120309PhiladelphiaDHSVictimYoungDetwilerChildrenvAliceBeckDubowCarlinSaafirIdaChenAnneMarieAmbrosePaSup2967...

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1 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure IN THE SUPERIOR COURT OF PENNSYLVANIA EASTERN DISTRICT DEBORAH YOUNG, Authentic Natural Lawful Guardian of minors CAMERON DETWILER and BRIANA DETWILER, as Commonwealth of Pennsylvania Guardianship is not lawfully reassigned, (“Corruption in Government Victim Appellants Pro Se”) are real flesh and blood natural persons having Constitutional Right to Self Present using First and Last Names uncensored or abbreviated. Appellants Pro Se v. CITY OF PHILADELPHIA DEPARTMENT OF HUMAN SERVICES As managed by Anne Marie Ambrose (“DHS”) Appellee IN RE: For the sake of truth finding and no counter intuitive legal procedures which discriminate, dissect, dilute or alter truth in public record, this is about the Appeal Matter of Post Adjudication Hearing and Order Entered August 3, 2009 Honorable Alice Beck Dubow Courtroom H Necessary Relevant Incorporation of: All Events in: Pa US District Eastern 209-cv- 05015-MSG; Pa Sup 1875 EDA 2009 Appeal from the Order entered June 15, 2009, CCP Phila. Family Trial No. 0906V7858, Judge Ida K. Chen; and Judge Alice Beck Dubow’s Courtroom H including and especially Post Adjudication Hearing and Order Entered August 3, 2009 C O N S O L I D A T E D Unconstitutionally “Fast Tracked” Pa Super Docket No. 2697 EDA 2009 CCP Family Division Courtroom H DP# D56630705; J# 46046402; DHS# 0212424C Pa Super Docket No. 2699 EDA 2009 CCP Family Division Courtroom H, DP# D5662075; J# 46046401 DHS# 212424B Corruption in Government Victim Family Disclosure. Self Presenting Appellants Pro Se are victims of corruption in government whose Constitution of the Commonwealth of Pennsylvania Inherent rights of Mankind have been repeatedly violated to cause the destruction of an American Family. Victim Family Appellants Pro Se herein have reasonable hope that the Wisdom and Integrity of this Court will recognize that Victim Family Appellants Pro Se were not required to know rules of procedures and cite case law when Court of Common Pleas Family Court; City of Philadelphia Department of Human Services as managed by Anne Marie Ambrose and Willful Complicit Accessory to Prolonged Child Abuse Attorney Child Advocate perpetrated repeated crimes of conspiracy, denial of due process, professional negligence, employee misconduct and civil rights violations which resulted in the kidnap for the profit, judicial negligence, aggravated assaults, prolonged child abuse, lost earnings and personal injuries being suffered by Deborah Young, Cameron Detwiler and Briana Detwiler. Therefore, Corruption in Government Victim Family Appellants Pro Se have reasonable expectation and respectful request that This Court is committed to truth finding forsaking and rejecting all attempts of Philadelphia Family Court and DHS as managed by Anne Marie Ambrose Appellee and Child Advocate Accomplice who are eager to cover up the true and accurate nature of the litigation which is Official Corruption, Fraud, Kidnap For Profit, Judicial Negligence, Willful Judicial Failure to Protect, Aggravated Assaults, Prolonged Child Abuse, Personal Injury and more. Respectfully, Deborah Young on behalf of her children Cameron Detwiler and Briana Detwiler. DEBORAH YOUNG CAMERON DETWILER AND BRIANA DETWILER APPELLANTS PRO SE TIMELY ANSWERS AND PROTEST TO CARLIN TALIB SAAFIR’S NINE PARAGRAPHS MOTION TO QUASH MOTHER’S APPEAL EGREGIOUSLY CLAIMING MOTION IS ON “BEHALF OF “B.D.” APPELLANTS PRO SE TIMELY ANSWERS AND PROTESTS TO CITY OF PHILADELPHIA LAW DEPARTMENT SHELLEY R. SMITH, CITY SOLICITOR BY MICHAEL ANGELOTTI ASSISTANT CITY SOLICITOR “THE DEPARTMENT OF HUMAN SERVICES MOTION TO JOIN APPELLEE CHILD ADVOCATE’S MOTION QUASH APPEAL” AND 6 PARAGRAPHS “MOTION FOR EXTENSION OF TIME IN WHICH TO FILE PARTICIPANT DEPARTMENT OF HUMAN SERVICES’ BRIEF”; AND COMMONWEALTH AND U.S. CITIZENS’ PUBLIC NOTICE AND DEMAND:

Transcript of 120309PhiladelphiaDHSVictimYoungDetwilerChildrenvAliceBeckDubowCarlinSaafirIdaChenAnneMarieAmbrosePaSup2967...

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IN THE SUPERIOR COURT OF PENNSYLVANIA EASTERN DISTRICT

DEBORAH YOUNG, Authentic Natural Lawful Guardian of minors

CAMERON DETWILER and BRIANA

DETWILER, as Commonwealth of Pennsylvania

Guardianship is not lawfully reassigned,

(“Corruption in Government Victim Appellants Pro

Se”) are real flesh and blood natural persons having

Constitutional Right to Self Present using First and

Last Names uncensored or abbreviated.

Appellants Pro Se

v.

CITY OF PHILADELPHIA

DEPARTMENT OF HUMAN SERVICES

As managed by Anne Marie Ambrose (“DHS”)

Appellee

IN RE: For the sake of truth finding and no

counter intuitive legal procedures which

discriminate, dissect, dilute or alter truth in public

record, this is about the Appeal Matter of Post

Adjudication Hearing and Order Entered August 3,

2009 Honorable Alice Beck Dubow Courtroom H

Necessary Relevant Incorporation of:

All Events in: Pa US District Eastern 209-cv-

05015-MSG; Pa Sup 1875 EDA 2009 Appeal from

the Order entered June 15, 2009, CCP Phila.

Family Trial No. 0906V7858, Judge Ida K. Chen;

and Judge Alice Beck Dubow’s Courtroom H

including and especially Post Adjudication Hearing

and Order Entered August 3, 2009

C O N S O L I D A T E D

Unconstitutionally “Fast Tracked”

Pa Super Docket No. 2697 EDA 2009

CCP Family Division Courtroom H

DP# D56630705; J# 46046402;

DHS# 0212424C

Pa Super Docket No. 2699 EDA 2009

CCP Family Division Courtroom H, DP#

D5662075; J# 46046401

DHS# 212424B

Corruption in Government Victim Family Disclosure. Self Presenting Appellants Pro Se are victims of

corruption in government whose Constitution of the Commonwealth of Pennsylvania Inherent rights of Mankind have been repeatedly violated to cause the destruction of an American Family. Victim Family Appellants Pro Se herein have reasonable hope that the Wisdom and Integrity of this Court will recognize that Victim Family Appellants Pro Se were not required to know rules of procedures and cite case law when Court of Common Pleas Family Court; City of Philadelphia Department of Human Services as managed by Anne Marie Ambrose and Willful Complicit Accessory to Prolonged Child Abuse Attorney Child Advocate perpetrated repeated crimes of conspiracy, denial of due process, professional negligence, employee misconduct and civil rights violations which resulted in the kidnap for the profit, judicial negligence, aggravated assaults, prolonged child abuse, lost earnings and personal injuries being suffered by Deborah Young, Cameron Detwiler and Briana Detwiler. Therefore, Corruption in Government Victim Family Appellants Pro Se have reasonable expectation and respectful request that This Court is committed to truth finding forsaking and rejecting all attempts of Philadelphia Family Court and DHS as managed by Anne Marie Ambrose Appellee and Child Advocate Accomplice who are eager to cover up the true and accurate nature of the litigation which is Official Corruption, Fraud, Kidnap For Profit, Judicial Negligence, Willful Judicial Failure to Protect, Aggravated Assaults, Prolonged Child Abuse, Personal Injury and more. Respectfully, Deborah Young on behalf of her children Cameron Detwiler and Briana Detwiler.

DEBORAH YOUNG CAMERON DETWILER AND BRIANA DETWILER APPELLANTS PRO SE

TIMELY ANSWERS AND PROTEST TO CARLIN TALIB SAAFIR’S NINE PARAGRAPHS

MOTION TO QUASH MOTHER’S APPEAL EGREGIOUSLY CLAIMING MOTION IS ON

“BEHALF OF “B.D.”

APPELLANTS PRO SE TIMELY ANSWERS AND PROTESTS TO CITY OF PHILADELPHIA LAW

DEPARTMENT SHELLEY R. SMITH, CITY SOLICITOR BY MICHAEL ANGELOTTI ASSISTANT

CITY SOLICITOR “THE DEPARTMENT OF HUMAN SERVICES MOTION TO JOIN APPELLEE

CHILD ADVOCATE’S MOTION QUASH APPEAL” AND 6 PARAGRAPHS “MOTION FOR

EXTENSION OF TIME IN WHICH TO FILE PARTICIPANT DEPARTMENT OF HUMAN

SERVICES’ BRIEF”;

AND

COMMONWEALTH AND U.S. CITIZENS’ PUBLIC NOTICE AND DEMAND:

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CARLIN TALIB SAAFIR, ESQUIRE AND CITY OF PHILADELPHIA DEPARTMENT OF HUMAN

SERVICES AS MANAGED BY ANNE MARIE AMBROSE, SHARE CRIMINAL CULPABILITY

FOR CHRONIC CHILD WELFARE MISADMINISTRATION WHICH RESULT IN PROLONGED

CHILD ABUSE AGGRAVATED ASSAULTS PERSONAL INJURIES SUFFERED BY REAL FLESH

AND BLOOD NATURAL AMERICAN AND PHILADELPHIA COUNTY RESIDENTS AND

APPLELLANTS PRO SE DEBORAH YOUNG, CAMERON DETWILER AND BRIANA DETWILER

AND SHOULD BE EXPELLED TERMINATED AND PROHIBITED FROM HAVING ANY

LAWFUL ROLE IN ADVOCACY REPRESENTATION OR INTERESTS OF APPELLANTS PRO SE

VICTIM CHILDREN, IN OUR OWN RIGHT, CITY OF PHILADELPHIA DEPARTMENT OF

HUMAN SERVICES PROLONGED CHILD ABUSE VICTIMS, CAMERON DETWILER AND

BRIANA DETWILER.

BACKGROUND INTENT JURISDICTION

Appellants Pro Se Commit To This Pennsylvania Superior Court Truth Finding In The Best

Interest Of Deborah Young‟s Children Cameron And Briana Detwiler Unhindered By Counter

Intuitive Legal Procedures Which Discriminate Against Deborah Young And Children Cameron

And Briana Detwiler Who Were Not Required To Be Knowledgeable Of Court Rules, Case Law,

Citations And Procedures When Repeatedly Victimized Via The Official Corruption Fraud And

Civil Rights Crimes And Attorney Child Advocate Egregious Misconduct Inflicted Upon

Commonweath Of Pennsylvania Family Appellants Pro Se (“Corruption in Government Victim

Appellants Pro Se”). Corruption in Government Victim Appellants Pro Se Should Not Be

Required To Be Practicing Attorneys with knowledge of Procedural, Form, and Case Law Citation;

As Constitution For The Commonwealth Of Pennsylvania Gives Deborah Young The Right To

Approach Pennsylvania Superior Court With Truthful Statements And Proofs Of Grievances,

Having Reasonable Expectation Of Fair And Accurate Adjudication Of The Civil Rights Violations

And Crimes Committed Against Deborah Young And Her Children Repeatedly Inflicted By

Actions And/Or Negligence Of CCP Philadelphia Family Court, City Of Philadelphia Department

Of Human Services As Managed By Anne Marie Ambrose, And Egregious Attorney Child

Advocate Misconduct Of Carlin Talib Saafir, Esquire.

COMES NOW, Deborah Young, possessing Commonwealth of Pennsylvania

Constitutional right to approach Pennsylvania Superior Court for redress (to make right what is

wrong) independent of any contrived counter intuitive legal procedures designed by Court of

Common Pleas and City of Philadelphia Department of Human Services and accomplice Child

Advocate attorney Carlin Talib Saafir, Esquire, to cover up official corruption fraud civil rights

aggravated assault, judicial negligence, judicial willful failure to protect, kidnap for profit,

prolonged child abuse and personal injuries inflicted upon Commonwealth of Pennsylvania

Corruption in Government Victims who are lawful bona fide Pro Se Appellants, Deborah Young,

Cameron Detwiler and Briana Detwiler, hereinafter referred to as (“Corruption in Government

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Victims Appellants Pro Se:); and declares only these truths for which proofs are recorded, found

publicly in the Civil and Municipal Court dockets of Commonwealth of Pennsylvania and First

Judicial District and officially and publicly made known herein to the Justices of the Superior

Court of Pennsylvania for the Eastern District of Pennsylvania.

APPELLANTS PRO SE TIMELY ANSWERS AND PROTESTS TO CITY OF PHILADELPHIA

LAW DEPARTMENT SHELLEY R. SMITH, CITY SOLICITOR BY MICHAEL ANGELOTTI

ASSISTANT CITY SOLICITOR “THE DEPARTMENT OF HUMAN SERVICES MOTION TO

JOIN APPELLEE CHILD ADVOCATE‟S MOTION QUASH APPEAL” AND 6 PARAGRAPHS

“MOTION FOR EXTENSION OF TIME IN WHICH TO FILE PARTICIPANT DEPARTMENT

OF HUMAN SERVICES‟ BRIEF”;

1. ANSWER and PROTEST. DHS’s Motion to Join Carlin Talib’s Saafir’s Motion To

Quash Mother’s Appeal should be Denied pending Michael Angelotti, Esquire, Assistant City Solicitor,

becoming authentically qualified to comment on these matters. Appellants Pro Se are Corruption in

Government Victims of City of Philadelphia Department of Human Services. The newly entered

appearance of yet another attorney for DHS is indicative of City of Philadelphia Department of Human

Services as managed by Anne Marie Ambrose haphazard and sometimes deliberate Records

Mismanagement to perpetrate the increasingly exposed kidnap for profit child selling scheme of DHS

contractors.

2. ANSWER and PROTEST. Pennsylvania Superior Court should require a qualified

Motion from Appellee Department of Human Services instead of the lazy template “Ditto” 22 paragraphs

11/25/09 attempting to join with a proven Commonwealth of Pennsylvania Constitutionally unlawful

Motion of criminally culpable Carlin Talib Saafir, Esquire decisively clarified herein.

3. ANSWER and PROTEST. Appellee DHS is reinformed of the Appellant’s Pro Se

Exhibit A in this matter 38 pages. Pennsylvania Superior Court should require DHS’ Assistant Solicitor’s

remarks address these proofs of long term Philadelphia Family Court and Department of Human Services

as managed by Anne Marie Ambrose and demand qualified reference and defense be entered into these

Superior Court of Pennsylvania proceedings by Appellee DHS in earnest.

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APPELLANT EXHIBIT A

Pa Super Docket Nos. 2697 EDA and 2699 EDA 2009

Filed 11/09/2009 Incorporated By Reference and Attached as Exhibit A.

IN THE SUPERIOR COURT OF PENNSYLVANIA

.

1. Appellant Pro Se Exhibit 1. First Page Pennsylvania Judicial Conduct

Board Confidential Request For Investigation Form.

2. Appellant Pro Se Exhibit 2. Signature Page Pennsylvania Judicial

Conduct Board Confidential Request For Investigation Form.

3. Appellant Pro Se Exhibit 3. Philadelphia Police All Incidents 911 Call

Log. Page 1 of 7. There are more than 70 911 calls to two different addresses, where

Vincent Lang repeatedly inflicts domestic violence, assaults and life threatening conducts

against Appellant Pro Se Deborah Young and her children, Cameron and Briana

Detwiler.

4. Appellant Pro Se Exhibit 4. Philadelphia Police All Incidents 911 Call

Log. Page 2 of 7.

5. Appellant Pro Se Exhibit 5. Philadelphia Police All Incidents 911 Call

Log. Page 3 of 7.

6. Appellant Pro Se Exhibit 6. Philadelphia Police All Incidents 911 Call

Log. Page 4 of 7.

7. Appellant Pro Se Exhibit 7. Philadelphia Police All Incidents 911 Call

Log. Page 5 of 7. There are more than 70 911 calls to two different addresses, where

Vincent Lang repeatedly inflicts domestic violence, assaults and life threatening conducts

against Appellant Pro Se Deborah Young and her children, Cameron and Briana

Detwiler.

8. Appellant Pro Se Exhibit 8. Philadelphia Police All Incidents 911 Call

Log. Page 6 of 7.

9. Appellant Pro Se Exhibit 9. Philadelphia Police All Incidents 911 Call

Log. Page 7 of 7. There are more than 70 911 calls to two different addresses, where

Vincent Lang repeatedly inflicts domestic violence, assaults and life threatening conducts

against Appellant Pro Se Deborah Young and her children, Cameron and Briana

Detwiler.

10. Appellant Pro Se Exhibit 10. 06/26/06 Philadelphia Police Department

Complaint Incident Report, Assault of Appellant Pro Se Deborah Young’s eight (8) year

old daughter, Briana Detwiler by Vincent Lang perpetrator of repetitive and ongoing

assaults, verbal violence, terror threats and prolonged child abuse.

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11. Appellant Pro Se Exhibit 11. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s son, Cameron Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Cameron Detwiler. Petition for Relief Under the

Protection Act Cameron J. Detwiler vs. Vincent Lang, Family Court Division No.

0611V7063.

12. Appellant Pro Se Exhibit 12. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s son, Cameron Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Cameron Detwiler. Petition for Relief Under the

Protection Act Cameron J. Detwiler vs. Vincent Lang, Family Court Division No.

0611V7063.

13. Appellant Pro Se Exhibit 13. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s son, Cameron Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Cameron Detwiler. Petition for Relief Under the

Protection Act Cameron J. Detwiler vs. Vincent Lang, Family Court Division No.

0611V7063.

14. Appellant Pro Se Exhibit 14. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s son, Cameron Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Cameron Detwiler. Petition for Relief Under the

Protection Act Cameron J. Detwiler vs. Vincent Lang, Family Court Division No.

0611V7063.

15. Appellant Pro Se Exhibit 15. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant Deborah Young and her children Cameron and Briana Detwiler,

Petition for Relief Under the Protection Act Deborah Young on behalf of Cameron J.

Detwiler vs. Vincent Lang, Family Court Division No. 0611V7063.

16. Appellant Pro Se Exhibit 16. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s daughter, Briana Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Briana Detwiler. Petition for Relief Under the Protection

Act Deborah Young on behalf of Briana J. Detwiler vs. Vincent Lang, Family Court

Division No. 0611V7063.

17. Appellant Pro Se Exhibit 17. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s daughter, Briana Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Briana Detwiler. Petition for Relief Under the Protection

Act Deborah Young on behalf of Briana J. Detwiler vs. Vincent Lang, Family Court

Division No. 0611V7063.

18. Appellant Pro Se Exhibit 18. 06/29/07 Judge Ida K. Chen Denies

Protection for Appellant’s daughter, Briana Detwiler despite grave and serious nature of

Vincent Lang’s crimes against Briana Detwiler. Petition for Relief Under the Protection

Act Deborah Young on behalf of Briana J. Detwiler vs. Vincent Lang, Family Court

Division No. 0611V7063.

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19. Appellant Pro Se Exhibit 19. 02/03/07 handwritten note of Appellant’s

daughter, Briana Detwiler written believing Philadelphia Family Court Judge would

protect child from described abuse of Vincent Lang, Appellee.

20. Appellant Pro Se Exhibit 20. Commonwealth of Pennsylvania County of

Philadelphia, Detective Michael Weleski 794 Arrest Warrant No. 24283 for Vincent

Lange “Violation of Protection Order. Vincent Lang Appellee criminal dockets.

Multiple arrests for Terrorist Threats, Threat with Knife, Assault, Drunk Driving,

Possession of Controlled Substance, Contempt of Court, Domestic Violence, Stalking,

etc. and finally Vincent Lang’s Municipal Court Cost Account is referred to collection

agency while Victims Appellant Deborah Young and her children continue to be

assaulted terrorized and abused. MC51CR811091-2006; MC51CR1252031-1999,

MC51CR1226331-1995, MC51CR0431711-1995.

21. Appellant Pro Se Exhibit 21. 12/31/1999 Philadelphia Police Department

Arrest Record of Vincent Lang arrested on Affidavit of Probable Cause. Vincent Lang

Appellee criminal dockets. Multiple arrests for Terrorist Threats, Threat with Knife,

Assault, Drunk Driving, Possession of Controlled Substance, Contempt of Court,

Domestic Violence, Stalking, etc. and finally Vincent Lang’s Municipal Court Cost

Account is referred to collection agency while Victims Appellant Deborah Young and her

children continue to be assaulted terrorized and abused. MC51CR811091-2006;

MC51CR1252031-1999, MC51CR1226331-1995, MC51CR0431711-1995.

22. Appellant Pro Se Exhibit 22. 12/13/08 Clinical Care Specialist reported

need to investigate Vincent Lange’s abuse of Cameron and Briana Detwiler, Appellant

Pro Se Deborah Young’s children to DHS and CBH Health Philadelphia. Censored and

ignored by Appealed Order of June 15, 2009, Family Court Judge Ida K. Chen.

23. Appellant Pro Se Exhibit 23. 03/22/07 Cameron Detwiler Clinical

Formulation Report: “Client is a 9 year old boy who is intelligent and cooperative. He is

anxious and occasionally has nightmares. He gets easily irritated and has a conflicted

relationship with his Father whom he says he fears and wishes to avoid.” Diagnosis:

Adjustment Disorder with mixed anxiety and depressed mood.

24. Appellant Pro Se Exhibit 24. 03/22/07 Briana Detwiler Clinical

Formulation Report: “Client is an 8 year old girl who is intelligent, open and

cooperative….She states that she is bullied by her father and alleges physical and

emotional abuse and wants to avoid him because she gets nervous in his company….”

Diagnosis: Adjustment Disorder with mixed anxiety and depressed mood.

25. Appellant Pro Se Exhibit 25. One of four letter written by and between

former counsel, alerting Philadelphia Family Court, Judge Ida K. Chen that Appellant

Deborah Young’s children, Cameron and Briana Detwiler are abused regularly and in

great danger posed by aggravated assaults and life threatening conducts of Vincent Lang,

Appellee.

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26. Appellant Pro Se Exhibit 26. 07/15/08 handwritten note of Appellant’s

victim children. Cameron Detwiler and Briana Detwiler wrote this note to Philadelphia

Family Court Judge, pleading for help “to go home” and to see their mother Appellant

Deborah Young. Censored and ignored by Judge Ida K. Chen.

27. Appellant Pro Se Exhibit 27. Vincent Lang Bail Report Criminal Docket

Report. Simple Assault Recklessly Endangering Another Person, 4 Criminal Arrests.

Appellee Vincent Lang simply pays $5,000.00 bail and repeats assaults against Appellant

Deborah Young and her children Cameron and Briana Detwiler.

28. Appellant Pro Se Exhibit 28. Vincent Lang Appellee Criminal Docket

Report, Contempt of Court, Harassment, Terroristic Threats, simply dismissed for

Vincent Lang, Appellee. Vincent Lang Appellee criminal dockets. Multiple arrests for

Terrorist Threats, Threat with Knife, Assault, Drunk Driving, Possession of Controlled

Substance, Contempt of Court, Domestic Violence, Stalking, etc. and finally Vincent

Lang’s Municipal Court Cost Account is referred to collection agency while Victims

Appellant Deborah Young and her children continue to be assaulted terrorized and

abused. MC51CR811091-2006; MC51CR1252031-1999, MC51CR1226331-1995,

MC51CR0431711-1995.

29. Appellant Pro Se Exhibit 29. Vincent Lang Appellee Criminal Docket

Report. Driving Under Influence Alcohol and Controlled Substance simply fined and

closed for Vincent Lang Appellee. Vincent Lang Appellee criminal dockets.

30. Appellant Pro Se Exhibit 30. 07/15/09 Philadelphia Family Court

Prothonotary stamped filed CONCISE ERRORS of Appellant Deborah Young. Timeline

reports repeated and intensified victimization of Deborah Young and her children by

Philadelphia Family Court’s failure to protect by way of denial of due process, censorship

of evidence and chronic mis-administration of the domestic relations matters affecting

Appellant Deborah Young and her victimized children, Cameron and Briana Detwiler.

CONCISE ERRORS Page 1 of 3.

31. Appellant Pro Se Exhibit 31. 07/15/09 Philadelphia Family Court

Prothonotary stamped filed CONCISE ERRORS of Appellant Deborah Young. Timeline

reports repeated and intensified victimization of Deborah Young and her children by

Philadelphia Family Court’s failure to protect by way of denial of due process, censorship

of evidence and chronic mis-administration of the domestic relations matters affecting

Appellant Deborah Young and her victimized children, Cameron and Briana Detwiler.

CONCISE ERRORS Page 2 of 3.

32. Appellant Pro Se Exhibit 32. 07/15/09 Philadelphia Family Court

Prothonotary stamped filed CONCISE ERRORS of Appellant Deborah Young. Timeline

reports repeated and intensified victimization of Deborah Young and her children by

Philadelphia Family Court’s failure to protect by way of denial of due process, censorship

of evidence and chronic mis-administration of the domestic relations matters affecting

Appellant Deborah Young and her victimized children, Cameron and Briana Detwiler.

CONCISE ERRORS Page 3 of 3.

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33. Appellant Pro Se Exhibit 33. 08/11/2006 Philadelphia Police Report DC

No. 6-02-052883. Other Assaults, Domestic Abuse, Simple Assaults, Domestic Abuse,

Simple Assault. Philadelphia Family Court egregiously forced Appellant Deborah

Young to return Children Cameron and Brianna to their abuser, Vincent Lang, when

Deborah Young tried to protect her children from further Vincent Lang inflicted Criminal

Assaults including choking, punching and throwing of person, terrorist threats, threat

with a knife, assault, drunk driving, possession of controlled substance, contempt of

court, domestic violence, stalking, etc.

34. Appellant Pro Se Exhibit 34. Justice For Families United Petition.

Appellant Deborah Young and her children’s long term victimization inflicted by Vincent

Lang, caused by Philadelphia Family Court’s failure to protect this family has resulted in

Justice For Families, a grassroots community service Petition which is Cameron and

Briana’s last waning hope of rescue from the ongoing assaults of Vincent Lang whereon

Cameron and Brian Detwiler have written, “I love mom so much. I want to go home. My

mom never hurt me’ and “Let people go home; Let kids be happy; Let me go home…”

35. Appellant Pro Se Exhibit 35. Justice For Families United Petition.

Appellant Deborah Young and her children’s long term victimization inflicted by Vincent

Lang, caused by Philadelphia Family Court’s failure to protect this family has resulted in

Justice For Families, a grassroots community service Petition which is Cameron and

Briana’s last waning hope of rescue from the ongoing assaults of Vincent Lang whereon

Cameron and Brian Detwiler have written, “I love mom so much. I want to go home. My

mom never hurt me’ and “Let people go home; Let kids be happy; Let me go home…”

ANSWERS AND PROTEST TO CARLIN TALIB SAAFIR‟S NINE PARAGRAPHS

MOTION TO QUASH MOTHER‟S APPEAL EGREGIOUSLY CLAIMING MOTION IS

ON “BEHALF OF „B.D.”.

a. Corruption in Government victims Appellants Pro Se note Superior Court of

Pennsylvania Dockets 2697 and 2699 EDA 2009 show Pennsylvania Superior Court has granted

criminally culpable attorney child advocate’s motion for extension of time to file brief,

prematurely depriving Appellants Pro Se 14 days to respond; discriminating against Appellants

Pro Se and giving unfair advantage favoring corrupt criminally culpable for causing the

prolonged child abuse of Cameron and Briana Detwiler, Carlin Talib Saafir, Esquire.

b. Please reverse Pennsylvania Superior Court for the Eastern District of

Pennsylvania’s premature order granting Carlin Saafir’s motion and bar Carlin Saafir from

submitting anything to this court on behalf of those children whom he is proven herein for

having victimized and helped to cause the prolonged abuse of; Cameron and Briana Detwiler.

36. ANSWER and PROTEST. Carlin Talib Saafir seeks to deflect this Court’s

attention away from his chronic and willful child advocate attorney misconducts by

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offering/citing the abhorrent instrument which guarantees prolonged child abuse for Corruption

in Government Victims Appellants Pro Se children, Cameron and Briana Detwiler, “August 3,

2009 DHS and CCP Family Court Judge Alice Beck Dubow’s Courtroom H Post Adjudication

Order.” See capacities for which Judge Alice Beck Dubow is an Official Corruption Fraud Civil

Rights Defendant for having failed to enforce her very own Courtroom H Rules which, if

enforced, would have “caught” and ended the long term Philadelphia Family Court and DHS

contrived kidnap for profit, prolonged child abuse of the children victims for whom Carlin Talib

Saafir willfully and repeatedly shirked his duty to advocate on behalf of.

37. 209cv05015-MSG Case Caption and Docket showing Federal Judge Mitchell S.

Goldberg’s 11/18/09, Order for US Marshalls to Serve Summons upon Appellee Anne Marie

Ambrose, City of Philadelphia Department of Human services and Honorable Alice Beck

Dubow, Philadelphia’s Family Courtroom H. Deborah Young’s Complaint is scanned into US

District Court For The Eastern District of Pennsylvania Docket is a truthful and accurate Public

Record. Inserted herein next pages.

UNITED STATES DISTRICT COURT

EASTERN DISTRICT OF PENNSYLVANIA

DEBORAH M. YOUNG, Natural Guardian of

CAMERON DETWILER and

BRIANA DETWILER minors, In Our Own Right

3303 Guilford Street

Philadelphia PA 19136 Plaintiffs Pro Se

v.

ALICE BECK DUBOW, JUDGE

PHILADELPHIA FAMILY COURT DIVISION

1801 Vine Street, Courtroom H,

Philadelphia, PA 19103

In her individual capacity for causing prolonged

child abuse by failing to enforce her very own

“Standing Order For Courtroom H” Rules.

Defendant

and

Civil Action No. 2:09-cv-05015-MSG

PETITION IN FORMA PAUPERIS

COMPLAINT

CAUSE OF ACTION:

JUDICIAL NEGLIGENCE

EMPLOYEE MISCONDUCT

CHILD ABUSE

CONSPIRACY COVER UP

SLANDER

NATURE OF CASE:

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ANGELE MARIE PARKER, CEO, and

CHEREL FERRELL, SOCIAL WORKER EMPLOYEE

METHODIST SERVICES FOR FAMILIES AND

CHILDREN (“METHODIST KINSHIP”)

4300 Monument Road, Philadelphia, PA 19131

In their individual, and Federal Grant funded capacities

as beneficiaries of kidnap for profit and prolonged child

abuse.

Defendants

and

ANNE MARIE AMBROSE, COMMISSIONER DHS

KAREN R. REYNOLDS, SOCIAL WORKER, and

CARLA N. GARDNER, COMMISIONER’S RESPONSE

PHILADELPHIA DEPARTMENT OF

HUMAN SERVICES (“DHS”)

1515 Arch Street, 8th Floor, Philadelphia, PA 19102

In their individual capacities as conspirators and complicit

accessories to kidnap for profit and prolonged child abuse.

Defendants

and

MARY ANN TAYLOR

1309 Church Road,, Oreland, PA, 19075

In her individual capacity as mental and physical child

abuser, and accomplice beneficiary of kidnap for profit and

prolonged child abuse.

Defendant.

OFFICIAL CORRUPTION,

FRAUD AND CIVIL RIGHTS

18 U.S.C. § 3771

JURY TRIAL IS DEMANDED

DAMAGES:

(1) RETURN OF KIDNAPPED FOR

PROFIT VICTIM PLAINTIFFS

CAMERON AND BRIANA

DETWILER TO NATURAL

GUARDIAN VICTIM PLAINTFF,

DEBORAH M. YOUNG, and

(2) $900,000.00 Punitive Damages

United States District Court

Eastern District of Pennsylvania (Philadelphia)

CIVIL DOCKET FOR CASE #: 2:09-cv-05015-MSG

YOUNG v. DUBOW et al

Assigned to: HONORABLE MITCHELL S. GOLDBERG

Cause: 42:1983 Civil Rights Act

Date Filed: 11/02/2009

Jury Demand: None

Nature of Suit: 440 Civil Rights: Other

Jurisdiction: Federal Question

Plaintiff

DEBORAH M. YOUNG NATURAL GUARDIAN OF CAMERON

DETWILER AND BRIANA DETWILER

MINORS, IN OUR OWN RIGHT

represented by DEBORAH M. YOUNG 3303 GUILFORD STREET

PHILA.,, PA 19136

PRO SE

V.

Defendant

ALICE BECK DUBOW JUDGE, IN HER INDIVIDUAL CAPACITY

FOR CAUSING PROLONGED CHILD

ABUSE BY FAILING TO ENFORCE HER

VERY OWN "STANDING ORDER FOR

COURTROOM H" RULES

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11 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Defendant

ANGELE MARIE PARKER CEO

Defendant

CHEREL FERRELL SOCIAL WORKER EMPLOYEE

METHODIST SERVICES FOR FAMILIES

AND CHILDREN("METHODIST KINSHIP")

IN THEIR INDIVIDUAL, AND FEDERAL

GRANT FUNDED CAPACITIES AS

BENEFICIARIES OF KIDNAP FOR

PROFIT AND PROLONGED CHILD

ABUSE

Defendant

ANNE MARIE AMBROSE COMMISSIONER DHS

Defendant

KAREN R. REYNOLDS SOCIAL WORKER

Defendant

CARLA N. GARDNER COMMISSIONER'S RESPONSE

PHILADELPHIA DEPARTMENT OF

HUMAN SERVICES ("DHS") IN THEIR

INDIVIDUAL CAPACITIES AS

CONSPIRATORS AND COMPLICIT

ACCESSORIES TO KIDNAP FOR PROFIT

AND PROLONGED CHILD ABUSE

Defendant

MARY ANN TAYLOR IN HER INDIVIDUAL CAPACITY AS

MENTAL AND PHYSICAL CHILD ABUSER,

AND ACCOMPLICE BENEFICIARY OF

KIDNAP FOR PROFIT AND PROLONGED

CHILD ABUSE

Date Filed # Docket Text

11/02/2009 1 MOTION FOR LEAVE TO PROCEED IN FORMA PAUPERIS AND

STATEMENT IN SUPPORT filed by DEBORAH M. YOUNG..(cw,) (Entered:

11/03/2009)

11/09/2009 2 ORDER THAT THE MOTION TO PROCEED IN FORMA PAUPERIS IS

GRANTED. SIGNED BY HONORABLE MITCHELL S. GOLDBERG ON

11/6/09.11/10/09 ENTERED AND COPIES MAILED. (MAILED TO PRO SE)(stb,

) Modified on 11/10/2009 (stb, ). (Entered: 11/10/2009)

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12 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

11/09/2009 3 COMPLAINT against ALICE BECK DUBOW, ANGELE MARIE PARKER,

CHEREL FERRELL, ANNE MARIE AMBROSE, KAREN R. REYNOLDS,

CARLA N. GARDNER, MARY ANN TAYLOR, filed by DEBORAH M.

YOUNG.(stb, ) (Additional attachment(s) added on 11/18/2009: # 1 doc) (stb, ).

(Entered: 11/18/2009)

11/09/2009 7 original Summons Issued as to ALICE BECK DUBOW, ANGELE MARIE

PARKER, CHEREL FERRELL, ANNE MARIE AMBROSE, KAREN R.

REYNOLDS, CARLA N. GARDNER, MARY ANN TAYLOR. Forwarded To:

U.S. MARSHAL SERVICE on 11/18/09 (stb, ) (Entered: 11/18/2009)

BY WAY OF FURTHER ANSWER AND PROTEST TO CARLIN TALIB SAAFIR‟S

NINE PARAGRAPHS MOTION TO QUASH EGREGIOUSLY CLAIMING MOTION IS

ON “BEHALF OF „B.D.”

38. ANSWER AND PROTEST. Prior to Carlin Talib’s Saafir’s 11/19/09 Motion to

Quash Mother’s Appeal, Carlin Talib Saafir was known to be complacently culpable for simply

looking the other way and doing nothing about his individual and professional long term

knowledge of the abuses suffered by Cameron Detwiler and Briana Detwiler at the hands of

Judge Alice Beck Dubow’s and DHS’ Courtroom H August 3, 2009 Post Adjudication Order

being appealed herein.

39. ANSWER AND PROTEST . Carlin Talib Saafir’s 11/19/09 Motion to Quash is

an egregious proactive effort to block Pennsylvania Superior Court from learning the true facts,

relationships and financial intent which if made known to this Pennsylvania Superior Court

unhindered by counter intuitive legal procedures would rescue Corruption in Government Victim

Appellants Pro Se from the finality of prolonged child abuse enabled by DHS’ and negligent

Judge Alice Beck Dubow’s Courtroom H August 3, 2009 Post Adjudication Order being

Appealed herein.

40. ANSWER AND PROTEST . Carlin Talib Saafir’s abuse of Brian Detwiler’s

identity in submitting an appeal that would block hope from rescue from ongoing aggravated

assaults, child abuse and personal injuries is Egregious and Criminal. Carlin Talib Saafir is aware

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13 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

of and understanding of all statements and proofs made in Deborah Young Appellant Pro Se

appeals and uses a well known template lazy excuse of “rambles” “no table of contents or table

of authorities” to divert this Court’s attention from the truth finding which would enable fair and

accurate adjudication of the matters involving the best interest of Vincent Lang abused children;

CCP Philadelphia Family Court abused children, DHS abused children, attorney child advocate

Carlin T. Saafir abused children.

See Exhibits 1 through 38. Pa Super Court Docket No. 1875 EDA 2009

Appellant filed 11/04/2009 Proofs of Philadelphia Family Court Judge Alice Beck

Dubow’s Courtroom H and Judge Ida K. Cheng. Appellee in Pa Super 1875 EDA

Vincent Lang, and Defendants in US District Court for the Eastern District of

Pennsylvania 2:09-cv-05015-MSG Department of Human Services Commissioner

Anne Marie Ambrose, Karen R. Reynolds, DHS Social Worker and Carla N.

Gardner, DHS Commissioner’s Response Department; Angele Marie Parker,

CEO and Cherel Ferrell, Social Worker Methodist Services for Families and

Children share complicit accessory culpability for prolonging the aggravated

assaults and prolonged child abuse shown in 38 pages of Police Reports,

Domestic Violence Police Call Logs, Letters from Children’s attorney pleading

for relief from the DHS known about abuse, notes from Cameron and Briana

Detwiler pleading for help addressed directly to Judges Dubow and Cheng, and

psychological evaluations describing the emotional and mental injuries suffered

by Cameron Detwiler and Briana Detwiler known about by Appellee DHS but

ignored by Appellee DHS.

See 11/04/09 Pa Super 1875 EDA 2009. 38 Pages of Appellants’ Exhibit Proofs

chronic ongoing current prolonged assaults, terror child abuse and injury inflicted

upon Appellants’ Deborah Young Cameron and Briana Detwiler at the hands of

Vincent Lang known about and willfully enabled by Department of Human

Services Defendants in Official Corruption Fraud Civil Rights US District Court

for the Eastern District of Pennsylvania’s willful financially incented complicity

in causing the prolonged, exacerbated abuse of Appellant’s children Cameron and

Briana Detwiler.

See Philadelphia Police Reports Pa Super 1875 EDA 2009 11/4/09 filed Appeal

of Deborah Young and her children Cameron and Briana Detwiler:, Violated

Protection Orders, Stalking of Victim Plaintiff Deborah Young and Assault of

Victims Appellant minors Cameron and Briana Detwiler, inflicted repeatedly

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14 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

throughout Appellant DHS’s misadministration of domestic relations and safety

matters concerning minor Appellant Children Cameron and Briana Detwiler; and

ignored by Appellee DHS Social Workers specifically Karen R Reynolds and

Appellant DHS Commissioner Anne Marie Ambrose in favor of the financially

incented decision to exacerbate long term child abuse (more than 70 Police Call

Log 911 calls regarding domestic violence and police reports founded to prove

Vincent Lang’s (Appellee in 1875 EDA 2009); Appellee DHS’ willfully

prolonged exacerbated child abuse, all Appellant Deborah Young and Cameron

and Briana Detwiler’s 38 pages of Abuse Proof Exhibits known to Appellee DHS

and Appellee DHS willfully continues to exacerbate and prolong the suffering,

aggravated assault, documented mental and emotional injuries suffered by

Appellant Family and proven in 2:09-cv-04119, Pa Super 1875 EDA 2009 with

38 pages of proof exhibits recorded with this Honorable Court 11/04/2009.

See Appellant’s Exhibit A. 11/04/2009 Appellant Brief Pa Super 1875 EDA 2009

is appended to this 11/09/2009 Appellant Brief Pa Super 2699 EDA 2009 and Pa

Super Docket No. 2697 EDA 2009. Appellant Pro Se Deborah Young

Summation of Proof Exhibits Index IN THE SUPERIOR COURT OF

PENNSYLVANIA, Appeal from the Order entered June 15, 2009, Court of

Common Pleas, Philadelphia County, Family Division at No. 0906V7858, 38

Pages Proof Exhibits with Index are incorporated by reference as if full set forth

herein.

BY WAY OF FURTHER ANSWER AND PROTEST TO CARLIN TALIB SAAFIR‟S

NINE PARAGRAPHS MOTION TO QUASH EGREGIOUSLY CLAIMING MOTION IS

ON “BEHALF OF „B.D.”

41. Carlin Talib Saafir seeks to cover up his criminal culpability in knowing about the

long term abuse of the children he was entrusted to advocate for and falsifies this Court’s and

public record that Deborah Young should not have filed Appeal Pro Se. Carlin Saafir claims not

to be able to understand Appellant Pro Se’s brief. Deborah Young clearly stated in Appellant’s

Brief as follows:

42. Deborah Young Appellant Pro Se respectfully asks Superior Court of

Pennsylvania to scrutinize the voluminous proofs provided in this Appeal of Order entered

June 15, 2009, which include proofs that Appellant Pro Se has been victimized by at least one

unethical attorney representative (Linda Walters, Esquire) but remains hopeful Superior Court

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15 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

of Pennsylvania could rescue Deborah Young and her children Cameron Detwiler and Briana

Detwiler from the prolonged abuse, assault, stalking, terror, life threatening conducts, physical

mental abuse inflicted by Vincent Lang, Appellee which Court of Common Pleas Philadelphia

County Family Court Division as a court has known about and failed to protect Appellant Pro Se

and her children Cameron Detwiler and Briana Detwiler from 1997 to present. See

Commonwealth of Pennsylvania Judicial Conduct Board Pennsylvania Judicial Conduct Board

completed, signed form, Confidential Request For Investigation of Philadelphia Family Court

Judge Ida K. Chen, which names Linda Walters, Esquire.

43. Deborah Young, Appellant Pro Se did not have ethical counsel during the Court

of Common Pleas Philadelphia County Family Court proceedings which resulted in the Appealed

Order of June 15, 2009, and is at a disadvantaged for citing case law within this Appeal to

Superior Court of Pennsylvania brief. See Appellant Pro Se Deborah Young Summation of

Proof Exhibits Index attached hereto and incorporated by reference as if fully set forth

throughout Appeal from the Order June 15, 2009. All Exhibit Proofs submitted to Superior

Court of Pennsylvania were also known to Court of Common Pleas Family Court Judge Ida K.

Chen and Court of Common Pleas Philadelphia County Family Court Division.

44. Corruption in Government Victim Appellants Pro Se told this Court along with

Carlin Talib Saafir, Esquire also in same brief that Linda Walters, Esquire knew about the abuses

of Deborah Young’s children, and DHS’ deliberate prolonging of same and Linda Walters,

Esquire was ineffective in representing the legal interests of Deborah Young who has been

exhausting every possible remedy seeking relief and rescue from Philadelphia Family Court and

DHS financially incented kidnap for profit, aggravated assault, prolong child abuse and personal

injuries crimes repeatedly inflicted upon Deborah Young’s Commonwealth of Pennsylvania and

American Family. EMPHASIZED IS DEBORAH YOUNG’S FORMAL AND PUBLIC

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16 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

REQUEST TO RETRIEVE FROM LINDA WALTERS, ESQUIRE COMPLETE COPY OF

ATTORNEY FILE.

Deborah Young Appellant Pro Se respectfully asks Superior Court of Pennsylvania to

scrutinize the voluminous proofs provided in this Appeal of Order entered June 15, 2009,

which include proofs that Appellant Pro Se has been victimized by at least one unethical

attorney representative (Linda Walters, Esquire) but remains hopeful Superior Court of

Pennsylvania could rescue Deborah Young and her children Cameron Detwiler and

Briana Detwiler from the prolonged abuse, assault, stalking, terror, life threatening

conducts, physical mental abuse inflicted by Vincent Lang, Appellee which Court of

Common Pleas Philadelphia County Family Court Division as a court has known about

and failed to protect Appellant Pro Se and her children Cameron Detwiler and Briana

Detwiler from 1997 to present. See Commonwealth of Pennsylvania Judicial Conduct

Board Pennsylvania Judicial Conduct Board completed, signed form, Confidential

Request For Investigation of Philadelphia Family Court Judge Ida K. Chen, which names

Linda Walters, Esquire.

45. COMMONWEALTH AND U.S. CITIZENS‟ PUBLIC NOTICE AND DEMAND:

CARLIN TALIB SAAFIR, ESQUIRE AND CITY OF PHILADELPHIA DEPARTMENT OF

HUMAN SERVICES AS MANAGED BY ANNE MARIE AMBROSE, SHARE CRIMINAL

CULPABILITY FOR CHRONIC CHILD WELFARE MISADMINISTRATION WHICH

RESULT IN PROLONGED CHILD ABUSE AGGRAVATED ASSAULTS PERSONAL

INJURIES SUFFERED BY REAL FLESH AND BLOOD NATURAL AMERICAN AND

PHILADELPHIA COUNTY RESIDENTS AND APPELLANTS PRO SE DEBORAH YOUNG,

CAMERON DETWILER AND BRIANA DETWILER AND SHOULD BE EXPELLED

TERMINATED AND PROHIBITED FROM HAVING ANY LAWFUL ROLE IN ADVOCACY

REPRESENTATION OR INTERESTS OF APPELLANTS PRO SE VICTIM CHILDREN, IN

OUR OWN RIGHT, CITY OF PHILADELPHIA DEPARTMENT OF HUMAN SERVICES

PROLONGED CHILD ABUSE VICTIMS, CAMERON DETWILER AND BRIANA DETWILER.

46. Carlin Talib Saafir’s culpability in causing suffering to Cameron and Brian

Detwiler is proven and known to be professional misconduct. Although discernment of the

reason for chronic willful professional misconduct of Carlin Talib Saafir Esquire as CCP

Dependency Wheel appointed child advocate will not lessen the suffering of Corruption in

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17 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Government Victims Appellants Pro Se, this Commonwealth of Pennsylvania and United States

Citizen believes it will help Pennsylvania Superior Court for the Eastern District of Pennsylvania

discern motive, ethics, synergy and intent for why an otherwise respected attorney would cut

corners so extremely as to leave two children he is responsible for advocating for, left

chronically unprotected without advocacy that might have saved them from four years of

ongoing abuse and personal injury.

47. Carlin Talib Saafir’s personal financial desperation caused by US Department of

Treasury Internal Revenue Service (IRS), Pennsylvania Tax Liens and Recent Municipal Court

Eviction should not be ignored for investigating Carlin Talib Saafir, Esquire criminal financially

incented role in the official corruption which is proven to have occurred in CCP Philadelphia

Family Court and DHS affecting this Corruption in Government Victim Appellants Pro Se

Family, Deborah Young, Cameron and Briana Detwiler. See CCP Civil Dockets and Municipal

Court Dockets copied inserted below. Carlin Talib Saafir, Esquire should be removed and

prohibited from participating in any matters concerning the advocacy interests of Cameron

Detwiler and Briana Detwiler and any Commonwealth of Pennsylvania citizen.

Case Docket View

LT-09-09-22-5564 Case Information

Plaintiff Information

PARK TOWNE PLACE

ASSOC, AKA/DBA:

AIMCO

2200 BENJAMIN

FRANKLIN PKWY SOUTH

BUILDING

MANAGEMENT

PHILADELPHIA, PA 19130

Attorney: ROBERT J

WILLWERTH ID: 072734

Defendant Information

1 CARLIN SAAFIR & ALL OTHER OCCUPS Disposed

PARK TOWNE PLACE APTS

2200 BENJAMIN FRANKLIN PKWY, # N-

614

PHILADELPHIA, PA 19130

Property Address: PARK TOWNE PLACE APTS, 2200 BENJAMIN FRANKLIN PKWY, # N-

614, PHILADELPHIA, PA 19130

Filing Date Description Results/Comments Filing Party Docketed Under View

09/22/2009 Landlord Tenant Complaint Hearing Scheduled: 10/15/2009

12:45 PM Hearing Room 4B

Fee: $86.50

ROBERT J

WILLWERTH

CARLIN

SAAFIR & ALL

OTHER

View

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18 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Amount at Issue: $5,397.74

Interviewer Code: 120

OCCUPS (D1)

Service:

Philadelphia

Writ Service

PARK TOWNE

PLACE ASSOC

(P)

09/22/2009 Affidavit 109 ROBERT J

WILLWERTH

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

PARK TOWNE

PLACE ASSOC

(P)

View

09/22/2009 Plaintiff Instructions LT Plaintiff Instructions ROBERT J

WILLWERTH

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

PARK TOWNE

PLACE ASSOC

(P)

View

09/22/2009 ADA - ADA Notice ADA ROBERT J

WILLWERTH

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

PARK TOWNE

PLACE ASSOC

(P)

View

09/22/2009 LT Instructions all parties Instructions ROBERT J

WILLWERTH

PARK TOWNE

PLACE ASSOC

(P)

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

View

09/22/2009 Non-Military Affidavit Non-Military Affidavit -

CARLIN SAAFIR & ALL

OTHER OCCUPS

ROBERT J

WILLWERTH

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

PARK TOWNE

PLACE ASSOC

(P)

View

09/22/2009 Exhibit LICENSE, LETTER & LEASE ROBERT J

WILLWERTH

PARK TOWNE

PLACE ASSOC

(P)

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

View

10/06/2009 Affidavit of Service Service made for: CARLIN

SAAFIR & ALL OTHER

OCCUPS

CMS User CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

View

10/15/2009 Disposition - Resolved by Judgment for the Plaintiff in the ROBERT J PARK TOWNE View

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19 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Judgment by Agreement

Remote Attorney

amount of $7016.74 plus costs

$86.50 for a total of $7103.24

Judgment for Possession as of

10/15/2009

Judgment of Possession to be

satisfied if Defendant pays (as

outlined in Other Conditions) by

10/25/2009

WILLWERTH PLACE ASSOC

(P)

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

11/02/2009 Disposition - Satisfied, Both Order to Mark Money Judgment

and Possession Judgment

satisfied

ROBERT J

WILLWERTH

PARK TOWNE

PLACE ASSOC

(P)

CARLIN

SAAFIR & ALL

OTHER

OCCUPS (D1)

View

Civil Docket Report

Case Description

Case ID: 070601051

Case Caption: COMMONWEALTH OF PA VS SAAFIR

Filing Date: Tuesday , June 12th, 2007

Court: JUDGMENTS

Location: City Hall

Jury: NON JURY

Case Type: CMWLTH-DPT OF REV/PERS INC TAX

Status: ACTIVE CASE

Related Cases Case Event Schedule Case Parties

Seq # Assoc Expn Date Type Name

1 PLAINTIFF COMMONWEALTH OF PA DEPARTMENT OF

REVENUE BUREAU COMPLIANCE

Address: BUREAU OF

COMPLIANCE

DEPT 280946

HARRISBURG PA

17128-0946

Aliases: none

2 DEFENDANT SAAFIR, CARLIN T

Address: 2200 BEN FRANKLIN

PKWY

APT NORTH 614

PHILADELPHIA PA

19130

Aliases: none

Docket Entries

Filing

Date/Time Docket Type Filing Party

Disposition

Amount

Approval/

Entry Date

12-JUN-2007

08:49 AM

ACTIVE

CASE

12-JUN-2007

08:49 AM

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20 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Docket Entry: none.

12-JUN-2007

08:50 AM

PA STATE

LIEN FILED

COMMONWEALTH OF PA

DEPARTMENT OF REVENUE BUREAU

COMPLIANCE,

$1,056.50 12-JUN-2007

12:00 AM

Docket Entry: CERTIFIED COPY OF LIEN IN THE SUM OF $1056.50. NOTICE UNDER RULE 236.

Civil Docket Report

Case Description

Case ID: 060304069

Case Caption: COMMONWEALTH OF PA VS SAAFIR

Filing Date: Thursday , March 30th, 2006

Court: JUDGMENTS

Location: City Hall

Jury: NON JURY

Case Type: CMWLTH-DPT OF REV/PERS INC TAX

Status: ACTIVE CASE

Case Event Schedule Case Parties

Seq # Assoc Expn Date Type Name

1 PLAINTIFF COMMONWEALTH OF PA DEPARTMENT OF

REVENUE BUREAU COMPLIANCE

Address: BUREAU OF

COMPLIANCE

DEPT 280946

HARRISBURG PA

17128-0946

Aliases: none

2 DEFENDANT SAAFIR, CARLIN T

Address: 2200 BEN FRANKLIN

PKWY

PHILADELPHIA PA

19130

Aliases: none

Docket Entries

Filing

Date/Time Docket Type Filing Party

Disposition

Amount

Approval/

Entry Date

30-MAR-2006

11:08 AM

ACTIVE

CASE

30-MAR-2006

11:08 AM

Docket Entry: none.

30-MAR-2006 PA STATE COMMONWEALTH OF PA $7,488.24 30-MAR-2006

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21 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

11:09 AM LIEN FILED DEPARTMENT OF REVENUE BUREAU

COMPLIANCE,

12:00 AM

Docket Entry: CERTIFIED COPY OF LIEN IN THE SUM OF $7488.24. NOTICE UNDER RULE 236.

Civil Docket Report

Case Description

Case ID: 091102718

Case Caption: COMMONWEALTH OF PA VS SAAFIR

Filing Date: Tuesday , November 17th, 2009

Court: JUDGMENTS

Location: City Hall

Jury: NON JURY

Case Type: CMWLTH-DPT OF REV/PERS INC TAX

Status: ACTIVE CASE

Related Cases Case Event Schedule

Case Parties

Seq # Assoc Expn Date Type Name

1 PLAINTIFF COMMONWEALTH OF PA DEPARTMENT OF

REVENUE BUREAU COMPLIANCE

Address: BUREAU OF

COMPLIANCE

DEPT 280946

HARRISBURG PA

17128-0946

Aliases: none

2 DEFENDANT SAAFIR, CARLIN T

Address: 2200 BEN FRANKLIN

PKWY

PHILADELPHIA PA

19130

Aliases: none

Docket Entries

Filing Date/Time Docket Type Filing Party Disposition Amount Approval/

Entry Date

17-NOV-2009

01:39 PM

ACTIVE CASE 17-NOV-2009

01:40 PM

Docket Entry: none.

17-NOV-2009

01:41 PM

PA STATE LIEN FILED $1,112.25 17-NOV-2009

12:00 AM

Docket Entry: CERTIFIED COPY OF LIEN IN THE SUM OF $1112.25. NOTICE UNDER RULE 236.

Civil Docket Report

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22 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Case Description

Case ID: 080603769

Case Caption: COMMONWEALTH OF PA VS SAAFIR

Filing Date: Tuesday , June 24th, 2008

Court: JUDGMENTS

Location: City Hall

Jury: NON JURY

Case Type: CMWLTH-DPT OF REV/PERS INC TAX

Status: ACTIVE CASE

Related Cases Case Event Schedule

Case Parties

Seq # Assoc Expn Date Type Name

1 PLAINTIFF COMMONWEALTH OF PA DEPARTMENT OF

REVENUE BUREAU COMPLIANCE

Address: BUREAU OF

COMPLIANCE

DEPT 280946

HARRISBURG PA

17128-0946

Aliases: none

2 DEFENDANT SAAFIR, CARLIN T

Address: APT N614

2200 BEN FRANKLIN

PKWY

PHILADELPHIA PA

19130

Aliases: none

Docket Entries

Filing

Date/Time Docket Type Filing Party

Disposition

Amount

Approval/

Entry Date

24-JUN-2008

11:28 AM

ACTIVE

CASE

24-JUN-2008

11:29 AM

Docket Entry: none.

24-JUN-2008

11:30 AM

PA STATE

LIEN FILED

COMMONWEALTH OF PA

DEPARTMENT OF REVENUE BUREAU

COMPLIANCE,

$1,161.77 24-JUN-2008

12:00 AM

Docket Entry: CERTIFIED COPY OF LIEN IN THE SUM OF $1161.77. NOTICE UNDER RULE 236.

Civil Docket Report

Case Description

Case ID: 091020319

Case Caption: IRS VS SAAFIR

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23 of 26 Including Certificate of Service and Corruption in Government Victim Family Disclosure

Filing Date: Monday , October 26th, 2009

Court: JUDGMENTS

Location: City Hall

Jury: NON JURY

Case Type: FEDERAL TAX LIEN

Status: ACTIVE CASE

Related Cases Case Event Schedule Case Parties

Seq # Assoc Expn Date Type Name

1 PLAINTIFF INTERNAL REVENUE SERVICE

Address: US DEPT OF THE TREASURY

PHILADELPHIA PA 19100 Aliases: none

2 DEFENDANT SAAFIR, CARLIN T

Address: 2200 BENJAMIN FRANKLIN PKWY

N614

PHILADELPHIA PA 19130

Aliases: none

Docket Entries

Filing

Date/Time Docket Type Filing Party

Disposition

Amount

Approval/

Entry Date

26-OCT-2009

10:24 AM

ACTIVE CASE 29-OCT-2009

10:24 AM

Docket Entry: none.

26-OCT-2009

11:38 AM

FEDERAL IRS LIEN

FILED

INTERNAL REVENUE

SERVICE,

$19,555.62 29-OCT-2009

12:00 AM

Docket Entry: none.

Civil Docket Report

Case Description

Case ID: 060320022

Case Caption: IRS VS SAAFIR

Filing Date: Monday , March 06th, 2006

Court: JUDGMENTS

Location: City Hall

Jury: NON JURY

Case Type: FEDERAL TAX LIEN

Status: ACTIVE CASE

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Related Cases Case Event Schedule Case Parties

Seq # Assoc Expn Date Type Name

1 PLAINTIFF INTERNAL REVENUE SERVICE

Address: US DEPT OF THE TREASURY

PHILADELPHIA PA 19100 Aliases: none

2 DEFENDANT SAAFIR, CARLIN

Address: 2200 BENJAMIN FRANKLIN PKWY

N614

PHILADELPHIA PA 19130

Aliases: none

Docket Entries

Filing

Date/Time Docket Type Filing Party

Disposition

Amount

Approval/

Entry Date

06-MAR-2006

01:37 PM

ACTIVE CASE 06-MAR-2006

01:38 PM

Docket Entry: none.

06-MAR-2006

01:39 PM

FEDERAL IRS LIEN

FILED

INTERNAL REVENUE

SERVICE,

$55,714.04 06-MAR-2006

12:00 AM

Docket Entry: none.

WHEREFORE, Deborah Young having (1) shown natural guardianship of Cameron and

Briana Detwiler has not been lawfully reassigned; and (2) child advocate attorney Carlin Talib

Saafir has failed to advocate the interests of Cameron and Briana Detwiler such that Carlin Talib

Saafir has committed professional and criminal misconducts owning in a share of culpability for

the prolonged and ongoing child abuse of Briana and Cameron Detwiler; and (3) Department of

Human Services Assistant Solicitor, Michael Angelotti, Esquire is not yet qualified to represent

Appellee DHS as managed by Corruption Fraud Civil Rights Defendant Anne Marie Ambrose,

until such time as DHS’ attorneys submit qualified defenses to 38 pages of Appellant Pro Se

Exhibit Proofs of Official Corruption, Willful Reckless Child Endangerment, DHS and

Philadelphia Family Court contrived aggravated assaults, prolonged child abuse, kidnap for

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profit; and because Carlin Saafir’s Motion for Extension to file Brief on behalf of his abused

children victims who are Appellants Pro Se rightfully represented by natural guardian mother

Deborah Young, was prematurely granted by this Court depriving Appellants Pro Se 14 days to

Answer and Protest; and because Appellants Pro Se stands firmly in the Constitution of

Commonwealth of Pennsylvania; ALL MOTIONS TO QUASH and MOTIONS ASKING FOR

EXTENSION TO FILE BRIEFS IN THE NAME OF THE CHILDREN DHS AND CARLIN

SAAFIR HAVE ABUSED SHOULD BE DENIED and only DEBORAH YOUNG, NATURAL

GUARDIAN should be recognized as the rightful advocate and the voice which speaks for

injured unable to speak for themselves kidnapped for profit and long term abused Corruption in

Government Victims Appellants Pro Se Children, CAMERON AND BRIANA DETWILER.

Respectfully submitted, DEBORAH YOUNG, Authentic Natural Lawful Guardian of minors

CAMERON DETWILER and BRIANA

DETWILER, as Commonwealth of Pennsylvania

Guardianship is not lawfully reassigned,

(“Corruption in Government Victim Appellants Pro Se”)

are real flesh and blood natural persons having

Constitutional Right to Self Present using First and Last

Names uncensored or abbreviated.

Appellants Pro Se

Dated: December 2, 2009 _______________________________

DEBORAH YOUNG

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CERTIFICATE OF SERVICE with

CORRUPTION IN GOVERNMENT VICTIM APPELLANTS PRO SE DISCLOSURE

I, Deborah Young on behalf of myself and those children for whom I am lawful natural guardian have

presented Pennsylvania Superior Court with truths grounded firmly in the Constitution for the Commonwealth of

Pennsylvania, “That the general, great and essential principles of liberty and free government may be recognized

and unalterably established, WE DECLARE THAT-- Section 1. Inherent rights of mankind. All men are born

equally free and independent, and have certain inherent and indefeasible rights, among which are those of enjoying

and defending life and liberty, of acquiring, possessing and protecting property and reputation, and of pursuing their

own happiness.” And, with hopeful reasonable and respectful expectation that 28 USCS 453 Solemn Oath of

Justices and Judges, "I do solemnly swear (or affirm) that I will administer justice without respect to persons, and do

equal right to the poor and to the rich, and that I will faithfully and impartially discharge and perform all the duties

incumbent upon me as under the Constitution and laws of the United States. So help me God." AND Judicial Oath

Canon 2(B): Outside Influence. A judge should not allow family, social, political, financial, or other relationships to

influence judicial conduct or judgment. A judge should neither lend the prestige of the judicial office to advance the

private interests of the judge or others nor convey or permit others to convey the impression that they are in a special

position to influence the judge. A judge should not testify voluntarily as a character witness.”….reside in Superior

Court for the Eastern District of Pennsylvania, certify that a true and correct copy of the foregoing DEBORAH

YOUNG CAMERON DETWILER AND BRIANA DETWILER APPELLANTS PRO SE TIMELY ANSWERS

AND PROTEST TO CARLIN TALIB SAAFIR’S NINE PARAGRAPHS MOTION TO QUASH MOTHER’S

APPEAL EGREGIOUSLY CLAIMING MOTION IS IN “BEHALF OF “B.D.” and APPELLANTS PRO SE

TIMELY ANSWERS AND PROTESTS TO CITY OF PHILADELPHIA LAW DEPARTMENT SHELLEY R.

SMITH, CITY SOLICITOR BY MICHAEL ANGELOTTI ASSISTANT CITY SOLICITOR “THE

DEPARTMENT OF HUMAN SERVICES MOTION TO JOIN APPELLEE CHILD ADVOCATE’S MOTION

QUASH APPEAL” AND 6 PARAGRAPHS “MOTION FOR EXTENSION OF TIME IN WHICH TO FILE

PARTICIPANT DEPARTMENT OF HUMAN SERVICES’ BRIEF”; AND COMMONWEALTH AND U.S.

CITIZENS’ PUBLIC NOTICE AND DEMAND: CARLIN TALIB SAAFIR, ESQUIRE AND CITY OF

PHILADELPHIA DEPARTMENT OF HUMAN SERVICES AS MANAGED BY ANNE MARIE AMBROSE,

SHARE CRIMINAL CULPABILITY FOR CHRONIC CHILD WELFARE MISADMINISTRATION WHICH

RESULT IN PROLONGED CHILD ABUSE AGGRAVATED ASSAULTS PERSONAL INJURIES SUFFERED

BY REAL FLESH AND BLOOD NATURAL AMERICAN AND PHILADELPHIA COUNTY RESIDENTS AND

APPLELLANTS PRO SE DEBORAH YOUNG, CAMERON DETWILER AND BRIANA DETWILER AND

SHOULD BE EXPELLED TERMINATED AND PROHIBITED FROM HAVING ANY LAWFUL ROLE IN

ADVOCACY REPRESENTATION OR INTERESTS OF APPELLANTS PRO SE VICTIM CHILDREN, IN OUR

OWN RIGHT, CITY OF PHILADELPHIA DEPARTMENT OF HUMAN SERVICES PROLONGED CHILD

ABUSE VICTIMS, CAMERON DETWILER AND BRIANA DETWILER, Including this Certificate of Service

and Corruption in Government Victim Family Disclosure has been served on the following parties by first class

United States mail, postage prepaid on the 2nd

day of December, which satisfies the requirements of Rule 121 of the

Pa. Rules of Appellate Procedure:

Hon. Alice Beck Dubow

Philadelphia CCP

Family Courtroom H

1801 Vine Street

Philadelphia PA 19103

Carlin Talib Saafir, Esquire

1218 Chestnut Street, Ste 500

Philadelphia PA 19107

Arnold Laiken, Esquire

Attorney Vincent Lang

21 S. 12th

Street, 7th

Floor

Philadelphia PA 19107

Michael Angelotti, Esquire

Assistant City Solicitor

City of Philadelphia Law

Department, DHS

1515 Arch Street

Philadelphia PA 19103

Linda G. Walters, Esquire

Terminated For Conflict of Interest

attorney formerly for

Deborah Young

1201 Bethlehem Pike, PO Box 168

Flourtown PA 19107

December 2, 2009 _________________________________

DEBORAH YOUNG

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Court Reform Disclosure Transmittal CPS Corruption in Government Clean Up Initiative

U.S. Citizens’ Pro Se Victim Plaintiff

Notice and Demand

28 USCS 453 Solemn Oath of Justices and Judges "I do solemnly swear (or affirm) that I will administer justice without respect to persons, and do equal right to the poor and to the rich, and that I will faithfully and impartially discharge and perform all the duties incumbent upon me as under the Constitution and laws of the United States. So help me God."

Judicial Oath Canon 2(B): Outside Influence. A judge should not allow family, social, political, financial, or other relationships to influence judicial conduct or judgment. A judge should neither lend the prestige of the judicial office to advance the private interests of the judge or others nor convey or permit others to convey the impression that they are in a special position to influence the judge. A judge should not testify voluntarily as a character witness.

I, Deborah Young on behalf of myself and those children for whom I am lawful natural guardian have presented

Pennsylvania Superior Court with truths grounded firmly in the Constitution for the Commonwealth of

Pennsylvania, “That the general, great and essential principles of liberty and free government may be recognized

and unalterably established, WE DECLARE THAT-- Section 1. Inherent rights of mankind. All men are born

equally free and independent, and have certain inherent and indefeasible rights, among which are those of enjoying

and defending life and liberty, of acquiring, possessing and protecting property and reputation, and of pursuing their

own happiness.”

Corruption in Government Victim Family Disclosure. Self Presenting Appellants Pro Se are victims of

corruption in government whose Constitution of the Commonwealth of Pennsylvania Inherent Rights of Mankind have been repeatedly violated to cause the destruction of an American Family. Victim Family Appellants Pro Se herein have reasonable hope that the Wisdom and Integrity of this Court will recognize that Victim Family Appellants Pro Se were not required to know rules of procedure and cite case law when Court of Common Pleas Family Court; City of Philadelphia Department of Human Services and Willful Complicit Accessory to Prolonged Child Abuse Attorney Child Advocate perpetrated repeated crimes of conspiracy, denial of due process, professional negligence, employee misconduct and civil rights violations which resulted in the kidnap for profit, judicial negligence, aggravated assaults, prolonged child abuse, lost earnings, and personal injuries being suffered by Deborah Young, Cameron Detwiler and Briana Detwiler. Therefore, Corruption in Government Victim Family Appellants Pro Se have reasonable expectation and respectful request that This Court is committed to truth finding forsaking and rejecting all attempts of Appellee who is also co-Defendant with named accomplices in the Official Corruption Fraud Kidnap For Profit and Prolonged Child Abuse committed against Appellants Pro Se, thwarting all counter intuitive legal procedures which would discriminate against Appellants Pro Se in decisive favor of the Official Corruption Appellee and Child Advocate Attorney accomplice who are eager to cover up the true and accurate nature of the this litigation which is Official Corruption, Fraud, Kidnap For Profit, Judicial Negligence, Willful Judicial Failure to Protect, Aggravated Assaults, Prolonged Child Abuse, Personal Injury and more. Respectfully, Deborah Young on behalf of children Cameron Detwiler and Briana Detwiler.

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CERTIFICATE OF SERVICE and CORRUPTION IN GOVERNMENT CLEAN UP INITIATIVE DISCLOSURE

Informational and Courtesy Copy Distribution is published and circulated to various business schools, law schools, homeland security, Commonwealth, State and Federal Supreme Court Justices, Senators, Whitehouse Executive Officers, grass roots families and community development organizations via official website submission forms, email attachment or link, first class mail, fax, post incident database recording, and available compiled with all other HireLyrics managed Court Reform Disclosure Notice and Demand statements measuring court reform synergy two way accountability work ethic synergy and intent upon request.

US Citizens Families Victims of CPS Corruption Poisoned Family Courts, Departments of Human Services, Foster and Adoption Contractors can measure, record and publicly report for the sake of truth in public record various Clerk of Court’s unaccountable poor work ethic synergy and intent docket management errors which discriminate against Pro Se Federal Crime Victim Witness Plaintiffs intensifies Constitutional rights violations already suffered and blocks middle class and working poor Americans for seeking redress in a United States Federal Court in Decisive Prejudicial Favor which aids and abets CPS Corruption in U.S. Family Courts and Departments of Human Services. Systematic US Citizens Controlled Public Post Incident of Courts’ Subjective Docket Censorship and Manipulation will systematically rescue children of all ages while rescuing US Economy careers and work product contributions by slowing and eventually stopping the systematic Corrupt Family Courts and Departments of Human Services’ slaughter of American Families who if allowed to grow up healthy would nurture U.S. Economy viable industries of military/defense, medicine, healthcare, science, technology, space travel, engineering, litigation, entertainment, performance, arts, invention, engineering, community development, mentorship, twelve step recovery, etc.

Obstruction Education Judicial Malpractice Attorney Malpractice Attorney Misconduct Federal Grant Funded Corrupt Beneficiary Privately Owned Contractor Politically Favored Wealthy Campaign Contributors Clerical Errors Harassment Terrorism Stalking Stimulus Fraud Posturing as Clergy

Denial Due Process Professional Negligence Kidnap for Profit Child Abuse Deliberate Prolonged Child Abuse Psychotropic Chemicals Physical Mental Personal Injury Conflict of Interest Wire Fraud Fraud Federal Food Stamps Accessory to Child Rape

Fraud Dept. of Education Employee Misconduct Human Trafficking Fraud Taxpayer funded agency Fraud Recovery.gov Agency (Agencies) Police Brutality Racketeering Complacent Accessory Willful Complicit Accessory Fraud SSI SSD Welfare Child Endangerment

Identity Theft Financial Incentive Conspiracy Theft Extortion Aggravated Assault Home Invasion Forced Commerce Willful Accessory Theft Earned Income Credit Intimidation Coercion Duress Neurosis Parent Alienation Syndrome Forced Commerce Theft Careers Theft Past Present Future Earnings

Guiding Principles Court Reform Disclosure - Our civil rights laws and principles are at the core of our nation. Our country grows stronger when all Americans have access to opportunity and are able to participate fully in our economy. The Constitution of the United States of America is the supreme law of the United States. Empowered with the sovereign authority of the people by the framers and the consent of the legislatures of the states, it is the source of all government powers, and also provides important limitations on the government that protect the fundamental rights of United States citizens. – Ethics page Whitehouse.gov

U.S. Citizens Controlled Public Incident Report Docket Database Rationale Statement: Because the financial incentives caused by the 1984 CPS laws have systematically poisoned Family Courts nationwide, some American families victimized by Corruption in Family Courts and Department of

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Human Services believes a strategic administrative response will offer pro se documents which measure the synergy between the corrupt family courts, lower jurisdiction law enforcement, the appeals courts and the federal courts and eventually U.S. Supreme Court. The prototype development of a respectfully suggested US Economy and Two Way Accountability Stimulus Implementation tool which measures revenue impacts of Work Ethic Synergy and Intent, US Citizens Controlled Public Incident Report Docket Database reports on community data relative to America's nationwide corruption in government court reform initiative. American Families victimized by the systematic corruption of Family Courts imposed by financial incentives of the 1984 CPS laws are using standard access attributes of the internet technologies to collaborate strategies for rescuing kidnapped for profit children who are America's Work Force and Product Contributors missing from US Economy enriching markets of military/defense, technology, medicine, healthcare, science, engineering, litigation, entertainment, community development, twelve step recovery, education, mentorship, space travel, advertising, publishing, etc. A systematic US Economy and Family Quality of Life Destroying mechanism is identified by a standard presenting internet technology enabled population of Corruption in Government CPS victims who are real flesh and blood human beings, disadvantaged for protecting American families' constitutional rights to stop the consumption of America's human resources (children of all ages) by criminals bearing titles of Esquire, Judge and Social Worker, who siphon good willed Recovery Act Stimulus money from federal and state funded agencies, courts and law enforcement to divert would be US Economy contributors away from economy enriching industries of education, litigation, entertainment, science, military defense, medicine, engineering, community development to pedophilia, sex entertainment, social security disability, wrongful death, child rape, neurosis and self inflicted injury caused by parent alienation syndrome, auto accident, drowning, torture, addiction and alcoholism... HireLyrics believes that an attack which is identified as mechanical enabled by systematic administration and misadministration requires a mechanized administrative response. Tracking, logging and publicly reporting the case management disposition of CPS victims pro se documents production will enable (1) Strong Exhibit A for nationwide Supreme Court Cert Petition; (2) Standard Access to shared learning which results in Community Courage; (3) Kidnapped for profit lifelong abused loved wanted children whose Family and Superior Court records have been "fast tracked" "sealed" "impounded" reduced to initials or real flesh and blood natural person names redacted will know their parents and grandparents fought tirelessly against the rapacious creditor Corrupt Family Court machine. Many American Family Victims of Corrupt Family Court Ordered Abuse suffering from parent alienation syndrome are using the internet technologies to find kidnapped for profit children in various standard access social networking forums only to find that the mental and emotional injuries are extensive and irreversible. Let the internet search engine spiders aggressively advertise full names and guardianship and family capacities of the real flesh and blood victims consumed by the real full first and last names, criminal individual criminal capacities and abused official titles of the proven criminal assailants who engorged themselves by abusing trusted tax payer funded positioning with courts, law enforcement or foster and adoption agencies to willfully court order children into the nightmare of lifelong kidnap for profit abuse American's would be Work Force and Product contributors. Pro Se Documents filed as appeals briefs and complaints provide measurable mechanized response to the time stealing victimization imposed by the Corrupt Family Court kidnapped for profit, racketeering and child selling systematic corruption initiated with first encounter with corrupt Family Courts and Children Protective Services 1984 law financially incented social workers. (4) Attraction of ethical professionals including qualified counsel who might recognize the pro se documented compilation of Victim Families proofs and accept CPS Victims' cases contingently, or at least

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work aggressively on your behalf if the initiating pro se Plaintiff or Appellant Victim enters the rigorous competitive process of litigation on their own behalf before paying a family court attorney huge retainer to use a template to produce appeal brief document further censoring DHS' victims proof exhibit; or dissuade CPS victim from going into Federal Court with true and accurate nature of the crimes that have occurred; (5) Strip corrupt or incompetent attorneys judges social workers and paid Department of Human Services contractor foster and adoption agencies of 1983 Civil Rights Act claims to immunity so that they have to answer lawfully for the capital crimes of Racketeering, Judicial Negligence, Human Trafficking, Complicit Accessory to Prolonged Aggravated Assaults, Complicit Accessory to Willful Reckless Child Endangerment, Fraud of several Recovery.gov Agencies; and the list of capital crimes goes on; and Corruption Victims can help to gather the data needed to bring about authentic and lasting Court Reform in the United States. Strongest prayers for the little children, the adult children who are robbed of their lives and strongest prayers to all those soldiers both victim families and ethical professionals and decision makers who remain committed to rescuing children of all ages while rescuing US Economy and the soul of our nation, using whatever methods collaborators are inspired to utilize. Respect! Roxanne Grinage.

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