Freedom of Information Advocacy Coalition, Inc.

www.foiac.org

 

a non-profit corporation dedicated to government transparency

 

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LAHR V. NTSB   |   SEPHTON V. FBI   |   AIM V. NTSB   |   HALL ET AL V. CIA

THE 1944 DEATH OF SECRETARY OF STATE JAMES FORESTALL   |   THE FRANK OLSON LEGACY PROJECT

Our mission is to disseminate material relating to investigations conducted by government agencies. 

FOIAC strives to provide the public the information it needs to judge the integrity of the science used in government investigations.

 

 


 

 

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non-profit corporation dedicated to government transparency

 

 

               Captain H. Ray Lahr, Ret.

 

           18254 Coastline Drive
          
Malibu, California 90265

           Phone:  (310) 459-2232
           Fax:  (310) 454-1372

 

           Email:  raylahr@charter.net

 

 
        John H. Clarke, Esquire

        2424 Pennsylvania Avenue NW
        No. 410

       
Washington DC  20037

        Phone:  (202) 332-3030
 
        Email:
johnhclarke@earthlink.net

    

     WRITINGS:

     Burden of Proof (by unknown author)     April, 2004

“The NTSB factual record of the post explosion trajectory and the alleged method for its calculation is criminally fraudulent in its entire scope, intent, and presentation.”

 

      Scheduling Conference     April, 5, 2004

“It appears that the strategy of the defense is to stall and delay as much as possible, and it's a frustrating game.  But Judge Matz is a no-nonsense judge, and he is moving the new case along pretty fast.”

 

      Radar Tape     March 21, 2004

“TWA800's forward speed as measured by radar would have decreased to 111 knots during the hypothetical zoom-climb.  That just didn't happen. In fact, the radar detected a slight increase of speed during the period TWA800 was supposed to be in a zoom-climb. Quite simply, that means there was no zoom climb.”

 

      Conference Scheduling 4/5/04     February 21, 2004

“Only Mr. Crider knows what data was entered into his secret program from the secret list of data provided by Boeing. Only Mr. Crider knows what assumptions he made regarding the aerodynamic condition of the aircraft after the nose was blown off.”

 

      First Day in Court     December 15, 2003

we were instructed to file an amendment to our second complaint (the one naming the CIA).  Judge Matz said he would then combine both complaints into one case.”

 

      Motion to Amend Granted     November 4, 2003

“Nearly one hundred witnesses saw a streak of light rising from the surface and intersecting with Flight 800.  A huge explosion followed, and the debris fell downward in two flaming balls to the ocean.  In order to explain away these eyewitnesses, the CIA postulated that after the nose of TWA800 was blown off, the remaining aircraft zoom-climbed from 13,800 feet to 17,000 feet trailing flames.”

 

     Letter to RUPA     September 21, 2003

“Eighteen years into retirement, and I am still very much involved in aviation, although not in a way that I ever dreamed of.  I am suing the National Transportation Safety Board (NTSB) for its calculations of the hypothetical zoom-climb of TWA800”

    

     WRITINGS:    

     James Sanders et al. v. United States of America et al.

           Civil Rights Amended Complaint     Filed March 28, 2000:

Violation of 42 U.S.C. § 2000 et seq., Privacy Protection Act of 1980;   Violation of the First, Fourth and Fifth Amendments to the United States Constitution;   Intentional Infliction of Emotional Distress;   Civil Conspiracy

           Opposition to defendants' motion to dismiss     Filed July 2, 2001

[Case transferred to Eastern District New York August 6, 2001]
[Sanders' now represented by other counsel]

 

    Patrick Knowlton v. Office of Independent Counsel

           Special Division for the Appointing Independent Counsels:      

           Filed June 23, 1999, motions [unsealed September 1999]:     

(1)  Leave to amend comments and factual information included in the Appendix to the OIC's Interim Report on the death of Vincent Foster; (2)  Unseal comments and factual information proposed to be an appendix to the OIC's Report;  (3) Compel the OIC to produce grand jury minutes;  (4) To present evidence to the grand jury:  1. Comments and factual information proposed to be an appendix to the OIC's interim Report, and 2. Grand jury minutes

           Special Division for Appointing Independent Counsels:     

           Filed September 23, 1997 [unsealed October 10, 1997]:

Comments of Patrick Knowlton ordered included in Appendix to the OIC's Report on the Death of Vincent W, Foster, Jr.

           US District Court for the District of Columbia, Chief Judge:

           Filed January 31, 2000:

   Application of Patrick Knowlton to present evidence to the grand jury

 

     Patrick James Knowlton v. Robert Edwards, et al.

           Civil Rights Second Amended Complaint

           Filed October 21, 1998:

Conspiracy to interfere with Civil Rights in violation of 42 U.S.C. § 1985(2), Obstructing justice;  Intentional Infliction of Emotional Distress; Assault;  Battery;  Civil Conspiracy

          Transcript oral argument summary judgment
           Heard
January 20, 1998.

 

      Law Office of Larry Klayman et al. v. National Press Building et al.

 Filed September 25, 1989, motion: 
Motion in limine to permit cross-examination of plaintiff on the fact of prior pro se lawsuits alleging fraud & breach of contract

 

      Estate of Judi Bari et al. v. FBI Special Agent Frank Doyle, et al.
           Filed
May 14, 2002:
                        
Plaintiff's offer of proof regarding FBI
                        misconduct
[contributing author]