defendant Norman Trauger was named, with others including the undersigned, as a party defendant in a foreclosure suit instituted by the Bank of New York, et al. Attached please find a copy of the foreclosure complaint with no mention of Robert and Randi Kern Franco as an interested parties other than, at best, a veiled reference to an “unknown tenant.”
Mr. Franco’s entry into this matter was driven by his assertions to the court that his close relationship with Mr. Trauger spawned a contractual interest in the subject property and that the undersigned’s alleged interest in the property which resulted in a judicial lien ordered and since stayed by this court, was the work of misrepresentation and manipulation.
Because of Mr. Franco’s close association with Mr. Trauger, it is reasonable to believe that Mr. Franco received a copy of the foreclosure complaint from his friend. If, indeed, Mr. Franco has a bona fide interest in the subject property, now is the time for Mr. Franco to re-enter the instant litigation and also advise the plaintiff bank in the foreclosure suit.
Finally, it would appear that the two matters should be consolidated for judicial expediency. As a pro se litigant, I’m not sure who has the obligation to apply for consolidation.
Respectfully submitted,
Cynthia Jampel
Cc: Robert Franco, Esq (by certified mail)
55 Madison Ave.
Morristown, New Jersey
07960
Brian Cige, Esq
7 East High Street
Somerville, New Jersey
08876
Posted by Cindy Feiler Jampel at 2:15 AM 0 comments