THE CRIMES OF SENATOR EHIGIE EDOBOR A.K.A. "GODWIN" UZAMERE
1. Home2. Once Upon A Time3. Victim's Statement4. My Search for Justice5. Descent into Hell6. U.S. Laws Violated by Senator Uzamere7. Nigerian Laws Violated by Senator Uzamere8. Ignored by Federal Agencies9. Ignored by Nigerian Authorities10. Victims' Loss of Child Support11. The Uzamere Family12. Municipal Employees Who Helped Senator Uzamere13. John Gray and Non-Profit Legal Community14. Hall of Shame15. 1st Judicial Blow By African-American Judge Thomas16. Law Firm of Allen E. Kaye17. Too Many Discrepancies...18. Allen E. Kaye And His Diabolical Talmud-Following Minions19. Will Sampson Staff Refuse To Help Identity Fraud Victims?20. Law Office of Gladstein & Messinger21. Patrick Synmoie's Attempts to Hide22. Consulate General of Nigeria23. Strange Chat with Senator Ekweremadu24. Proof of Legal Marriage25. Proof of Illegal Marriage/Identity Fraud26. Senator Uzamere's Attempts to Hide Crimes Will Fail27. The Proof...28. Success -- The Proof Is Finally Here!29. Will Senator Uzamere Evade Child Support Again?30. Nigeria's New Commitment to Protect Child Abandoned by Sen. Uzamere31. Judge Prus -- What Gives?32. Back on Track!33. Eugene Uzamere -- Third Attorney to Break the Law34. Petitioner's Verified Petition35. Supplemental Verified Petition36. Judge Prus Recuses Himself37. Eugene's Failed Attempt to Thwart Justice38. Kate Ezomo -- Diabolical Liar39. Letters of Complaint Against Kate Ezomo40. My Factual Response to Imaginary Cousin Godwin41. Federal Action Against Defendant Dismissed42. Open Letters to the FBI43. Open Letter to All U.S. Judges44. Open Letter to Ehigie and Eugene45. Tara's Affidavit46. $100,000,000.00 Lawsuit Against Corrupt Fiduciaries47. Will Fiduciaries Settle?48. New York City Defrauds Disabled Schvartze49. There Is No Cousin Godwin!50. Warning Letter to Governor and Chief Justice of New York State51. Deprived of Child Support by Allen Kaye52. Can International Agency Help?53. Chief Judge Wood's Court54. Will NYS' Dept. Disc. Committee and Commission on Judicial Conduct Be Corrupted?55. Subpoena Planned for Judge Garaufis56. No Negotiations for Justice...Justice is Owed!57. Will Attorneys Sign Affirmation?58. Am I Finally Being Taken Seriously?59. Evidentiary Hearing is Scheduled!60. Amy Feinstein Refuses to Prosecute!61. Robert Juceam's Useless Excuses62. Appellate Brief pages 24 to end63. No Justice -- No Peace!64. Happy Birthday My Beautiful Angel65. Are You A Victim of A Green Card Marriage Scam?66. End Green Card Marriage Sponsorship67. How to Report an Immigration Scammer and the Attorney68. Is The End Finally in Sight?69. Will Appellate Division Justices Decide Fairly?70. What Will NYSCJC's Response Be?71. How Will NYSDDC Respond?72. Will Obama's Administration Coerce Helpless Schvartze's Silence73. Will U.S. Department of State's Secretary Rise To The Challenge?74. Eugene Uzamere Calls It Quits75. Bigot Judge Sunshine Continues Courtroom Corruption76. Schvartze's Complaints Still Ignored By Appellate Division's White Judiciary77. More Talmudic Bias and Anti-Schvartze Racism At SDNY78. Senator Uzamere...You Are The Husband!79. Will U.S. Solicitor General Office Look On Idly?80. What will SCOTUS Do?81. Why did they disobey?82. Cabranes' Fraud Upon The Court83. Is Hinds-Radix Their 'Secret' Weapon?84. New York State Lawsuit for Fraud85. Judge Sunshine Is A Loser86. Judge Sunshine Out of Options87. Petitioner Prepares Request for Rehearing...88. Petition for Rehearing89. Loser Sunshine's Last Hurrah90. Lawsuit Against Daily News and Scott Shifrel91. Mort Zuckerman's Bigoted Tabloid92. Corruption at Nassau County Supreme Court and Nassau County Clerk93. Judge Scuccimarra Ruling94. Defendants Have Defaulted95. Will Judge Parga Accepts Anne Carroll's Drivel Because Defendants Are Rich Jews?96. New York and Anne B. Carroll97. Lawsuit Against President98. Will Obama Listen?99. Open Letter to Al Jazeera, President Obama and Judge Allegra100. More Court Shenanigans?101. Howard U. Schmokescreen102. Into the fire...103. What Will The New York State Division of Human Rights Do?104. Housing Court Corruption105. Mayor Bloomberg's Finest106. FEGS in Criminal Conspiracy107. FEGS Gave Victim No Choice108. What Will The New York State Supreme Court Do?109. What Will Court of Claims Do?110. Abuse of Religion Not New111. How Wicked Are They?112. What Lies???113. Federal Lawsuit114. Disastrous Results to Appeal115. Judge Garaufis' Discriminatory Decision116. Garaufis' Talmudic Shenanigans117. FOIA Hiding Evidence118. Congressional Testimony119. Unintelligible Complaint of Rachel G. Yohalem120. Uzamere v. USA, et al121. Judicial Whores Willy and Patty122. Uzamere v. USA123. Find an Unbiased Court124. U.S. Government Blacklists Own Citizens125. Appellate Brief First Circuit126. U.S. Government Hides Prosecution127. A Jewish RICO128. Jews' Demonic Doctrine -- Law of the Moser129. Mishkin Yanks His Own Nuts130. Will African American Victim of Grand Laceny Receive Justice?131. Judicial Ethics Hypocrite132. Jew Shenanigans Involved in Random Selection of Morally Compromised Judge133. Please save my family!134. Psychopaths135. Jewish Paradigm Put Jews on Top136. Pretender Bharara137. Int'l Complaint Against Israel, United States and Nigeria138. Memorial of Impeachment139. Supplemental Complaint140. Appellate Brief to UN and US141. U.S. Supreme Court Petition -- UN and U.S.142. A Real Man

Will Immigration Professionals Sign Affirmation --
Or Will They  Conspire to Hide Allen Kaye's Crimes?

UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK

                                                                      

Cheryl D. Uzamere                                                       Civil Court Docket No:

Plaintiff,               AFFIRMATION

- against -

Allen E. Kaye, P.C.; Uzamere and Associates,
PLLC; Fried, Frank, Harris, Shriver & Jacobson,
LLP; Allen E. Kaye Esq.; Eugene O. Uzamere,
Esq.; Robert E. Juceam, Esq.; Jack Gladstein,
Esq.; Eugenia Cowles, Esq.; Rachel McCarthy,
Esq.; Andrew Cuomo, Esq.; Honorable Michael
Bloomberg; Honorable A. Gail Prudenti, Justice
of the Appellate Court 2nd Judicial Department;
Honorable Abraham Gerges, Justice of the
Supreme Court, Kings County; Honorable Jeffrey
S. Sunshine, Justice of Supreme Court Kings County;
James Edward Pelzer, Clerk of Appellate Court 2nd
Judicial Department; Joseph Visceglia, Municipal
Clerk; Bernard J. Rostansky, Notary Public; State
of New York; City of New York and New York City
Clerk's Office
Defendants.
                                                                      

STATE OF NEW YORK )
COUNTY OF KINGS )  ss:

        I, Allen E. Kaye, an attorney duly admitted to practice law in the courts of the State of New York, hereby affirm the following under penalties of perjury:

        1)    I am the owner and principal attorney of the law firm Allen E. Kaye, P.C., located at 233 Broadway, New York, New York, 10006. I am fully familiar with the facts and circumstances contained in the subject Affirmation. My knowledge and information is based on the records maintained by my office, communications with the individual photographed in Exhibit A and with other individuals with whom I discussed issues as they pertain to this case.

        2)    I recognize that the Plaintiff in the above-entitled action, in an attempt to apprise American citizens and to protect them from the dangers associated with corrupt immigration attorneys and immigrants who engage in green card marriage scams and other forms of immigration fraud, has uploaded the subject Affirmation to her website, http://www.thecrimesofsenatoruzamere.com.

        3)    I affirm that the statements herein presented are true and correct, and that I am wholly and solely responsible for any negative consequence to my career, my professional reputation and Plaintiff's perception of green card marriages as outlined on Plaintiff's web page http://www.thecrimesofsenatoruzamere.com/end_green_card_marriage_sponsorship.html that include, but are not limited to: investigations conducted against me by governmental agencies, arrest, imprisonment, disbarment, suspension, censure, subpoenas, lawsuits, federal or state court's decision against me regarding any acts of fraud, omissions or other acts of impropriety, and any other damages arising from my intentional misrepresentation of the facts as contained in the subject Affirmation.

        4)    That the individual photographed in Exhibit A is my client.

        5)    That before November 30, 1979, neither I nor anyone in my employ was retained to provide legal services on behalf of the individual photographed in Exhibit A, nor did I collect monies or provide pro bono legal services on behalf of the individual photographed in Exhibit A.

        6)    That neither the United States Citizenship and Immigration Service nor any other federal agency is in possession of records that reflect that I provided legal services on behalf of the individual photographed in Exhibit A before November 30, 1979.

        7)    That before November 30, 1979, neither I, nor anyone in my employ knew the individual photographed in Exhibit A by his real name or any other name.

        8)    That on or around November 30, 1979, the individual photographed in Exhibit A came into my office for the first time and met with “an attorney associated with Mr. Kaye...in connection with a petition for an immediate relative” as outlined in correspondence prepared by Rachel McCarthy, Bar Counsel of the USCIS (see Exhibit B).

        9)    That the individual photographed in Exhibit A presented to the “attorney associated with Mr. Kaye” a copy of his marriage license or other identification as proof of marriage to Cheryl D. Uzamere, formerly known as Cheryl D. Duncan (see Exhibit C).

       10)    That the individual to whom USCIS' statement “an attorney associated with Mr. Kaye's firm” refers is Harvey Shapiro, as indicated by Mr. Shapiro's signature above my law firm's name on the I-130 that was signed by the Plaintiff (see Exhibit D pages 1-4).

       11)    That on or around November 30, 1979, the individual photographed in Exhibit A presented marriage documentation containing the fictitious name “Godwin E. Uzamere.”

       12)    That on or around November 30, 1979, Plaintiff signed her maiden name on the aforesaid immigration form without knowing that my associate Harvey Shapiro had accepted her husband's fictitious name “Godwin E. Uzamere” as true and correct.

       13)    That on or around November 30, 1979, that my associate Harvey Shapiro did not verify the identity of the individual photographed in Exhibit A by viewing the aforesaid individual's passport, driver's license, college identification, birth papers, baptismal certificate or other official and accurate documentation as required by New York State and U.S. immigration laws, as outlined in Exhibit E (page 2 of 2); and that Harvey Shapiro failed to properly verify the identity of the individual photographed in Exhibit A; and that having placed supervisory responsibilities for the processing of the aforesaid individual's request for permanent residence with Harvey Shapiro, I had no further involvement with the individual photographed in Exhibit A with regard to his petition for immediate relative sponsorship through the Plaintiff.

       14)    That with regard to having placed supervisory responsibilities for the processing of the aforesaid individual's request for permanent residence with Harvey Shapiro, existing laws of agency or other commercial laws holding a company's principal is liable for the acts of his/her agents, necessarily requiring me to ensure that my associate Harvey Shapiro's processing of the aforesaid individual's request for permanent residence was true and correct, did not apply to me at the time that Harvey Shapiro submitted the falsified I-130 form to be notarized.

       15)    That I recognize that as a direct result of Harvey Shapiro's processing the request of the individual photographed in Exhibit A with the fraudulent information “Godwin E. Uzamere, date of birth, June 1, 1955”, and as a direct of Harvey Shapiro failure to check the aforesaid individual's passport, driver's license, college identification, birth papers, baptismal certificate or other official and accurate documentation as required by New York State and U.S. immigration laws, and outlined in Exhibit E (page 2 of 2), Plaintiff was unable to obtain child and spousal support for the life of the marriage.

       16)    That I affirm that the names “Ehigie Edobor Uzamere” and “Godwin E. Uzamere” belong to Senator Ehigie Edobor Uzamere; and that said individual is the Plaintiff's husband.

       17)   That the affirmation of Eugene O. Uzamere, Esq., regarding the identity of the individual photographed in Exhibit A is fraudulent, inaccurate and without merit (see Exhibit F (pages 1, 2).

        18)   That as the owner and principal of the law firm Allen E. Kaye, P.C., I have never engaged in any form of willful blindness, such as intentionally placing supervisory responsibilities on associates, subordinates or other agents in my employ to process fraudulent immigration request so that I can feign lack of knowledge.

       19)    That I submit this Affirmation willingly and with no explicit, implicit or coerced understanding that if I place blame on Harvey Shapiro or on an as yet unknown agent, the Plaintiff will end her complaints against me in exchange for my influencing the judge in Plaintiff's divorce action to grant her motion for default judgment and money judgment against her husband.

       20)    That I submit this Affirmation knowing that the Plaintiff believes me to be wholly and solely liable for the acts of my associate, Harvey Shapiro based on her understanding of the laws of agency; that Plaintiff cannot legally or logically accede to any explicit, implicit, coerced or other “understood” request allowing me to place blame on former agency Harvey Shapiro insofar as Plaintiff would consider such an act to be dishonest; and that such an act would leave Plaintiff open to lawsuit by me based on defamation of character.

       21)   That I am willing to go forward to hold former associate Harvey Shapiro liable for submitting the I-130 signed by the Plaintiff and to assist in Harvey Shapiro's prosecution.

       22)    I understand that if I refuse to sign this Affirmation as presented by the Plaintiff that Plaintiff will use my refusal as proof that I am guilty of the allegations for which I stand accused.

        WHEREFORE, as Harvey Shapiro is responsible for the processing of the aforesaid I-130 form in a manner that is inconsistent with New York State and U.S. laws that require the production of verifiable identification, and that Harvey Shapiro's processing of the fraudulent I-130 form on behalf of the Plaintiff's husband is the proximate cause for the loss of income to Plaintiff and her children, I respectfully submit that this court direct its investigation to Harvey Shapiro for litigation, prosecution and for other and further actions as to this Court seem just and proper.




Dated: Brooklyn, NY
January 10, 2009

____________________________

Allen E. Kaye, Esq.
Allen E. Kaye, P.C.
233 Broadway, New York, NY 10006
Tel.: (212) 964-5858
Fax.:(212) 608-3734

Affirmation of Michael Chertoff, Secretary, USDHS

Affidavit of Michael Aytes,
Acting Deputy Director, USCIS

Affirmation of Rachel McCarthy
Bar Counsel, USDHS

UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK

                                                                      

Cheryl D. Uzamere                                              Civil Court Docket No:

Plaintiff,               AFFIRMATION

- against -

Allen E. Kaye, P.C.; Uzamere and Associates,
PLLC; Fried, Frank, Harris, Shriver & Jacobson,
LLP; Allen E. Kaye Esq.; Eugene O. Uzamere,
Esq.; Robert E. Juceam, Esq.; Jack Gladstein,
Esq.; Eugenia Cowles, Esq.; Rachel McCarthy,
Esq.; Andrew Cuomo, Esq.; Honorable Michael
Bloomberg; Honorable A. Gail Prudenti, Justice
of the Appellate Court 2nd Judicial Department;
Honorable Abraham Gerges, Justice of the
Supreme Court, Kings County; Honorable Jeffrey
S. Sunshine, Justice of Supreme Court Kings County;
James Edward Pelzer, Clerk of Appellate Court 2nd
Judicial Department; Joseph Visceglia, Municipal
Clerk; Bernard J. Rostansky, Notary Public; State
of New York; City of New York and New York City
Clerk's Office
Defendants.
                                                                      

STATE OF NEW YORK  )
COUNTY OF KINGS     )  ss:

        I, Rachel McCarthy, an attorney duly admitted to practice law in the courts of the State of Vermont and in the federal courts of the United States, hereby affirm the following under penalties of perjury:

        1)    I am Bar Counsel for the United States Department of Homeland Security.  As such, I have represented the aforesaid federal agency in several disciplinary proceedings; many ending with the censuring, suspending or expulsion of attorneys found to have violated the Rules of Ethics for Professional Conduct of Immigration Practitioners.  I am fully familiar with the facts and circumstances contained in the subject Affirmation. My knowledge and information is based on: the records maintained by my agency concerning the individual photographed in Exhibit A and known to my agency as Ehigie Edobor Uzamere; communications with immigration practitioner Allen E. Kaye, Esq.; communications with immigration practitioner Robert E. Juceam, Esq.; and communications with USCIS employees with whom I have discussed issues that pertain to the decision I rendered in the correspondence that I sent to Plaintiff Cheryl D. Uzamere dated January 6, 2009(see Exhibit B).

        2)    I recognize that the Plaintiff in the above-entitled action, in an attempt to apprise American citizens and to protect them from the dangers associated with corrupt immigration attorneys,  immigrants and federal employees who engage in green card marriage scams and other forms of immigration fraud, has uploaded the subject Affirmation to her website, http://www.thecrimesofsenatoruzamere.com.

        3)    I affirm that the statements herein presented are true and correct, and that I am wholly and solely responsible for any negative consequence to my career and professional reputation that include, but are not limited to: investigations conducted against me by governmental agencies, arrest, imprisonment, disbarment, suspension, censure, subpoenas, lawsuits, federal or state court's decisions against me regarding any acts of fraud, omissions or other acts of impropriety, and any other damages arising from my intentional misrepresentation of the facts as contained in the subject Affirmation.

        4)    That  although the Rules of Ethics for Professional Conduct of Immigration Practitioners prohibits immigration attorneys from "knowingly or with reckless disregard makes a false statement or willfully misleading, misinforming, threatening, or deceiving any person", that Exhibit D, page 1, the I-130 relative sponsorship form that contains the fraudulent name and birth date that Plaintiff's husband used to marry the Plaintiff and is endorsed with Mr. Kaye's name is not clear and convincing evidence of an ethical violation on the part of Mr. Kaye.

        5)    That although the Law of Agency places liability of an agent's acts or omissions on the principal, I do not find clear and convincing evidence of an ethical violation of the Rules on the part of Mr. Kaye, who supervised and received money based on the work performed by his agent, Harvey Shapiro.

        6)    That my statement: "the acts that you allege...occurred in the course of representation by an attorney associated with Mr. Kaye" refers to Harvey Shapiro, as indicated by Mr. Shapiro's signature immediate above Mr. Kaye's name in Exhibit D page 1.

        7)    That the individual photographed in Exhibit A is known to my agency as "Ehigie Edobor Uzamere", date of birth December 31, 1960; and that my agency's records reflect that the aforesaid individual produced documentation in the aforesaid name to verify his identity.

        8)    That my agency is not in possession of any records that reflect that Allen E. Kaye, P.C.  provided legal services on behalf of the individual photographed in Exhibit A before November 30, 1979.

        9)    That my agency's records reflect that on or around November 30, 1979, the individual photographed in Exhibit A retained the legal services of Allen E. Kaye for the first time.

       10)    That on or around November 30, 1979, my agency's records reflect that the Plaintiff's husband met with “an attorney associated with Mr. Kaye...in connection with a petition for an immediate relative” as I stated in Exhibit B, my letter to the Plaintiff dated January 6, 2009.

       11)    That on or around November 30, 1979, the individual photographed in Exhibit A, and known as "Ehigie E. Uzamere" in my agency's records, presented Allen Kaye's agent Harvey Shapiro with marriage documentation containing the fictitious name “Godwin E. Uzamere, date of birth June 1, 1955.”

       12)    That my agency contains no photocopies of official documentation that contain the fraudulent information "Godwin E. Uzamere, date of birth June, 1955 as outlined in Exhibit E, page 2 of 2, marriage affidavit's classifications for official identification.

       13)    That my agency's records reflect that on or around November 30, 1979, Plaintiff signed her maiden name on the aforesaid immigration form that contained the fraudulent information "Godwin Edobor Uzamere, date of birth June 1, 1955"; and that said form was signed by Allen Kaye's agent, Harvey Shapiro and endorsed with Allen Kaye's name.

       14)    That on or around December 17, 1979, Allen Kaye's agent Harvey Shapiro presented the I-130 relative sponsorship form he fraudulently completed to Bernard J. Rostansky to be notarized; that Bernard Rostansky did not verify the identity of the individual photographed in Exhibit A by viewing the aforesaid individual's passport, driver's license, college identification, birth papers, baptismal certificate or other official and accurate documentation as as outlined in Exhibit E, page 2 of 2, back of marriage affidavit.

       15)    That my agency eventually withdrew the IR2 permanent residence of Plaintiff's husband Ehigie Edobor Uzamere because Mr. Uzamere was married to the Plaintiff at the time he became eligible; that IR2 residence is granted to immigrants who are no more than 21 years of age and unmarried, as outlined by my report to Eugenia Cowles, Exhibit  B2, in which I stated that "“Uzamere later obtained status via his USC stepmother – and that law firm was retained AFTER the filing of the petition after there had been no action for a year.”

       16)    That my agency had prior knowledge of Plaintiff's husband act of fraud insofar as my agency was able to ascertain that the fictitious information "Godwin Ehigie Uzamere, date of birth June 1, 1955" who requested permanent residence based on marriage to the Plaintiff is the same individual known as Ehigie Edobor Uzamere, date of birth, December 31, 1960 who requested permanent residence based on being under 21 years of age and unmarried. 

       17)    That in the nearly thirty years since November 30, 1979, my agency did not apprise the Plaintiff of withdrawal of her husband's fraudulent request for permanent residence; that my agency did not apprise the Plaintiff that the information provided to it by Allen Kaye's agent Harvey Shapiro was fraudulent.

       18)    That my agency did not provide the Plaintiff with information regarding her husband's identity until my agency charged her with assault after the Plaintiff left several angry messages demanding that Allen Kaye be investigated for acts of fraud related to Plaintiff's husband's fraudulent request for permanent residence.

      19)    That I recognize that as a direct result of my agency's failure to apprise the Plaintiff of her husband's fraudulent request for permanent residence that was processed by Allen Kaye's agent Harvey Shapiro, the Plaintiff was unable to obtain child and spousal support for the entire lifetime of the marriage.

       20)   That I recognize the affirmation of Eugene O. Uzamere, Esq., regarding the identity of the individual photographed in Exhibit A is fraudulent, inaccurate and without merit (see Exhibit F (pages 1 and 2).

       21)    That I submit this Affirmation willingly and with no explicit, implicit or coerced understanding that if I place blame on Harvey Shapiro or on an as yet unknown agent instead of myself, my agency and Allen Kaye, the Plaintiff will waive her constitutional right to seek redress from the government with regard to her federal lawsuit in exchange for my ability to influence the judge in Plaintiff's divorce action to grant her motion for default judgment and money judgment against her husband.

       22)    That I submit this Affirmation knowing that the Plaintiff believes me and my agency to be liable for the acts of Harvey Shapiro, insofar as my agency failed to apprise the Plaintiff that Allen Kaye's agent Harvey Shapiro processed a fraudulently completed I-130 relative sponsorship form; and that in spite of my agency's prior knowledge, it withheld said knowledge from the Plaintiff, forcing Plaintiff to be unable to obtain legally-mandated child and spousal support from her husband.

       23)    I understand that Plaintiff cannot legally or logically accede to any explicit, implicit, coerced or other “understood” request allowing me to place blame on Allen Kaye's agent Harvey Shapiro, and not myself, my agency or Allen Kaye, insofar as Plaintiff would consider such an act to be dishonest; and that such an act would leave Plaintiff open to lawsuit based on defamation of character.

       24)   That I am willing to hold Harvey Shapiro criminally liable and to assist in his prosecution for submitting the I-130 that was signed by the Plaintiff, based on my statement that "The acts that you allege...occurred in the course of representation of an attorney associated with Mr. Kaye"; said representation referring to Harvey Shapiro "in connection with a petition for an immediate relative filed by [Cheryl D. Uzamere] with the Immigration and Naturalization in 1979."

       25)    I understand that if I refuse to sign this Affirmation as presented by the Plaintiff that Plaintiff will use my refusal as proof that I am guilty of the allegations for which I stand accused.

        WHEREFORE, as Harvey Shapiro is responsible for the processing of the aforesaid I-130 form in a manner that is inconsistent with New York State and U.S. laws that require the production of verifiable identification, and that Harvey Shapiro's processing of the fraudulent I-130 form on behalf of the Plaintiff's husband is the proximate cause for the loss of income to Plaintiff and her children, I respectfully submit that this court direct its investigation to Harvey Shapiro for litigation, prosecution and for other and further actions as to this Court seem just and proper.




Dated: Brooklyn, NY
January 10, 2009

____________________________

Rachel McCarthy, Esq.
U.S. Department of Homeland Security
U.S. Citizenship and Immigration Service
70 Kimball Avenue
Room 103
South Burlington, VT
Tel.: (802) 660-5043
Fax.:(802) 660-5067

Affirmation of Thomas D. Anderson
U.S. Attorney -- Vermont

Affirmation of Eugenia Cowles
U.S. Assistant Attorney -- Vermont

Affirmation of Robert E. Juceam, Esq.

Affirmation of Harvey Shapiro, Esq.

 

Exhibit A

(photographs of Senator Ehigie Edobor Uzamere)

ehigiephotobytara.jpg
ehigieillegalwifeandeugeneuzamere.jpg

 

Exhibit B1

(Letter from Rachel McCarthy, USCIS)

rachelmccarthyltr.jpg

Exhibit B2

(Two-Uzamere Report from Rachel McCarthy, USCIS)

twouzameresreport.jpg

 

Exhibit C

(marriage license)

 

cherylsmarriagelicense.jpg

 

Exhibit D

(I-130 for – page 1 of 4)


I-130.jpg

 

Exhibit D

(Allen Kaye letter, 1st page – page 2 of 4)

allenkayeresponse.gif

Exhibit D

(Allen Kaye letter, 2nd page -- page 3 of 4)

 

allenkayeletterpg2.jpg

 

Exhibit D

(Robert Juceam letter -- page 4 of 4)

juceamltrpg3.jpg

 

Exhibit E

(marriage affidavit -- page 1 of 2)

marriageaffidavitfront.jpg

 

Exhibit E

(marriage affidavit -- page 2 of 2)

 

marriageaffidavitbackpg.jpg

 

Exhibit F

(Eugene's Affirmation -- page 1 of 2)

eugeneaffirmationpg1.jpg

 

Exhibit F

(Eugene's Affirmation -- page 2 of 2)

 

eugeneaffirmationpg2.jpg