------------------------------------------------------------------- F.A.C.T.Net, Inc. (Fight Against Coercive Tactics Network, Incorporated) a non-profit computer bulletin board and electronic library 601 16th St. #C-217 Golden, Colorado 80401 USA BBS 303 530-1942 FAX 303 530-2950 Office 303 473-0111 This document is part of an electronic lending library and preservational electronic archive. F.A.C.T.Net does not sell documents, it only lends them according to the terms of your library cardholder agreement with F.A.C.T.Net, Inc. ===================================================================== 1 DECLARATION OF GERALD ARMSTRONG 2 S I, GERALD ARMSTRONG, hereby declare as follows= 4 5 1. I have reviewed the document copies produced by 6 plaintiff and cross-defendant Church of Scientology of 7 California, hereinafter referred to as the "organization," 8 pursuant to this Court's orders of July 2, ]985, September 9, 9 1985 and December 9, 1985. The documents were not designated as 10 to which discovery requests they were being produced under. 11 They were received in a stack of 139 pages which I have numbered 12 in the same order as received. They consist of 57 pages of 13 documents from my Guardian's Office Intelligence or B-1 files 14 and 82 pages of "success" stories taken from my preclear (or 15 auditing or processing) files. 16 17 2. i have personal knowledge that the organization has 18 in its possession or control the following documents which it 19 has not produced in the instant case but did produce for my 20 viewing, but not for release to me, in March 1985, in the case 21 of Christofferson v. Church of Scientology, Mission of Davis, et 22 al, Case No. A 7704-05184, in the Circuit Court of the State of 23 Oregon, for the County of Multnomah: 24 25 1. 14 page "time track" 26 2. O/w write up 4/4/72 27 3. $3.00 fine from Boats i/C 10/20/72 28 4. $250.00 promissory note 11/2/72 1 5. 4 page personnel survey 1/5/73 2 6. Orders of the Day (00D's} - re Non-Existence S assignment 8/21/73 4 7. Flag Conditions Order (FCO) 2513 Committee of S Evidence re visas 8/21/73 6 8. OOD'sre missed muster 8/25Y73 Y 9. Knowledge report from Deck Engineer 9/16/73 8 10. Doubt formula 10/10/73 9 11. Findings - Court of Ethics - FCO 2639-1 11/14/73 10 12. Treason Formula 11/20/73 ~1 13. Liability Formula 6/12/74 12 14. Flag Personnel Order [FPO) 515 Temporary Port ~S Captain 7/7/74 14 15. Enemy Formula 7/13/74 1S 16. Liability Formula 7/iS/74 16 17. FCO 2507 Delayed Mission 8/14/73 1Y 18. FCO 2782 LRH Cramming Order 1/4/74 18 19. FCO 2848 Shore Ethics 1/30/74 19 20. FCO 2892 LRH Order 2/12/74 20 21. FPO 950 Warrant Officer 2/23/74 2~ 22. FPO 969 Port Captain In-Training 2/2S/74 22 23. FPO 2926 Port Ethics 3/4/74 23 24. OOD's absent study - 3/24/74 24 25. FCO 2972 PR Study 3/31/74 2S 26. FCO 2972 cancelled 4/1/74 26 27. FCO 3024 Port Captain's Office 5/18/74 2Y 28. Confusion Formula 7/13/74 28 29. Treason Formula 7/13/74 1 30. Liability Formula 7/15/74 2 31. No report report 9/26/74 S 32. FCO 3562 Exec Study 2/3/75 33. Liability assignment (vital info) 3/26/75 S 34. FCO 3793 Org Program No. 14/21/75 6 35. FCO 3813 Stale justice 5/2/75 Y 36. FCO 3939 Clearing stations 6/7/75 8 37. Note from Mary Sue Hubbard re parents 7/11/75 9 38. Note Ron Anderson to Mary Sue Hubbard 7/13/75 ~0 39. 11 pages of data for CSW to join Guardian's Office ~ (GO) 9/12/75 12 40. Dispatch to GO BRII Dir. re Mother 9/16/75 13 41. Non-disclosure bond 9/22/75 ~= 42. Letter to Fosdick from Andrew Armstrong 10/6/75 ]5 43. Letter to Fosdick from P.J. Armstrong 10/75 ]6 44. 12 page Compliance report re Mother 11/19/75 ~? 45. Bond re UCE 12-75 ~8 46. FCO 4517 RPF Assignment 7/1/76 ~9 47. 12 page Basic auditing checksheet 7/28/76 20 48. 15 page metering course checksheet 7/30/76 21 49. Declaration re RPF 7/28/76 22 50. $750.00 promissory note 7/28/76 23 51. 3 page Rudiments Course checksheet 8/20/76 24 52. Executive Directive 81 Area Estates (ED AE) RPF 2S Bosun 10/10/76 26 53. Ethics Order (EO} 24 AE Additional RPF duty 27 10/17/76 28 54. PRF Personnel Order - supply officer 8/28/76 1 55. Undated RPF Treason formula 2 56. 3 page First Dynamic Danger Formula 12/7/76 3 57. Dispatch re Curacao Consulate 2/2/77 4 58. 3 page Liability Formula 2/12/77 S 59. Dispatch re Moosejaw, Saskatchewan arrest 3/8/77 6 60. Dispatch re Chilliwock, B.C. arrest 3/8/77 Z 61. Security 8 62. FCO 4901 Comm Ev. 8/22/77 9 63. FCO 4906 Findings and Recommendations 8/30/77 10 64. Note - Parents caused trouble 11 65. PTS check 9/2/77 12 66. Larry Price recommendation 11/30/77 13 67. Attestation stars in normal in PRF 11/30/77 14 68. David Mayo Commendation 11/30/77 ~ 69. Senior C/S report 11/30/77 1~ 70. 3 page Letter Tonja Burden to L. Ron Hubbard 12/77 ~z 71. 2 page report from Tonja Burden on her father 12/77 18 72. 5 page report from Terri Armstrong re Tonja Burden 19 12/15/77 20 73. Order from Assistant Guardian SU re G. Armstrong 21 12/20/77 22 74. Answer from Hubbard re petition from G. Armstrong 23 3/28/78 24 75. Report from Clarisse Barnett re G. Armstong 3/28/78 2S 76. 5 page summary of Jamaica debrief 4/13/78 26 77. Treason Formula 9/27/78 2? 78. Enemy Formula 9/27/78 28 79. Liability Formula 9/27/78 1 80. RPF Hat checksheet 9/29/78 2 81. RPF Basic Hat checksheet 10/1/78 3 82. Solo Auditor checksheets 10/1/78 4 83. Conditions Order 384 WHQ RPF 12/19/78 5 84. Doubt Formula 12/22/78 6 85. Conditions Order 288-3 re Posting 4/3/79 7 86. R Renovations statistics 12/8/79 8 87. Request chit withdrawal 12/9/79 9 88. Refusal to withdraw chit 12/9/79 10 89. Petition to Hubbard 1/8/80 1~ 90. CSW from Laurel Sullivan re G. Armstrong 1/18/80 12 91. Non-existence (NE) formula 2/3/80 ~3 92. NE Formula to Mary Sue Hubbard 2/5/80 ~ 93. Hubbard's answer to NE 2/8/80 ~5 94. 7 pages of OCA, Leadership, IQ, aptitude test 16 results 2/9/80 ~7 95. Mary SUe Hubbard answer to NE 2/11/80 18 96. 5 page GO interview re Tonja Burden 3/25/80 ~9 97. 2 pages re biography project 5/80 20 98. Dispatch to Leo Johnson re Martin Leslie 9/2/80 2~ 99. 2 page report re off-policy actions in the RPF 22 10/16/80 23 100. 6 page CSC "covenant" 1/20/81 24 101. GO interview re UCE 6/2/81 25 102. 11 page report to Sue re biographical sketches 26 6/18/81 2z 103. 2 page letter from Joceiyn Armstrong to Holli 28 Carlson re parents 7/6/81 104. 5 page report from Joceiyn re parents 7/6/81 2 105. Report from Gary Reisdorf re G. Armstrong 8/14/81 S 106. Report from HCO Chief Product Development Org 4 International (PDOI) re G. Armstrong 8/17/81 S 107. 16 page critique of Research & Discovery biography 6 9/1/81 Z 108. 4 page report to Sue Anderson re pack 10/18/81 8 109. 4 page biography debug project 10/30/81 9 110. 2 page report re Nibs 11/9/81 ~0 111. Dispatch from Lois to Donna re biography 11/9/81 ~ 112. 4 page report =0 Donna re biography 11/10/81 12 113. 17 page report Donna to Lois including G. 13 Armstrong's report 11/14/81 14 114. Report from Don johnson re G. Armstrong 12/13/81 IS 115. Report Don Jonson to Terri Gamboa re G. Armstrong ~ 12/14/81 ~Y 116. Report from Vaughan Young re G. & J. Armstrong 18 12/15/81 19 117. 6 page report from V. Young re G. & J. Armstrong 20 12/15/81 21 118. Report from Marcus Swanson re G. & J. Armstrong 22 12/21/81 23 119. Dispatch to Don johnson re G. Armsrtrong 12/30/81 24 120. Dispatch Don Johnson to Barbara DeCelle 1/2/82 28 121. Report Don johnson to Ciruss Slevin 1/2/82 25 122. Report Barbara DeCelle to Don Johnson 1/2/82 2Z 123. Report V. Young to B. DeCelle 28 124. Report from Jeannine Boyd re G. Armstrong 1/12/82 1 125. 4 page report from V. Young on meeting with G. Armstrong 1/17/82 3 126. Same 4 page report to the case supervisor {C/S) 1/17/82 S 127. Report from Brad Ballentine re Brown family 1/20/82 128. 4 page report to Roberto of interviews re D. Brown 7 1/20/82 8 129. 3 page letter from D. Brown to H. Carlson 1/20/82 130. 2 page report from Peeter Alvet of interview of 10 Mariiyn Brewer 1/21/82 11 131. 2 page report from Brad Ballentine of interview of 12 Laurel Sillivan 2/12/82 13 132. Report from V. Young on what G. Armstrong knows 14 2/12/82 15 133. Report from IDGIUS (Donna) to DG US re G. ArmStrong 16 2/12/82 17 134. "Summary" re G. Armstrong 18 135. Part of "analysis" (of 1982) 19 136. "Gerry Armstrong Project" 2/17/82 20 137. Report fr~m H. Carlson to Senior C/S 2/20/82 21 138. Dispatch from Snr. C/S to H. C&rlson 2/21/82 22 139. Report from B. Ballentine to Roberto re G. 23 Armstrong's files 2/22/82 24 140. Telex to SU from AGI GLA 2/23/82 25 141. B. B&llentine daily report {DR) re G, Arms=rong 26 2/24/82 2Z 142. 4 page report from Branch I Director Flag GO 28 Intelligence re H- Carlson and G. Armstrong 2/25/82 143. 9 page delcaration of Terri Gamboa re Tonja Burden 2 2/25/82 3 144. AGI GLA DR re G. Armstrong 2/26/82 4 145. B. Ballentine interview of B. DeCelle 3/1/82 S 146. DR re G. Armstrong 6 147. DR re G. Armstrong (folders) 3/4/82 Z 148. DR re G. Armstrong 3/5/82 8 149. DR re G. Armstrong 3/8/82 9 150. Physical description of G. Armstrong 10 151. DR re G. Armstrong 3/10/82 11 152. DR re G. Armstrong surveillance 12 153. DR re G. Armstrong stakeout 3/11/82 13 154. DR re G. Armstrong stakeout 3/12/82 14 155. DR re G. Armstrong stakeout 3/15/82 15 156. DR Guardian Activities Scientologist [GAS) called 16 B. Ballentine 3/16/82 17 157. DR re G. Armstrong 3/17/82 18 158. DR re G. Armstrong and Alan Walter 3/18/82 19 159. DR re S. Armstrong to Dick Sullivan 4/1/82 20 160. Letter from Dick Sullivan to G. Armstrong 4/12/82 21 161. 4 pages re Burden deposition in Paulette Cooper 22 case 4/82 23 162. HCO Policy Letter "Field Auditor Fees" 4/29/82 24 163. 4 page declaration by T. Gainboa 5/21/82 26 164. 3 page report re meeting with Kohlweck 5/26/82 26 165. 2 page "confidential" report re Nibs 6/1/82 2Z 166. Note G. Armstrong C/O john Compton 28 167. Report from AGI GLA re "Flynn Forum" 5/31/82 1 168. Report from DGI US re G. Armstrong being served 6/2/82 3 169. Description of G. Armstrong and address 4 170. 2 page report from B. Ballentine re "disaffecteds" S 6/12/82 6 171. 3 page comparison of G. Armstrong Burden affidavits Z 172. 3 page analysis of G. Armstrong Burden affidavit of 8 6/25/82 9 173. 12 pages copy of article from "Look" Dec. 1950 ~0 174. 2 pages re G. Armstrong's accusations agains~ 11 "Church" 12 175. Subpoena for Omar Garrison 8/31/82 13 176. 13 page affidavit from Ford Schwartz 1~ 177. 3 page J. Armstrong time track 8/16/82 ~ 178. 8 pages notes from G. Armstrong deposition ~ 179. 4 page GO report re Walt Logan, etc. 8/29/82 1Z 180. Page 2 of report from Kathy, DG PR US 18 181. "clearwater Sun" article re Nibs Hubbard 11/14/82 ~9 182. CIC X-file list re M. Parsons 20 183. 11 page report from Theresa Parsons 12/27/82 21 184. 2 page report from V. Young re "Time" and G. 22 Armstrong 1/14/83 23 185. 12 pages G. Armstrong deposition excerpts 24 186. 3 pages "New York Times" article 1/6/83 25 1~7. "Time" article 1/31/83 26 188. 5 page "debrief" of T. Gainboa re G. Armstrong 27 3/12/84 28 189. 10 page G. Armstrong delcaration for FBI 9/6/84 1 190. "St Petersburg Times" article 4/20/84 2 3 3. What the organization produced as my B-1 file in the Christofferson case was in fact only a portion of the actual 5 file. On April 4, 1985, I testified about what items I could 6 determine with certainty were missing from what was produced. 7 My testimony and statements of counsel on that date are attached 8 hereto as Exhibit A. At page 4069, defense attorney, Harry 9 Manion, described the compilation of the B-1 time track: ~0 "MR. MANION: All the documents referenced in the 11 time track: They are collected throughout the ~2 organization in Ethics files, in Knowledge Reports, in 13 Flag Orders. The man was in the organization, 14 according to his own testimony, for eleven years. ~5 Hundreds and hundreds of documents and other sources, ~6 talking to people, were used to compile the time track. 1~ At page 4070, the Court ordered the production of all documents ~8 omitted from my B-1 files, including all documents up to date; 19 i.e., April 4, 1985, and attorneys for defendant organization 20 (the same organization as plaintiff and cross-defendant in the 21 instant case) agreed to produce all such documents. 22 23 These documents, however, were never produced. They 24 include up to April 1985 at least the following: 25 26 1. The documents from which the entities on the 14 page 27 "time track" were excerpted or on which the entries were 28 based. 1 2. The documents from my "ethics" and "personnel" files. 2 3. The records and documents concerning my 3 incarceration in the US GO Intelligence Bureau in Fifield 4 Manor in June 1976. 5 4. The interview of me done by GO Intelligence official, 6 Brian Roubinek, in July/August 1976 in Clearwater, 7 Florida. 8 5. The Compliance reports or progress reports to each of 9 the targets of the "Gerry Armstrong Project" of February 10 17, 1982, attached hereto as Exhibit B. ~1 6. The statements, notes, names, dates, incidents, 12 connections, data or other information culled from my pc 13 (or preclear, or auditing, or processing) files. 14 7. The docttments, materials or information on which the 15 report of September 30, 1982 re Dead Agenting Gerry 16 Armstrong is based. 17 8. The orders or correspondence to the private 18 investigators who surveilled my wife, Jocelyn, and me ~9 beginning in May 1982, and who assaulted me, ran into me, 20 attempted to involve Joceiyn and me in freeway accidents, 21 and who followed and harassed us through September 1982. 22 Also the daily PI reports from each day of this perio~. ~3 9. The orders, reports, materials, briefings, and 2~ doctunents concerning a visit and subsequent telephone 25 calls to me by Mark Rathbun in February through April 26 1984. Rathbun stated to me that the organization had 27 done an "eval" regarding me, so this would include the 28 eval, all accompanying "data," documents and the 1 resultant "program." An "eval," or evaluation, is a 2 mirneographed issue type, only approved with supporting 3 documentation. 4 10. The mission, project or program orders pursuant to 5 which Terri Gamboa met with me on March 8, 1984, and 6 subsequently wrote her "debrief" of March 12, 1984 Z attached hereto as Exhibit C. There could not be 8 "debrief" without there being a "briefing" on orders. 9 11. The orders, reports, correspondence and documents ~0 concerning surveillance and harassment by organization 11 agents in London in June 1984. A copy of a declaration I 12 wrote on July 1, 1984 concerning the surveillance and ]3 harassment is attached hereto as Exhibit D. ]4 12. The orders, reports, correspondence and documents ~ relating to the operation in June 1984 to use my pc 16 folders to lure me into a trap. This operation was 1Y acknowledged by the two organization agents, Mike Rinder 18 and "Joey" in the videotapes illegally taken of me in 19 November 1984. 20 13. The orders, reports, correspondence, and documents 21 relating to OSA INT Executive Directive 19, of 22 September 20, 1984, a copy of which is attached hereto as 23 Exhibit E. OSA or Office of Special Affairs is the new 2~ name given to the Guardian's Office. Its functions are 25 the same. 26 14. The orders, reports and documents concerning the 27 photographing of me by organization members on 28 November 8, 1984 in Los Angeles, including the photographs taken. 2 15. The orders, reports, correspondence, materials and 3 documents concerning the burglarizing of the trunk of my 4 car on November 8, 2984, and the theft therefrom of a S manuscript and artwork of approximately 350 pages, and 6 various documents relating to this litigation. This includes the stolen materials themselves. 8 16. The copies made by organization agents known to me 9 as "joey" and "Rena" of my writings and drawings which 10 she requested as a potential publisher, and which I 11 loaned to her on November 9, 1984. These consisted of 12 approximately 250 pages ef personal creative works which 13 were copied without my knowledge, and the copies of which 1~ were kept by the org&nization. 15 17. The records, reports, orders, correspondence, 16 documents and audio and video recordings of a meeting, 1Z arranged by organization agents posing as "reformers," 18 between an attorney Thomas Janeway and me in November 19 1984 in Encino, California. Janeway pretended to be 20 working for these "reformers" and attempted to entrap and 21 compromise me. 22 18. The records, reports, correspondence, orders, 23 documents or materials relating to the obt~ining of false 24 ~ authorizations "directing" the videotaping and 28 wiretapping of my attorney, Michael Flynn and me, in 26 November and December 1984. Three of these phony 27 authorizations are attached hereto as Exhibit F. 28 19. The records, reports, correspondence, orders, audio and video recording, documents or materials relating to 2 an attempt by organization agents to get me to fly to Las S Vegas, Nevada in the fall of 1984 to meet with a proposed 4 "backer" of their intended litigation to "reform" the S organization. 6 20. The correspondence, reports, statements, docKments Y or materials supplied to or received from the Los Angeles 8 Police Department, or any officer thereof, in 1982 9 through 1984 in various attempts to have criminal charges 10 brought against me in connection with the Hubbard ~1 archives (or "Armstrong documents.") It is known that ~2 the organization corresponded at least with one officer, rS S.J. Capuano in the N.E. Detective Division in this 1= effort to have me arrested IS 21- The orders, reports, projects, programs, briefings 16 and debriefings, audio and video recordings, and all ~Z related documents and materials concerning what the 18 organization calls the "Armstrong Operation." This 19 operation, which in fact began right after I left the 20 organization, involved the use of a friend, Dan Sherman, 2~ to get close to me, feed me false information, compromise 22 me and frame me, with the goals of destroying my 2S reputation, my ability to testify in Scientology 24 litigation, my emotional and physical well-being, my 2s economic base, my marriage and my life. On page 2 of the 26 February 17, 1982 I'Gerry Armstrong Project," Exhibit B, 2Z is the s=atement: 28 "Step 15) Persue (sic) the potential existing line 1 that might be available to us via a trusted GAS who is 2 a writer and who is respected by Gerry. This would 3 require some reach from Gerry, though, as he might be 4 suspicious if this GAS made a big reach for him." 5 Dan Sherman is the "trusted GAS." GAS stands for 6 Guardian Activites Scientologist, a covert operative of Z the GO not formally posted on staff. The "Armstrong 8 Operation" became known to me in April 1985, when the 9 organization attorneys announced that meetings I had had 10 with two individuals, "Joey," and Mike Rinder, as 11 arranged by Sherman, had been secretly videotaped. 12 Sherman, Joey and Rinder represented themselves as part 13 of a group seeking to reform the organization and have it 1~ cease its tortious and criminal activities, such as the ~5 actions taken against me. Attorneys John G. Peterson and ~6 Earle C. Cooley stated in Christofferson that there were ]7 no written documents of any kind regarding this 18 operation. Their statements to the Court in that regard ~9 on April 11, 1985 are attached hereto as Exhibit G. 20 Their statements must, however, be regarded, given the 21 magnitude of the operation, the expense, the number of 22 people involved, and the modus operandi and policies of 23 the organization regarding working only off of written 24 programs and orders and complying in writing to all 25 orders, as perjurious. There are thousands if not tens 26 of thousands of pages of documents not produced: daily 2z reports, weekly reports, Dattle plans, statistic reports, 28 PI reports, CSW'S, projects, programs, evais, targets, 1 compliance reports, orders, nudges, debugs, requests for 2 funds, budgets (FP'S), accounting reports, cross file 3 sheets, exception sheets, computer data and files, 4 briefings, debriefings, drillings, video recordings, 5 audio recordings, wiretap recordings, etc. These orders, 6 reports, documents and recordings involved at ]east: 7 Gerald Armstrong 8 Jocelyn Armstrong 9 Michael Fiynn 10 Dan Sherman ~1 Mike Rinder ~2 Joey rs Rena 14 John Peterson 15 Clayton Ruby ]6 Eugene M. Ingram ~7 Philip Rodriquez 18 Terri Gamboa ]9 Thomas Janeway 20 21 Peterson's statement on April 11, 1985, at page 4692 of 22 Exhibit that the videotaping of me "was done by the 23 Toronto attorney (Clayton Ruby) and a private 24 investigator (Eugene M. Ingram), not me, not the Church,'* 25 is also perjurious. Dan Sherman was an organization GAS 26 member, and Rinder and Joey, the two individuals who were 27 bodywired, who set me up, and who appeared in the video, 2~ were organization members. Peterson's duplicity is also 1 shown in his declaration dated April 17, 1985, filed in 2 this case and several other oases around the country and 3 attached hereto as Exhibit H. Although on April 11, 4~ before the Oregon Court Peterson professed no knowledge 5 of the "Armstrong Operation" and no "Church" involvement, 6 in his declaration he claimed to have "personal Y knowledge" and stated that (at Par. 5) "Joey and the 8 Loyalists ( the group claiming to be reformers) were 9 created only after the Church learned of Armstrong and 10 Flynn's desire to get an inside source within the ~1 Church." (Emphasis added) 12 22. The orders, reports, compliances, briefings, 13 documents, audio and video recordings, photographs and 14 the materials relating to the forgery and attempted 15 cashing of a S2,000,000 check on the Bank of New England ~6 account of L. Ron Hubbard in 1982, and the operation to 1Z frame Michael Flynn and me with the crime. Sherman and 18 the "Loyalists" stated to me, in order to draw me into 19 the "Armstrong Operation," that it was their intention 20 to, and they stated they could, prove that Flynn was 21 innocent and the organization was knowingly framing him. 22 They went so far, in order to demonstrate to me their 23 intent to help prove Fiynn's innocence, as to provide me ~4 with a document, a handwritten copy of which is attached 25 hereto as Exhibit I, to be passed to the authorities 26 investigating the check scare. In his "Declaration in 2Z Opposition to Motion for Attorneys' Fees" dated July 30, 28 1984 and filed in this case, John Peterson claimed that Michael Flynn was guilty of the forgery and the attempt 2 to cash the forged check, and he attached an affidavit by 3 one Ala Fadili Ai Tamimi in support of his claim. Later 4 evidence revealed that the organization paid Tamimi 5 $25,000 for the affidavit. And further evidence has 6 revealed that the organization knew in early 1984 that Z Flynn had nothing to do with the check scare that the 8 Tamimi affidavit was false, yet it continued, through its 9 attorneys, the operation to frame him. The PI behind the ~0 frame-up is Eugene M. Ingram, the same person who 11 illegally videotaped me. In his "testimony" before the ~2 Los Angeles Police Department Board of Rights, regarding 13 Philip Rodriquez' unlawful and false authorization of the 1~ videotaping and wiretapping of Michael Flynn and myself, ~5 Earle C. Cooley also accused me of involvement in the 16 Hubbard check forgery. Cooley's testimony is attached 17 hereto as Exhibit J. At pp. 177, 178, Cooley states: 18 "I think the proof of this pudding is in the eating, on 19 the tapes and on the transcripts. The crimes were as 20 represented. If you look at the letter of 21 authorization signed by officer Rodriguez, it seems to 22 me that every one of those crimes was uncovered, and 23 that its investigation, if you will allow me, ought to 24 be focused on the criminals, who are the ones who have 25 brought about this hearing through a complaint on the 26 part of Michael Flynn who himself is being investigated 27 by a grand jury, the federal grand jury in the city of 28 Boston right now, as well as Mr. Armstrong and others 1 that were involved in the two million dollar check 2 forgery which is talked about on those tapes and is 3 part of the coverup that is attempted by phony 4 documents being planted in the files of the Church." 5 (Emphasis added) 6 There are thousands, if not tens or hundreds of 7 thousands, of documents relating to the Hubbard check 8 forgery, the purchased perjured testimony and the 9 attempts to frame my attorney Michael Fiynn and me with 10 the "crime." These include at least: daily reports, ~1 weekly reports, battle plans, battle plan reports, ~2 statistic reports, PI reports on a daily basis from at ~3 least 1982 to the present, CSW's, mission orders, 1~ projects, programs, evais, targets, estimates, compliance 15 reports, progress reports, orders, nudges, debugs, 16 requests for funds, budgets (FP's), accounting reports, ]Z cross file sheets, excerption sheets, computer data and 18 files, briefings, drillings, debriefings, audio and video 19 recordings, wiretape recording, etc. These orders, 20 reports, correspondence, documents and recordings involve 2~ at least: 22 Gerald Armstrong 23 Jocelyn Armstrong 24 Michael Flynn 25 Joey 26 Mike Rinder 2Z Eugene M. Ingram 28 John Peterson 1 Earle C. Cooley 2 Ala Fadiii Ai Tamimi 3 Wayne Hollingsworth 4 Stacy Young 5 Heber Jentzsch 6 Gary Pappas ? Daniel Lenzo 8 Donald Randolph 9 L. Ron Hubbard 10 Akil Abdul Amiar Ai Fadiii Ai Tamimi 11 Andrew Lenarcic 12 Jeff Chevelle 13 Mark Rathbun 14 Larry Reservitz 15 George Kattar 16 All the documents could be cross-filed under various 17 headings or names or code names. 18 23- The correspondence, orders, reports, statements, 19 documents photographs, or materials relating to the 20 "Freedom" tabloid issue 61, published in August 2984, a 21 reduced copy of which is attached as Exhibit K. 22 24. The correspondence, orders, reports, statements, 23 documents photographs or materials relating to the 24 article entitled "Ex-U.S. Attorney's Role in Check 25 Forgery Surfacas in Boston Court" in the "Freedom" 26 tabloid issue 62, published in October 1984, a reduced 2Z copy of which is attached hereto as Exhibit L. 28 1 4. Following my testifying in Christofferson, the 2 organization continued its attack on me with numerous other 3 operations to discredit, harass and intimidate me, and destroy 4 my life. There are thousands of pages of documents as yet not 5 produced, concerning the incidents and acts as follows: 6 1. The correspondence, orders, reports, statements, z photographs, documents or materials relating to the 8 "Freedom" tabloid published in April/May 1985, a reduced 9 copy of which is attached hereto as Exhibit M. 10 2. The correspondence, orders, reports, statements, 11 photographs, documents or materials relating to the 12 "Freedom" tabloid published in May 1985, a reduced copy 13 of which is attached hereto as Exhibit N. 14 3. The correspondence, orders, reports, statements, 15 documents or materials relating to the "advertisement" 16 attached hereto as Exhibit 0 which appeared in "The 17 Oregonian" newspaper of May 30, 1985, in Portland, 18 Oregon, particularly with regard to the statement: 19 "Another one of Christofferson's key witnesses, Gerry 20 Armstrong, a government informant, was indisputably 21 shown to have engaged in an operation to infiltrate the 22 Church of Scientology. Armstrong's plot, based on 23 evidence submitted in court, appears to have been 24 conceived with the advice and consent of Flynn and 25 members of the IRS Intelligence Branch. It indicated 26 the planting of forged documents in the church which ~z could then be "discovered" by government agents in 28 planned raids on church premises. The forged documents 1 would incriminate the church in nonexistent illegal 2 activities and would serve as a basis for the 3 indictment of current church management." 4 4. The correspondence, orders, reports, statements, 5 docutments or materials relating to the organization's 6 radio show "Freedom Magazine" on station WTTP in Boston Z on June 11, 1985, a transcript of which is attached 8 hereto as Exhibit P. 9 5. The correspondence, orders, reports, statements, 10 documents, palanents, receipts ormaterials delivered to 11 or received from L. Fletcher Prouty relating to G. ~2 Armstrong. Prouty has signed a number of false ~3 declarations concerning me in relation to the videotapes 1~ since April 1985. rS 6. All edited versions of the videotapes which had 1G originally been made of me in November 1984. Attached Y? hereto as Exhibit Q is a flyer distributed to 18 Scientologists in April and May 1985 directing them to a 19 showing of an edited version of the tapes. Also, Earle 20 Cooley, during his testimony before the LAPD Board of 21 Rights showed an edited version of the videotapes. (See 22 Exhibit J, pp. 156-174.) Also, edited versions were 23 shown to various members of the media, including at least 24 the CBC, CBS, the "Sacramento Bee." An edited version 25 was also used by organization personnel as a promotional 26 device, showing members the version, misinterpreting its 27 content and significance and requesting from these 28 members $2,000.00 each. The projected target was 25,000 1 people "regged" for $2,000.00, or a total of 2 $50,000,000.00 on the basis of these illegal videotapes 3 of me. 4 7. The correspondence, orders, reports, statements, 5 documents or materials, relating to the editing of the 8 videotapes, including the editing which occurred prior to 7 the Christofferson trial, plus the audio section edited 8 out of the videotapes. 9 8. The correspondence, orders, reports, statements, 10 documents or materials relating to the delivering of ~1 edited versions of the videotapes to any members of the ~2 media. ~3 9. The correspondence, orders, reports, statements 14 documents or materials relating to me sent to any media 15 including newspapers, television and radio. 16 10. The correspondence, orders, reports, statements, ~7 documents or materials, relating to the showing of the ~8 videotapes or edited versions thereof to staff or public ~9 Scientologists, including any briefings given, requests 20 for "donations" or funds, any projects, programs or evals 21 related to this operation and any financial records of 22 said operation. 23 11. The correspondence, statements, documents or 24 materials supplied to or received from the Los Angeles 25 District Attorney's office in 1985 or 1986 in an attempt 26 to have criminal charges brought against me in connection 2z with the videotaping of me by the organization. At page 28 167 of Earle Cooley's testimony at the Board of Rights on October 4, 1985, (Exhibit J), he states: "charges have 2 been filed with the District Attorney of this County" and 3 at page 168 that "there were two submissions to him (the 4 DA), an initial submisssion and he called for additional 5 materials, and additional materials went to him last 6 week." z 12. The correspondence, orders, reports, statements, 8 documents or materials relating to the photographing of 9 my residence in Boston, Massachusetts on October 7, 1985, ~0 including all photographs created. ~ 13. The correspondence, orders, reports, statements, ~2 documents or materials relating to the mugging and ~3 robbery of me outside my residence in Boston on 1~ October 25, 1985. ~5 14. The correspondence, reports, statements, documents 16 or materials supplied to or received from the Federal 17 Bureau of Investigation in 1985 or 1986 in an attempt by 18 the organization to have criminal charges brought against 19 me in connection with an incident allegediy occurring on 20 October 13, 1985, in Boston, Massachusetts. Attached 21 hereto as Exhibit R is a declaration I wrote immediately 22 following being interviewed by an FBI agent regarding 23 this attempt to frame me. 24 15. The correspondence, reports, statements, documents 2S or materials concerning the operation to bring false 26 criminal charges against me via the FBI as described in 2z 13 above. 28 16. The correspondence, orders, reports, statements, 1 documents or materials relating to the "Freedom" tabloid published in February 1986, a reduced copy of which is 3 attached hereto as Exhibit S. 4 17. The correspondence, orders, reports, statements, 5 documents or materials relating to the operation to have 6 several hundred copies of the "Freedom" tabloid ? (Exhibit S) planted in the building where I work on 8 February 11, 1986 during my deposition in the case of 9 Burden v. Church of Scientology. 10 18. The correspondence, orders, mission orders, reports, 11 telexes, statements, documents or materials relating to 12 an operation or mission in February and March 2986 13 involving organziation agent, Meryl Dubay, the purpose of 14 which was tc "Black PR" me among plaintiffs and witnesses 15 in various cases against the organization. 16 19. The correspondence, orders, reports, statements, 1Z documents or materials, relating to the photographing of 18 my residence on March 21, 1986. 19 20. The correspondence, orders, reports, statements, 20 documents or materials regarding me delivered to the 21 Internal Revenue Service in 1985 or 1986. 22 23 I declare under the penalty of perjury under the laws of 24 the state of California that the foregoing is true and correct. 25 26 Executed this ~ day of April, 1986 at Boston, 27 Massachusetts. 28 1 2 GERALD ARMSTRONG 3 4 5 6 7 8 9 ~0 11 12 13 ~4 15 16 17 18 19 20 2~ 22 23 24 25 28 27 28 ================================================================= If this is a copyrighted work, you are acknowledging by receipt of this document from FACTNet that on the basis of reasonable investigation, you have not been to obtain a copy elsewhere at a fair price, and that you are and will abide by the following copyright warning. WARNING CONCERNING COPYRIGHT RESTRICTIONS: The copyright law of the United States (Title 17, United States Code) governs the making of photo copies or other reproductions of copyrighted material. 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