America Again,
The Rule of Law, in its most basic form, is the principle that no one is above the law.
The Rule of Law gives the people the power to trust their governments by trusting in themselves and God, and by way of this knowledge able of holding anyone elected accountable to their oaths of office…
— Jason Gambert, United States Sovereign and Your Dam 300 Advocate IV. Your Personal Dam II.I.JI.JUSTICE.II.I.JI. II.I.JI. JI. I!
o.
THE UNITED STATES PATENT AND TRADEMARK ORGANIZATION
IN THE DEPARTMENTS OF THE TRADEMARK TRIAL AND APPEAL BOARD & THE DIRECTORS OFFICES
JASON GAMBERT
PLAINTIFF
v.
THE USPTO TTAB
United States Patent and Trademark Office
P.O. Box 1450 Alexandria, VA 22313-1450
Defendant
FEDERAL TORT CLAIMS ACT & PLAINT FOR INJUNCTIVE RELIEF §4
1. This is an action under the § 13 (15 U.S.C. § 1063), 37 CFR § 2.101, 37 CFR § 2.102, U.S.C. § 1063(a), to order the reproduction of trademark SEO, concerning case application 77171330, in which defendant continues improperly withholding this property from plaintiff.
2. This department has the authority and is required to issue the trademark over the TTAB’s abuse of process, gross negligence, and malicious conduct and rulings pursuant to 15 U.S.C. 1063 (B)(1).
3. Plaintiff, Jason Gambert, is the original Applicant and is the legal owner of the SEO trademark in application 77171330. Furthermore plaintiff is the lawful requester of the trademark to be reprinted and sent to plaintiff in which defendant is currently withholding his property illegally pursuant to U.S. Const. amend. V & U.S. Const. amend. XIX, 15 U.S.C. 1063 (B)(1), and the agencies 300 pleadings.
Plaintiff demands Americas property to be released and continues the pressing of the publication and the required records to be fixed by the TTAB & Director according to15 USC 1063 §1119.
4. Defendant (USPTO) is an agency of the United States and has possession of the document and the property that plaintiff currently owns and seeks.
5. By letter dated 04/17/2013, plaintiff requested his property to be issued from the issuing department in regards to the SEO trademark in application 77171330, in which the USPTO director shall have a copy of this demand letter and furthermore shall be issued to the Department of Justice in Washington, Arizona, and to Congress making sure this department with all its agents are held accountable to the required actions of what is clearly written without any ambiguity in the law.
6. The required trademark issuance has not been provided, plaintiff was denied access to the requested property by the TTAB’s deliberate abuse of process, although the Applicant who is now Plaintiff has always been timely according to the law in all his proceedings, in all motions, and all filings, this case has been maliciously ignored by the Trademark Trial & Appeal board who has from the evidenced past has and continues to attempt to cover up its gross negligence’s and malicious conducts. The applicant who is now Plaintiff has suffered great damages accordingly and does hereby seek this further required relief which includes the resignations of:
I.) Prosecution of Chief Administrative Judge Gerald Rogers.
II.) Prosecution of Administrative Judge Mark Bergsman.
III.) Prosecution of Administrative Judge David Bucher.
IV.) Prosecution of Administrative Judge Lorei Ritchie.
V.) Prosecution of Administrative Judge Ellen Seeherman.
VI.) Prosecution of Administrative Judge Karen Kuhlke.
VII.) Prosecution of Interlocutory Ann Linnehan.
VIII.) The Resignation of David Kappos has been satisfied 01/2013.
The above required prosecutions must be brought to justice ALL IN for the deliberate participation of unlawful attempts at cover-ups, gross negligence, abuse of process, malicious conduct, the obstruction of justice in the required issuance of trademark 77171330 to plaintiff in accordance to 15 USC 1063 (B) while deliberately failing the citizens who are the tax payers of the United States, and other things.
7. Although Plaintiff has notified (1.) Rebecca Blank in the U.S. Department of Commerce and who is currently acting as Secretary, (2.) Bernard Knight in the office of the general counsel, (3.) William R. Covey director for discipline in the office of enrollment and Discipline, (4.) Former Director David Kappos, (5.) Current Director Teresa Stanek Rea, and since there has been no correspondence or required justice performed to this date from any of these agents or any attempts at fixing this deliberate diminution from Defendant, it is now required that that 2, 3, and 4, provide an official statement to Plaintiff.
Furthermore it is also required I, II, III, IV, V, VI, VII, to provide an official statement to satisfy Plaintiffs legal deliberations.
8. Although every attempt from Applicant 77171330, and now who is Plaintiff, did attempt in a good faith effort to correct the findings of the extraordinary circumstances whereby filing the appropriate petitions timely, although they were erroneously denied as untimely, even though the truth is they were certainly not untimely, and by the provided evidence in the filings it clearly shows the actions by the defendant are no longer merited as a matter of timeliness, but merited to the plaintiff as a matter of justice. This case is resolved totally and absolutely by Federal Statute, Internal Agency Law, The 5th and 14th Amendments of the United States, The Lanham Act, and The Rule of Law already.
There is no legal standing for any Agent inside this or any other Agency to consider any late filings, or any other nullity issues acting outside of any accordance to the highest laws that govern any Agency, it’s Agents, and or its employees. The illegal actions against Applicant 77171330 must be defended against, and the unlawful “Would Be” opposition 91183740 shall be considered a nullity. The error is to be fixed in accordance to 15 USC 1063 (B) of the Lanham Act and the United States Chapter 300 pleadings 306.04 late opposition.
9. Plaintiff has a right to access the requested property under 15 USC 1063 (B)(1) and there is no such legal basis for defendant to deny plaintiff such access or provisions required.
WHEREFORE, plaintiff requests this Agency or its responsible and accountable Agents to:
(1) Order the issuing department to provide the requested SEO trademark document to Plaintiff.
(2) Expedite this proceeding providing no more delay or further evidence of deliberate diminution.
(3) Hold the accountable; accountable and further investigate providing the findings to Plaintiff.
(4) Provide an Official United States Patent and Trademark Organization apology to Plaintiff justly.
(5) Fix the record correctly, truthfully, and honestly as required by what is written in the law.
(6) Provide Plaintiff the required official statements and resignations from the named above.
(7) Grant such other and further relief as may be deemed just and proper.
With clear notice provided,
-President Gambert
THIS WAS THEIR RESPONSE FROM THE USPTO TO THE JUDICIAL & SOVEREIGN IMMUNITY PIERCING 300:
AMERICA YOU NOW HAVE TO BELIEVE THIS EVERYONE WAS CAUGHT BY UNDERCOVER PRESIDENT GAMBERT!
Office of Bar Counsel, Building A, Suite 117, 515 5th St NW, Washington, DC 20001-2710 Delivered 9400111201080755368142 10/22/2012 USPS
COVERY WILLIAM R (DIR), Mail Stop G/OED , OFFICE OF DISCIPLINE, Director of the USPTO, P.O. Box 1450, Alexandria, VA 22313-1450 Delivered 9400111201080755348502 10/23/2012 USPS
FBI Phoenix, 21711 N. 7th Street, Phoenix, AZ 85024-5118 Delivered 9400111201080755080365 10/22/2012 USPS (UPDATE 01/07/2015 NEW DIRECTOR LUM)
ATTORNEY GENERAL, TOM HORNE, 1275 West Washington St., Phoenix, AZ 85007-2926 Delivered 9400111201080755063849 10/20/2012 USPS (FOLD)
The Honorable Janice K. Brewer, Executive Tower, 1700 West Washington Street, Phoenix, AZ 85007-2812 Delivered 9400111201080783671146 10/20/2012 USPS (RESIGNED IN ESSENCE)
JOHN MCCAIN, 2201 E Camelback Rd Suite 115, Phoenix, AZ 85016-3446 Delivered 9400111201080783640579 10/20/2012 USPS (PENDING)
Bernard Knight, Office of the General Counsel, United States Patent And Trademark Office, P.O. Box 1450, Alexandria, VA 22313-1450 Delivered 9405511201080788783151 10/19/2012 USPS Please Note Bernard Did Receive Service Process for: (PROSECUTING)
1.) Anne Linnehan (PROSECUTING 300)
2.) Judge Bergsman (PROSECUTING 300)
3.) Judge Seeherman (PROSECUTING 300)
4) Judge Rogers (PROSECUTING 300)
5.) Judge Richie (PROSECUTING 300)
6.) Judge Bucher (PROSECUTING 300)
7.) Judge Kuhlke (PROSECUTING 300)
8.) Director David Kappos (PROSECUTING 300)
9.) The USPTO (BIG DAM TROUBLE 300)
William J. Clinton, 212-348-8882, 55 W 125th St, New York, NY 10027-4516 Delivered 9400111201080788576033 10/22/2012 USPS (PENDING)
Eric H. Holder, Jr, U.S. Department of Justice, 950 Pennsylvania Avenue, NW, Washington, DC 20530-0009 Delivered 9400111201080788549983 10/25/2012 USPS (PROSECUTING)
“President Barak Obama,” Vice President Joe Biden, The White House, 1600 Pennsylvania Avenue NW, Washington, DC 20500-0004 Delivered 9400111201080788252432 10/25/2012 USPS (PROSECUTING PROSECUTING)
Hillary Clinton, U.S. Department of State , 2201 C Street NW, Washington, DC 20001 Delivered 9400111201080788299642 10/24/2012 USPS (PROSECUTING)
Rebecca Blank, U.S. Department of Commerce, Main Line: (202) 482-2000, 1401 Constitution Ave NW, Washington, DC 20230-0001 Delivered 9400111201080788302878 10/24/2012 USPS (PROSECUTING)
THOSE OF WHOM DID RECEIVE THIS NOTICE OF JUDICIAL AND SOVEREIGN IMMUNITY PIERCING 300
Confirmation Number # | 9400111201080978057946 |
To Zip: | 20515 |
Scanning Facility Address: | WASHINGTON,DC,20515 |
Tracking Name: | 01, DELIVERED |
Tracking Date: | 6/11/2013 |
Recipient Name: | E GREEN (WHO?) |
Confirmation Number # | 9400111201080537973427 |
To Zip: | 15250 |
Scanning Facility Address: | SUN CITY,AZ,85372 |
Tracking Name: | 01, DELIVERED |
Tracking Date: | 4/25/2013 |
Recipient Name: |
Confirmation Number # | 9400111201080537944366 |
To Zip: | 22313 |
Scanning Facility Address: | ALEXANDRIA,VA,22313 |
Tracking Name: | 01, DELIVERED |
Tracking Date: | 4/22/2013 |
Recipient Name: |
Confirmation Number # | 9400111201080537921060 |
To Zip: | 85004 |
Scanning Facility Address: | PHOENIX,AZ,85004 |
Tracking Name: | 01, DELIVERED |
Tracking Date: | 4/19/2013 |
Recipient Name: |
Shipment Details
Shipped To: Attention Diana L. Varela
District of Arizona
40 North Central Ave Ste 1200
Phoenix
AZ 85004-0932
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537921060
Shipment Details
Shipped To: The Superintendent of Documents
US Government Printing Office
PO Box 371954
Pittsburgh
PA 15250
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537973427
Shipment Details
Shipped To: Mail Stop OUS
Director of the U.S.P.T.O.
P.O. Box 1450
Alexandria
VA 22313-1450
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537944366
Shipment Details
Shipped To: Mail Stop OGC
Director of the U.S. P.T.O.
P.O. Box 1450
Alexandria
VA 22313-1450
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537667777
Shipment Details
Shipped To: Mail Stop Congressional Relations (HUNTING)
Director of the U.S.P.T.O.
P.O. Box 1450
Alexandria
VA 22313-1450
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537695527
Shipment Details
Shipped To: Director of the U.S.P.T.O.
P.O. Box 1450
Alexandria
VA 22313-1450
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537653596
Shipment Details
Shipped To: REBECCA BLANK
U.S. DEPARTMENT OF COMMERCE
1401 CONSTITUTION AVE.
NW
WASHINGTON
DC 20230-0002
Mailing Date: 4/18/2013
Est. Delivery: 1-3 days
Service: First Class (R)
Signature: Not Required
Tracking: 9400111201080537674935