Category: and Corruption in DuPage County



The Village of Lombard Water Service Department managed by Sharon Meyers has a water bill for $118.00US which was being used by Keith Steiskal at the Building Permits Departments to deny a building permit purchase requested by the Zees Group Disaster Restoration Services, in care of Mr. Zee Kawa, contractor, www.zeesgroup.com . Even when there was No Water, No Sewage, and No Water Service since 2004, 2005, when the Lombard plumbing pipes burst under ungauged and excessive water pressure released by the Village of Lombard Public Works, there was No Water or Sewage Service at 502 S. Westmore Avenue —the Village of Lombard had already installed new PSI valves to monitor water pressure for Lombard water mains which overflow to cause plumbing failure, water flooding and damages, www.villageoflombard.org.

The Village of Lombard adds surcharges, overcharges, and triple the water service charges and sewage utilities billing for resident homeowners in DuPage County, Illinois, USA. Lombard even overbills resident homeowners for water utility services as part of the consumer service fraud practice at the Village of Lombard Town Hall in DuPage County, Illinois USA. Waterbill padding for surcharges, overbilling, and surplus service charges are a common business deceptive practice used by the Village of Lombard to collect additional funding from resident homeowners in DuPage County, Illinois USA. A Lombard water bill can duplicate or triplicate consumer usage per household based on surcharges and overbilling service charges attached for deceptive business practices in the Town Hall, subject to consumer service fraud, www.ftc.gov, in DuPage County, Illinois USA.


UNITED STATES OF AMERICA

STATE OF ILLINOIS COUNTY OF DUPAGE

IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT

HENRY WILLIAM HOCHSTATTER,

Plaintiff,

vs.

GARDENIA C. HUNG,

Defendant
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Case No.: 2010LM002415

NOTICE OF MOTION FOR OBJECTION TO DISMISS SUMMONS FOR COMPLAINT IN FORCIBLE ENTRY AND DETAINER WITH ADDENDUM TO EXHIBIT A

COURT HEARING: September 23, 2010,

10:00 AM, ROOM 1003

NOTICE OF MOTION

FOR OBJECTION TO DISMISS SUMMONS FOR COMPLAINT

IN FORCIBLE ENTRY AND DETAINER

Now comes Gardenia C. Hung to appear and present a Motion for Objection to Dismiss Summons for Complaint in Forcible Entry and Detainer, in order to deny false allegations for wrongful actions filed by Lewis John Craft and Associates on behalf of Henry W. Hochstatter as Plaintiff, upon advise by a third party, (i.e. Charles “Chuck” Pickerill, Bobby Pickerill, and others in Villa Park, Illinois), not involved in this legal matter. Attached herewith is an Addendum to Exhibit A, Statement of Payments by Gardenia Hung during August and September 2010, with paid receipts as proof of cash and credit payments with CHASE VISA card. This Motion for Objection to Dismiss is based on legal grounds for illegal leasing documentation, incomplete leasing instrument provided by Henry William Hochstatter, without legal signature or prior consent from Gardenia C. Hung. There are no separate rooms, storage, or amenities for Gardenia C. Hung on the premises currently leased by Henry W. Hochstatter. Let it be known that Gardenia C. Hung does not have the keys to the apartment and has never been given the keys to the leased Apartment #4B owned by Alex King Construction, Inc. and leased by Henry W. Hochstatter.

Henry W. Hochstatter is demanding $3,420 dollars plus costs for rent and utilities at the same address from Gardenia C. Hung who has been paying more than $5,159 dollars in cash, Washington Mutual/CHASE Visa Credit charges, and helping with Rent, Utilities, Groceries for Good, Household Chores, Laundry, Moving his belongings, Cleaning, and Other Miscellaneous tasks since November 14, 2008. Gardenia C. Hung has never been given the keys to the leased Apartment #4B by Henry W. Hochstatter, current tenant under his name only.

For the record, Gardenia C. Hung, age 51 years old, is a U.S. citizen, former Lombard resident homeowner Victim of Criminal Disaster Demolition at 502 S. Westmore-Meyers Road and Washington Blvd., in Du Page County, not legally married to Henry W. Hochstatter. Neither has Henry W. Hochstatter added Gardenia C. Hung’s name to the Savings Bank Account at Inland Bank in Villa Park nor to the Farmers’ Insurance Auto Policy or the Apartment Lease Contract signed with King Construction Inc. with a cash deposit payment of $1,165 dollars provided by the Church of Christ in Addison, or to the current utilities bill statements for ComEd Electric Company, AT&T Telephone, and/or Comcast Cable Television subscription, all current Rent and Utilities at 140 W. St. Charles Road, Apt. 4B in Villa Park remain in the name of Henry W. Hochstatter only. For the record, Gardenia C. Hung has never been given the keys to the leased Apartment #4B owned by Alex King Construction, Inc. and leased by Henry W. Hochstatter.

Both parties met at Grace Lutheran Church in Villa Park on November 7, and November 14-15, 2008, while both parties were homeless seeking shelter provided by PADS in Wheaton, Illinois. Then on November 15, 2008, Henry W. Hochstatter offered Gardenia C. Hung a car ride from the 7-Eleven Gas Station on St. Charles and Addison Road in exchange for Shell Oil gasoline purchased on Westmore-Meyers and Roosevelt Road in Lombard.

Gardenia C. Hung is currently working at the Deicke Home for the Retarded and assisting staff assigned only eight (8) hours a week in Lombard, upon referral and arrangement by the York Township General Assistance Director Diane Arturi and Pamela, receptionist.

Let it be known that Gardenia C. Hung has been paying cash, credit, telephone charges, and other services regularly for Henry W. Hochstatter while Plaintiff was homeless, without any cash funds from his disability in November and December 2008, due to his recent divorce from Joan Hochstatter Mueller, Addison resident homeowner, on May 5, 2010. During this period of separartion, Henry W. Hochstatter has received cash and gift credit cards from the Christian and Catholic community churches sponsored by PADS in Wheaton during 2009, in addition to other cash and gift credit cards received by Gardenia C. Hung and used by Henry W. Hochstatter.

During December 2009 and January 2010, I, Gardenia C. Hung , have paid more than $100.00 in cash with receipt from CHASE Bank in Oak Brook, and a notarized statement from the banker.

Plaintiff invited Gardenia Hung to stay at the same address since November 17, 2009. Henry W. Hochstatter has known Gardenia C. Hung since November 7, 2008 and November 14, 2008 in Villa Park, Illinois while staying at Motel 66 and Intown Residential Suites in Villa Park.

Since Henry W. Hochstatter moved to the same address, there have been several incidents of domestic violence filed as Villa Park Police Reports for domestic violence, threats, screaming, and aggressive behavior since Henry W. Hochstatter started working for Chuck Pickerill at UHAUL of Villa Park and moving to live at 140 West St. Charles Road, Apt. 4B, in Villa Park owned by Alex King Construction, Inc. Case-in-point Villa Park Police Report No. 100215002701, February 15, 2010, Time: 18:04, Villa Park Police Department Phone: 630-834-7447, Officer’s Name: Blake #353.
Gardenia C. Hung has paid in excess of $5,159 dollars in person to Henry W. Hochstatter, cash, credit, and other tangible items, goods, new clothing, medication, food, car gasoline for Toyota SUV R5, use of Lombard Post Office Box 1274, telephone deposits for AT&T, U.S. Cellular telephone payments, laundry, etc. Gardenia C. Hung has also incurred Chase VISA Credit Card Debt in the amount of $2,514.69 for lodging at Motel 66, InTown Residential Suites in Villa Park, Colonoscopy Medication, Aspirin, Tylenol, and other expenses on behalf of Henry W. Hochtstatter. In addition, Henry W. Hochstatter has received tangible goods such as a White 1993 Mitsubishi 4-Door Sedan, Sears Pro-Form Treadmill which was broken by Henry W. Hochstatter, Toro Snowblower, Wood Garden Chipper, Extended Metal Ladder, several Sears Craftman gardening tools, Ace Hardware White Foldable Fencing, Carpenter’s Leather Caddy, New Clothing, Shirts, T-Shirts, Pants, in excess of $5,600 dollars. Consequently, Henry W. Hochstatter owes Gardenia for CHASE VISA Credit Card charges, expenses, and interest accrued in the amount of $2,514.69 remaining balance not paid off, since November 17, 2009.
For the record, Henry W. Hochstatter is a disabled adult, age 55, who receives Social Security Disability and Medicare Health benefits monthly in the amount of $1,200 deposited monthly into a Savings Account at Inland Bank in Villa Park, plus Henry W. Hochstatter also works for U-Haul as a truck driver, transporter, and for The Next Generation Auto Shop, as well as for Alex King Construction, Inc. at 140 W. St. Charles Road, Apt. 4B, in Villa Park, Illinois 60181. Henry W. Hochstatter receives payment in cash for other miscellaneous gardening jobs, tasks, handyman, gardening work, etc. Currently, Henry W. Hochstatter is leasing an apartment at King Construction, Inc. for $760.00 a month with a living subsidy for building maintenance, gardening and landscaping, etc. provided as a Cash Refund payment return by Alex King, owner of the building.
Since November 14, 2009, Henry W. Hochstatter does not pay Gardenia C. Hung any money, compensation or cash after moving from InTown Residential Suites to the apartment owned by King Construction Inc. on November 17, 2009, after she has helped this disabled man to move into his new apartment, even when Gardenia Hung has been helping him as a friend, companion, and assistant during his banking matters, social security suspension, divorce court matters, driver’s license return, laundry, household chores, moving from U-STORE-IT in Addison, and other miscellaneous issues as a victim of traumatic brain injury and disability. Henry W. Hochstatter was suffering from flu-like symptoms with coughing and dizziness which required to see Medical Doctor Eyad Homedi, M.D. Midwest Family Practice in Bloomingdale for the flu shot, and Doctor Uptal Parekh, M.D., Gastroenterologist and Internal Medicine specialist in Addison for a colonoscopy due to three (3) active colon ulcers. In addition, to seeing an ear specialist for treatment and removal of excessive earwax. Henry W. Hochstatter has a history of psychiatric care and hospitalization in Addison, DuPage County, Illinois.
In conclusion, Gardenia C. Hung has paid in excess of $5,159 dollars in person to Henry W. Hochstatter, cash, CHASE VISA credit in excess of $2,514.69, and other tangible items, goods, new clothing, medication, food, car gasoline for Toyota SUV R5, telephone deposits, laundry, etc. In addition, Henry W. Hochstatter has received tangible goods such as a White 1993 Mitsubishi 4-Door Sedan, Sears Pro-Form Treadmill which was broken by Henry W. Hochstatter, Toro Snowblower, Wood Garden Chipper, Extension Ladder, several Sears Craftman gardening tools, Ace Hardware White Foldable Fencing, Carpenter’s Leather Caddy, New Clothing, Shirts, T-Shirts, Pants, in excess of $5,600 dollars. Please note that Henry W. Hochstatter does not provide for personal expenses or any billing expenses incurred by Gardenia C. Hung. For the record, Henry W. Hochstatter has not been incurring expenses for clothing, shoes, personal items, vacation, valuables, or any luxury items on behalf of Gardenia C. Hung.

WHEREBY, Gardenia Hung does not owe Henry W. Hochstatter any further cash, credit, tangible goods, or assistance for disability as a traumatic brain injury person.

WHEREFORE, Gardenia Hung hereby presents a Motion for Objection To Dismiss the Summons for Complaint in Forcible Entry and Detainer by Counsel on behalf of Henry W. Hochstatter and prays for justice, equity, and fairness in this legal matter. This Motion for Objection to Dismiss is based on legal grounds for illegal leasing documentation, incomplete leasing instrument provided by Henry William Hochstatter, without legal signature or prior consent from Gardenia C. Hung. There are no separate rooms, storage, or amenities for Gardenia C. Hung on the premises currently leased by Henry W. Hochstatter. Let it be known that Gardenia C. Hung does not have the keys to the apartment and has never been given the keys to the leased Apartment #4B owned by Alex King Construction, Inc. and leased by Henry W. Hochstatter.

Furthermore, Gardenia C. Hung petitions for the Court’s Order of Protection while staying as a paying resident invited by Plaintiff at 140 West St. Charles Road, Apt. 4B, Villa Park, Illinois 60181, owned by Alex King Construction, Inc.
Dated this 21st day of September in the year 2010,

____________________________

Gardenia C. Hung

(Reserved Signature)

Post Office Box 1274

502 S. Westmore-Meyers Road

Lombard, Illinois 60148-8274

Telephone: 630-201-9055

UNITED STATES OF AMERICA

IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT

STATE OF ILLINOIS COUNTY OF DUPAGE

Case No.: 2010LM002415, Henry W. Hochstatter vs. Gardenia Hung\

Addendum to Exhibit A

Statement of Payments

I, Gardenia C. Hung have been paying in person, cash, credit for CHASE VISA credit card charges, gasoline, Jewel/Osco groceries, dining out, during August and September 2010, with paid receipts as proof of cash and credit card payments made while staying/sharing an apartment with Henry W. Hochstatter at 140 W. St. Charles Road, Apt. 4B, Villa Park, Illinois 60181.

August 2010

Cash for Gasoline, Dining Out, Lunch, Dinner $ 167.00

Jewel/Osco Groceries, Household $ 249.00

CHASE VISA Credit Card Charges/Interest $ 76.00

U.S. Cellular Telephone Mobile $ 83.00

Subtotal: $ 575.00

September 2010

Cash for Gasoline, Dining Out, Lunch, Dinner $ 167.00

Jewel/Osco Groceries, Household $ 249.00

CHASE VISA Credit Card Charges/Interest $ 76.00

U.S. Cellular Telephone Mobile $ 83.00

Subtotal: $ 575.00

Total: $1,150.00

To Date Grand Total: $6,309.00

Verification

Under penalties as provided by law, pursuant to Section 1-109 of the Illinois Code of Civil Procedure, the undersigned certifies that the statement set forth in this instrument are true and correct, to the best of my ability, so help me God.

Executed in the Village of Lombard, County of Du Page, in the State of Illinois,
United States of America.

Gardenia C. Hung

(Reserved Signature)

Dated on the 21st day of September 2010, in the Village of Lombard, County of Du Page, Illinois


For Your Information: Henry William Hochstatter is demanding $3,420 dollars plus court costs for rent and utilities at 140 West St. Charles Road, Apt.B in Villa Park, Illinois 60181, Telephone 630-833-4032 even when I have been paying more than $5,159 dollars in cash, credit, and helping with household chores, when Henry W. Hochstatter does not pay me any money, cash, or compensation for my assistance doing laundry, grocery shopping, miscellaneous home chores, moving his belongings, etc.

Your Reference: Villa Park Police Report No. 100215002701, February 15, 2010, Time: 18:04, Villa Park Police Department Phone: 630-834-7447, Officer’s Name: Blake #353

Gardenia C. Hung has paid in excess of $5,159 dollars in person to Henry W. Hochstatter, cash, credit, and other tangible items, goods, new clothing, medication, food, car gasoline for Toyota SUV R5, use of Lombard Post Office Box 1274, telephone deposits for AT&T, U.S. Cellular telephone payments, laundry, etc. Gardenia C. Hung has also incurred Chase VISA Credit Card Debt in the amount of $2,514.69 for lodging at Motel 66, InTown Suites, Colonoscopy Medication, and other expenses on behalf of Henry W. Hochtstatter. In addition, Henry W. Hochstatter has received tangible goods such as a White 1993 Mitsubishi 4-Door Sedan, Sears Pro-Form Treadmill which was broken by Henry W. Hochstatter, Toro Snowblower, Wood Garden Chipper, several Sears Craftman gardening tools, Ace Hardware White Foldable Fencing, Carpenter’s Leather Caddy, New Clothing, Shirts, T-Shirts, Pants, in excess of $5,600 dollars. Consequently, Henry W. Hochstatter owes Gardenia for CHASE VISA Credit Card charges, expenses, and interest accrued since December 8, 2008.

For the record, Henry W. Hochstatter is a disabled adult, age 55, who receives Social Security Disability benefits monthly in the amount of $1,200, plus Henry W. Hochstatter also works for U-Haul as a truck driver, transporter, and for The Next Generation Auto Shop, as well as for Alex King Construction, Inc. at 140 W. St. Charles Road, Apt. 4B, in Villa Park, Illlinois 60181. Henry W. Hochstatterreceives payment in cash for other miscellaneous gardening jobs, tasks, handyman, gardening work, etc. which is not reported.

Please note that Henry W. Hochstatter does not pay Gardenia C. Hung any money, compensation or cash since November 17, 2009 after she has helped this disabled man to move into his new apartment, even when Gardenia Hung has been helping him as a friend, companion, and assistant during his banking matters, social security suspension, divorce court matters, driver’s license return, and other miscellaneous issues as a victim of traumatic brain injury and disability.

In conclusion,Gardenia C. Hung has paid in excess of $4,525 dollars in person to Henry W. Hochstatter, cash, CHASE VISA credit in excess of $2,514.69, and other tangible items, goods, new clothing, medication, food, car gasoline for Toyota SUV R5, telephone deposits, laundry, etc. In addition, Henry W. Hochstatter has received tangible goods such as a White 1993 Mitsubishi 4-Door Sedan, Sears Pro-Form Treadmill which was broken by Henry W. Hochstatter, Toro Snowblower, Wood Garden Chipper, several Sears Craftman gardening tools, Ace Hardware White Foldable Fencing, Carpenter’s Leather Caddy, New Clothing, Shirts, T-Shirts, Pants, in excess of $5,600 dollars. Gardenia C. Hung does not owe Henry W. Hochstatter any further cash, credit, tangible goods, or assistance for disability as a traumatic brain injury person.

Dated on the 19th day of July 2010, in the Village of Lombard, County of DuPage,

Verification

Under penalties as provided by law, pursuant to Section 1-109 of the Illinois Code of Civil Procedure, the undersigned certifies that the statement set forth in this instrument are true and correct, to the best of my ability, so help me God.
Executed in the Village of Villa Park, County of Du Page, in the State of Illinois,
United States of America.

Gardenia C. Hung


MR. ROBERTO HUNG SR. MURDERED AT VENCOR NORTHLAKE ILLINOIS USA on Twitpic

Mr. Roberto Hung was a taxpayer, Lombard resident homeowner, U.S. citizen in DuPage County, Illinois USA.

RE: Gardenia C. Hung-Wittler Petitions Cash Compensation and Restitution for Criminal Damages and Losses Caused by the Village of Lombard to the Estate of Mr. Roberto Hung and Family by Monday, June 7, 2010. Reporting about the Chicago Law Firm of Klein, Thorpe & Jenkins, Ltd., Attorney Howard C. Jablecki, DuPage Attorney No. 44500, located at 20 N. Wacker Drive, Suite 1660, Chicago, Illinois 60606-2903, Tel DD: 312-984-6451, Email: hcjablecki@ktljlaw.com in reference to the Estate of Mr. Roberto Hung and Family at 502 S. Westmore Avenue, in the Village of Lombard, DuPage County, Illinois 60148 and the remaining garage containing the only belongings for personal and business property remaining for Gardenia C. Hung-Wittler and Family, as a result of the disaster demolition on November 5, 2008 due to Extensive Damages and Losses caused by the Village of Lombard Police and Fire Department and actions ordered and authorized by David Hulseberg and Thomas P. Bayer on behalf of the Village of Lombard, 255 Wilson Avenue, Lombard, Illinois 60148. Please note that the Village of Lombard Keith Steiskal and the Lombard Fire Department Changed the Master Lock and Key while opening the Garage and leaving a dirty set of white underwear on top of Gardenia Hung’s existing clothing and belongings, without providing a copy to Gardenia C. Hung. For the record, Mr. Roberto Hung was born on June 7, 1931 and was murdered on June 18, 1998 with funeral services and autopsy arranged by Brust Funeral Home and St. Pius X Catholic Church at 1025 E. Madison Street, were observed on June 25, 1998, in the Village of Lombard, DuPage Co. Illinois USA. Attached is a photograph for Mr. Roberto Hung, J.D., Lombard taxpayer, resident homeowner, and U.S. citizen.

BY MONDAY, JUNE 7, 2010, I, GARDENIA C. HUNG-WITTLER, DO HEREBY DEMAND CASH PAYMENT,

COMPENSATION FOR THE DISASTER DEMOLITION AND CRIMINAL DAMAGES WITH LOSSES CAUSED BY THE VILLAGE OF LOMBARD POLICE AND FIRE DEPARTMENT IN DUPAGE COUNTY, ILLINOIS 60148 USA.

Gardenia C. Hung received a letter dated May 19, 2010 from Howard C. Jablecki “notifying that on

May 5, 2010 Judge Wheaton affirmed the foreclosure sale of the above-referenced property and

authorized the transfer of the title to the Village of Lombard. Once the transfer of title of ownership

is recorded, the Village of Lombard intends to demolish the garage structure remaining on the

property. However, the Village of Lombard understands that you may have certain personal property

stored in the garage. The Village of Lombard expects the deed to be recorded on June 7, 2010.

Therefore, be advised that all your personal property must be removed from the garage on or before

June 7, 2010. After that date, the Village of Lombard may dispose of all remaining personal property

and proceed with the demolition of the garage. The Village of Lombard believes that you are the

only person with the keys to the garage”.

Please note that Gardenia C. Hung-Wittler has not received any reply to several letters with Personal

Delivery and electronic Email to the Village of Lombard regarding payment and cash compensation

for All The Criminal Damages Caused by the Village of Lombard Police and Fire Department during

1993, 1994, 1995, 1996, 1997, 1998, 1999, 2000, 2001, 2002, 2003, 2004, 2005, 2006, 2007, 2008, 2009,

2010. Furthermore, the Estate of Mr. Roberto Hung and Family has not been compensated nor

restituted for all the damages and losses incurred while the Hung-Wittler Family were working, out-

of-town or travelling in the U.S.A., Canada and/or abroad. The Village of Lombard had not paid nor

compensated Gardenia C. Hung-Wittler for the Lombard real estate property purchased by the

Village of Lombard nor for the transfer of the deed on June 7, 2010.

Gardenia C. Hung-Wittler has not been provided with lodging or storage facilities to keep the remaining personal and business property belongings, nor has the Village of Lombard compensated with cash payment for All The Criminal Damages and Losses to the Estate of Mr. Roberto Hung and Family at 502 S. Westmore Avenue in the Village of Lombard, Illinois 60148 USA.

The Village of Lombard Has To Pay Gardenia C. Hung-Wittler for All The Damages and Losses To The Estate of Mr. Roberto Hung and Family in DuPage County, Illinois 60148 USA. When is the Village of Lombard going to pay Gardenia C. Hung-Wittler for the Damages, Losses, and Crimes Committed by the Lombard Police and Fire Department, including unlawful actions ordered by Village Manager David Hulseberg?

Gardenia C. Hung-Wittler, Lombard resident homeowner is petitioning immediate cash payment for All the Damages and Losses to business and personal assets at the Estate of Mr. Roberto Hung and Family.

THE VILLAGE OF LOMBARD HAS TO PAY THE HUNG FAMILY FOR DAMAGES AND LOSSES TO THE ESTATE OF ROBERTO HUNG AND FAMILY MEMBERS ABUSED AS VICTIMS OF CRIMES SET UP BY THE LOMBARD POLICE AND FIRE DEPARTMENT IN DUPAGE COUNTY ILLINOIS USA.

During January 2010, the Village of Lombard purchased the same real estate property and by Court Order on May 5, 2010, the sale and distribution of this Lombard real estate property was approved by Judge Bonnie M. Wheaton. Now, Gardenia C. Hung-Wittler is demanding cash payment from the Village of Lombard and DuPage County, Illinois for all the damages and losses to the Estate of Mr. Roberto Hung and the business and personal assets belonging to Gardenia C. Hung-Wittler and Communications, Languages & Culture, Inc. at the same address in DuPage County, Illinois USA.

The Village of Lombard and Manager David Hulseberg are responsible for All the Damages and Losses Caused by the Lombard Police and Fire Department to the Estate of Mr. Roberto Hung and Family at 502 S. Westmore-Meyers Road and Washington Boulevard, one block southeast from St. Pius X Catholic Church and School, and one block from Westmore Elementary School, in DuPage County, Illinois 60148 USA. By the actions of Village of Lombard and Manager David Hulseberg, the Lombard Historic Brick Bungalow purchased by Mr. Roberto Hung has been damaged and demolished, along with all the assets and belongings owned by Gardenia C. Hung-Wittler and the Estate of Mr. Roberto Hung and Family. Gardenia C. Hung-Wittler is petitioning immediate cash payment for All the Damages and Losses to business and personal assets at the Estate of Mr. Roberto Hung and Family.

The Lombard Police and Fire Department have been responsible for the crimes committed at the Estate of Roberto Hung and Family while the Lombard resident homeowners were at work, travelling, or out-of-town in DuPage County, Illinois USA. Consequently, the Village of Lombard has the obligation to compensate and pay the Hung Family for all the damages and losses to the Estate of Roberto Hung and Family in Illinois, USA. Since September 2, 1993, the Hung Family have been Lombard resident homeowners at 502 S. Westmore Avenue in the Village of Lombard, DuPage County, Illinois. The Hung Family members purchased two (2) Lombard homes from 1991, 1992, 1993, 1994, 1995, 1996, 1997, 1998, 1999, 2000, 2001, 2002, 2003, 2004, 2005, 2006, 2007, 2008, 2009, and 2010.

THE VILLAGE OF LOMBARD HAS TO PAY THE HUNG FAMILY FOR DAMAGES AND LOSSES TO THE ESTATE OF ROBERTO HUNG AND FAMILY MEMBERS ABUSED AS VICTIMS OF CRIMES SET UP BY THE LOMBARD POLICE AND FIRE DEPARTMENT IN DUPAGE COUNTY ILLINOIS USA.

The Lombard Real Estate Property at 502 S. Westmore Avenue and Washington Blvd. in the Village of Lombard, Du Page County, is registered as York Township Parcel No. 06-09-315-038, under a Deed Trust for the Estate of Mr. Roberto Hung Supplemental Health Care. This Lombard Historic Brick Bungalow was built in 1927 as a residential family home, lot size at 60 ft. X 144 ft., for a total square feet of 8,640.00. The estimated market value was $272.850 in 2008, plus the compensation and restitution for all criminal damages and losses to the Estate of Mr. Roberto Hung and Family members at 502 S. Westmore Avenue in the Village of Lombard, DuPage County, Illinois 60148 USA.

The family of Mr. Roberto Hung, Lombard resident homeowner, taxpayer, and U.S. citizen, is petitioning full cash compensation for the public use and demolition of private real estate property and family assets, by the Village of Lombard, the Police Department, and the Fire Department in the County of DuPage, authorized by Village Manager David Hulseberg and the Village of Lombard at 502 S. WESTMORE-MEYERS RD. & WASHINGTON BLVD. IN THE VILLAGE OF LOMBARD DUPAGE CO.

BY MONDAY, JUNE 7, 2010, I, GARDENIA C. HUNG-WITTLER, DO HEREBY DEMAND CASH PAYMENT, COMPENSATION FOR THE DISASTER DEMOLITION AND CRIMINAL DAMAGES WITH LOSSES CAUSED BY THE VILLAGE OF LOMBARD POLICE AND FIRE DEPARTMENT IN DUPAGE COUNTY, ILLINOIS 60148 USA.

Please reply directly via U.S. mail in care of Gardenia C. Hung-Wittler on behalf of the Estate of Mr. Roberto Hung and Family, Post Office Box 1274, Lombard, Illinois 60148 USA, Tel. 630-201-9055, Email: gardeniac_hungma@yahoo.com, 6302019055@mms.uscc.net

Very Truly Yours,

Gardenia C. Hung-Wittler, M.A., B.A.
Trustee for the Estate of Mr. Roberto Hung and Family
Post Office Box 1274
Lombard, Illinois 60148 USA
Tel: 630-201-9055


The Lombard Police and Fire Department have been responsible for the crimes committed at the Estate of Roberto Hung and Family while the Lombard resident homeowners were at work, travelling, or out-of-town in DuPage County, Illinois USA. Consequently, the Village of Lombard has the obligation to compensate and pay the Hung Family for all the damages and losses to the Estate of Roberto Hung and Family in Illinois, USA. Since September 2, 1993, the Hung Family have been Lombard resident homeowners at 502 S. Westmore Avenue in the Village of Lombard, DuPage County, Illinois. The Hung Family members purchased two (2) Lombard homes from 1991, 1992, 1993, 1994, 1995, 1996, 1997, 1998, 1999, 2000, 2001, 2002, 2003, 2004, 2005, 2006, 2007, 2008, 2009, and 2010.

THE VILLAGE OF LOMBARD HAS TO PAY THE HUNG FAMILY FOR DAMAGES AND LOSSES TO THE ESTATE OF ROBERTO HUNG AND FAMILY MEMBERS ABUSED AS VICTIMS OF CRIMES SET UP BY THE LOMBARD POLICE AND FIRE DEPARTMENT IN DUPAGE COUNTY ILLINOIS USA.

On behalf of the Estate of Roberto Hung and Family members who have been victims of crimes as resident homeowners in the Village of Lombard, we do hereby petition to uphold our constitutional and civil rights in the State of Illinois for full cash compensation for damages and losses caused to the Lombard home and assets, by the Village of Lombard Police and Fire Department, to include DuPage County law enforcement, in Illinois USA.


IN THE CIRCUIT COURT FOR THE EIGHTEENTH JUDICIAL CIRCUIT,

DUPAGE COUNTY, STATE OF ILLINOIS

THE VILLAGE OF LOMBARD, an Illinois Municipal Corporation,

Plaintiff,

vs.

GARDENIA C. HUNG AND ROBERT S. HUNG, as Trustees of the Trust Agreement Designated as the Roberto Hung Supplemental Care Trust, JEFFREY D. PAPENDICK, a tax purchaser, SCOTT PAPENDICK, UNKNOWN HEIRS AND LEGATEES, and NON-RECORD CLAIMANTS AND UNKNOWN OWNERS,

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Case No.: No. 2009 CH 002760

OBJECTION TO THE PROCEEDINGS LEADING TO THE REPORT OF SALE AND DISTRIBUTION

NOTICE OF MOTION

PLEASE TAKE NOTICE that on Wednesday, May 5, 2010 at 9:30 AM, or as soon thereafter as counsel may be heard, I shall appear before the Honorable Judge Bonnie M. Wheaton or any judge sitting in her stead, in Courtroom 2007, in the Circuit Court of Du Page County, Illinois located at 505 North County Farm Road, Wheaton, Illinois, and shall then and there present the PRO SE for the Defendant’s Motion for Objection to the Proceedings Leading to the Report of Sale and Distribution based on legal grounds for Errors and Omissions to include Abuse of the Illinois Code of Civil Procedure by the Plaintiff’s Counsels Thomas P. Bayer and Howard C. Jablecki, as well as Objection to the Plaintiff’s Counsels fees, costs, and expenses to be considered excessive in over billing the Hung Family. A true and correct copy of which is included herewith and hereby served upon you.

Dated this 15th day of March, 2010

GARDENIA C. HUNG

PRO SE

(Reserved Signature)

United States of America

In the Circuit Court of the Eighteenth Judicial Circuit

DUPAGE COUNTY, STATE OF ILLINOIS

THE VILLAGE OF LOMBARD, an Illinois Municipal Corporation,

Plaintiff,

vs.

GARDENIA C. HUNG AND ROBERT S. HUNG, as Trustees of the Trust Agreement Designated as the Roberto Hung Supplemental Care Trust, JEFFREY D. PAPENDICK, a tax purchaser, SCOTT PAPENDICK, UNKNOWN HEIRS AND LEGATEES, and NON-RECORD CLAIMANTS AND UNKNOWN USERS,

Defendant
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Case No.: No. 2009 CH 002760

DEFENDANTS’ MOTION FOR OBJECTION TO THE PROCEEDINGS LEADING TO THE REPORT OF SALE AND DISTRIBUTION

DEFENDANT’S MOTION FOR OBJECTION TO THE PROCEEDINGS LEADING TO THE REPORT OF SALE AND DISTRIBUTION

Comes now Gardenia C. Hung as PRO SE, on behalf of the Defendants, to present an Objection to the Proceedings Leading to the Report of Sale and Distribution, in response to the Plaintiff’s Motion filed by Counsels Thomas P. Bayer and Howard C. Jablecki, et al. and its attorneys at Klein, Thorpe & Jenkins, Ltd., pursuant to the Constitution of the State of Illinois, Preamble, Article 1, Bill of Rights, and the Fifth and Fourteenth Amendments to the U.S. Constitution, as Victims of Crime in the Village of Lombard, Du Page County, on legal grounds for Errors and Omissions, and Abuse of the Illinois Code of Civil Procedure, obstruction of justice, malicious prosecution, and abuse of the legal process. The Defendants are Victims of Crime in the Village of Lombard. In addition, PRO SE presents objections to the Attorney’s fees, costs, and expenses in the amount of $4,270.60 and other miscellaneous charges to be considered excessive upon review, in over billing the Estate of Mr. Roberto Hung Supplemental Care Trust and the Hung Family. PRO SE for Defendants prays for extraordinary remedy and relief, in the form of justice, cash compensation, and severance restitution for damages and losses under the doctrine for inverse condemnation, with justice, fairness, and equity to provide remedy and monetary relief for compensation and indemnity to the aggrieved, pursuant to 735 ILCS 5/Art. II et seq., civil practice law, and the rules of the Supreme Court in the State of Illinois, under the Constitution of the United States of America, and under God.

For the record, Counsel Howard C. Jablecki, et al. mailed the Plaintiff’s Response with delay throughout 2009 and 2010 during the course of these legal proceedings. Let it be known that PRO SE filed a Complaint against Attorneys Thomas P. Bayer and Howard C. Jablecki, Counsels for the Plaintiff, represented by the Law Firm of KLEIN, THORPE AND JENKINS LTD. for Errors and Omissions in the Failure to Provide Due Notice of Motion, Court Summons, and copies of Court Proceedings for a Court Appearance on Thursday, December 10, 2009, at 9:00 AM pending the Plaintiff’s Motion for Order of Default and/or Dismissal and Judgment of Foreclosure and Sale of the Lombard Real Estate Property at 502 S. Westmore Avenue and Washington Blvd. in Du Page County, Illinois 60148 USA.

PRO SE was not duly or timely notified of the Court Summons in this legal matter. Please note the following:

1). Exhibit C-2, Summons for September 02, 2009, Affidavit for Special Process Server, Lewis Ellis, Private Detective No. 117-000885. Item 5.- (X) “That he was unable to serve the within named party GARDENIA C. HUNG located at 502 S. WESTMORE-MEYERS ROAD, GARAGE, LOMBARD IL 60148 for the reason: Attempted service on 9/12/2009 @ 10:24 am and no answer at the garage door. The residence had been demolished, and there was a lock on the garage. I spoke to the neighbor, Robin Halada, (Female, Caucasian, 38) who informed me that the residence had been demolished over one year ago; she further stated that the subject was known to be residing in her car in the garage at one point, but she had not seen anyone around for a year. No message by telephone was recorded. I contacted the subject via telephone on 9/13/2009 @12:30 pm and she requested the documents be mailed to Post Office Box 1274, Lombard, Illinois 60148; no further information provided. Attempted service on 9/15/2009 at 7:51 pm, 9/19/2009 @11:20 am, 9/21/2009 @11:28 am, and No Answer at the Garage Door. Therefore, I was unable to contact the subject and effect service.

2). Exhibit C-3, Summons to Gardenia C. Hung, at 3916 Argyle, Chicago, Illinois 60625, on July 15, 2009. Asked the neighbor Assaedi, 3rd Floor to 1st Floor, 7:01, Writ Not Served per current resident Assaedi Family there for 2 years and do not know. Please note that Counsel Howard C. Jablecki filed Summons for Gardenia C. Hung at 3916 Argyle, Chicago , Illinois 60625 , when for the last seventeen (17) years, Gardenia C. Hung has been a Lombard resident homeowner at 502 S. Westmore-Meyers Road , Post Office Box 1274 , Lombard , Illinois 60148 , Tel. 630-201-9055.

3). Exhibit E – Attorney’s Fees, Costs, and Expenses in the amount of $6,247.90

4). Exhibit F – Affidavit in Support of Judgment Award Request for Statutory Interest, Cost, and Attorney’s Fees

5) Exhibit F-1 – 8/10/2009 – Attorney Communication with Cook County Sheriff regarding service to Gardenia C. Hung for over billing for services at the expense of the Hung Family.

Counsels for the Plaintiff Thomas P. Bayer and Howard C. Jablecki, representing the Village of Lombard , have not been providing all copies of court proceedings or correspondence, due notice for court appearance or any court summons following Civil Procedure in Circuit Court for the Eighteenth Judicial Circuit in Du Page County , Illinois 60187. Even though, PRO SE, Gardenia C. Hung, Lombard resident homeowner, has contacted the Village of Lombard and updated mailing contact information at Post Office Box 1274, Lombard, Illinois 60148, Telephone: 630-201-9055, Email: ghungma@gmail.com or 6302019055@mms.uscc.net. No one from the Village of Lombard telephoned or contacted PRO SE for a court appearance or summons to the Circuit Court of the Eighteenth Judicial Circuit in Wheaton, Du Page County, Illinois. During December 2009, Pro Se called the Law Office of Klein, Thorpe and Jenkins, Ltd., in order to contact Counsels Thomas P. Bayer and Howard C. Jablecki, for copies of the court order and proceedings, and could not leave a message or speak to neither one of the parties involved. Later during the week, I visited the Village of Lombard in person during December 2009, and no one was there to discuss this legal matter either since all the staff had left on holiday leave of absence at the end of the year.

Please note that the Village of Lombard has failed to observe the Illinois Code of Civil Procedure and/or follow standard procedures of law where the Hung Family legal matters are concerned regarding the Estate of Mr. Roberto Hung Supplemental Health Care Trust. I, Gardenia C. Hung, I am complaining and reporting the Village of Lombard legal counsels for Errors and Omissions in the Failure to Provide Due Notice of Motion, Court Summons, and copies of Court Proceedings for a Court Appearance on Thursday, December 10, 2009, at 9:00 AM pending the Plaintiff’s Motion for Order of Default and/or Dismissal and Judgment of Foreclosure and Sale of the Lombard Real Estate Property at 502 S. Westmore Avenue and Washington Blvd. in Du Page County, Illinois 60148 USA.

PRO SE, Gardenia C. Hung, does hereby request an investigation against the Village of Lombard for lack of Civil Procedure involving Errors and Omissions in this legal matter and all other matters regarding the Estate of Mr. Roberto Hung Supplemental Health Care Trust.

Furthermore, there is no legal record listing or notice of summons for the alleged Unknown Heirs and Legatees, and Non-Record Claimants and Unknown Owners listed as Defendants for Case No.2009 CH002760 by Counsels for the Plaintiff Thomas P. Bayer and Howard C. Jablecki from the Law Firm of KLEIN, THORPE AND JENKINS LTD. in Chicago, Illinois.

On Saturday morning, March 6, 2010, PRO SE, received a copy of the Plaintiff’s Notice of Motion for the Entry of an Order Approving the Report of Sale and Distribution of the Lombard Real Estate Property recorded for the Estate of Robert Hung Supplemental Care Trust, et al. The designated court date was scheduled for Wednesday, March 10, 2010 at 9:00 a.m., in Courtroom 2007, before Judge Bonnie M. Wheaton, presiding judge. PRO SE has been reporting that the Plaintiff’s Counsel Howard C. Jablecki has not been providing timely due notice of court dates and summons to Gardenia C. Hung under the Illinois Code of Civil Procedure and subject to Errors and Omissions by the Chicago Law Firm of Klein, Thorpe and Jenkins, Ltd. As a Victim of Hate and Heineous Crimes by the Village of Lombard, PRO SE, Gardenia C. Hung, does hereby request a judicial review and court intervention in this matter.

Afterwards, that same Saturday morning, PRO SE called the Law Office of Steven A. Leahy to make a legal appointment for counsel representation for Monday morning at 150 North Michigan Avenue, Suite 1100 , Chicago , Illinois 60601 , Tel. 312-499-0649. For the record, Mr. Steven A. Leahy did not want to take this legal case and refused to represent this matter for the scheduled Wednesday, March 10, 2010.

Let it be known that the following Chicago attorneys and/or DuPage County counsels do not want to represent this legal matter for the Estate of Mr. Roberto Hung Supplemental Health Care Trust: Mr. Colin Hara, Esq., Law Firm of Matsuda, Eiffert, and Mitchell in Chicago, Prairie State Legal Aid in Carol Stream, Mr. Richard Lucas and Apostolopoulos in Addison, attorneys on Manchester Road near the courthouse, etc. Consequently, Defendant GARDENIA C. HUNG appears as PRO SE to respond in this legal matter.

BACKGROUND

PRO SE, GARDENIA C. HUNG, age 51, is a Lombard resident homeowner, U.S. citizen, representing the subject property, purchased in the name of the late Mr. Roberto Hung, Sr., registered Lombard homeowner for P.I.N. 06-09-315-038-0000, which was legally acquired and recorded in Du Page County, during September 2, 1993 through September 2, 1996 and paid in full at the Maple Park State Bank with cash retirement funds, IRA money markets, and 401K monies accrued in employment savings through profit-sharing invested at Felt-Pro, Inc. auto gasket company, also known today as Federal Mogul Corporation Sealing Systems, located at 7450 North McCormick Boulevard, in Skokie, Illinois 60076-8103. Felt-Pro, Inc.–managed and family-owned by Lewis C. Weinberg, the Lehman Brothers, Mr. Kessler, and others, along with son David Weinberg and daughter, Barbara Kessler. The late Mr. Roberto Hung Sr., was a retired Cuban-Chinese attorney, who worked as Municipal District Attorney in Santiago de Cuba, while he also served as judge for the Municipal District Court of Santiago de Cuba, in Oriente, Cuba. Mr. Roberto Hung was a graduate cum laude from the Law School at the University of La Habana in Cuba. In the State of Illinois, Du Page County, Mr. Roberto Hung became a Lombard resident homeowner, U.S. citizen, who was also a paying member of the Illinois Sheriffs Association and contributed to local, state, and presidential cash fundraisers, to include donations to the Lombard Fire Department and Police Department, and other national charities. On December 22, 1996, he had written a donation checks for the Lombard Fire Department and to his son Robert S. Hung, after paying his household bills, before he became injured at home, 502 S. Westmore Avenue in Lombard, Du Page County, Illinois.
After Roberto Hung paid for the Lombard real estate property, he was abused as a resident homeowner, taxpayer, and U.S. citizen. On December 22, 1996, Mr. Hung was injured at home in Lombard after 9:00 PM, before Christmas Day. Mr. Roberto Hung survived the traumatic brain injury when his eldest daughter GARDENIA C. HUNG provided first responder’s emergency assistance and called 911 in the Village of Lombard. After Mr. Hung recovered from a stroke in 1997, he was throttled and murdered by the respiratory therapist Ben Aguilar at Vencor Northlake Hospital, on June 18, 1998, in Northlake, Cook County, Illinois.
Coincidentally, Felt-Pro, Inc., the automotive gasket sealing magnet, known for a wide-range of worker benefits was also sold in 1998, in the amount of $720 million dollars to Federal Mogul Corporation based in Michigan and nation-wide. Ten years later, Mr. Lewis C. Weinberg died, last Thursday, on October 30, 2008, at his Chicago home in Illinois, at the age of 93 years old.
Since Felt-Pro, Inc. was sold in 1997, Mr. Roberto Hung became abused, injured, and eventually murdered, while holding Lombard real estate property, residency, and homeownership in the County of Du Page.
For the record, the estimated market value of the subject property was $272, 850.00 in 2008, plus the value of family, personal, professional business assets of the Hung Family in Lombard, Du Page County, Illinois. The Lombard Brick Bungalow, built in 1927, was damaged extensively by public use and unauthorized access entries by the Lombard Police Department, the Fire Department, the Village of Lombard, and other intruders during the course of municipal services and operations which caused detrimental disaster, roofing water damages , plumbing flooding and demolition losses. On Wednesday, November 5, 2008, the Lombard Fire Department, instigated by Keith Steiskal, and others, demolished the Lombard Historic Brick Bungalow at 502 S Westmore-Meyers Road in Du Page. Now the Hung Family is petitioning for cash compensation, restitution, and financial remuneration by the Village of Lombard and others who have publicly used the private property owned by the Hung Family in the Estate of Mr. Roberto Hung Supplemental Care Trust.

Please note that Village of Lombard Refused to Issue the Building Permit for the Restoration of the Lombard real estate property at 502 S. Westmore-Meyers Road in Du Page County due to a water and sewer bill in the amount $118.91, even when there was no water service or sewage service provided during 2005, 2006, 2007, and 2008 according to a letter received on October 3, 2008 from Sharon E. Myers, Telephone 630-620-5953, former employee at Village of Lombard , 255 E. Wilson Avenue , Lombard , Illinois 60148-3921 , Fax 630-620-8222.

Furthermore, the following Illinois financial institutions denied financial support for a Home Equity Loan to repair and restore the subject property:

– First American Bank, 1660 Louis Avenue, Elk Grove Village, IL 60007

– Bank of America, 201 North Tryon Street, Charlotte, NC 28255-0001

– Fifth Third Bank, 161 North Clark Street, Chicago, IL 60601

– Associated Bank, 1305 Main Street, Stevens Point, WI 54481

– Zees Group Home Equity Loan Financial for Disaster Restoration

Since the Hung Family has purchased two (2) Lombard homes in Du Page County, all the family members have been victims of crime, abuse, physical injuries, harassments, persecution, to include kidnappings, and forced hospitalizations. The eldest daughter, PRO SE, GARDENIA C. HUNG has been personally harassed by the Village of Lombard and victimized as an access to crime, wrongful charges, false arrest and detention, abuses, personal injuries, and set up for car accidents during the course of employment for the State of Illinois and as a legal interpreter, translator, Illinois Notary Public and Lombard resident homeowner in Du Page County, Illinois.

WHEREBY, PRO SE FOR DEFENDANTS IS CLOSING ARGUMENT WITH A MOTION FOR OBJECTION TO THE PROCEEDINGS LEADING TO THE REPORT OF SALE AND DISTRIBUTION FOR ERRORS AND OMISSIONS WHICH INCLUDE ABUSE OF THE ILLINOIS CODE OF CIVIL PROCEDURE PURSUANT the Constitution of the State of Illinois, Preamble, Bill of Rights, Article I, Section 1, Section 2, Section 6, Section 8.1, Section 15, Section 18, SECTION 20, Section 23, Section 24, and the Fifth and Fourteenth Amendments to the Constitution of the United States of America, on legal grounds for obstruction of justice, malicious prosecution, abuse of the legal process, hate crimes and discrimination.

WHEREFORE, DEFENDANTS, GARDENIA C. HUNG ET AL. PRAY FOR JUSTICE, EQUITY, AND FAIRNESS SO THAT THE MOTION FOR OBJECTION, BE SUSTAINED PURSUANT TO THE CONSTITUTION OF THE UNITED STATES OF AMERICA, AND THE Constitution of the State of Illinois, Preamble, Bill of Rights, Article I, Section 1, Section 2, Section 6, Section 8.1, Section 15, Section 18, SECTION 20, Section 23, Section 24; THE ILLINOIS VICTIMS OF CRIME ACT, ILLINOIS HUMAN RIGHTS ACT WITH PROTECTIONS IN HOUSING UNDER THE LAW, HATE CRIMES LOCAL LAW ENFORCEMENT ENHANCEMENT ACT, U.S. DEPARTMENT OF HOUSING AND URBAN RENEWAL ACT, AND FEDERAL TRADE COMMISION ACT , 15 USC § 45 ET SEQ. AND 16 CFR, SUBSEQUENT TO THE ILLINOIS STATUTES FOR CONSUMER SERVICE PROTECTION AGAINST CONSUMER SERVICE FRAUD, DECEPTIVE BUSINESS PRACTICES, AND PROHIBITED BUSINESS PRACTICES, AND THE Illinois Equal Justice Act, 30 ILCS 765/1 et seq.

DEFENDANTS PRO SE, AS LOMBARD RESIDENT HOMEOWNERS, ALSO PRAY FOR CASH COMPENSATION AND RESTITUTION, IN CONFORMITY TO PROOF, AND FOR FURTHER REMEDY AND RELIEF AS THE COURT DEEMS JUST, FAIR, EQUITABLE, AND PROPER IN THIS CAUSE OF HATE CRIMES AND DISCRIMINATION CAUSED DIRECTLY BY PLAINTIFF, THE VILLAGE OF LOMBARD ET AL., IN DUPAGE COUNTY, ILLINOIS, UNITED STATES OF AMERICA.

Dated this 15th day of March, 2010

Gardenia C. Hung PRO SE

(Reserved Signature)

Illinois Notary Public

Post Office Box 1274

502 S. Westmore Avenue

Lombard, Illinois 60148

TEL. 630-201-9055

EM: ghungma@gmail.com

Verification

Under penalties as provided by law pursuant to Section 1-109 of the Illinois Code of Civil Procedure, the undersigned certifies that the statements set forth in this instrument are true and correct, to the best of my ability, so help me God.

Date: On the 15th day of March in the year 2010

Signed by:____________________________________

Gardenia C. Hung, M.A. (Reserved Signature)

Post Office Box 1274, 502 S. Westmore-Meyers Road

Lombard, Illinois 60148-3028

Executed in the Village of Lombard, County of Du Page, in the State of Illinois, United States of America

Dated this 15th day of March in the year 2010

Gardenia C. Hung,PRO SE

(Reserved Signature)

Executor Trustee

Estate of Roberto Hung

Supplemental Care Trust

502 S. Westmore-Meyers Road, P.O. Box 1274

Lombard, Illinois 60148

United States of America


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