California Rules of Court, rule 10.500 Request for Information Judicial Council of California and Commission on Judicial Performance

TO:    Victoria B. Henley, Martin Hoshino, PAJAR and John Wordlaw
Commission on Judicial Performance
Judicial Council of California
455 Golden Gate Avenue
San Francisco, CA 94102-3688
Served and Emailed

FROM:     Abdul-Jalil
DATE:      March 31, 2017
RE:           Case MILLER VS HAKIM, Case: #OCV0574030

Dear Ms. Henley, Mr. Hoshino, PAJAR and Mr. Wordlaw:

Attached hereto please find a copy of our 68 page, California Rules of Court, rule 10.500 Request for Information from both the Judicial Council of California and Commission on Judicial Performance.

I will hand deliver a copy as well.

Call me if you have any questions,  and “Thank you” for your consideration.

Respectfully,

Abdul-Jalil
510-394-4501
ajalil1234@gmail.com

Defendant’s Opposition to Tentative Ruling Issued February 22, 2017 by Research Lawyer Phil Abar Alleged by Judge Jennifer Madden

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA  94605
Tel: (510) 394-4501
Defendant

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Alliance Credit/Bank One, T. Miller, Plaintiff,
vs.
Abdul-Jalil al-Hakim, Defendant

Case No.:OCV0574030
Defendant’s Opposition to Tentative Ruling Issued February 22, 2017 by research lawyer Phil Abar but allegedly by Judge Jennifer Madden DENYING DEFENDANT’S Motion for Terminating Sanctions under Fair Debt Collection Practices Act (15 U.S.C. § 1692, et seq.) and the Rosenthal Act (Civil Code § 1788, et seq., § 1788.52); Consumer Legal Remedies Act (“CLRA”), California Civil Code § 1750, et seq.; and an Order under C.C.P.§473 et. seq.; Fees, Costs and Sanctions in the Alternate under C.C.P. § 2023; §594 and Common Law:
and Defendant’s MOTION TO VACATE AND SET ASIDE AMENDED JUDGMENT AND ORDER UNDER C.C.P. §473 et. seq.; FEES AND COSTS; AND SANCTIONS IN THE ALTERNATE Under C.C.P. § 2023; §594 and Common Law
Reservation Number: 1821756
Hearing Date: February 22, 2017
Time: 9:00 a.m., continued to 2:00 p.m.
Location: Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Department 511

Defendant’s Opposition to Tentative Ruling Issued February 22, 2017 by research lawyer Phil Abar but allegedly by Jennifer Madden On Defendant’s Motion for Terminating Sanctions under Fair Debt Collection Practices Act (15 U.S.C. § 1692, et seq.) and the Rosenthal Act (Civil Code § 1788, et seq., § 1788.52); Consumer Legal Remedies Act (“CLRA”), California Civil Code § 1750, et seq.; and an Order under C.C.P.§473 et. seq.; Fees, Costs and Sanctions in the Alternate under C.C.P. § 2023; §594 and Common Law. Hearing was set for February 22, 2017, 9:00 a.m., in Department 511/507.

I, ABDUL-JALIL al- HAKIM, hereby declare as follows:

1. I am the Defendant in the above-entitled action and this notice is submitted in opposition the tentative ruling referenced above. I have personal knowledge of the contents of this notice and, if called as a witness, could and would testify competently to them.
2. This Tentative Ruling was made on February 22, 2017 at 9:00 a.m. allegedly by Judge Jennifer Madden on Defendant’s MOTION TO VACATE AND SET ASIDE AMENDED JUDGMENT AND ORDER UNDER C.C.P. §473 et. seq.; FEES AND COSTS; AND SANCTIONS IN THE ALTERNATE Under C.C.P. § 2023; §594 and Common Law. It DOES NOT state the above tentative ruling will be issued as the court’s order, and no hearing will be held, unless the contesting party contacts the opposing party or parties and the Clerk of Department 511 by 4:00 p.m. on the court day before the hearing to state an intent to appear at the hearing to contest the tentative ruling. The Clerk of Department 20 may be contacted by email to dept.511@alameda.courts.ca.gov.
3. It is February 22, 2017, 12:40 p.m. and I am herewith opposing the tentative ruling and further reiterate that I oppose any and every ruling issued by tainted judge Kim Colwell and have a standing objection to his continued obstruction of justice by remaining in this case prohibiting justice as “Justice Delayed Is Justice Denied!”.
4. That this matter was reassigned to Judge Wynne Carvill (APJ) for a 2:00 p.m. hearing today in Dept. 512.
5. In compliance with the courts order I have sent this notice via email to the following parties: dept.511@alameda.courts.ca.gov, KColwell@alameda.courts.ca.gov, WCarvill@alameda.courts.ca.gov, dept.507@alameda.courts.ca.gov., Irwin@essventures.com, MEllis@EllisLawGrp.com

I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct, based on my direct first hand personal knowledge.

Date: February 22, 2017, 12:40 p.m.

Abdul-Jalil al-Hakim

Plaintiff’s Opposition to ALL RULINGS, ORDERS, NOTES AND COMMENTS MADE BY FREEDMAN IN ALL MATTERS AND Tentative Ruling Issued July 11, 2016 by Judge Robert B. Freedman

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA  94605
Tel: (510) 394-4501
Plaintiff

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Abdul-Jalil al-Hakim, Plaintiff,
vs.
East Bay Municipal Utility District (EBMUD)

Case No.:RG14740943

Plaintiff’s Opposition to Tentative Ruling Issued July 11, 2016 by Judge Robert B. Freedman and ALL RULINGS, ORDERS, NOTES AND COMMENTS MADE BY FREEDMAN IN ALL MATTERS
Hearing: CMC and Demurrer Hearing Date: February 2, 2017 Continued from July 14, 2016,February 5, 2016, and December 11, 2015
Time: 2:00 p.m.
Location: Administration Bldg., 1221 Oak St., Oakland, CA 9460712
Department 20

Plaintiff’s Opposition to Reissued Tentative Ruling and Tentative Ruling Issued July 11, 2016 by Judge Robert B. Freedman On Case Management Conference and Demurrer Hearing set for July 14, 2016, 2:00 p.m., in Department 20.

I, ABDUL-JALIL al- HAKIM, hereby declare as follows:

1. I am the Plaintiff in the above-entitled action and this notice is submitted in opposition the tentative ruling referenced above. I have personal knowledge of the contents of this notice and, if called as a witness, could and would testify competently to them.
2. This Reissued Tentative Ruling is the Tentative Ruling made on July 11, 2016 by Judge Robert B. Freedman On the Demurrer to Plaintiff’s First Amended Complaint (“FAC”), filed by Defendants East Bay Municipal Utility District (“EBMUD”) et al. (collectively “Defendants”) on December 23, 2014, and continued for hearing in the court’s orders of January 30, 2015, March 5, 2015, December 11, 2015 and February 5, 2016. It further states the above tentative ruling will be issued as the court’s order, and no hearing will be held, unless the contesting party contacts the opposing party or parties and the Clerk of Department 20 by 4:00 p.m. on the court day before the hearing to state an intent to appear at the hearing to contest the tentative ruling. The Clerk of Department 20 may be contacted by email to dept.20@alameda.courts.ca.gov.
3. On July 13, 2016 at 10:28 am and I sent a letter and email opposing the tentative ruling and further reiterate that I oppose any and every ruling issued by this tainted judge and have a standing objection to his continued obstruction of justice by remaining in this case prohibiting justice as “Justice Delayed Is Justice Denied!”.
4. In compliance with the courts order I have sent this notice via email to the following parties: dept.20@alameda.courts.ca.gov, MJacobson@alameda.courts.ca.gov, JRolefson@alameda.courts.ca.gov, RMishra@alameda.courts.ca.gov, browell@butycurliano.comand wrowell@crosbyrowell.com.

I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct, based on my direct first hand personal knowledge.

Date: January 31, 2017 and July 13, 2016

Abdul-Jalil al-Hakim

Requesting Reservation Number to File Motion for Terminating Sanction

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA 94605
Tel: (510) 394-4501
Defendant

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Alliance Credit/Bank One, T. Miller, Plaintiff,
vs.
Abdul-Jalil al-Hakim, Defendant

Case No.:OCV0574030
Requesting Reservation Number to File Motion for Terminating Sanction
Hearing Date: February 22, 2017
Time: 9:15 a.m.
Location: Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Department 511

Judge Kim Colwell                                      Mark E. Ellis
Judge Jennifer Madden                             Ellis Law Group
Superior Court of Alameda County          740 University Avenue, Suite 100
Departments 511 and 507                         Sacramento, CA 95825
Hayward Hall of Justice                             Fax: (916)283-8821
24405 Amador Street
Hayward, CA 94544
FAX #: 510-690-2824
cc: Irwin Eskanos; bcc

Faxed and Emailed
FROM: Abdul-Jalil al-Hakim
DATE: January 27, 2017
NO PAGES: 2
RE: Requesting Reservation Number to File Motion for Terminating Sanction, MILLER VS HAKIM, Case: #OCV0574030

Dear Judges Colwell and Madden:

I am sending you both as well as plaintiff’s this fax and email to to request a reservation number to file a Motion for Terminating Sanctions in this matter.

On Wednesday, January 25, 2017, the court again delayed and continued the hearing in this matter to February 22, 2017 at 9:15 A.M. because the plaintiff again failed and refused to provide the ordered “first (original) filing” documents from 1996.

These documents were requested at hearing in September 2016 and ordered to be produced at hearing in October 2016.

I made the same request October 7, 2017, via the DEBT BUYER DEMAND LETTER per Federal and State law, including but not limited to the Fair Debt Collection Practices Act (15 U.S.C. § 1692, et seq.) and the Rosenthal Act (Civil Code § 1788, et seq.).

November 21, 2017, served Plaintiff’s Notice of their failure and refusal to comply with the noticed demand for the written responses to the request of October 7, 2016 were due no later than October 23, 2016, Pursuant to California Civil Code § 1788.52.

Please reply with the requested reservation information so that we can serve the plaintiff ASAP.

I am unavailable to appear in court on Tuesdays and Fridays all day and Thursdays before noon. Any time on Mondays and Wednesdays are fine as well as Thursdays after 2:00 pm.
I understand that plaintiff’s counsel has a new address but it was not provided to me in any form so I assume that was their intent. Therefore, I am sending a copy of this request to their email and fax on file as well as co-counsel Irwin Eskanos.

Additionally, we have very serious concerns about the courtroom impropriety of Ms. Madden’s “Trump-esque” conduct complete with “alternate facts and alternate reality” and this matter can not be heard or ruled on in anyway by Judge Colwell as it is clear her finger prints are all over this case while she has been involved in a previous matter that is still outstanding and has an irreparable conflict. These concerns will be addressed!

Call me if you have any questions, and “Thank you” for your consideration.

Respectfully,

Abdul-Jalil al-Hakim
510-394-4501

Defendant to Appeal Order Granting Plaintiff's Ex- Parte Motion September 15, 2016 at 9:00 AM in Dept. 507

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA  94605
Tel: (510) 394-4501
Defendant

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Alliance Credit/Bank One, T. Miller, Plaintiff,
vs.
Abdul-Jalil al-Hakim, Defendant

Case No.:OCV0574030

Defendant to Appeal Order Granting Plaintiff’s Ex- Parte Motion September 15, 2016 at 9:00 AM in Dept. 507
Reservation Number:1771930
Hearing Date: September 15, 2016
Time: 9:00 a.m.
Location: Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Department 511

I am filing this notice to receive the order issued today, September 15, 2016 at 11:00 AM in Dept. 507 granting plaintiff’s Ex- Parte Motion to vacate and set aside our contesting of the tentative ruling and hearing of September 7, 2016.

I also want a transcript of the September 7, 2016 hearing.

It is painfully clear that this order reflects somethings other than the merits of the motion, which I have still NOT received, and the continuing blatant bias and disdain exhibited toward me by Judge Patton will not cease.

From the contemptuous statement in the tentative ruling that I objected to, to his trying to make a record to portray me as some “belligerent NIGGER!” by stating that “you’re pointing at me!”, “stop pointing at me!”, “you’re pointing at me with your pen!” all at the first appearance before him to today where he states in open court “you are your own worst enemy!”, and finally, “this hearing is over, do you want me to call the Sheriffs?!” His woeful attempts to intimidate, bait and provoke me will not be successful yet openly displays his inability to sit in this matter! If he feels THAT threatened by my presence that he has to go out of his way to make it plain to the entire court, he doesn’t belong in this case. There is NO place for this in modern society much less in a courtroom before the people!

Please provide the order ASAP so that we can proceed in earnest to a fair resolution of this heinous 20 year matter of Elder Abuse!

Abdul-Jalil al-Hakim

Defendant’s Opposition to Tentative Ruling Issued July 11, 2016 by Judge Scott Patton

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA  94605
Tel: (510) 394-4501
Plaintiff

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Alliance Credit/Bank One, T. Miller, Plaintiff,
vs.
Abdul-Jalil al-Hakim, Defendant

Case No.:OCV0574030
Defendant’s Opposition to Tentative Ruling Issued September 6, 2016 allegedly by Judge Scott Patton on DEFENDANT’S MOTION TO VACATE AND SET ASIDE AMENDED JUDGMENT AND ORDER UNDER C.C.P. §473 et. seq.; FEES AND COSTS; AND SANCTIONS IN THE ALTERNATE Under C.C.P. § 2023; §594 and Common Law
Reservation Number:1771930
Hearing Date: September 7, 2016
Time: 10:00 a.m.
Location: Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Department 511

Defendant’s Opposition to Tentative Ruling Issued September 6, 2016 allegedly by Judge Scott Patton On Case Management Conference and Demurrer Hearing set for September 7, 2016, 10:00 a.m., in Department 511.

I, ABDUL-JALIL al- HAKIM, hereby declare as follows:

1. I am the Defendant in the above-entitled action and this notice is submitted in opposition the tentative ruling referenced above. I have personal knowledge of the contents of this notice and, if called as a witness, could and would testify competently to them.
2. This Tentative Ruling was made on September 6, 2016 allegedly by Judge Scott Patton on Defendant’s MOTION TO VACATE AND SET ASIDE AMENDED JUDGMENT AND ORDER UNDER C.C.P. §473 et. seq.; FEES AND COSTS; AND SANCTIONS IN THE ALTERNATE Under C.C.P. § 2023; §594 and Common Law. It DOES NOT state the above tentative ruling will be issued as the court’s order, and no hearing will be held, unless the contesting party contacts the opposing party or parties and the Clerk of Department 511 by 4:00 p.m. on the court day before the hearing to state an intent to appear at the hearing to contest the tentative ruling. The Clerk of Department 20 may be contacted by email to dept.511@alameda.courts.ca.gov.
3. It is September 6, 2016 at 3:44 am and I am herewith opposing the tentative ruling and further reiterate that I oppose any and every ruling issued by tainted judge Kim Colwell and have a standing objection to his continued obstruction of justice by remaining in this case prohibiting justice as “Justice Delayed Is Justice Denied!”.
4. In compliance with the courts order I have sent this notice via email to the following parties: dept.511@alameda.courts.ca.gov, KColwell@alameda.courts.ca.gov, SPatton@alameda.courts.ca.gov, dept.507@alameda.courts.ca.gov., Irwin@essventures.com, myrna@theacsinc.com

I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct, based on my direct first hand personal knowledge.

Date: September 6, 2016

Abdul-Jalil al-Hakim

Requesting Court Reporter for Motion to Vacate and Set Aside Order on Amend Judgment

TO:  Judge Kim Colwell                                 Irwin J. Eskanos
Judge Scott Patton                                Law Office of Irwin J. Eskanos
Superior Court of Alameda County     4 Orinda Way, Suite 180 -C
Departments 511 and 507                     Orinda, CA 94563
Hayward Hall of Justice                        FAX NO. (925) 791-1444
24405 Amador Street
Hayward, CA 94544
FAX #: 510-690-2824
Faxed and Emailed

FROM:     Abdul-Jalil al-Hakim
DATE:     September 1, 2016
NO PAGES: 1
RE:        Requesting Court Reporter for Motion to Vacate and Set Aside Order on Amend Judgment Case, MILLER VS HAKIM, Case: #OCV0574030

Dear Judges Colwell and Patton:

I am sending you both as well as plaintiff’s this fax and email to request a court reporter for the hearing set for September 7, 2016 at 10:00 AM in Department 511 on my Motion to Vacate and Set Aside the courts recent order on plaintiff’s motion to “Amend Judgment” issued on July 14, 2016 in the above entitled matter.

In view of plaintiff’s actions over 20 years in this case, I would suggest an order for contempt be prepared and a criminal report to the District Attorney.

Additionally, this matter can not be heard or ruled on in anyway by Judge Colwell as she has been involved in a previous matter that is still outstanding and has an irreparable conflict as does Judge Dorado and I do not want a Commissioner to hear this matter.

Call me if you have any questions, and “Thank you” for your consideration.

Respectfully,

Abdul-Jalil
510-394-4501
ajalil1234@gmail.com

NO RESPONSE to Request for Calendaring Motion to Vacate and Set Aside Order on Amend Judgment

TO:    Judge Scott Patton                    FAX NO.: 510-690-2824
Superior Court of Alameda County    PAGES: 1
Dept. 507
Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Faxed and Emailed

FROM:     Abdul-Jalil
DATE:      August 10, 2016
RE:           Case MILLER VS HAKIM, Case: #OCV0574030

Dear Judge Patton:

On Wednesday, August, 10, 2016 I sent an email and fax requesting a reservation number and thus far have gotten NO RESPONSE!

I am again sending you and Department 511 this fax and email to request a reservation number to file a Motions to Vacate and Set Aside the courts recent order on plaintiff’s motion to “Amend Judgment” issued on July 14, 2016 in the above entitled matter.

I came in today to file the motion but was asked to file a formal motion with the herein requested reservation notice. Please reply with the requested information so that we can serve the plaintiff ASAP.

We were not served in this matter for what is at least the FIFTH time and there is NO indebtedness. These facts are known to the plaintiffs and was resolved in 2007.

I am unavailable to appear in court on Tuesdays and Fridays all day and Thursdays before noon. Any time on Mondays and Wednesdays are fine as well as Thursdays after 2:00 pm.

Additionally, this matter can not be heard or ruled on in anyway by Judge Colwell as she has been involved in a previous matter that is still outstanding and has an irreparable conflict and I do not want a Commissioner to hear this matter.

Call me if you have any questions,  and “Thank you” for your consideration.

Respectfully,

Abdul-Jalil
510-394-4501
ajalil1234@gmail.com

Calendaring for Motion to Vacate and Set Aside Order on Amend Judgment

TO:    Judge Scott Patton                    FAX NO.: 510-690-2824
Superior Court of Alameda County    PAGES: 1
Dept. 507
Hayward Hall of Justice
24405 Amador Street
Hayward, CA 94544
Faxed and Emailed

FROM:     Abdul-Jalil
DATE:      August 10, 2016
RE:           Case MILLER VS HAKIM, Case: #OCV0574030

Dear Judge Patton:

I am sending you and Department 511 this fax and email to request a reservation number to file a Motions to Vacate and Set Aside the courts recent order on plaintiff’s motion to “Amend Judgment” issued on July 14, 2016 in the above entitled matter.

I came in today to file the motion but was asked to file a formal motion with the herein requested reservation notice. Please reply with the requested information so that we can serve the plaintiff ASAP.

We were not served in this matter for what is at least the FIFTH time and there is NO indebtedness. These facts are known to the plaintiffs and was resolved in 2007.

I am unavailable to appear in court on Tuesdays and Fridays all day and Thursdays before noon. Any time on Mondays and Wednesdays are fine as well as Thursdays after 2:00 pm.

Additionally, this matter can not be heard or ruled on in anyway by Judge Colwell as she has been involved in a previous matter that is still outstanding and has an irreparable conflict.

Call me if you have any questions,  and “Thank you” for your consideration.

Respectfully,

Abdul-Jalil
510-394-4501

Plaintiff’s Opposition to Tentative Ruling Issued February 3, 2016 by Judge Robert B. Freedman

ABDUL-JALIL al-HAKIM
7633 Sunkist Drive
Oakland, CA  94605
Tel: (510) 394-4501
Plaintiff

SUPERIOR COURT OF CALIFORNIA
COUNTY OF ALAMEDA

Abdul-Jalil al-Hakim, Plaintiff,
vs.
East Bay Municipal Utility District (EBMUD)

Case No.:RG14740943

Plaintiff’s Opposition to Tentative Ruling Issued February 3, 2016 by Judge Robert B. Freedman
Hearing: CMC and Demurrer Hearing Date: February 5, 2016, Continued from December 11, 2015
Time: 10:00 a.m.
Location: Administration Bldg., 1221 Oak St., Oakland, CA 9460712
Department 20

Plaintiff’s Opposition to Tentative Ruling Issued February 3, 2016 by Judge Robert B. Freedman On Case Management Conference and Demurrer Hearing set for February 5, 2016, 10:00 a.m., in Department 20.

I, ABDUL-JALIL al- HAKIM, hereby declare as follows:

1. I am the Plaintiff in the above-entitled action and this notice is submitted in opposition the tentative ruling referenced above. I have personal knowledge of the contents of this notice and, if called as a witness, could and would testify competently to them.
2. This Tentative Ruling was made on February 3, 2016 by Judge Robert B. Freedman On the Demurrer to Plaintiff’s First Amended Complaint (“FAC”), filed by Defendants East Bay Municipal Utility District (“EBMUD”) et al. (collectively “Defendants”) on December 23, 2014, and continued for hearing in the court’s orders of January 30, 2015, March 5, 2015 and December 11, 2015. It further states the above tentative ruling will be issued as the court’s order, and no hearing will be held, unless the contesting party contacts the opposing party or parties and the Clerk of Department 20 by 4:00 p.m. on the court day before the hearing to state an intent to appear at the hearing to contest the tentative ruling. The Clerk of Department 20 may be contacted by email to dept.20@alameda.courts.ca.gov.
3. It is February 4, 2016 at 1:28 pm and I am herewith opposing the tentative ruling and further reiterate that I oppose any and every ruling issued by this tainted judge and have a standing objection to his continued obstruction of justice by remaining in this case prohibiting justice as “Justice Delayed Is Justice Denied!”.
4. In compliance with the courts order I have sent this notice via email to the following parties: dept.20@alameda.courts.ca.gov, RFreedman@alameda.courts.ca.gov, RMishra@alameda.courts.ca.gov, dgoldberg@crosbyrowell.comand wrowell@crosbyrowell.com.

I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct, based on my direct first hand personal knowledge.

Date: February 4, 2016

Abdul-Jalil al-Hakim