IN US DISTRICT COURT
For the central district of IL
201 S. Vine, Urbana IL 61801
http://www.ilcd.uscourts.gov
James F. Osterbur
2191 county road 2500 E. St. Joseph IL 61873
www.justtalking3.info
Vs.
the Federal Bureau of Investigation
935 Pennsylvania ave NW Washington DC 20535 0001
the Solicitor General ROOM 5614, Department of Justice,
950 Pennsylvania ave, NW Washington DC 20530 0001
the Attorney General US dept of Justice 10th and Constitution avenues NWWashington DC 20530
US attorney for the central district of IL 201 S. Vine ste 218 Urbana IL 61801 / us attorney
DATED 6/2/ 11 TRIAL # 10 cv 2277
THE PETITION LETTER HAVING FAILED TO BRING DISCIPLINE INTO THE COURTROOM IS NOW EXCHANGED FOR THIS NOTICE:
MOTION BEFORE THE COURT FOR JUDGMENT:
There are rules in a courtroom: 347 S.W. 2d 211, 216;
meaning you cannot continue to ignore the facts or the reality of this lawsuit/ make a decision, or proceed with the filing of facts.
THE LAW shall provide a remedy! 1 Williston, Contracts 1 (4th ed. 1990, 1995) a promise breached, requires the law to give a remedy.
The reality of time pasted in this trial, has produced the demand: Establish the date when default judgment gives to me the verdict that I am due. Let the law be real: Redress shall occur.
Otherwise, it is your duty to establish the alternate “lies, failure, and foolish traitor”/ as is consistent with betrayal of constitutional law. So that appeal process begins. Or continue with trial, by appropriate filing, and see its conclusion according to the law: as is my right of due process under the law.
Times up, make your decision.110 S.E. 2d 909, 911.
PROOF OF SERVICE: I, James F. Osterbur do hereby prove and declare: that on this date 6/ 2/ 11 the above entitled document was mailed, by prepaid US postal first class service to the addresses listed above. Including the court.