ALERT!   WARNING !


ORDERS TO JAIL ELOISA  FROM DECEMBER 10 2008 TO JANUARY 6,2008  
         

LATEST HARASSMENT  AND INTIMIDATION OF WELLER ON ELOISA
DECEMBER 3, 2008 AND DECEMBER 10, 2008 ORDERS TO JAIL ELOISA FOR 20 DAYS

After Judge Weller had given to my husband 95% of our accumulated assets during the marriage in his
February 22,2008, Finding of Facts and Decree THAT HAS VIRTUALLY LEFT ELOISA WITH NO CASH
ASSETS.


THE LATEST HARASSMENT FROM JUDGE WELLER ARE TWO  (2) ORDERS FROM WELLER TO
INCARCERATE ELOISA  20 DAYS IN JAIL:  FOR ELOISA TO SURRENDER TO THE WASHOE  JAIL TO
SERVE  TWO 10 DAYS OF JAIL SENTENCES.



1)    THE DECEMBER 3,2008 ORDER WAS FOR FAILURE TO  REPLY TO PLAINTIFF OPPOSITION TO       
COURT MASTER RECOMMENDATION AND ORDER OF AUGUST,2008 INVALIDATING HER FIRST
ORDER TO JAIL ELOISA ON JULY24, 2008  BASED ON TRUMPED UP ALLEGATION AND A SET UP TO
AN ORDINARY EPO AFTER COURT MASTER REALIZED THAT WHAT SHE WAS BEING DICTATED TO
BY PLAINTIFF'S COUNSEL TO COMMIT  ELOISA 40 DAYS IN JAIL ON A CIVIL CONTEMPT  WAS
WRONG AND AGAINST THE LAW , AN ADMISSION OF ERROR.  PLAINTIFF OPPOSED THE ORDER I N
SEPTEMBER,2008. ELOISA WAS ORDERED TO REPLY TO THE OPPOSITION  BY NOVEMBER 10,2008
WHILE REPRESENTED BY AN ATTORNEY.  THE

ELOISA WAS INFORMED BY HER ATTORNEY  THAT A REPLY  TO THE OPPOSITION WAS NOT
NECESSARY TO BE SUBMITTED BY NOVEMBER 10,2008 AS A SETTING FOR HEARING ON THE
OPPOSITION WAS SET ON NOVEMBER 3,BY THE JUDGE FOR A HEARING IN DECEMBER 16,20THE
DECEMBER 3, 2008 ORDER FOR ELOISA TO SURRENDER TO  SERVE THE  10 DAYS JAIL
SENTENCE, INCLUDED THE ORDER TO DECLARE THE DECEMBER 16,2008 HEARING "MOOT".
ANOTHER HARASSMENT ON ELOISA TO PREVENT HER FROM SUBMITTING TO THE SUPREME
COURT THE NECESSARY  DOCUMENTS FOR HER APPEAL THAT WERE DUE DURING THE TIME
SHE WAS ORDERED TO SURRENDER AND SERVE JAIL SENTENCE.  ELOISA IS ON PROPER
REPRESENTING HERSELF IN HER APPEAL TO THE SUPREME COURT.ORDER OF  DECEMBER
10,2008 ORDER OF JUDGE WELLER, ORDER FINDING ELOISA FURER IN CONTEMPT; REQUIRING
HER ARREST."  ELOISA FURER IS REMANDED TO THE CUSTODY OF THE WASHOE COUNTY JAIL
FOR A PERIOD OF 10 (TEN) DAYS.  MS. FURER IS TO TURN HERSELF IN ON OR BEFORE JANUARY
6,2009. MRS. FURER SHALL BE RELEASED NO SOONER THAN 10(TEN) DAYS FROM THE DATE OF
HER ORIGINAL ARREST".
THIS ORDER TO COMMIT ELOISA TO JAIL IS DUE TO " MRS FURER HAS MADE CONTEMPTUOUS
STATEMENTS IN DOCUMENT RECENTLY FILED WITH THE COURT"  (SEE ORDERS HERE
EXHIBITED)


ELOISA WILL NOT SURRENDER TO THE WASHOE COUNTY JAIL. THESE ORDERS ARE INVALID AND
ILLEGAL THAT DID NOT MEET  ANY OF THE AUTHORITY OF NRS 199.350,22.010 nd 22.030. THE
CLOSEST THAT THE FINDINGS OF WELLER  THE ORDER  MAY APPLY TO,  IS  ARTICLE  NO.7
ENUMERATED  BY WELLER UNDER NRS 199.350,  
ONLY  IF  THE STATEMENTS OF ELOISA WERE
FALSE OR GROSSLY INACCURATE REPORT OF ITS PROCEEDINGS.  

IT IS THE OPINION OF ELOISA THAT JUDGE WELLER HAD REPEATEDLY  AND CONSCIOUSLY MADE  
BLATANTLY MALICIOUSLY WRONG, (ERRONEOUS) VINDICTIVE AND RACIALLY MOTIVATED
ORDERS AGAINST ELOISA,   THESE STATEMENT OF ELOISA  ARE SUPPORTED BY
DOCUMENTATIONS  OF FACTS AND EVIDENCE THROUGHOUT THE TRIAL THAT ARE
COMPREHENSIBLE BY  ORDINARY INTELLIGENCE  OF AN ORDINARY HUMAN BEING. AS TO THE  
LOGIC OF TRUTH
Exhibits
Draft of Revocable Trust Agreement (unknown date)
All about this fraudulent Trust Agreement which was only supposed to be Estate
Planning  (Link opens a separate menu page)

04-04-02 Waiver of Conflict

04-07-19 Order Denying ExParte Motion as Moot; Order to Proceed with case as
contested by Schumacker

Various Orders of Plaintiff to Transfer One Credit Suisse Account to Another

04-03-26 Equitable Distribution Mr. Furer had misrepresented this article to  Mrs. Furer-
( As her only entitlement to the Marital Assets was 15 to 20% same as article.)

04-03-15 Asset Disclosure by Plaintiff shows starting balance at Swiss and Paris Bank
before PNA -- These accounts were to maintain both Apartments.  Plaintiff closed one
account at PNB Pariba just before the PNA and withdrawn $10,000 dollars in 2006
transferred to Euro Checking account and lied to the court that the money deposited in
the Euro Checking account was his own money and was seeking reimbursement from
Mrs. Furer which the Court granted in the Decree.  Swiss account should have the
same amount as the opening balance in Jan 2004 to be reimbursed to Mrs. Furer as
the apartments monthly rental and expenses was fully covered by subleasing during
the four years of litigation.  Mr. Furer has withdrawn over 50,000 Euro from the UBS
account awarded to Mrs. Furer.  (See withdrawals of Plaintiff from UBS bank and
amount deposited by Gerax, apartment manager, to UBS account UNTIL 2008).

04-04-30 Email between Mr. Furer & Meador four days before PNA was signed a clear
proof of the conspiracy that Plaintiff had no intention to be married to Mrs. Furer after
PNA was signed.

Email communication between Andrew Furer and Counsel on a scheme to divorce
Mrs. Furer in spite of the post nuptial agreement that was clearly misrepresented

04-01-16 Letter to Mr. Furer from Meador Re Draft of MSA supposed to be PNA as
agreed.  Plaintiff Hired Counsel Before Waiver was Signed on April 04, 2004.  The
Mention of Don Ross and Trust Agreement in this Letter proves that the Trust
Agreement in 2002 was planned between Attorney's and Plaintiff in preparation for the
PNA and MSA.  This letter also confirms the plan in the email communication between
Plaintiff and Counsel on April 30, 2004


Proofs that Ms. Unsworth recommended by Shawn Meador to represent Mrs. Furer in
the PNA + MSA negotiation was at the same time represented by Meador in a Fee
dispute
-------------------------------------------------------------------------------------------------
04-03-04 Letter to Prichard & Meador from Fee Dispute Coordinator

04-08-13 Letter to Ms. Taylor from Kathleen Price

04-09-28 Letter to Matteoni from Meador

04-10-07 Letter to Meador, Unsworth & Prichard from Matteoni

04-10-29 Letter to Matteoni from Prichard

04-11-10 Letter to Meador from Matteoni
--------------------------------------------------------------------------------------------------


04-05-05 Post Nuptial Agreement

04-05-05 Memo Regarding Execution of PNA

Plaintiff pushing Defendant to sign waiver of conflict according to billing statement of
Unsworth

04-07-24 Withdrawal of Andrew from the 3 million Awarded from PNA but Mrs. Furer is
Ordered by Judge Weller to reimburse Plaintiff IN DECREE

04-07-20 Order of Transfer of 3 million to Mrs. Furer's Individual Account

04-05-05 Agreement Re Transfer of funds

04-05-17 One of the many proofs that Plaintiff is in a habit of demanding defendant
sign documents without choice.

Mrs. Furer's Communication with Unsworth before MSA


Communications Between Shawn Meador and Sandra Unsworth
--------------------------------------------------------------------------------------------
04-08-23

04-09-15

04-09-16

04-09-21

04-09-24

04-09-28

04-09-29

04-10-08

05-05-02
--------------------------------------------------------------


04-06-28 Draft of MSA that Mr. Furer approved, signed, and annotated on June 28, 2004

04-07-09 Marital Settlement Agreement

04-08-11 Amendment to MSA by Andrew Furer--This MSA Ammendment drafted by
Plaintiff was objected to by Defendant as it was full of intimidation and extortionist
demands that are against the law.

05-09-14 photos and documents were held hostage and limited were returned by
January-February 2007


Stipulated Agreements between Unsworth & Meador re Retrieval of Mrs. Furer's
personal property RENEGED by Mr. Furer for no reason at all- (Decision of Weller to
not allow Mrs. Furer to supervise is unfair)--Various letters between Unsworth and
Meador.
--------------------------------------------------------------------------------------------
04-06-30 Letter to Unsworth from Meador

04-08-10 925am email to Meador from Mr. Furer

04-08-10 948am email to Meador from Mr. Furer

04-08-11 letter to Unsworth from Meador

04-08-13 letter to Meador from Unsworth

04-08-13 letter to Unsworth from Meador

04-08-23 letter to Meador from Unsworth

04-08-25 letter to Meador from Unsworth

04-08-26 letter to unsworth from Meador

04-09-15 letter to Meador from Unsworth

04-09-16 letter to Unsworth from Meador

04-09-29 letter to Unsworth from Meador
-----------------------------------------------------------


Letters from Meador to Unsworth stating Mrs. Furer is entitled to half of community
property & guarantee of WAMU
---------------------------------------------------------------------------------------------
04-07-06 Letter of Unsworth to Meador Re Furer Dissolution

04-08-12 Letter to Unsworth from Meador

04-08-14 Letter to Unsworth from Meador

04-08-16 Letter to Unsworth from Meador to setup Wamu Stock dividend account for
taxes.

04-08-19 Letter to Unsworth from Meader to setup Account for Wamu stock.

04-09-21 Letter to Unsworth from Meador
--------------------------------------------------------------------------------------------


Analysis of Property Division Pursuant to PNA

04-07-02 Complaint for Divorce  filed by Andrew

04-08-05 Contested Complaint for Divorce filed by Andrew

04-08-20 Answer to Contested Complaint for Divorce by Mrs. Furer

04-08-17 Check of $120,120.00 to E. Furer (First Dividend Not Accepted due to invalid
PNA & MSA)

05-02-16 Letter to Simonini from A. Furer to transfer Wamu Dividend from one account
to another.

05-02-17 Letter to Puzey from Meador re 2nd Wamu Dividend tender to Mrs. Furer- No
Check tendered

05-12-02 Letter to Petroni from Meador re 3rd Wamu Dividend tender to Mrs. Furer -No
Check tendered

06-02-21 Letter to Counsel from Meador re 4th Wamu Dividend tender to Mrs. Furer- No
Check tendered

06-03-01 Letter of Marks to Meador re Tendering sum & 136,500.00

04-07-08 Letter to Drake from Mahan re Joint Petition & MSA

04-07-12 Verified Petition for Joint Summary Divorce 1

04-07-16 ExParte Motion to Dismiss Joint Petition

04-07-19 Affidavit of Randy Drake

04-07-19 Letter to Mahan from Drake re Andrew Furer seeks enforcement of PNA

04-07-20 Letter from Meador to Mahan "Therefore it is our position that we have a valid
PNA"

04-07-19 Response to ExParte Motion to Dismiss Joint Petition 1

04-07-26 Receipt from UPS to A. Furer (On Las Vegas home)--Plaintiff and his counsel
closed on Las Vegas home with Equity Title.

04-08-30 Opposition To Motion For Restraining Order

04-11-03 Order Granting Motion For Relief From Obligation To File Financial
Declaration by Schumacher.


Sale of the Incline Home
-------------------------------------------------------------------------------------------------
04-07-02 Order Denying Ex Parte Motion on Exclusive Possession by Judge Doherty-
("The Court finds that Mr. Furer has not shown a clear and grave emergency sufficient
to grant this Motion on a Exparte basis.)

05-01-07 Order of Schumacher Granting Motion to Bifucate.

04-08-03 Order Regarding Exclusive Possession Of Residence by Schumacher.

07-09-05 Motion to Authorize Andrew Furer to sell Incline Residence

07-09-10 Reply In Support Of Motion To Authorize Sale Of Incline Residence

07-09-10 Mrs. Furer's Opposition To Mr. Furer's Motion For An Order Shortening time In
Connection With Motion To Authorize Mr. Furer To Sell The Marital Home

07-09-11 Order Authorizing Sale Of Incline Residence by Weller

07-09-11 Defendant Eloisa B Furer's Opposition To Plaintiffs Motion Re Sale Of The
Marital Residence

07-09-10 Letter To Judge Weller from Mrs. Furer Re Sale of Marital Home

07-09-14 Letters To Judge Weller from Mrs. Furer Re Sale of Marital Home

07-09-18 Letter To Judge Weller from Mrs. Furer Re Sale of Marital Home

07-09-17 Deceptive Letters Of Meador RE The Sale Of Marital Home

07-09-17 Notice Of Defendants Failure & Refusal To Comply With Order Authorizing
Sale Of Incline Residence, Etc

07-09-17 Order Directing The Clerk Of The Court To Execute All Documents Required
To Complete Sale Of 949 Lakeshore Blvd, Incline Village
-------------------------------------------------------------------------------------------------


05-01-07  Order Granting Motion for Contempt by Schumacher.
(Statements of Schumacker's Order are wrong.)


Andrew Furer's objection to produce Financial documents from Credit Suisse who
holds the 80 million Assets of party
------------------------------------------------------------------------------
05-07-01 Subpoena Duces Tecum to the Custodian of Records

05-07-05 Letter to Custodian of Records from Mahan

05-07-27 Letter to Mahan from Meador

05-08-01 Letter to Custodian of Records from Meador
-------------------------------------------------------------------------------


05-01-15 Letter to Simonini from A. Furer


Communication between Meador and Pusey on another Extortionist stipulation
agreement on the retrieval of Mrs. Furer’s dropping of the battery charges against the
Plaintiff.-- After the battery case was suspiciously dropped by the DA’s office- plaintiff
had put all kinds of road blocks and cost for Mrs. Furer to retrieve her personal
property- which was kept hostage for over
05-01-18

05-02-01

05-02-01 and 05-02-02

05-02-02

05-02-07

05-02-14

05-02-15

05-02-16

05-02-17

05-02-18

05-02-23
----------------------------------------------------------------


05-04-14 Deposition of Andrew Earl Furer

05-05-18 Motion Requesting Recusal Of Judge Schumacher

05-06-03 Recusal Order of Judge Schumacher

05-07-25 Eloisa Furer's Motion For Order To Show Cause Re Contempt & Motion To
Enjoin Continuing Violations Of This Courts July 22, 2004 Order

05-08-12 Order denying Writ of Mandate by Judge Steinheimer re Battery case.

05-08-18 Excerpts Opposition from Motion to Mrs. Furer's Motion for Interim Support
filed August 18,2005 --Proof that Mrs. Furer is entitled to WAMU dividend since 2004 -
February 2008

05-09-07 Orders, including Order that Discovery is stayed-then Judge Weller
disallowing further discovery by Mrs. Furer

05-10-07 Eloisa Furer's Opposition To Consolidate Proceeding On TPO, ET. AL.


Side Agreements between Mrs. Furers Attorney Petroni & Meador re photographs in
exchange for some extortionist demands without Mrs. Furers knowledge
-------------------------------------------------------------------------
06-01-25 Letter to Marks & Petroni from Meador

06-02-17 email between Meador & Petroni

06-02-23 Draft Order by Meador
--------------------------------------------------------------------------


06-02-21 Letter to Counsel of Mrs. Furer from Meador re Dividend

06-02-14 Order to Disqualify Meador from Representing Plaintiff On 2nd Phase Trial
Then Allowed back by Weller for 3rd Phase Violating his own order.

06-02-28 BNP Bank Statement proving that Plaintiff had lied to court in his statement
that he has sent ten thousand dollars as and advance to Mrs Furer

Summary of items of money advanced on behalf of Mrs. Furer

1996 Taped conversation --Another fraud of Mr. Furer this taped conversation never
existed.

07-03-02 Affidavit of Michael Bosma, CPA

06-03-17 Opposition of Defendant Eloisa Besada Furer to Plaintiffs Notice of Correction
of Record--Plaintiff filed a correction of record on Mrs. Furer's opposition to Mahan's
Lien Motion.  Plaintiff reacted to Mrs. Furer's truthful disclosed statements which
involves Plaintiff.

06-03-23 Order by Weller Prohibiting In Proper Person Filings of Mrs. Furer--This
Resulted in Mrs. Furer's Filing Opposition to Plaintiffs Fugitive Opposition Motion.


Substitutions of Attorneys --Reason why Judge should not have ordered Eloisa not to
file motion when represented  by attorney in separate issued than divorce
------------------------------------------------------------------------------------------------------
05-12-14 Substitutions of Attorneys Mrs. Furer in proper for lien issue.

07-02-07 Motion to withdraw after Mrs. Furer fired Mr. Marks due to filing of Joint Briefs
unauthorized by Mrs. Furer

07-02-09 Mrs. Furer firing Mr. Marks after he filed the unauthorized Joint Brief stating
not positions of Mrs. Furer
-------------------------------------------------------------------------------------------------------


06-04-12 Transcript of Proceedings Vol 3

06-04-14 Order on the $112,500. Monthly spousal support

06-09-26 Order Allowing Mr. Furer to buy $2,338,000 Home plus $500,000 In
redecoration when a mutual financial restraining order was in effect.  Judge Weller
lifted financial restraining Order on Feb 22, 2008 Decree. "Mr. Furer may title the new
home in the manner he elects" "Mrs. Furer is required to execute a Quit Claim Deed in
relation to Mr. Furer's new home and to sign any other document necessary to
complete the purchase"  Mrs. Furer asked for renovation fund for the Paris Apartment
which was in the process of renovation December 2003-- Paris apartment is
inhabitable, Weller denied this Motion of Mrs. Furer.

04-07-22 Financial Restraining Order by Shumacher

06-11-14 Order on Invalidity of the PNA and Validity of MSA

06-12-08 Objections To Proposed Order Following Status Conference by Mrs. Furer

06-12-20 Amended & Restated Mutual Restraining Order--Judge Weller extended
Restraining Order imposed by Schumacker on Mrs. Furer in December 2005,
(Extended by Weller illegally to another year)

06-12-20 Order Following Status Conference

06-12-22 Statement Of Unresolved Issues--Submitted by Mrs. Furer's attorney to be
issues for 3rd phase.  Judge Weller sanction Mr. Marks- $7504.50 paid by Mrs. Furer
according to Feb 22, 08 Decree.

07-01-19 Telephonic Hearing of Records-- Judge Weller had sanctioned Mr. Marks for
filing Unresolved Issues for 3rd phase.

07-01-24 Substitution Of Attorneys (Marks & Petroni)--This was suggested to Mrs.
Furer  by MARKS so Mrs. Furer can appear proper on Mahan's Attorney lien.

07-01-25 Hearing-Transcript of Proceedings

07-02-02 Joint Brief Regarding Issues In Phase III Of Litigation, Stipulation Re
Discovery, Briefing & Trial & Order--Filed by Mrs. Furer's Attorney under Vehement
protest of Mrs. Furer as positions taken was not Mrs. Furer's position.  This caused the
firing of said Attorney.

07-08-03 Mrs Furer's Amended motion on parties respective rights and obligations
under the MSA

07-07-24 Motion to strike Mrs. Furer on parties respective rights and obligations under
the MSA

07-02-09 Substitution Of Attorneys (Daniel Marks)--Mrs. Furer fired her Attorney for
filing Joint Brief with Plaintiffs Counsel stating positions not position of Mrs. Furer.

07-02-07 Defendants Emergency Motion To Allow Supplementation Of Joint Brief Re
Issues In Phase III Of Litigation, Stipulation Re Discovery,Briefing & Trial Order filed by
Mrs. Furer improper--Stricken by Weller on the pretense that the filing will hurt
Defendant.

07-02-16 Notice Of Non-Filing Of Brief Re Phase III Issues By The Law Office Of Daniel
Marks

06-12-22 Statement of Unresolved issues

07-02-14 Defendants Emergency Motion To Allow Amendment Of Joint Brief Re Issues
In Phase III Of Litigation Stipulation Re Discovery, Briefing & Trial& Order--Stricken by
Judge, Defendant in proper person


Letters of Mrs. Furer Re filing of unauthorized Joint Brief with Plaintiff and his failure to
state defendants true position about the agreements.
---------------------------------------------------------------------
06-02-25 Letter to Mr. Marks

07-01-31 Letter to Mr. Marks

07-02-01 1st Letter To Mr. Marks

07-02-01 2nd Letter To Mr. Marks

07-02-02 1st Letter To Mr. Marks

07-02-02 2nd Letter To Mr. Marks

07-02-02 3rd Letter To Mr. Marks

07-02-02 Letter To Mrs. Furer from Mr. Marks

07-02-03 Letter To Mr. Marks
----------------------------------------------------------------------


07-03-19 Order regarding Motion to Strike and imposition of sanctions and order to
show cause why Mrs. Furer should not be held in contempt of Court

07-03-26 Opposition to plaintiffs motion for sanctions and countermotion for sanction
pursuant to NRCP 11

07-04-05  Defendants Memorandum For Evidentiary hearing

07-04-12 Telephonic Hearing-Transcript of Proceeding
(One of the hearings where Weller was asking Mrs. Furer to stipulate on a Divorce
before property settlement)--See hearing tapes April 09th and April 30th 2007

07-04-13 Order Striking Defendant's Emergency Motions on the Joint Brief filed by Mr.
Marks of February 7 & 14th--By Judge Weller, Defendant filed in Proper.

07-04-25 Opposition to Plaintiff's Second Motion for sanctions for nonappearance at
April 2, 2007 Deposition

07-05-30 Reply to Opposition to Motion for permission to amend Joint Brief regarding
issues in phase III of Litigation

07-06-26 Order Impossing Sanctions


Mrs. Furer had TIA.   Mrs. Furer should not have been sanctioned for not showing up
on the March 6, 2007 deposition.  The documents were sent to the Court and Plaintiff
and Opposition to Sanction was filed.
-----------------------------------------------
Mrs. Furer had TIA

Hospital bills submitted to Court
-----------------------------------------------


07-06-27 Order Regarding Hearing On Rule 11 Sanctions

07-07-05 Pre Trial Hearing for 3rd phase --Division of Property

07-07-06 ExParte Motion by Plaintiff to Judge Weller Re 3rd Phase trial

07-07-26 Affidavit of fees and costs pursuant to Order imposing sanctions of June 26,
2007

07-08-03 Opposition to Mrs Furer's Amend motion on parties respective rights and
obligations under the MSA ETC

Various harassing communications from Shawn Meador
------------------------------------------------------------------------------------
07-08-13 Letter of Meador to Mrs. Furer

07-08-28 Letter of Meador to Henrat And Garin

07-09-10 Letter of Meador to Mrs. Furer

07-09-24 Letter of Meador to Mrs. Furer

07-11-05 Letter of Meador to Mr. Lueck

07-11-07 Letter of Meador to Ms. Cho

07-11-21 Letter of Meador to Mr. Lueck

07-11-30 Letter of Meador to Mr. Lueck & Ms. Cho

07-12-06 Letter of Meador to Mr. Lueck & Ms. Cho

07-12-18 Letter of Meador to Mr. Lueck

07-12-19 Letter of Meador to Detective Meister in Reno

07-12-19 Letter of Meador to Las Vegas Police Department

07-12-20 Letter of Mrs. Furer to Judge Weller

07-12-21 Letter of Jarien Cho to Detective Meister
------------------------------------------------------------------------------------


07-08-24 Mrs. Furer Reply To Opposition Motion Of Mr. Furer To Strike, etc Request For
Fees

07-09-19 Defendants reply to Mr. Furer's frivolous second opposition to defendants
Motion to Strike Mr. Furer's affidavit of fees and cost

07-11-13 ExParte letter from Meador to influence clerk Amber Caufield on the Nov 14,
2007 Order

05-07-29 and 07-04-30 Exparte Communication by Plaintiffs Counsel with the Court for
special favors

07-11-14 Order Authorizing Management Of Investment Wealth--The same Motion was
filed by Plaintiff in April 2007, withdrawn when Judge Weller was willing to make Mrs.
Furer manage her own assets.


Plaintiff violating court Order re TAX ISSUES
----------------------------------------------------------------
07-11-19 Letter of Demakas to Meador

07-11-27 Letter of Meador to Demakas

07-11-28 Letter of Jarien Cho to Meador
----------------------------------------------------------------


07-11-26 ExParte Application For Order Shortening Time--Re Court Order of Nov 14,
2007 authorizing the parties to manage the wealth respectively awarded to them under
the MSA.  In Effect authorizes Plaintiff to manage Mrs. Furer's assets as well as his
own.


Letters to Mr. Lueck from Mrs. Furer after Feb 22, 2005 Decree on Mrs. Furer
dissatisfaction with the way Mr. Lueck handled his opposition to the Decree of Feb 22,
2005
----------------------------------------------------------
07-11-29 Letter

07-11-29 2nd Letter

08-05-02 Letter

08-05-13 Letter

08-05-14 Letter
----------------------------------------------------------


07-12-17 Letter of Meador warning Mrs. Furer of the coming Biased decision of Weller
he knew before hand


Mrs. Furer Letters To Credit Suisse re Transfer Of Her WAMU Shares To Her Name
--------------------------------------------------------------------
07-11-27 Letter to Mr. Lueck from Meador

07-12-04 Letter from Mrs. Furer to Simonini

08-04-07 Letter from Mrs. Furer to Simonini

08-09-20 Letter from Mrs. Furer to Credit Suisse

08-09-22 email from Credit Suisse to Mrs. Furer

08-04-07 Letter bet. Simonini & E. Furer re holding of 245,000 Wamu shares

08-04-07 Letter to Simonini from A. Furer re transfer of all assets
----------------------------------------------------------------------


08-01-25 Plaintiff wanted Judge Weller signature on the release of my Interim support--
If Weller signed this, My Interim support would have been signed--Is Weller now privy
to parties accounts?

07-07-07 Defendant's Proposed Order on Finding of Facts and Decree

07-08-03 Mrs. Furer's Amended Motion on Parties Respective Rights and Obligations
Under the MSA

07-08-03 Submission of Defendant's Proposed Findings and Order by Eloisa B. Furer--
Proposed Finding of Facts

07-26-07 Finding of Facts Conclusion of Law and Decree of Divorce by Meador

08-02-22 Findings of Facts, Conclusions of Law & Decree of Divorce "FINAL
DECISION" By Weller--This Decree was written by Plaintiffs Attorney signed by Weller.

07-03-06 Exparte communication by Plaintiff Counsel with the Court

08-02-28 Letter to Mr. Lueck from Meador re Decree of Divorce

08-02-28  Notice of Appeal of Plaintiff to the Supreme Court on all Financial Matters
awarded to Mrs. Furer during this Litigation

08-02-29 Letters of Mrs. Furer to Ms. Cho and Mr. Lueck

08-03-06 Motion To amend or Alter The Findings and Judgment Pursuant to NRCP 52(b)
&58(e)

08-03-07 Letter to Mr. Lueck fr Mr. Robison re request to transfer asset to Plaintiff's
account asking defendant to execute to facilitate request

08-03-07 Motion For Remand by Defendant

08-03-14 Letter to Judge Weller From Robison re Decree of Divorce

08-03-14 Letter to Julius from A. Furer re transfer of assets

08-03-17 Sale of Mrs. Furer 69,000 Shares of WAMU stock to meet $2.8 million in illegal
sanctions by Weller.

08-03-25 Motion for Stay Pending Appeal filed by Defendant

08-03-25 Motion for Stay Pending Hearing On Defendants Motion to Alter and Amend
Finding of Facts and Conclusion for Law

08-03-25 Motion for Partial Stay of Enforcement-- The argument of Plaintiff is an insult
to this Court and to me, which stated-"Mr. Furer's ability to pay these damages is so
plain that posting a bond in addition to securing the 245,000 shares of stock (MY
STOCK NOT MR. FURER) undoubtedly, be a waste of money- Mr. Furer's situation is by
no means precarious this factor is really irrelevant to this case".

08-03-26 Letters Between counsels Meador, Robison, & Fitting

08-04-16 Letter of Meador to Mr. Lueck on WAMU Dividend

08-04-22 Order Granting Motion For Partial Stay Of Enforcement Of Judgment Pending
Appeal

08-04-22 Motions & Orders re Transfer of Property-- Motions and Orders where
contempt was recommended by Plaintiff to Court including incarceration for alleged
non compliance of the Decree

08-04-25 Order Denying Eloisa Furer's Motion To Amend Or Alter The Findings Of Fact
& Judgment Pursuant to NRCP 52(b)&59(e)& Her Motion For New Trial

08-05-08 Motion to Associate Out of State Counsel (Filed May 8, 2008 -Denied July 11,
2008 by Judge Weller)

08-05-08 Motion to Release Hold On Defendant's Funds

08-05-22 Letter of Meador to Lueck re E. Furer interest in assets

08-05-23 Letter of Robison To Fitting re Opposition

08-05-23 Notice of Appeal to SC of E. Furer From Findings of Fact

08-05-23 Request For Submission of Motion

08-05-23 Substitution of Attorney--Mrs. Furer was forced to do this after Robert Lueck
filed to withdraw from case.

08-05-27 Letter of Meador to Fitting & Lueck re Final Transfer

08-06-04 Notice Of Errata With Respect To Opposition To A. Furer

08-07-01 Motion to Enforce Decree or, in the Alternative, Motion to hold Eloisa Furer in
Contempt of Court for failing to comply with Decree

08-07-08 Deposition of Mr. Lueck  as a result of his secret telephone calls to Judge
Weller& Robison based on his SPECULATION THAT MRS. FURER WAS GOING TO KILL
JUDGE, PLAINTIFF& MEADOR--In this Deposition Mr. Lueck can not now recall a lot of
things.  Mr. Lueck also concluded Mrs. Furer has Emotional Problem.

08-07-11 Order Granting Joint Motion to withdraw As Attorneys

08-07-11 Order Setting Aside Premature Submission re Out of State Counsel

08-07-11 Order Granting withdrawal of Attorneys for SC appeal leaving Mrs. Furer
without appeal lawyers

08-07-11 Order to Strike Association Out of State Counsel supposed to represent Mrs.
Furer for other issues not Supreme Court appeal

08-07-14 Motion To Withdraw as Counsel For The Respondent Lueck

08-07-15 Motion To Withdraw as Counsel For The Appelant



This motion with the exhibits attached will show and prove that all the  allegations
against Eloisa are all a set up by Andrew and his attorneys in retaliation of Andrew's
going to jail for the battery of his 67 years old wife.
See the Sheriff's file of June 29,2004, where a "MALE" had called Sheriff's office about
a "suicidal female". The male voice apparently called the parties son who was trying
to get food at the Hyatt when the "Male voice had called him to go home open the
door for the Sheriffs.  Sheriffs and son found Eloisa sound asleep in their bedroom.
The Male caller was Andrew who was at MOTEL 6 (SEE MOTEL BILL) WITH ONE OF
THE WOMAN ANDREW HAD INVITED TO THE MARITAL HOME I6 HOURS THE
FRAUDULENT POST NUPTIAL AGREEMENT WAS SIGNED. THE "MALE" caller was
unhappy that Eloisa was found asleep.. Male caller then called  son ALEXANDER, call
sheriff's again to tell them his mother bought a gun. Eloisa was FORCED TO GO TO
THE HOSPITAL FOR EVALUATION. NO GUN WAS FOUND NOR PURCHASED BY
ELOISA. SHERIFFS TOLD ELOISA THAT AN AMBULANCE WAS TO TAKE HER TO THE
HOSPITAL. ELOISA REFUSED TO GO TO HOSPITAL. SHERIFF'S TOLD HER THAT SHE
WILL BE HANDCUFFED IF THEY TAKE THEM TO HOSPITAL AND SHE HAD NO
CHOICE. ELOISA WAS SCARED AND AGREED TO GO WITH AMBULANCE WHO WAS
ALREADY ON STAND BY AT "JUANITA" next street from home.  ANDREW WANTED
"DOCUMENTATION THAT WIFE HAD BEEN TAKEN TO HOSPITAL FOR HIS ALLEGED
WIFE TO BE SUICIDAL AND HAD A GUN" THE HOSPITAL BILL OF OVER $2,000 WAS
NOT PAID BY ANDREW UNTIL NOW.  WE HAD JOINT HEALTH INSURANCE WHEN THE
HOSPITALIZATION "FOR EVALUATION"
OCURRED. BEING THE PATIENT,THE HOSPITAL IS BILLING ELOISA,WHICH ELOISA IS
OF COURSE REFUSING TO PAY.  THIS BILL WAS REPORTED TO CREDIT BUREAU,
MAKING A MARK ON ELOISA'S CREDIT REPORT.

SEE ALSO FILING OF ANDREW'S DETECTIVE,JOE MARTIN, A FORMER SHERIFF
OFFICER,  WITH SHERIFF'S OFFICE. JOE MARTIN WROTE  A STATEMENT ON AUGUST
19,2005 WHILE HE WAS STAYING AT THE MARITAL RESIDENCE WHEN ANDREW WAS
IN TAHITI WITH HIS THEN NEW FOUND GIRL, A 54 YEAR OLD THREE TIMES
DIVORCEE, FORMER PAROLE OFFICER IN RENO, A FORMER SECURITY GUARD AT A
BANK( FROM AGAIN THE INTERNET) AND HER AFRO AMERICAN  18 YEAR OLD
DAUGHTER.

THE FILING OF THE DETECTIVE STATED THAT AN ORIENTAL WOMAN'S  VOICE WAS
SREEMING AT THE GATE OF THE MARITAL RESIDENCE TO ASK SOMEONE TO "OPEN
THE GATE, IT IS MY HOME". THIS REPORT  WAS NOT HOWEVER FILED WITH THE
SHERIFF'S OFFICE UNTIL AUGUST 28,2005 WHEN JOE MARTIN HAD CALLED THE
SHERIFF'S OFFICE TO COME TO THE MARITAL RESIDENCE AS HE HAD A COMPLAINT
TO FILE. THIS AGAIN IS A MALICIOUS FILING OF AN EVENT THAT DID NOT OCCUR.
THERE IS AN AFFIDAVIT THAT MRS. FURER WAS SOMEWHERE ELSE, NOT IN THE
VICINITY OF THE MARITAL HOME.
 A NOTE  IS ATTACHED TO THE FILE OF JOE
MARTIN AT  THE SHERIFF'S OFFICE "DO NOT PRODUCE".
-----------------------------------------------------------------------------------------------l
08-07-22 Motion to Supplement Opposition to Plaintiffs Motion to Show Cause with
Exhibits To Show various Punishable Contempts of Mr. Furer

Affidavit of Eloisa and points and authorities explaining exhibits below

Exhibit A1 proof that Mr. Furer was meeting with trust attorney since 1999 to May 19,
2002 without Mrs. Furers knowledge.

Exhibit A email between Mr. Furer & Meador April 30, 2004 the plan and scheme of
plaintiff and his attorney 5 days before PNA was signed.

Exhibit B Hotel reservation plan to invite women after PNA was signed on May 5th
while Mrs. Furer was asked to look for a house in Las Vegas (cancelled when PNA
signing was moved from May 2nd to May 5th).

Exhibit C1, C2, and C3 (3 hour Tel conversation with woman plaintiff invited to the
house after PNA was signed, Round trip airline ticket for women invited to marital
home 16 hours after PNA was signed when Mrs. Furer was in Las Vegas, Addresses
and telephone numbers of woman invited to marital home after PNA was signed

Various Credit card expenses on Women other than Mrs. Furer right after the singing
of the PNA.

Exhibit D Deposition of Mr. Furer look at page 34 number 8 Andrews statement is
contrary to purpose of PNA, refer to PNA signed May 5th 2004.

Exhibit E (PNA)

Exhibit F June 30, 2004 Mr. Furer incarcerated for Battery on Wife

Exhibit G- H 1,2,3,4,5 Pattern of Mr. Furer's filing of Fraudulent reports against Mrs.
Furer in Court and Sheriffs Office from 2004

Exhibit I Opposition to Motion to Restraining Order

Exhibit J Fraudulent Court filing re alleged 139 telephone messages left by Mrs. Furer
in Mr. Furer's Cellphone from June 30, 2004 to August 5 2004

Exhibit K2 Continuation of Fraudulent Court filings from Exhibit J1

Exhibit K3 Mr. Furer's Cellphone bill June 22- July 22, 2004

Exhibit L February, 2008 cellphone bill statement of Eloisa that she was not in Reno in
Feb 2008

Exhibit M Objection to proposed Order ff Status conference Dec 8, 2006

Exhibit N Sept 12, 2007 Order of Judge Weller to sell Marital Home, Conflicting and
untruthful letter from Plaintiff to defendant and related documents

Exhibit O, Order Denying motion to permit storage of Mrs Furer's personal property
violated by Plaintiff

Exhibit P August 24, 2007, Adverse Party Objection, Request for consideration and
stay of TPO

Exhibit Q Example of serial violations by Plaintiff on several court orders

Exhibit R Another lie of Plaintiff to Court but was not sanctioned again by Weller

Exhibit S Few Examples of harassment too many to show here
-------------------------------------------------------------------------------------------


08-07-30 Motion why Adverse Party should not be held in Contempt and a Warrant
issued for her arrest.

08-07-30 Objection to District Court Master Carole Cooke's Finding of Facts

08-07-30 Request for Submission re Adverse party ExParte emergency motion for
hearing


Intimidation & reprimand letters from Plaintiffs Attorney re Objection to District Court
Carol Cooke's Findings of Fact,Conclusions of Law & Recommendation for Sanctions
announced orally at Hearing on July 24, 2008
--------------------------------------------------------------
08-07-30 Letter from Meador to Mr. Fitting

08-08-07 letter from Robison to Mr. Fitting
--------------------------------------------------------------


08-08-13 Adverse Party's Firearm Declaration

08-07-08 Extended Protection Order Against Domestic Violence

08-05-19 order to show cause. should be next to July 24,08 documents

08-07-11 Another Weller's Order reversing himself to Plaintiffs Motion Violating Mrs.
Furer's Constitutional Right to Bear Arms based on Trumped up Allegations

08-07-11 In relation to Ammended order of Weller-- Interview summary of William
"Bill" Carey Summy III,  third husband of Earlene Douglas showing Douglas' mean  
and vindictive character that can endanger Mrs Eloisa Furer's life.  Ms. Douglas had
written several notes about the divorce, some  were  quoted in Plaintiff's motion.  It
was Douglas note that states " if she spends $2,000.00 on her car tires and breaks, her
car problem is solved or over."  This was when Eloisa's attorney had asked Plaintiff's
counsel to give Mrs. Furer her  summer tires that were in the garage after Eloisa had
almost  had a fatal accident in Mount Rose Highway. If not for the barricade Mrs. Furer
and her car would have gone down the deep cliff in Mt. Rose Highway  after her winter
tires she had been using  in the middle of summer had melted.  Andrew had refused
to give Mrs. Furer's summer tires even after the accident.

Earlene Douglas had  thrown  the following property  of Mrs. Furer into the trash along
with her trash.  A padlock to one of Eloisa's purses, a plate to one of Eloisa's purse
engraved (Hermes), a picture of Mrs, Furer with her family in the Philippines. (These
were exhibited in the trial.)  Nothing that belonged to Andrew  was among the trash  
that day that contained some of Eloisa's property. Among Mrs Furer's property in the
trash were all Douglas' including a then current Bank statements  of  savings and
checking account dated December,2004, Douglas joint account statement with a Mr.
Fink, Douglas telephone billing statements showing telephone calls to Mr. Fink while
living in the Andrew and Eloisa marital home, also found was proof that Douglas
received mails in two Reno addresses.  One of the addresses  was  maintained by
Douglas with a Mr. Fink.  

Earlene Douglas also filed for bankruptcy in 2000 regarding credit card debts of over
$50,800  (public document.)  Douglas had followed and stalked  Mrs Furer in August
14,2005 at the Marshall,s parking lot, giving an explanation to police that did not make
sense, after Eloisa's then attorney had written a letter to Plaintiff's attorney of the
stalking incident.

Judge Weller's July 11, 2008 Order to amend his Dec 20, 2006 against NRS Order
allowing Earlene Douglas to carry a gun in public with Andrew Furer has endangered
Mrs. Furers Life due to the huge amount of community property that is in dispute by
the parties in the court.  Mrs. Furer was denied her right to bear arms due to trumped
up allegations by the Plaintiff and his counsel and Judge Weller.

The December 20 2006 order of Weller, was an  illegally extended  TPO from
November 2,2004 for one year , extended for another year by WELLER IN DECEMBER
20,2006 without a hearing.   Schumacher allowed to admit as exhibit unverified tapes,
transcription of a message repeated several times in the 53 pages of exhibit.  
Schumahker was recused for failure to disclose a conflict of interest, being married to
a Partner of  Andrew's divorce Counsel and our trust attorney during our trust
agreement in 2002. Judge Schumacher had thrown ELOISA out of the Marital home
before the PNA and MSA were ever validated.  The PNA that  became the basis of
Schumacher's throwing ELOISA out of the marital home  
WAS DECLARED INVALID BY
THE COURT IN  THE NOVEMBER  14,2006 ORDER DUE TO FRAUD AND
OVERREACHING  BY ANDREW TOWARDS HIS WIFE.

08-07-24 Hearing on temporary Restraining order-
(Conspiracy to sentence Mrs. Furer to 40 days in jail, 30 days suspended, 10 days to
be served either in Washoe county or Clark county.  All allegations were trumped up
based on hearsay with the conspiracy of Mrs. Furer's own attorney, Credit Suisse,
Court Master Carol Cooke, Plaintiff, and his attorneys.   This was exactly the plan from
the onset of the Divorce.

The plot was, after Judge Weller put Mrs. Furer on bankruptcy on the Feb 22, 2008
Decree, the final plan was to put Mrs. Furer in jail so she could not fight the case in the
Supreme Court for the reversal of the decision due to lack of funds for legal fees.  
Plaintiff, Judge Weller, Credit Suisse wanted to silence Mrs. Furer forever so she
could not reopen the case to scrutinize all the conspiracy and wrong doings by
everyone involved in this case, and   Mr. Furer will enjoy the Marital assets of 80
million forever without interruption from Mrs. Furer.

How did this Civil case result in a criminal incarceration of Mrs. Furer, per order by
Court Master Carole Cooke?

Please read the proceedings carefully to note the bias of the Judge.  Turn to page 104
for sentence imposed on Mrs. Furer).

Letter from UBS, the Various withdrawals of Mr. Furer ,  the Amount that should be in
the account in Sept. 08 should equal more or less the balance of checking and savings
Jan 2004,  
Money deposited by GERAX  to UBS in Switzerland (this account is for
apartment maintenance awarded to Mrs. Furer.)

Proof that I obtained Auto insurance in compliance with Weller's Order before
umbrella insurance was demanded.  (See below the letters of Mr. Marks to Meador re
Auto Insurance).   


Letters Of Intimidation from Meador to Mr. Marks re Car Insurance
-----------------------------------------------------------------------------------------------
06-12-14 Letter to Mrs. Furer from The Hartford Executive Officer of AARP Auto
Insurance Program with attachments --Re Car Insurance

06-12-22 11:08am Email from Meador to Marks re Brief

06-12-22 11:42am Email from Meador to Marks re Brief

06-12-26 10:36am Email from Meador to Marks

07-01-02 8:54am Email from Meador to Marks

07-01-04 4:03pm Email from Meador to Marks

07-01-04 8:55am Email from Meador to Marks

07-01-04 9:49am Email from Meador to Marks
------------------------------------------------------------------------------------------


Inquiry at Paris Bank by Andrew Furer after he threatened to embarrass Mrs. Furer in
the Philippines.  Mr. Furer may have withdrawn money and closed some accounts in
preparation for his planned divorce.  

01-08-09 Payment for purchase of Philippine condominium from Credit Suisse in 2001

Parties Harvard Scholarship since 1996-Perpetual, I am entitled to 1/2 of what was
Donated to Harvard unless Title is changed Memorializing my name.

Joint Account since 1996 (Approximately 18 million) Awarded to Plaintiff by Weller.


Photos of Jars Mr. Furer claimed disputed inspite of the PNA&MSA
------------------------------------------------------------------------------------------
(This is proof that the 24 Oriental Porcelain and Ceramic Jars were never
displayed in the curio cabinets during the 25 years of Marriage.  The statement
in the PNA that states "including cabinet they were  displayed in" only refers to
the small Oriental Porcelain/ Ceramic antiques NEVER THE JARS as they are
too big to be displayed in the Curio Cabinets.)  This collection was given
maliciously by Judge Weller to Plaintiff inspite of the PNA and MSA
1.



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----------------------------------------------------------
Plaintiff invited Women to the Marital Home 16 hours after the
Fraudulent Post Nuptial Agreement was signed while Mrs. Furer
was sent to Las Vegas "To look for their new Home".
Andrew Furer buying $30,000 Dollar engagement ring at Costco in
2005 while wife was taken off health Insurance, Credit Cards, Car
Insurance, Cell phone cancelled from Joint Billing without notice,
and all Mrs. Furer's Personal Property (Including clothing and
everything) kept Hostage for 3 years.

Andrew Furer's Sex Toys found hidden among suitcases after
Mrs. Furer was thrown out of Marital Home by Judge
Schumacher before PNA and MSA were validated by the Court.

HERE, ONE OF THE WOMEN INVITED TO THE MARITAL
HOME, THE SAME WOMAN AT  MOTEL 6 ON JUNE 9,2004  
WHEN ANDREW CALLED  SHERIFF'S OFFICE TO SET UP
HIS WIFE ON FALSE ALLEGATION
Opposition to the December 10 2008 order finding Defendant in contempt  
As a violation of Defendant's rights to the First Amendment of the US
Constitution; REQUEST TO HAVE JUDGE WELLER RECUSE IN DIVORCE
CASE # DV-04-01626 DEPT 11, (AFTER JUDGE WELLER RECUSED ON
OCTOBER 21 2008; (DISTRICT COURT CASE # FV-04-04071) Filed January
20 2009