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    Case: 08-4340 Document: 00315071354 Page: 6 Date Filed: 01/20/2009

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    APPENDIX D

    Case: 08-4340 Document: 00315071355 Page: 1 Date Filed: 01/20/2009

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    Appendix "D"

    Vol. 13, Issue 49 - Monday, February 18, 2008

    StarBulletin.com

    Breaking News Ala Moana Park suspect in fatalshootings gives up

    How will theselecti on of

    Alaska Gov.Sarah Palin as hisrunn ing mateaf f ect the

    pr esidential bid of Sen. JohnMcCain? Back Issu es(1996-Pre sent)M | T | W | T | F |S | S

    SectionsLocal NewsFeaturesSportsBusinessEditorialTravel (Sunday)Corrections BlogsCalendarsMovies

    DirectoryE-Mail HeadlinesRSS/XML FeedsFreelancersSubscribe

    CINDY ELLEN RUSSELL /[email protected] Asselbaye, 2, held a Barack Obama poster yesterdayduring the Obama Ohana Potluck and Beach Canvass rally heldat Kapiolani Park.

    Obama backers stressimportance of caucusesBy Laurie [email protected] of U.S. Sen. Barack Obama's campaign for

    president urged hundreds who gathered yesterday to vote intomorrow's Democratic caucuses, saying Hawaii could make adifference in a year w hen the race for the party's nomination isso tight.

    During a picnic at Kapiolani Park, family members, localcelebrities and political allies of Hawaii-born Obama reiteratedhis messages of change and hope in an effort to secure morevotes. In the latest national estimate, Obama leads U.S. Sen.Hillary Clinton by 62 delegates.At stake in Hawaii's caucuses are 20 delegates whosecommitment will be determined by tomorrow's vote."This is the first year that Hawaii is going to really count," saidKelly Hu, an actress from Hawaii who has been campaigningfor Obama this weekend. "I'm glad people are getting excitedabout politics here in Hawaii. Sometim es we feel so isolated

    out in the middle of the Pacific that we don't even feel like a part of the process."An additional nine Hawaii delegates are so-calledsuperdelegates who can vote for whom they choose.Obama supporters emphasized the importance in voting andtold picnic-goers not to take the caucuses for granted or assumethat Hawaii's votes will go automatically to Obama.U.S. Rep. Neil Abercrombie invoked many of Obama's

    P. 41

    Case: 08-4340 Document: 00315071355 Page: 2 Date Filed: 01/20/2009

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    Appendix "D"

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    messages, calling this race a "movement" instead of acampaign and chanting, "Yes, we can.""This year, Obama and Hawaii are going to define the

    presidential campaign in the United States," Abercrombie said."At the end of the night, let's have the most overwhelming vote

    for Barack Obama that any state has ever seen."Obama's half sister, Maya Soetoro-Ng, who has beencampaigning aggressively in Hawaii and on the mainland,shared stories of her older brother's childhood as a way toconnect to local voters."This is a place that's been relatively unchanged for him, and somuch of who he is was born here," Soetoro-Ng told a crowd of about 200 people eating "OBAMAsadas.""He was born in Kapiolani Medical Center for Women &Children, two blocks up from where our grandmother stillresides ... the place where he used to stick orange peels under

    his bed, where it got all dried out and ... nasty."Many voters, some of them first-time caucus-goers, said therewere inspired by the rally and optimistic because of Obama'ssuccess in recent state caucuses."I think it's very exciting that this is probably the first time inmy life my vote will count," said Jeanne Johnston, 68, of Kailua.Others were not as confident given that many prominent stateleaders, including U.S. Sen. Daniel Inouye, had endorsedClinton."I'm nervous," said Kristin Chiboucas, of Aina Haina. "It's soclose. The state government here is so pro-Clinton, and theymay have some sway over the state. Every vote matters."

    P. 4

    Case: 08-4340 Document: 00315071355 Page: 3 Date Filed: 01/20/2009

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    APPENDIX "F"

    Case: 08-4340 Document: 00315071356 Page: 1 Date Filed: 01/20/2009

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    11/48Appendix "F"I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    UNITED STATES DISTRICT COURTFOR THE EASTERN DISTRICT OF PENNSYLVANIA

    PHILIP J. BERG, ESQUIRE ::

    Plaintiff :vs. :CIVIL ACTION NO: 08-cv- 04083

    :BARACK HUSSEIN OBAMA, ET AL :

    : Defendants :

    AFFIDAVIT OF REVEREND KWELI SHUHUBIA

    I, Kweli Shuhubia am over the age of eighteen (18) and not a party to the within

    action. If called to do so, I could and would competently testify under oath as follows

    I am an ordained minister of the gospel of Jesus Christ and a native evangelist and

    translator for the Anabaptist churches in Kenya. I am the official Swahili translator for

    the annual Anabaptists Conference held each year in Africa, working with the American

    bishops sitting upon the Continental Presbytery of the Anabaptists Churches of Africa. I

    am fluent in Swahili and in English. I am a former teacher in Kenya, and travel

    extensively in the ministries of the Anabaptists Churches of Africa throughout Kenya,

    Uganda and the Sudan.

    It is common knowledge throughout the Christian and Muslim communities in

    Kenya that Barack Hussein Obama, Jr., the United States Presidential candidate, was

    born in Mombosa Kenya. Senator Obamas grandmother still resides in the village of

    Alego-Kogello, approximately 37 miles from Kisumu City. On October 16, 2008 I went

    to interview Ms. Sarah Obama at her home. Ms. Obamas home was flooded with people

    who were celebrating Senator Obamas success story. Ms. Obamas home was heavily

    P. 51

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    12/48Appendix "F"I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    guarded by Kenya Police. Prior to the interview with Ms. Obama, I took pictures of Ms.

    Obama, her grandson who was present and other family members.

    During my interview of Sarah Obama; I called Bishop Ron McRae in the United

    States from my mobile number. I advised Bishop McRae that I was present with Ms.

    Obama in her home, and wished for him to speak with her. Bishop McRae informed me

    he would call me right back, to avoid the international costs on my personal mobile

    phone. Bishop McRae subsequently called me back; Bishop McRae requested permission

    to electronically record his telephone conversations with Ms. Obama, to which I agreed.

    Due to bad telephone connections Bishop McRae had to call me back three [3]times, before we were able to continue our conversation. The telephone interview

    conducted by Bishop McRae was conducted on loud speaker (speaker phone). During

    the interview conversation, one of Ms. Obamas grandsonss and myself acted as Swahili

    translators, and as Bishop McRae talked to and questioned Ms. Obama, we would

    translate what Bishop McRae said to Ms. Obama in Swahili, and then we would translate

    her Swahili responses to Bishop McRae in English. Ms. Obama can fluently speak

    Swahili in her native dialect, but cannot read or write.

    Bishop McRae asked Ms. Obama specifically, Were you present when your

    grandson Barack Obama was born in Kenya? This was asked to her in translation twice,

    and both times she specifically replied, Yes. It appeared Ms. Obamas relatives and her

    grandson, handling the translating,, had obviously been versed to counter such facts with

    the purported information from the American news media that Obama was born in

    Hawaii. Despite this, Ms. Sarah Hussein Obama was very adamant that her grandson,

    Senator Barack Hussein Obama, was born in Kenya, and that she was present and

    P. 52

    Case: 08-4340 Document: 00315071356 Page: 3 Date Filed: 01/20/2009

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    I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    witnessed his birth in Kenya, not the United States. When Ms. Obamas grandson

    attempted to counter his grandmothers clear responses to the question, verifying the birth

    of Senator Obama in Kenya, Bishop McRae asked her grandson, how she could be

    present at Barack Obamas birth if the Senator was born in Hawaii, but the grandson

    would not answer the question, instead he repeatedly tried to insert that, No, No, No. He

    was born in the United States! But during the conversation, Ms. Sarah Hussein Obama

    never changed her reply that she was in deed present when Senator Barack Obama was

    I left Kisumu City and traveled to Mombosa, Kenya. I interviewed personnel atthe hospital in which Senator Obama was born in Kenya. I then had meetings with the

    Provincial Civil Registrar. I learned there were records of Ann Dunham giving birth to

    Barack Hussein Obama, III in Mombosa, Kenya on August 4, 1961. I spoke directly with

    an Official, the Principal Registrar, who openly confirmed the birthing records of Senator

    Barack H. Obama, Jr. and his mother were present, however, the file on Barack H.

    Obama, Jr. was classified and profiled. The Official explained Barack Hussein Obama,

    Jr. birth in Kenya is top secret. I was further instructed to go to the Attorney Generals

    Office and to the Minister in Charge of Immigration if I wanted further information

    The above related facts are true and verifiable to the best of my personal

    knowledge before God Almighty, whose I am and whom I serve.

    born in Kenya. A copy of the Tape transcript is attached hereto as EXHIBIT 1 .

    P. 5

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    14/48Appendix "F"I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    I declare under the penalty of perjury of the laws of the United States, that the

    foregoing is true and correct.

    Kweli ShuhubiaJohn 3:30/Philippians 3:19-21, 29, 30

    Dated: October 30, 2008

    P. 54

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    15/48Appendix "F"

    I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    EXHIBIT 1

    P. 5

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    16/48Appendix "F"I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    Transcript of Phone ConversationWith Kweli Shuhudia & Sarah Obama

    Thursday, October 16, 2008Time: 10:40 a.m.

    NOTATION: Mr. Shuhudia called me first on October 16 th at 10:33a.m. andadvised that he was with Sarah Hussein Obama and that she wanted to speak with me, butthe connection was lost. He called me right back at 10:35a.m. and he informed me thatthere were several hundred people present, celebrating Obamas success. I questionedhim about the format of the phone call and conversation with Ms. Obama, and theninformed him that I would call him right back, so it would not cost him internationalcharges for the call. I called back at 10:40a.m. and public music and voices could beheard that were gathered around Kweli Shuhudia. I then spoke with him and requestedthat they utilize the speaker phone so everyone could hear. The speaker phone with itsopen microphone was utilized with Mr. Kweli Shuhudia, Mr. Vitalis Akech Ogombeassisting in the translation work and Ms. Sarah Hussein, along with several hundred

    people including policeman present and listening to the open conversation between thefour of us for approximately 15 minutes. A third unknown party can be heard periodicallyinterjecting both Swahili and English words in the public discussion and conversation

    between the four of us. At times the room noise from other peoples voices makes someof the swahili difficult to hear, and towards the end of the converstaion several mensvoices are heard that are not identified.

    From AT&T Monthly Statement of Calls:

    110 WED 10/15/2008 8:18PM 814-629-5423 BOSWELL PA 1 RM30 DT 0.00 0.00 0.00

    111 THU 10/16/2008 10:33AM 254726477700 INCOMING

    CL1 RM30 DT 0.00 0.00 0

    112 THU 10/16/2008 10:35AM 254726477700 INCOMINGCL 1 RM30 DT 0.00 0.00 0

    113 THU 10/16/2008 10:40AM 254726477700 KENYA ** 15 RM30 DT 0.00 12.32 12.32

    114 THU 10/16/2008 10:54AM 610-662-3005 BALACYNWYPA 2 ESM1 DT M2MC 0.00 0.00 0.

    115 THU 10/16/2008 10:56AM 610-825-3134 CONSHOHCK PA 10 RM30 DT 0.00 0.00 0

    116 THU 10/16/2008 11:17AM 313-418-6959 DETROIT MI 1 RM30 DT 0.00 0.00 0.00117 THU 10/16/2008 11:18AM 313-418-6959 DETROIT MI 16 RM30 DT 0.00 0.00 0.00118 THU 10/16/2008 11:33AM 254726477700 KENYA ** 2 RM30 DT 0.00 1.76 1.76

    119 THU 10/16/2008 12:37PM 254726477700 KENYA ** 2 RM30 DT 0.00 1.76 1.76120 THU 10/16/2008 12:41PM 814-242-9409 VMAIL CL 1 RM30 DT VM 0.00 0.00 0.00121 THU 10/16/2008 12:42PM 254726477700 KENYA ** 10 RM30 DT 0.00 8.80 8.80

    Transcript:

    Two Rings:

    P. 56

    Case: 08-4340 Document: 00315071356 Page: 7 Date Filed: 01/20/2009

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    17/48Appendix "F"

    I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    Kweli Shuhudia: Hello? [Back ground music]

    Ron McRae: Brother Kweli? [music] Brother Kweli? This is Brother McRae.

    Kweli Shuhudia: Yes.

    Ron McRae: Okay. How are you today?

    Kweli Shuhudia: Now. We are okay. How are you?

    Ron McRae: Im doing very well. You said you are there with, uh, Barack Obamas

    grandmother?

    Kweli Shuhudia: Yes. I am just in the home now. She is right here. Were, were waiting

    to talk in a uh long conversation. And [unitelligible] a good family and she is ready to

    talk.

    Ron McRae: Good. Shes not there at the present?

    Kweli Shuhudia: Yes. Shes here right now.Ron McRae: Okay. Is it possible to speak to her?

    Kweli Shuhudia: Yes. It is possible. I ah, along with her and her family, uh, you and me.

    Ron McRae: Uh, is it possible for you to put her on the speaker phone and translate for

    me?

    Kweli Shuhudia: Yes! Yes! I will do that.

    Ron McRae: Okay.

    Kweli Shuhudia: Yes?

    Ron McRae: Okay.

    Kweli Shuhudia: Yes. Go ahead [he then speaks to her in Swahili]

    Sarah Obama: [Replies to him in Swahili]

    Ron McRae: Ms. Obama?

    Kweli Shuhudia: Yes go ahead.

    Ron McRae: Mrs. Obama, my name is bishop Ron McRae.

    Kweli Shuhudia: Ametaja bishop Ron McRae, Ron McRae. Go ahead.

    Ron McRae: I am, I am the bishop of the Anabaptists Churches of North America.

    Kweli Shuhudia: Yeye niaskofu Anabaptists makaisa.

    Sarah Obama: Shikamooo! [Hello, good day].

    Mr. Ogombe: Are you speaking English and , and we will tell her in Luo. Okay?

    Ron McRae: Now give me that again. Explain it to me again.

    P. 5

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    I \ Obama \ Obama, Affidavit of Rev. Kweli Shuhubia 10 30 2008

    Ogombe: It is welcome. She is very grateful for your interest.

    Ron McRae: Okay. Thank you! Tell her I count it a great honor to speak to here since her

    son Barack Obama is running for President of the United States.

    Ogombe: Eh makasema yuko kiuu mgomba Obama kwa mwenyekiti America. Yah, she

    says she is very helpful for got to you to please pray for Obama. She is asking you to pray

    for him. For Obama.

    Ron McRae: Yes Sir. UhMs. Obama, you can rest assured that I am praying for your

    son, for your grandson.

    Ogombe: Yes. It is helpful also towards it is beginning to help.

    Ron McRae: Okay.

    Sarah Obama: [unitelligible from Ms. Obama because of room noise].

    Ogombe: She says she is covet your prayers for he [unintelligible] her son.Ron McRae: Okay. And tell her that I will be coming there in December and I would like

    to come by and meet with her and pray with her.

    Ogombe: Yes. Ye atakuwa mwezi Desemba.

    Kweli Shuhudia: In December. He will come in December and he wants to come and talk

    with you.

    Sarah Obama: [unitelligible]

    Ogombe: Oh she says youre so encourage her. Your coming in December so you can

    talk together with her.

    Ron McRae: Amen. I am so thankful. Could I ask her, uh, about his, uh, his actual

    birthplace? I would like to see hi actual birthplace when I, when I come to Kenya in

    December. Uh, was she present when he was, was she present when he was born in

    Kenya?

    Ogombe to Sarah Obama: Alikuma zalima Obama [unintelligible].

    Kweli Shuhudia: He is asking her, he wants to know something was ah she present when

    he was born?

    Ogombe: Yes. She says, Yes she was! She was present when Obama was born.

    Ron McRae: Okay.

    P. 5

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    APPENDIX G

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    Appendix "G"P. 59

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    Appendix "G"P. 60

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    APPENDIX "I"

    Case: 08-4340 Document: 00315071358 Page: 1 Date Filed: 01/20/2009

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    23/48Appendix "I"1I:Obama\Obama Plaintiff First Set Req Admissions.doc

    UNITED STATES DISTRICT COUR T

    FOR THE EASTERN D ISTRICT OF PENNSYLVANIA

    PHILIP J. BERG, ESQUIRE, ::

    Plaintiff :vs. : CIVIL ACTION NO. 08-cv-04083

    :BARACK HUSSEIN OBAMA, a/k/a :BARRY SOETORO, a/k/a :BARRY OBAMA, a/k/a :BARACK DUNHAM, a/k/a :BARRY DUNHAM; THE : DEMOCRATIC NATIONAL :COMMITTEE, THE FEDERAL :ELECTION COMMISSION AND :DOES 1-50, INCLUSIVE, :

    : Defendants :

    PLAINTIFFS FIRST SET OF REQUESTS FOR ADMISSIONS

    Plaintiff Philip J. Berg, Esquire [hereinafter Plaintiff] submits the following

    Requests for Admissions to Defendant Barack Hussein Obama a/k/a Barrack Hussein

    Obama a/k/a Barry Obama a/k/a Barrack Dunham a/k/a Barack Dunham a/k/a Barry

    Dunham a/k/a Barrack Soetoro a/k/a Barack Soetoro a/k/a Barry Soetoro [hereinafter

    Obama] pursuant to Federal Rules of Civil Procedure Rule 36 .

    INSTRUCTIONS

    If Obama fails to respond or object to any request within thirty (30) days of the

    service of the Requests, the matter shall be deemed admitted under Rule 36. As you are

    aware, Plaintiff has filed a Motion for Expedited Discovery requesting Admission

    P. 67

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    24/48Appendix "I"2I:Obama\Obama Plaintiff First Set Req Admissions.doc

    Responses to be filed within ten (10) days of service. If granted, the thirty (30) days

    herein will not apply.

    As is more fully set out in Rule 36(a), the Defendant must admit or deny each

    Request, and, where necessary, specify the parts of each request to which it objects or

    cannot in good faith admit or deny. If the Defendant objects to only part of a Request, it

    must admit or deny the remainder of the Request. In the event that Defendant objects to

    or denies any Request or portion of a Request, the Defendant must state the reason for its

    objection or denial.

    These Requests shall be deemed continuing and supplemental answers shall berequired if you directly or indirectly obtain further information after your initial response

    as provided by Federal Rules of Civil Procedure, Rule 26(e) .

    Each Request solicits all information obtainable by Defendant Obama from

    Defendants attorneys, investigators, agents, employees and representatives. If you

    answer a Request on the basis that you lack sufficient information to respond, describe

    any and all efforts you made to inform yourself of the facts and circumstances necessary

    to answer or respond.

    DEFINITIONS

    1. The word or is used herein in its inclusive sense unless the context

    clearly requires otherwise.

    2. The term document means and includes without limitation all

    correspondence, memoranda, certificates, notes, books, manuals, pamphlets, brochures,

    advertisements, books of account, balance sheets, financial statements, profit and loss

    statements, working papers, schedules, diaries, calendars, logs, time records, equipment

    P. 6

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    records, microfilms, transcripts, recordings, tapes, telexes, telegrams, files, proposals,

    bids, offers, contracts, agreements, change orders, worksheets, drawings, blue prints,

    designs, specifications, time cards, compilations, graphs, charts, bills, statements,

    invoices, receipts, bills of lading, shipping records, confirmations, applications, purchase

    orders, checks, checkbooks and other checking records, photographs, formulae,

    prescriptions, studies, projections, reports, computer programs, information contained in

    computer banks, tapes, cards, printouts and drafts to the extent they differ from the

    originals, and all other records and papers of any nature whatsoever.

    3. Any reference to a specifically named person, corporation, GovernmentalAgency, State Agency or other entity and any reference generally to person shall

    include the employees, agents, representatives and other persons acting on behalf thereof

    or through whom the referenced person acts. The term person means and includes

    natural persons, corporations, partnerships, joint ventures, sole proprietorships,

    associations, trust, estates, firms and any other entity.

    4. As used herein, Plaintiff means, unless otherwise indicated, Philip J.

    Berg, Esquire, as well as their agents, attorneys, representatives or any other person

    acting on their behalf or on behalf of any one of them.

    5. As used herein, Defendant and Obama, shall be deemed to include

    Defendant Barack Hussein Obama a/k/a Barrack Hussein Obama a/k/a Barry Obama

    a/k/a Barrack Dunham a/k/a Barack Dunham a/k/a Barry Dunham a/k/a Barrack Soetoro

    a/k/a Barack Soetoro a/k/a Barry Soetoro, as well as his agents, attorneys, representatives

    or any other person acting on his behalf or on behalf of any one of them.

    P. 6

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    FIRST SET OF ADMISSIONS

    Admissions, Request No. 1. Admit you were born in Kenya.

    Response:

    Admissions, Request No. 2. Admit you are a Kenya natural born citizen.

    Response:

    Admission, Request No. 3. Admit your foreign birth was registered in the State

    of Hawaii.

    Response:

    Admissions, Request No. 4. Admit your father, Barrack Hussein Obama, Sr.

    admitted Paternity of you.

    Response:

    P. 70

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    Admissions, Request No. 5. Admit your mother gave birth to you in Mombosa,

    Kenya.

    Response:

    Admissions, Request No. 6. Admit your mothers maiden name is Stanley Ann

    Dunham a/k/a Ann Dunham.

    Response:

    Admissions, Request No. 7. Admit the COLB [Certification of Live Birth]

    posted on the website Fightthesmears.com is a

    forgery.

    Response :

    Admissions, Request No. 8: Admit you were adopted by a Foreign Citizen.

    Response:

    P. 71

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    Admissions, Request No. 9. Admit you were adopted by Lolo Soetoro, M.A. a

    citizen of Indonesia.

    Response:

    Admissions, Request No. 10. Admit you were not born in Hawaii.

    Response:

    Admissions, Request No. 11. Admit you were not born at the Queens Medical

    Center in Hawaii.

    Response:

    Admissions, Request No. 12. Admit you were not born at Kapiolani Medical

    Center for Women and Children in Hawaii.

    Response:

    P. 72

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    Admissions, Request No. 13. Admit you were not born in a Hospital in Hawaii.

    Response:

    Admissions, Request No. 14. Admit you are a citizen of Indonesia.

    Response:

    Admissions, Request No. 15. Admit you never took the Oath of Allegiance to

    regain your U.S. Citizenship status.

    Response:

    Admissions, Request No. 16. Admit you are not a natural born United States

    citizen.

    Response:

    P. 73

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    Admissions, Request No. 17. Admit your date of birth is August 4, 1961.

    Response:

    Admissions, Request No. 18. Admit you traveled to Pakistan in 1981 with your

    Pakistan friends.

    Response:

    Admissions, Request No. 19. Admit in 1981 you went to Indonesia on your way

    to Pakistan.

    Response:

    Admissions, Request No. 20. Admit Pakistan was a no travel zone in 1981 for

    American Citizens.

    Response:

    Appendix "I"P. 7

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    Admissions, Request No. 21. Admit in 1981 Pakistan was not allowing American

    Citizens to enter their Country.

    Response:

    Admissions, Request No. 22. Admit you traveled on your Indonesian Passport to

    Pakistan.

    Response:

    Admissions, Request No. 23. Admit you renewed your Indonesian Passport on

    your way to Pakistan.

    Response:

    Admissions, Request No. 24. Admit your senior campaign staff is aware you are

    not a natural born United States Citizen.

    Response:

    Appendix "I" P. 7

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    Admissions, Request No. 25. Admit you are proud of your Kenya Heritage.

    Response:

    Admissions, Request No. 26. Admit your relatives have requested changes to the

    portion of your birth certificate that identifies your

    first name.

    Response:

    Admissions, Request No. 27. Admit your relatives have requested changes to the

    portion of your birth certificate that identifies your

    last name.

    Response:

    Admissions, Request No. 28. Admit your relatives have requested changes to the

    portion of your birth certificate that identifies your

    place of birth.

    Response:

    P. 76

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    Admissions, Request No. 29. Admit you have requested changes to the portion of

    your birth certificate that identifies your first name.

    Response:

    Admissions, Request No. 30. Admit you have requested changes to the portion of

    your birth certificate that identifies your last name.

    Response:

    Admissions, Request No. 31. Admit you have requested changes to the portion of

    your birth certificate that identifies your place of

    birth.

    Response:

    Admissions, Request No. 32. Admit that the document identified as your

    Indonesian School record from Fransiskus Assisi

    School in Jakarta, Indonesia, attached hereto as

    Exhibit A, is genuine.Response:

    P. 77

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    Admissions, Request No. 33. Admit you went to a Judge in Hawaii to have your

    name changed.

    Response:

    Admissions, Request No. 34. Admit you went to a Senator and/or Congressman

    or other public official in Hawaii to have your name

    changed.

    Response:

    Admissions, Request No. 35. Admit you have had a passport issued to you from

    the Government of Indonesia.

    Response:

    Admissions, Request No. 36. Admit 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.

    Response:

    P. 78

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    Admissions, Request No. 37. Admit you are ineligible pursuant to the United

    States Constitution to serve as President and/or

    Vice President of the United States.

    Response:

    Admissions, Request No. 38. Admit you have never renounced your citizenship

    as it relates to your citizenship to the country of

    Indonesia.

    Response:

    Admissions, Request No. 39. Admit you have never renounced your citizenship

    as it relates to your citizenship to the country of

    Kenya.Response:

    Admissions, Request No. 40. Admit you are an Attorney who specializes in

    Constitutional Law.Response:

    P. 79

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    Admissions, Request No. 41. Admit Kenya was a part of the British Colonies at

    the time of your birth.

    Response:

    Admissions, Request No. 42. Admit Kenya did not become its own Republic until

    1963.

    Response:

    Admissions, Request No. 43. Admit you are not a Naturalized United States

    Citizen.

    Response:

    Admissions, Request No. 44. Admit you have obtained $200 Million dollars in

    campaign funds by fraudulent means.

    Response:

    P. 80

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    Admissions, Request No. 49. Admit Kapiolani Medical Center for Women and

    Children in Honolulu, Hawaii do not have any

    record of your mother, Stanley Ann Dunham

    (Obama) giving birth to you.

    Response:

    Admissions, Request No. 50. Admit you were born in the Coast Province

    Hospital in Mombasa, Kenya.

    Response:

    Admissions, Request No. 51. Admit you represented on your State Bar

    application in Illinois you have never used any

    other name other than Barack Hussein Obama.

    Response:

    Admissions, Request No. 52. Admit you went by the name Barry Soetoro in

    Indonesia.

    Response:

    P. 82

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    Admissions, Request No. 53. Admit your Indonesian school records are under the

    name of Barry Soetoro.

    Response:

    Admissions, Request No. 54. Admit you took an Oath to uphold the United States

    Constitution when admitted to the State Bar of

    Illinois to practice Law.

    Response:

    Admissions, Request No. 55. Admit you took an Oath to uphold the United States

    Constitution when you were Sworn into your

    United States Senate Office.

    Response:

    Admissions, Request No. 56. Admit you hold dual citizenship with at least one

    other Country besides the United States of America.

    Response:

    P. 83

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    Respectfully submitted,

    Dated: September 15 , 2008 s/ Philip J. Bergth

    Philip J. Berg, EsquireAttorney in Pro Se555 Andorra Glen Court, Suite 12Lafayette Hill, PA 19444-2531Identification No. 09867(610) 825-3134

    P. 84

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    CERTIFICATE OF SERVICE

    I, hereby certify that Plaintiffs First Set of Admissions addressed to Defendant

    Barrack Hussein Obama were served by United States Postal Service, with postage fully

    prepaid this 15 day of September 2008 upon the following:th

    Barrack H. Obama713 Hart Senate Office BuildingWashington, D.C. 20510Fax: (202) 228-4260

    Democratic National Committee (DNC)430 S. Capitol St. SE,Washington DC 20003Fax: (202) 863-8063

    Federal Election Commission (FEC)999 E. Street, NW,Washington, DC 20463

    s/ Philip J. BergPHILIP J. BERG, ESQUIRE

    Attorney for Plaintiff 555 Andorra Glen Court, Suite 12Lafayette Hill, PA 19444-2531(610) 825-3134

    P. 8

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