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» Allstocks.com's Bulletin Board » Hot Stocks Free for All ! » CSHD....wheres my 6:1? (Page 120)

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Author Topic: CSHD....wheres my 6:1?
Jo4321
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So sorry to hear about Dante's passing. Just looking at the picture of that precious child makes my heart ache for his parents and all who loved him.

Jo

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"Great Day for Up!"....Dr. Seuss

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Jenna
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Thank you guys...You are truely a special bunch....

& thanks for letting me know my mailbox was full....I cleaned it but just a little....

God Bless you all....

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..just remember....Family is EVERYTHING!!

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thesource
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Very sad to hear . My god rest his soul and give atleast a little peace to his family . I hope I never out live my children .

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----- Game Over -----

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milliam
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Very sorry to hear this Jenna. I will continue to pray for his family and ask God to give them his strenght and love to make it through this incredibly tought time.
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NEL
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Jenna – Soory for your loss. May he sleep in peace.
Posts: 942 | From: Wisconsin | Registered: Jan 2006  |  IP: Logged | Report this post to a Moderator
fhalyesss
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Hi friends!!!

[Eek!] [Eek!] [Eek!] [Eek!]

FILED IN CLERKS OFFICE
U.&D.C . Atlanta
W0 0 7 2047
JAMES N . 7 EN• L K
IN THE UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF GEORGIA
ATLANTA DIVISION
1 ;06-CV-2565-CC
Defendants .
SECURITIES AND EXCHANGE
COMMISSION,
Plaintiff,
V.
CONVERSION SOLUTIONS HOLDING
CORPORATION and RUFUS PAUL
HARRIS a/k/a PAUL RUFUS HARRIS,
Civil Action No .
MOTION FOR RECONSIDERATION/REHEARING OF THE
OCTOBER 3D''H ORDER ENTERED BY THIS COURT
COMES NOW the Defendant, RUFUS PAUL HARRIS, a/k/a
PAUL RUFUS• HARRIS and Moves this Court to reconsider the
findings of fact and vacate the Order entered based on those erroneous
findings an/or conclusions in this cause based upon this Defendant being
denied due process of law and hindered in answering Plaintiff's
Complaint by other unethical practices and in support thereof states :
This Motion is based on the Court's denial of this Defendant's
Motion to set aside the default entered by the Clerk in this action . This
Order was entered by this Court without the benefit of a h earin g on this
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 1 of 9
matter to hear the Defendant's argument on this matter .
1 . That after service of process upon this Defendant, the said
Defendant did not have funds available for the substantial retainer to
employ an attorney versed in Securities Law.
2. This Defendant was s ubjected to a n unauthorized and illegal
change of officers and directors of Conversion Solutions Holding
Corporation and was unable to have access to all records necessary to
formulate a proper defense and Counterclaim to the Plaintiff's
Complaint.
3. During the time that this Defendant was deprived access to
records to defend this action, the Securities and Exchange Commission
seized the records from those individuals who had control of said
records and once again, this Defendant had no access to said records to
prepare his answer to Plaintiff's Complaint.
4. This Defendant entered into talks with the Plaintiff, cooperated in
every way and was given a false sense that the Plaintiff would subpoena
the documents necessary for the Defendant to defend this action but the
Plaintiff did not acquire these documents or if they did, they did not
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 2 of 9
share them with the Defendant as promised, causing a default to be
entered against the Defendant while the above referenced talks were
ongoing, depriving this Defendant of due process of law .
5. The conduct of the Plaintiff and its attorneys has violated the
sta ndards of professional conduct for members of the Georgia Bar as
well as Federal ethics standards by withholding information from this
Defendant while defaulting him and continuing talks after the default
was entered .
6. This Defendant finally realized that the Plaintiff was never going
to supply him with the promised information he needed to file an
appropriate answer and th erefore the Defendant filed his answer, late
as it was, without the needed information to file a proper answer and
the Plaintiff moved to strike said answer .
7. The Plaintiff does not have clean hands in dealing with this
Defendant, has committed a breach of e thics and has had a severe
conflict of interest by withholding exculpatory evidence and records
from the Defendant, thus denying the Defenda nt Due Process in this
action.
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 3 of 9
C} The phone recordings and messages of the Home Office
were unavailable to defendant after the illegal hostile
takeover to provide as evidence .
8. The failure to file a timely answer by this Defendant is due to
excusable neglect which was caused by the unethical actions of the
Plaintiff and its Attorneys .
9. Defendant is in the process of drafting a complaint to be fi led with
the Georgia Bar Association to investigate the ethics of the Plaintiff's
attorney's in dealing with this Defendant.
lO.Other events that occurred to prevent this Defendant from filing
a timely answer, defenses and counterclaim to Plaintiffs Complaint are
as follows :
A) The Email account holding the majority of the evidence
was illegally seized by James Gee and never remitted to
Defendant.
B) After strenuous evidence gather process by Conversion
Executives of the 1000 Plus illegal shareholders names and
the firms that sold them their shares, The Names of the
illegal shareholders were illegally seized by James Gee,
Justin Frazier and John Arlitt to prevent the production of
said evidence to the court.
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 4 of 9
WHEREFORE, THE Defendant, RUFUS PAUL HARRIS, a/k/a PAUL
RUFUS HARRIS, MOVES THIS Court to reconsider and vacate the Order
that was entered by this Court on October 301b 2007 for the foregoing reasons
and allow this Defendant to properly-answer Plaintiff's Complaint.
e ~...a
Rufus 1 Harris alk/a
Paul Ru u s Harris
P.O. Box 18
Adairsville, Georgia 30103
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 5 of 9
BEFORE ME, the undersigned authority, personally appeared RUFUS
PAUL HARRIS a/k/a PAUL RUFUS HARRIS, who, after first being duly
sworn by me according to law, states that the foregoing facts set forth in the
above Motion For Reconsideration/Rehearing are true and correct to the best
of his knowledge and belief.
NOTARY PUBLIC
0114 F . At L,
STATE N ~
OF
TENNESSEE
NOTARY
~ PUBLIC ~
10
.01
~lllV v" ~
My Commission Expires : I ~ (-Z,t ,c0
I, RUFUS PAUL HARRIS a/k/a PAUL RUFUS HARRIS, after being duly
sworn according to law , do state and affirm, under penalty of perjury, that
the facts set forth in the foregoing Motion for Reconsideration/Rehearing are
true and correct to my best knowledge and belief .
d
Rufus null Harris aIk/a
Paul Rufus Harris
STATEOF County of ~ r~ s
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 6 of 9
Office of the Attorney General
State of Georgia
40 Capitol Square, SW
Atlanta, Ga 30334
I HEREBY CERTIFY that a true and correct copy of the foregoing
Motion for Reconsideration/Rehearing has been furnished t o William P
Hicks, Debbie T. Hampton and Alana R Black, Attorney's for Plaintiff, 34 75
Lenox Road, NE, Suite 1000, Atlanta, GA 30326-1232 by U .S. Mail this 5th
day of November, 2008.
~. ~ ~.,
Rufus aul Harris a/k/a
Paul Rufus Harris
Copied to the following ;
United States Attorney General
U.S. Department of Justice
950 Pennsylvania Avenue, NW
Washington, DC 20530-0001
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 7 of 9
IN THE UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF GEORGIA
ATLANTA DIVISION
Civil Action No.
1 :06-CV-2568-CC
Defendants.
Plaintiff or its Attorneys or unknown third parties and cannot be retrieved in
SECURITIES AND EXCHANGE
COMMISSION,
Plaintiff,
V.
CONVERSION SOLUTIONS HOLDING
CORPORATION and RUFUS PAUL
HARRIS a/k/a PAUL RUFUS HARRIS,
MOTION FOR ENLARGEMENT OF TIME TO
FILE SUPPLEMENTAL AFFIDAVITS
COMES NOW the Defendant, RUFUS PAUL HARRIS, a/k/a PAUL
RUFUS HARRIS, and moves this Court to extend the time period for filing
affidavits and submitting documentation supporting this Motionfor an
additional 60 days, until January 2nd , 2008.
The grounds for this Motion are that the time period set forth in the
Federal Rules of Civil Procedure is insufficient to find witnesses to execute
affidavits or to find and submit other documents and/or evidence supporting
this Defendants Motion .
The needed documents to support this Motion are in the possession of the
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 8 of 9
Paul Rufus Harris
a 10 day period from the entry of this Courts Order entered on October 30,
2007.
WHEREFORE, THE Defendant, RUFUS PAUL HARRIS, a/k/a PAUL
RUFUS HARRIS, moves this Court for an enlargement of time, until January
2, 2008, to file supplemental affidavits, documents and/or other evidence to
support the Defendant's Motion for Reconsideration/Rehearing heretofore
filed in this cause
I HEREBY CERTIFY that a true and correct copy of the foregoing
Motion for Enlargement of Time has been furnished to William P Hicks,
Debbie T. Hampton and Alana R Black, Attorney's for Plaintiff, 3475 Lenox
Road, NE, Suite 1000, Atlanta, GA 30326-1232 by U.S. Mail this 5th day of
November, 2008.
f~
Rufus ul Harris a/k/a
Case 1:06-cv-02568-CC Document 20 Filed 11/07/2007 Page 9 of 9


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'The rewards for those that persevere, far exceed the pain that must proceed the victory!'

Posts: 399 | From: leeds, england | Registered: Jul 2006  |  IP: Logged | Report this post to a Moderator
T e x
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time for new thread:

http://www.allstocks.com/stockmessageboard/ubb/ultimatebb.php/ubb/get_topic/f/2/ t/014576/p/1.html#000000

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Nashoba Holba Chepulechi
Adventures in microcapitalism...

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