deficiency and command
TRANSCRIPT
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#1492
Jeffrey-Pierce of the Henderson Clan
c/o 818 North Avenue 51
Los Angeles, California CF>90042
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2. it does not contain true and correct copies of the
original documents on file in this action, and
3. the volume lacks a Reporter's transcripts for the
hearings that are at issue in this matter, and
4. MONICA LOPEZ is an employee of one of the parties of
interest in this matter making her biased and her sworn
statement perjurious, and
5. possible evidence of biasness and racketeer influence is
the secret nunc pro tunc order against production of
transcripts that she filed without notice to interested
parties and was heard on the day that she she was ordered
to prepare the clerk's transcript.
The items in contention are listed in the attached COMMAND TO
ORDER COMPLETE RECORD ON APPEAL. The APPELLANT will and does hereby
command the APPELLATE DIVISION to order that these deficiencies be
corrected. The COMMAND isbased on this notice, the attached
APPELLANT'S DECLARATION OF TRUTH IN SUPPORT OF COMMAND, EXHIBITS A-
M, all documents filed in this case, all transcripts of oral
hearings in this case, the command and corrections, and argument by
APPELLANT made at the hearing on this matter.
Respectfully Given,
DATED: November 27, 2010
Jeffrey-Pierce of the Henderson Clan
Sui Juris, Innocent Appellant, and
Sovereign Elector
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Table of Contents
NOTICE TO THE ABOVE-ENTITLED COURT, THE RESPONDENTS, AND THEIR REPRESENTATIVES:............1
COMMAND TO ORDER COMPLETE RECORD ON APPEAL.........................................................................................4I. Judicial Notice of Los Angeles County Cases Numbers 09S00977, 09U00982, and
10U00305......................................................................4II.The Reporter's transcripts for the following hearing dates 06/25/2010,
07/09/2010, 07/20/2010, 08/04/2010, 08/09/2010, 08/10/2010, 08/13/2010,
08/25/2010, 09/22/2010, 09/24/2010, 10/05/2010, 10/06/2010, 10/20/2010,
11/01/2010, 11/02/2010, and 11/03/2010........................................5
III.Evidence of the Jurisdiction being recognized and applied by APPELLATE
DIVISION......................................................................6
IV.MOTION FOR DISCOVERY heard on July 09, 2010 (see oral transcripts for
07/09/2010)...................................................................7
V.NOTICE FOR APPELLANT TO APPEAR on July 20, 2010 (see oral transcripts for
07/09/2010)...................................................................7
VI.EVIDENCE OF PAPER WARRANT supposedly ordered on July 20, 2010 (see oral
transcripts for 07/20/2010)...................................................7
VII.MOTION TO RECALL BENCH WARRANT filed on August 04, 2010 (see EXHIBIT D)...7
VIII.MOTION FOR TRANSCRIPTS filed on August 13, 2010 (see EXHIBIT E)..........7IX.MOTION FOR BAIL REDUCTION filed on August 13, 2010 (see EXHIBIT F).........7
X.MOTION FOR RELEASE ON OWN RECOGNIZANCE filed on August 25, 2010 (see EXHIBIT
G)............................................................................7
XI.WRIT OF MANDAMUS filed on September 24, 2010 (see EXHIBIT H)...............7
XII.HABEAS CORPUS filed on September 24, 2010 (see EXHIBIT I).................7
XIII.MOTION FOR SUBPOENA DUCES TECUM heard on October 06, 2010 (see EXHIBIT J,
K, and L).....................................................................7
APPELLANT'S DECLARATION OF TRUTH IN SUPPORT OF COMMAND.................................................................8
PEREMPTORY CHALLENGE............................................................................................................................................17
NOTICE OF CHANGE OF ADDRESS................................................................................................................................1
EXHIBIT A...........................................................................................................................................................................19
EXHIBIT B............................................................................................................................................................................20
EXHIBIT C............................................................................................................................................................................21EXHIBIT D...........................................................................................................................................................................22
EXHIBIT E............................................................................................................................................................................23
EXHIBIT F............................................................................................................................................................................24
EXHIBIT G...........................................................................................................................................................................25
EXHIBIT H...........................................................................................................................................................................26
EXHIBIT I.............................................................................................................................................................................27
EXHIBIT J.............................................................................................................................................................................28
EXHIBIT K...........................................................................................................................................................................29
EXHIBIT L............................................................................................................................................................................30
EXHIBIT M...........................................................................................................................................................................31
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COMMAND TO ORDER COMPLETE RECORD ON APPEAL
APPEALANT commands APPEALATE DIVISION to order MONICA LOPEZ to
complete the record on appeal by adding the following thirteen (13)
categories to the CLERK'S TRANSCRIPT ON APPEAL:
I. Judicial Notice of Los Angeles County Cases Numbers 09S00977,09U00982, and 10U00305.
A. This case started out as Small Claim by APPELLANT against
his absentee landlord, and
B. CITY OF PASADENA joined hands with absentee landlord, and
C. assisted disgruntled landlord in retaliating with an illegal
eviction proceeding, and
D. the 911 call that led to misdemeanor accusation was untrue,
not investigated, and later discovered to be unfounded, and
E. the anonymous informant in the case at bar may be an agent
of the disgruntled landlord or the CITY OF PASADENA or both
seeking revenge, and
F. because of the denial of APPELANT'S inalienable right to
face his accuser, his defense has been hamstrung, and
G. the Lower Court has convinced itself by ruling on its own
argument to deny access to question informant which is a
violation of APPEALANT'S right to legally defend himself.
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II. The Reporter's transcripts for the following hearingdates 06/25/2010, 07/09/2010, 07/20/2010, 08/04/2010,08/09/2010, 08/10/2010, 08/13/2010, 08/25/2010, 09/22/2010,09/24/2010, 10/05/2010, 10/06/2010, 10/20/2010, 11/01/2010,11/02/2010, and 11/03/2010.
A. Whereas, APPEALANT filed for an appeal WITH a record of the
oral proceedings in the Lower Court (see EXHIBIT A), and
B. whereas APPELLANT is eligible for record on appeal at public
expense (see EXHIBIT B and EXHIBIT C), and
C. whereas the right to a transcript and due process on appeal
has been denied to him by STEVEN MONETTE and CANDACE BEASON
at almost every hearing on this matter (see oral
transcripts, especially on 06/25/2010, 07/09/2010,
08/04/2010), and 09/22/2010), and
D. whereas APPELANT is entitled to an e-transcript on appeal
(See Griffin v. Illinois, 351 U.S. 12 (1956), MLB v. SLJ,
519 US 102 (1996), and California Rules of Court 8.130(f));
E. Therefore, APPELLANT commands APPELLATE DIVISION to order
MONICA LOPEZ to prepare the Reporter's Transcript's WITH a
record of the oral proceedings in the Lower Court in order
for APPELLANT to prepare his appeal. Failure of the Lower
Court to deliver transcripts is oppressive! APPELLANT also
commands APPEALTE DIVISION to stop until the Lower Court
catches up with all the transcripts and provides electronic
copies to the email address of APPELLANT.
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III. Evidence of the Jurisdiction being recognized and appliedby APPELLATE DIVISION.
A. The APPELLATE DIVISION has been granted the duty under the
Sixth Amendment of the United States Constitution to inform
APPELLANT of the jurisdiction being applied, and
B. it is not a violation of the Oath of Office taken by Judges
assigned to the APPEALATE DIVISION to perform their judicial
duty under the United States Constitution, and
C. it is APPELLANT'S right under the Sixth Amendment of the
United States Constitution to know the jurisdiction being
applied in this case, and
D. APPELLANT commands the APPELLATE DIVISION to order the
evidence that APPELLANT assumes, due to established legal
procedures, is being hidden from him in the court file.
1. If the Lower Court proceedings are moving on a criminal
action against APPELLANT as a condition of contract under
the criminal aspects of a colorable Admiralty
jurisdiction, then order MONICA LOPEZ to include a copy
of the valid international contract in dispute into the
CLERK'S TRANSCRIPT.
2. If the Lower Court proceedings are moving on a criminal
action against APPELLANT under a Common Law jurisdiction,
then order MONICA LOPEZ to include the sworn complaint by
the injured party into the CLERK'S TRANSCRIPT.
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IV. MOTION FOR DISCOVERY heard on July 09, 2010 (see oraltranscripts for 07/09/2010).
V. NOTICE FOR APPELLANT TO APPEAR on July 20, 2010 (see oraltranscripts for 07/09/2010).
VI. EVIDENCE OF PAPER WARRANT supposedly ordered on July 20,2010 (see oral transcripts for 07/20/2010).
VII. MOTION TO RECALL BENCH WARRANT filed on August 04, 2010(see EXHIBIT D).
VIII. MOTION FOR TRANSCRIPTS filed on August 13, 2010 (seeEXHIBIT E).
IX. MOTION FOR BAIL REDUCTION filed on August 13, 2010 (seeEXHIBIT F).
X. MOTION FOR RELEASE ON OWN RECOGNIZANCE filed on August 25,2010 (see EXHIBIT G).
XI. WRIT OF MANDAMUS filed on September 24, 2010 (see EXHIBITH).
XII. HABEAS CORPUS filed on September 24, 2010 (see EXHIBIT
I).
XIII. MOTION FOR SUBPOENA DUCES TECUM heard on October 06, 2010(see EXHIBIT J, K, and L).
Respectfully Commanded,
DATED: November 27, 2010
Jeffrey-Pierce of the Henderson Clan
Sui Juris, Innocent Appellant, and
Sovereign Elector
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APPELLANT'S DECLARATION OF TRUTH IN SUPPORT OF COMMAND
I, the APPELLANT, Jeffrey-Pierce of the Henderson Clan, a
blessed living soul and Son of the Great Legislator of the
Universe, in the physical form of a flesh and blood Man, who,
according to the eye-witness testimony of my biological mother,
Frances-Elizabeth of the Malone Clan, was birthed a Freeman-on-the-
Land of this Great Republic at 0001 hours Eastern Daylight Time on
June 18, 1968 in General Hospital No. 6 in Building 171 at Fort
McPherson in Georgia, do hereby and hereon, promise and swear, with
a fixed and steady purpose to tell the truth, the whole truth, and
nothing but the truth, so help me G-d, a solemn and sincere
obligation, that the following is my Plain Declaration of Truth:
I. Truth: I, Jeffrey-Pierce, have not seen or been presented with
any admissible evidence which demonstrates that, the CITY OF
PASADENA and/or STATE OF CALIFORNIA has any legal ad personam
or subjectum jurisdiction over me in this matter, and believe
that none exists;
II. Truth: I, Jeffrey-Pierce, have not seen or been presented
with any admissible evidence which demonstrates that there is
a sworn complaint by an injured party on the record in this
matter, and believe that none exists;
III. Truth: I, Jeffrey-Pierce, have not seen or been presented
with any admissible evidence which demonstrates that there is
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a valid international contract in dispute on the record in
this matter, and believe that none exists;
IV. Truth: I, Jeffrey-Pierce, have suffered numerous
substantial rights violations due to the illegal and
unwarranted actions of the CITY OF PASADENA and the STATE OF
CALIFORNIA;
V. Truth: I, Jeffrey-Pierce, have suffered numerous substantial
rights violations due to the illegal and unsubstantiated
rulings of STEVEN MONETTE and CANDACE BEASON since the very
beginning of their seemingly endless fraud;
VI. Truth: I, Jeffrey-Pierce, was falsely accused;
A. Truth: My house was illegally entered by the CITY OF
PASADENA;
1. without warrant, and
2. without evidence of probable cause, and
3. without consent, and
4. without evidence of exigent circumstances (see EXHIBIT M);
B. Truth: I was brutally assaulted by the CITY OF PASADENA
under the color of law;
C. Truth: I was falsely arrested;
D. Truth: I was falsely imprisoned;
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E. Truth: My children were kidnapped, and
1. falsely imprisoned;
2. interrogated;
3. strip searched, all
a. without parental consent, and
b. without exigent circumstances, and
c. without jurisdiction, and
d. without counsel.
F. Truth: My home was searched for three hours;
1. without consent, and
2. without warrant, and
3. without reasonable suspicion that another person is
located on the premises, and
4. without reasonable suspicion that person poses a threat
to the officers.
G. Truth: I, Jeffrey-Pierce, was illegally summoned by a PEACE
OFFICER usurping the role of the CLERK OF THE COURT;
H. Truth: I, Jeffrey-Pierce, was illegally arraigned without
witnesses or sworn statement by a CLERK OF THE COURT
usurping the role of the PROSECUTOR;
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I. Truth: I, Jeffrey-Pierce, was illegally arraigned without
proof after I challenged jurisdiction;
J. Truth: I, Jeffrey-Pierce, was denied the right to know the
true nature and cause of the action against me;
K. Truth: I, Jeffrey-Pierce, was denied the right to examine
the evidence against me prior to entering a plea;
L. Truth: I, Jeffrey-Pierce, was illegally arraigned without
plaintiff or injured party present;
M. Truth: I, Jeffrey-Pierce, was denied my right to face my
accusers;
N. Truth: I, Jeffrey-Pierce, was arraigned with a charging
document that was unsigned and unsworn;
O. Truth: I, Jeffrey-Pierce, was denied time to consult with
legal counsel after receiving charging document;
P. Truth: I, Jeffrey-Pierce, was denied the right to postpone
pleading for eight days until I could consult with my legal
counsel;
Q. Truth: A plea was entered for me against my will by Steven
Monette, who I have no contract with to act as my attorney,
which denied my right to see the evidence against me, my
right to representation, and my right to demurrer;
R. Truth: I, Jeffrey-Pierce, was denied my right to notice.
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S. Truth: I, Jeffrey-Pierce, was denied my right to peremptory
challenge CANDACE BEASON.
T. Truth: I, Jeffrey-Pierce, was denied my right to demand file
my motions by the MANUEL RODRIGUEZ, CLERK OF THE COURT;
U. Truth: An illegal bench warrant was issued allegedly because
I did not appear for a hearing that I had NOT been given
notice for;
V. Truth: I, Jeffrey-Pierce, was falsely arrested for a second
time when I tried to file a motion to recall bench warrant;
W. Truth: I, Jeffrey-Pierce, was denied reasonable bail;
X. Truth: My legal papers were taken from me, handcuffed, and
silenced while I was trying to make an offer for my appeal;
Y. Truth: CANDACE BEASON denied me a fast and speedy trial;
Z. Truth: I, Jeffrey-Pierce, was kept falsely imprisoned for
fourteen days, ten of those days were:
1. without potable water, and
2. without clean food, and
3. without proper clothing, and
4. without vital medication, and
5. without bedding, and
6. without meaningful access to the courts;
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AA. Truth: I, Jeffrey-Pierce, was assaulted eight times
during those three weeks by the following deputies:
a. Intertas
b. Wagner
c. Rose
d. Cinderellia
e. Navarrete
f. Carbajal
g. Ontiveros
h. Nguyen
i. McGinty
j. Hwang
k. Rivera
l. Felix
m. Limon
BB. Truth: I, Jeffrey-Pierce, reported beatings to the
following supervising deputies which resulted in more
beatings:
a. Lafave
b. Ray
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c. McGrattan
d. Mosquera
CC. Truth: I, Jeffrey-Pierce, was denied access to a law
library for seven days;
DD. Truth: I, Jeffrey-Pierce, was denied access to my legal
papers in order to prepare on the day of court;
EE. Truth: I, Jeffrey-Pierce, was denied access to my legal
papers while in court trying to argue my motions;
VII. Truth: I, Jeffrey-Pierce, am still being denied access to
the APPELLATE DIVISION by CANDACE BEASON even though the
Common Law and Admiralty Maritime statutes guarantee everyone
the right to appeal a judgment made by the trial that affects
a substantial right of the appellant (see Penal Code section
1466(2)(B));
VIII. Truth: I, Jeffrey-Pierce, am still being advised
incorrectly by CANDACE BEASON concerning my rights to the
record on appeal;
IX. Truth: CANDACE BEASON has denied me my right to live in
the peace and comfort of my home, enjoy the company of my
children, and make love to my wife without evidence, argument,
and unbiased judgment based on the Law;
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X. Truth: The STATE OF CALIFORNIA, the CITY OF PASADENA and their
LAW ENFORCEMENT OFFICERS are now, whether knowingly or
unknowingly, consistently failing to uphold the rights to
life, freedom, equity and the peaceful possession of property
of the People of the United States of America;
XI. Truth: The law must provide remedy at all times and
without exception, even against rogue or negligent JUDGES and
LAW ENFORCEMENT OFFICERS, as well as de facto government
participants who are controlled by soulless corporate
interests;
XII. Truth: If LAW ENFORCEMENT OFFICERS are not providing a
service for an injured party who has given sworn or affirmed
testimony against another for infringing their rights to life,
freedom, equity and/or the peaceful possession of property,
there is no legal recourse to stop, detain, question or search
any Man or Woman who is not in breach of the peace;
XIII. Truth: Without dishonour, in the absence of my explicit,
voluntary and sealed consent, I refuse to be bound by
agreements made on my behalf by legal entities of any and all
natures and descriptions, since legal entities are incapable
of moral sensibilities and function only for the benefit their
shareholders and stakeholders, all too often to the detriment
of My Country, My neighbor, My family and myself.
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If called and sworn as a witness in this proceeding, I can
testify competently to this, my Plain Declaration of Truth. To all
this I declare without any hesitation, mental reservation, or
secret evasion of mind in me whatever; binding myself under the
Common Law penalty of perjury in the State of California that the
foregoing is true and correct.
Respectfully Declared,
DATED: November 27, 2010
Jeffrey-Pierce of the Henderson Clan
Sui Juris, Innocent Appellant, and
Sovereign Elector
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PEREMPTORY CHALLENGE
I know that Judge David Paul Yaffe, before whom this matter
could be pending, is prejudiced against my interest and/or me, so
I know that I cannot have a fair and impartial trial or hearing
before him. I command the APPELLATE DIVISION to abstain from
appointing him to the above captioned case at bar.
Respectfully Commanded,
DATED: November 27, 2010
Jeffrey-Pierce of the Henderson Clan
Sui Juris, Innocent Appellant, and
Sovereign Elector
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NOTICE OF CHANGE OF ADDRESS
TAKE NOTICE that as of November 23, 2010, APPELLANT, Jeffrey-
Pierce of the Henderson Clan, Sui Juris, Innocent Defendant, and
Sovereign Elector has changed his address for the service of
notices and documents in the above-captioned action. The new
address of APPELLANT is:
818 N Ave 51
Los Angeles, California
Also, due to circumstances beyond his control (owner of the
UPS franchise went out of business), APPELLANT has not been able to
receive mail at his UPS box located at 5280 E Beverly Blvd. in Los
Angeles (OLD ADDRESS) since November 15, 2010. If any process has
been served to OLD ADDRESS by the APPELLATE DIVISION between the
dates of November 15, 2010 and November 29, 2010, APPELLANT hereby
gives notice for APPELLATE DIVISION to re-serve. APPELLANT
apologizes for any inconvenience.
Respectfully Submitted,
DATED: November 27, 2010
Jeffrey-Pierce of the Henderson ClanSui Juris, Innocent Appellant, and
Sovereign Elector
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EXHIBIT A
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EXHIBIT B
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EXHIBIT C
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EXHIBIT D
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7
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11
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15
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22
23
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25
26
27
28
#1492
EXHIBIT E
- 23 -
NOTICE OF DEFICIENCY AND COMMAND
-
8/8/2019 Deficiency and Command
24/31
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
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17
18
19
20
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22
23
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25
26
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28
#1492
EXHIBIT F
- 24 -
NOTICE OF DEFICIENCY AND COMMAND
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8/8/2019 Deficiency and Command
25/31
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
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17
18
19
20
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28
#1492
EXHIBIT G
- 25 -
NOTICE OF DEFICIENCY AND COMMAND
-
8/8/2019 Deficiency and Command
26/31
-
8/8/2019 Deficiency and Command
27/31
1
2
3
4
5
6
7
8
9
10
11
12
13
14
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17
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19
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27
28
#1492
EXHIBIT I
- 27 -
NOTICE OF DEFICIENCY AND COMMAND
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8/8/2019 Deficiency and Command
28/31
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
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17
18
19
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#1492
EXHIBIT J
- 28 -
NOTICE OF DEFICIENCY AND COMMAND
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8/8/2019 Deficiency and Command
29/31
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
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17
18
19
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23
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28
#1492
EXHIBIT K
- 29 -
NOTICE OF DEFICIENCY AND COMMAND
-
8/8/2019 Deficiency and Command
30/31
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
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26
27
28
#1492
EXHIBIT L
- 30 -
NOTICE OF DEFICIENCY AND COMMAND
-
8/8/2019 Deficiency and Command
31/31
1
2
3
4
5
6
7
8
9
10
11
12
13
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15
16
17
18
19
20
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#1492
EXHIBIT M