JUSTICE FOR DEBORAH BUJDOS WESTMORELAND COUNTY PENNSYLVANIA

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      Deborah

        ALTERED  TRANSCRIPTS   CORRECTED. WITH MY ERRATA SHEETS FROM BRIBED  HEARING MASTER ATTORNEY ERIC BONONI

        IN THE COURT OF COMMON PLEAS OF WESTMORELAND COUNTY, PA

        CIVIL RICO

        Deborah A. Bujdos

        Plaintiff

        Vs.                                          CASE No. 3302CJ2018

        Linda Whalen, Laurence Bujdos, ) Heidi De Bernard-Norton )

        Anthony De Bernardo

        Travis Dunn, ) Roy Reick, Scott Shoup, ) MetLife, Cetera, Pnc Bank )

        Defendants )

        CORRECTION SHEET FOR FINAL MASTERS HEARINGS TRANSCRTIPT OF PROCEEDINGS

        HEARD: MAY 9, 2016

        BEFORE: MASTER ERIC BONONI

        TRANSCRIPT CORRECTIONS – 1

        REQUEST TRANSCRIPT CORRECTIONS

        ALTERED.   TRANSCRIPTS.   CORRECTION SHEETS

        PAGE# / LINE# / CORRECTION

        Pg. 19 Line 10 Correct Peta To Pida

        Pg. 19 Line 6 Master Suspiciously Goes To Time Out Again

        To Help Whalen With Her Objection, To Conceal The Husbands The

        Husbands Financial Misconduct By Draining The J.H. Annuity For His Own Benefit After The Divorce. Before I Can Prove The Husbands Financial Misconduct

        Pg. 20 Line 23 Alex’s Unfinished Sentence

        Pg. 21 Line 4 Alex ‘S Unfinished Sentence

        Pg. 21 Line 5 My Unfinished Sentence Should Say That’s Ok If You Don’t Remember It Was The MetLife 500,000.00 Joint Annuity , Because I Have Documentation From Met Life’s Employee Confirming My Name Was Removed In Feb 2015 And I Have The Annuity Checks Suddenly Sent Out In Only The Husbands Name From Feb 2015 – August 2015.

        Pg. 22 Line 1 Whalen’s Unfinished Sentence

        Pg. 23 Line 6 Should Say Judge Smail Said I Killed My Dogs

        Pg. 23 Line 20 My Unfinished Sentence Should Say Because Judge TRANSCRIPT CORRECTIONS – 2

        Because…… That Was The Most Hurt full And Disgusting Thing To Say When Everyone Knows How Much I Lived My Dogs.

        Pg. 23 Line 25 Missing My Words That Said Both…. Of These Dogs That Were Mine , That I Bought And Cared For And I Loved Like They Were My Children And I Took Excellent Care Of Them. My Vet Will Prove That Was A Lie. That Got Me Kicked out Of My Home And Left Homeless.

        Pg. 24. Master Suspiciously Goes Off the Record to Tell Me That If I Call My Vet Then He Won’t Let Me Enter All the Evidence and Photos I Had Sitting on The Desk. That Was My Choice And I Chose To Call My Vet.

        Pg. 26. Line 14 Missing After Debie Bujdos……. And Her Request For You To Confirm That She Did Not Kill Her Dogs.

        Pg. 27 Line 16 Whalens Unfished Sentence

        Pg. 36 Line 18 My Entire Sentence Is Missing After I Said Can I Object?

        Pg. 36 Pg. 36 Pg. 36

        Line 21 I Object To All Of His Perjured Testimony

        Line 5 Numerous Times Here And I Showed That On The Record. Line 5-6 C Allowed To Enter My Evidence If I Called My Vet.

        Pg. 39

        A Contract With For Gas Well Contract.

        TRANSCRIPT CORRECTIONS – 3

        Line 9 It Is Here With The Name Ed Bilik Who He Agreed To Sign

        Pg. 39 Line 10 Mr. B’s Unfinished Sentence Trying To Conceal His Plans To Sign A Contract Only After The Divorce.

        Pg. 39 Line 18 My Words Missing They Wanted To Have Us Both Sign The Agreement But Mr. Bujdos Did Not Want To Include Me In Having Any Future Income From The Gas Wells.

        Pg. 74 Line16 All Of The Appliances Are There

        Pg. 75 Lines 8–25

        And Through

        Pg. 76 Lines 1-9 Many Words Missing That Confirm

        Whalen Assists Her Client In Concealing What The Husband Did With

        112,00.00 That He Got From A Mortgage On The Home We Did Not Need.

        Pg. 76 Line 4 Should Say I Asked The Same Question About The 112,000.00 Before And On The Record, She Told Him Not To Answer.

        Pg. 76 Line 9 Should Say: Well, I Do Want To Say That You Should Have A problem With Whalen Telling Her Client N Ot To Answer A Question About A Missing 112,000.00 , She Is Helping Him Hide Assets and Your Letting Her Go.

        Pg. 78 – 83 All Confirm The Contempt Hearing For Me To Return Things Was Based On Lies Seen In These Pages , Told By Mr. Bujdos. Judge Smail Charged Me 87,000.00 Total For Things I Never Took.

        TRANSCRIPT CORRECTIONS – 4

        End Of Transcript

        Evidence That Supports The Need For These Transcripts To Be Corrected ; This Transcript Proves There Are Many Investment Assets That Remain Missing From The Final Order

        This Reveals Attorney Whalens And Her Clients The Lack Of Credibility.

        This Also Reveals Attorney Whalens Repeated Advice To Her Client Not To Answer Questions About Missing Assets

        This May 9, 2016 Transcript Also Reveals That I Was Subjected To

        To Being Forced To Remain In The Legal Arena For Actually 5 Years , In Order For Judge Smail To Gain 17,600.00 In Fines For A Contempt Hearing He Dragged On For Nin Months While Charging Me 100.00 A Day For Not Returning Things That Were Never Missing .

        This Also Proves That I Was Evicted From My Home With A Void Order That Contained Lies About The Death Of My Dogs,

        This Also Proves That Judge Smail Lost Subject matter Jurisdiction To File A Final Order That Was Missing 4 Million To Divide

        This Transcript Also Proves This Case Was Deliberately Delayed In Order For The Attorneys To Collect Fees For 5 Years And Master Bononi To Become Unjustly Enriched With A Total Of 32,000.00 For Fees By Delaying His Hearings In The Case . TRANSCRIPT CORRECTIONS – 5

        It Also Reveals That Met Life, Scott Shoups And Cetera Were All Aware That I Was Financially Suppressed For 5 Years Without My Own Annuity Income That Prevented Me From Having A Fair Divorce

        This Also Proves That Met Life, Scott Shoups And Cetera Knew My Name Was Illegally Removed From The Joint Annuity

        This Also Proves That Scott Shoups Was Aware Of The Husband Draining The John Hancock Joint Annuity To Pay Off The Commercial Building.

        Notes From Bononi Transcript Dated 5-9-16

        This Transcript Proves There Were Other Investments Not Listed On Final Order And Also Proves And Roy Reick Perjury Regarding Him Being Named A Trustee And That He Claimed Not To Have Knowledge Of A 500,000.00 Guardian Policy, Not On The Final Order.

        TRANSCRIPT CORRECTIONS – 6

        Pg. 4

        TRANSCRIPT CORRECTIONS – 7

        7 8 9

        10

        #20B appraisal for 26 acres

        #21A-D deed to Donner Ave. Property Deed to Donner Ave. Property

        Mortgage

        Complete appraisal

        11

        MISSING ASSETS NOT ON FINAL ORDER

        12 13 14 15 16 17 18 19 20 21 22 23 24 25

        #22A B #23A B

        #24 #25 A

        B #26

        #27A B C #28A B

        #29

        value in 2013 and 2014 value in 2011 and 2012 insurance policy

        Lincoln Life policy

        American Funds rollover

        Met Life policy

        initial investment

        annuity statement

        Fidelity statement

        initial investment/Lincoln National annuity Lincoln National Life Insurance annuity First Federal rental account

        First Federal

        joint account, BVA federal credit union

        1 Z John Hancock account

        2 AA 8/15/11 portfolio value

        1. 9 ROY REIPERJURY

        1 3#3B0B bankBsVtaAtemfendteFriba-lChecmredit union 4 CC Sky Bank

        2 #30A

        BVA Federal Credit Union

        deposit slip

        BVA federal credit union sale of Impala 1996

        5 DD

        3 #31 6 EE

        authorization for direct 8 GG fax cover page

        5 B

        statement of 8/2012

        9 HH 6 #33

        10 II

        National City Bank

        trustee account register

        Sky Bank

        7 #34A

        11 JJ Huntingdon Bank

        13 #35E

        19 RR

        14 #36

        20 SS

        PNC Bank overdraft notice

        letter 10/3/13

        8 #34B letter 10/3/13 12 KK various copies of checks

        13 LL e-mail

        9 #35A PNC Bank account/joint

        14 MM Lincoln Financial Group

        10 #35B PNC Bank account/joint

        15 NN John Hancock quarterly review

        11 #35C PNC Bank transfer notice 16 OO special meeting

        12 #35D PNC Bank overdraft notice 17 PP letter dated 3/4/08

        18 QQ letter from Roger Gaydos, Esq.

        private detective license

        Commercial lease/Donner Avenue

        Met Life statement

        9

        4 #32A

        7 FF Sky Bank deposit slips

        deposit

        pg.9

        19 #37E

        20 #38

        21 #39A

        22 #39B

        23 #40A

        24 #40B

        receipt for check for Millvale prop list of personal items

        Valley Community Federal Credit Uni Valley Community Federal Credit Uni Community Bank loan statement

        First Federal Savings Bank loan sta balance sheet

        TRANSCRIPT CORRECTIONS – 8

        25 #41

        15 #37A, 3/28/14 consent judgement 21 TT Notice of payment due/Guardian

        16 #37B Regis Steele bankruptcy discharge 22 UU request of change in plan

        23 VV primary account

        17 #37C Citizens Bank account statement

        24 WW second request for production of documents

        18 #37D copy of check for Millvale property

        25 XX order of court 5/6/2016

        rty

        n n

        ement

        e

        o o

        t

        TRANSCRIPT CORRECTIONS – 9

        1. 10 LINE 1 WHALEN’S FORGED POWER OF ATTORNEY DATED 4-17-13

        10

        1 YY limited power of attorney

        2 ZZ 8/1/2006 schedule, Larry Bujdos

        3 AAAcheckregister(DeborahBujdos)

        4 BBBcheckregister(DeborahBujdos)

        5 CCCcheckfromPershing

        6 DDDMetLifestatement

        7 EEEcheckendorsement(LarryBujdos)

        8 FFFFib-Chembalancesheet

        9 GGGcheckbookregister(DeborahBujdos)

        10 HHH1/13/2005letterfromRoyReick 11 III10/21/2015letterfromCetera 12 JJJphotoofaredtruck

        13 KKKphotoofaredtruck

        14 LLLtranscript5/12/14depoofLarryBujdos 15 MMMphotographs

        16 NNNphotographswithhandwrittennote

        17 OOOFib-Chembalancesheet

        18 PPPcompositeofcorrespondence

        19 QQQhandwrittenpaper

        20 RRRFormSS42001

        21 SSScheckregisterfromValleyFirst

        22 TTTcompositeofLincolnFinancialGroupaccount 23 UUUValleyForgeLifeInsurancecorrespondence 24 VVVDeblarEnterprisesbalancesheet

        25 WWWcheckregister

        TRANSCRIPT CORRECTIONS – 10

        Pg. 11

        1 Q. 2

        3 A. 4

        What materials I guess, were you able to review

        in that voluminous packet of documents?

        There were year end brokerage, brokerage statements, some interim statements. There were

        5 notes related to client meetings between Scott 2 YYY letter dated 2/19/2008 from James Clister

        6 and Larry. That is pretty much what was there. 3 ZZZ Allegheny General health records 1989

        4

        5

        6

        7

        8people under the

        9

        0

        1

        2

        3

        4

        5

        6

        7

        8

        9 25 0

        1 2

        3 4 5

        Pg. 14.

        7 8 9

        Q.

        Were you able to get a good snapshot of the, I guess, financial investments of the parties from their beginning time working with Scott Shoup?

        Pg. 13 A1le0x kindAl.ers tIestiwmaosn.y says in 2007 moneys taken out exceeded what coming in . 11 Q. And I guess what did you learn from the

        A review of Mr. B.’s handmade ledge for 2007 shows he spent an excessive amount paying

        12 information that you were able to review?

        table building his third garage. The big Brown Garage

        13 A. 14

        15

        16

        Well, I basically you know, the account balances that existed you know, as the most recent statements we had were consistent with you know, the investments through that time period.

        You know, clearly money came in and money went out. But you know from the, from Scott Shoup’s note from about 2007 going forward, the amount of money going out was exceeding the amount of money, you know, the income that was being generated.

        So the assets were being spent down during that time period.

        Okay.

        17

        18

        19

        20

        21

        22

        23

        24

        Q.

        Shows Alex is not discussing the fidelity 590,000.00 IRA that is not on the final order. TRANSCRIPT CORRECTIONS – 11

        11

        13

        1 XXX e-mail dated 6/9/2015

        25 Q.

        there was sufficient money that went into the account to go to fund the purchase of the John Hancock annuity and the Met Life annuity.

        The, Larry’s IRA was you know, was rolled into that, there was a rollover IRA from the pension plan that went into that.

        But you know, as of the most recent statement, there wasn’t much left in that. I don’t have a, I don’t think I have a current statement I can get my hands on quickly.

        But my recollection was that you know, really what existed was you know, basically you know you know, whatever was left of those two annuities and Larry’s IRA and there wasn’t much left other than that.

        So the investments that you reviewed included

        TRANSCRIPT CORRECTIONS – 12

        TRANSCRIPT CORRECTIONS – 13

        the Met Life annuity that we have discussed previously, the John Hancock annuity, which we have discussed previously and the Fidelity IRA rollover account that we had discussed previously.

        Was there anything else that was included in that information that you were not aware of previously?

        1. Well, I mean I said there were funds that went in, you know, some funds that initially went in but you know, but eventually went out so.
        2. Right.
        3. No, nothing other than the $200,000.00 that is

        what the account was initially funded with.

        1. During your review, there was no new information that you were able to ascertain from this SATARA

        documents?

        1. Correct. I mean it –you know from the,

        definitely from the notes from Scott Shoup you know, it certainly looked as though you know, Scott Shoup was under the impression that he was dealing with you know, all of the assets you know, all of the investment assets that you know, were being considered.

        1. Okay.

        15

        TRANSCRIPT CORRECTIONS – 14

        Is there anything else in particular you would like to explain to the Master, the parties here about your review of the documents?

        1. Well,Imeantheyouknow,basicallyyouknow, from my testimony you know last time, from when it was schedule I showed a cumulative you know, amount to be accounted for, the two million 387,110 dollars.

        You know, I said that there were you know, a number of things that would need to be subtracted from that amount such as you know, moving expenses over a seven year period. You know, to figure out what those expenses were that would need to be subtracted.

        You know, I would have needed all of the bank statements for the seven year period, and all the credit cards statements really, from that time period to actually see you know, what was being spent for living expenses.

        You know, that information was not available, it wasn’t given to me. So you know, there is really not a lot of the, there is not a lot of initial information that I can you know, I can shed on that.

        1. Okay.

        16

        Pg. 19 line 25 Alex under my cross

        TRANSCRIPT CORRECTIONS – 15

        1. DUNN: I don’t really have anything else for Alex at this time. Turn him over for cross, if you have any questions.
        2. WHALEN: I do. CROSS EXAMINATION

        BY MS. WHALEN:

        1. Alex, from what you looked at, did you see a

        pattern of continuing increases in the automatic

        payments that were being made from the accounts? A. The yes, more money was being taken out. And it was yes, each one of those memos you know, Scott

        noted that he said something to Larry that you know, it was getting to be a you know, precarious situation. That you know, that the amount that was going out certainly exceeded the amount that was coming in.

        1. The automatic withdrawals started out about $2,000.00 per month, didn’t they?
        2. I think it was around that amount.
        3. And they kept increasing up to like $4,000.00 a

        month over several years?

        1. At least, yes.
        2. Then at some point Larry started to withdraw

        $3,500.00 per month from his IRA?

        17

        24 Q. 25

        to Deb regarding spending habits.

        It didn’t say that Scott was going to speak to her.

        Okay.

        And then on the John Hancock, did you notice

        Pg. 18-19 Alex still under my cross DISCUSING THE JOINTLY OWNED john Hancock 500,000.00 annuity, DISSIPATED

        Was used to pay off the commercial building that pays the husband 13, 000.00 a month rent to

        present date .

        1. 18 LINE 25 – PAGE 19 LINES 1- 6 GOES TO MR. BUJDOS’S LACK OF CREDIBILITY / COMPARE TO HIS ANSWERS ON THE MAY 12, 2014 DPOSITION WITH HEID NORTON HE CLAIMS HE WOULDNOT EVEN KNOW HOW TO MAKE TELEPHONIC WITHDRAWS FROM JOHN HANCOCK

        PG 19 LINE 4 ALEX CONFIRMS THAT MR. B. MADE MANY J. H. ANNUITY WITHDRAWS VIA TELEPHONIC

        PG 19 LINE 16 MASTER GOES TO TIME OUT

        TO HELP WHALEN WITH HER OBJECTION TO CONCEAL THE HUSBANDS FINANCIAL MISCONDUCT BY DRAINING THE J.H. ANNUITY FOR HIS OWN BENEFIT AFTER THE DIVORCE. BEFORE I CAN PROVE THE HUSBANDS FINANCIAL MISCONDUCT

        PG 20 LINE 11 ALEX KINDLER

        CONFIRMS A MISSING INVESTMENT THAT WAS CREATED DURING THE MARRIAGE AND WITH SCOTT CALLED A PERSHING ACCOUNT THAT HAD 250,000.00 TAKEN

        AND WITH NO EXPLAINTION WHERE IT WENT TRANSCRIPT CORRECTIONS – 16

        PG 20 LINE 15 AND LINE 16 ALEX CONFIRMS WE HAVE NO IDEA WHERE THE 500,000.00 JOHN HANCOCK JOINT ANNUITY WAS USED OR PLACED.

        PG 73 LINES 5 AND 6 WHALEN

        ASSISTING IN CONCEALING AMOUNT OF IRA SHE ENCOURAGES HER CLIENT

        NOT TO ANSWER THE ? ABOUT MR.B’S PENSION BEING MUCH LOWER WHEN WE GOT MARRIED

        TRANSCRIPT CORRECTIONS – 17

        TRANSCRIPT CORRECTIONS – 18

        that there were quite a few withdrawals that were made by telephonic? I have all of the documents they showed me them.

        1. Yes. I mean you know, there were telephone withdrawals, sure.
        2. And I mean it pretty much drained the account, using those big withdrawals?
        3. Correct.
        4. Exactly. It drained the whole account.

        It paid off the PETA loan on the commercial building?

        1. WHALEN: Objection. There has been no foundation laid for that.
        2. BUJDOS: I will show you that in a minute.

        THE MASTER: We are going to do a time out. Time out. Okay.

        You ask him questions. Okay.

        1. BUJDOS: I was just trying to

        help him, remind him.

        THE MASTER: Just hear me out. Ask

        him the questions. Okay. And then you can, I will let Travis testify with you afterwards. Okay.

        1. BUJDOS: Okay.

        19

        PG 19 LINE 12 WHALEN ‘S OBJECTION IS ANOTHER ATTEMPT IN CONCEALING THE FINANCIAL MISCONDUCT ,HUSBANDS PRE-DIVORCE PLANNING BY DISSIPATION OF JOHN HANCOCK JOINT 500,000.00 RETIREMENT ANNUITY FOR LIFE WAS USED TO PAY OFF THE 1.4 MILLION DOLLAR RENTAL PROP COMMERCIAL BUILDING THAT CONTINUES TO PAY HIM 13, 000.00 A MONTH RENT . SO, THE HUSBAND CONTINUES TO RECEIVE THE RENT AFTER THE DIVORCE AND THE WIFE LOST HER $2,000.00 A MONTH JOHN HANCOCK ANNUITY FOR LIFE PAYMENTS.

        MARRIAGE.

        THE 1.4 MILLION DOLLAR BUILDINGS 880,000.00 MTG WAS PAID OFF DURING THE

        THE RENTAL BLDG IS NOT ON THE FINAL ORDER

        RESPECTFULLY SUBMITTED B,

        DEBORAH A. BUJDOS

        Plaintiff September 18, 2020

        TRANSCRIPT CORRECTIONS – 19

        Attachments:
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      • #2000
        Bob

          The below document is a WORD file, to add it to the Community. Open the original document in Word. Cut all the content and paste it to “Word Pad or Note Pad”. Then re-cut the text and paste it into the Editor in the “Visual Mode”.

          ALTERED TRANSCRIPTS CORRECTED. WITH MY ERRATA SHEETS FROM BRIBED HEARING MASTER ATTORNEY ERIC BONONI

          IN THE COURT OF COMMON PLEAS OF WESTMORELAND COUNTY, PA
          CIVIL RICO
          Deborah A. Bujdos
          Plaintiff
          Vs. CASE No. 3302CJ2018
          Linda Whalen, Laurence Bujdos, ) Heidi De Bernard-Norton )
          Anthony De Bernardo
          Travis Dunn, ) Roy Reick, Scott Shoup, ) MetLife, Cetera, Pnc Bank )
          Defendants )
          CORRECTION SHEET FOR FINAL MASTERS HEARINGS TRANSCRTIPT OF PROCEEDINGS
          HEARD: MAY 9, 2016
          BEFORE: MASTER ERIC BONONI
          TRANSCRIPT CORRECTIONS – 1
          REQUEST TRANSCRIPT CORRECTIONS

           

          ALTERED. TRANSCRIPTS. CORRECTION SHEETS
          PAGE# / LINE# / CORRECTION
          Pg. 19 Line 10 Correct Peta To Pida
          Pg. 19 Line 6 Master Suspiciously Goes To Time Out Again
          To Help Whalen With Her Objection, To Conceal The Husbands The
          Husbands Financial Misconduct By Draining The J.H. Annuity For His Own Benefit After The Divorce. Before I Can Prove The Husbands Financial Misconduct
          Pg. 20 Line 23 Alex’s Unfinished Sentence
          Pg. 21 Line 4 Alex ‘S Unfinished Sentence
          Pg. 21 Line 5 My Unfinished Sentence Should Say That’s Ok If You Don’t Remember It Was The MetLife 500,000.00 Joint Annuity , Because I Have Documentation From Met Life’s Employee Confirming My Name Was Removed In Feb 2015 And I Have The Annuity Checks Suddenly Sent Out In Only The Husbands Name From Feb 2015 – August 2015.
          Pg. 22 Line 1 Whalen’s Unfinished Sentence
          Pg. 23 Line 6 Should Say Judge Smail Said I Killed My Dogs
          Pg. 23 Line 20 My Unfinished Sentence Should Say Because Judge TRANSCRIPT CORRECTIONS – 2

          Because…… That Was The Most Hurt full And Disgusting Thing To Say When Everyone Knows How Much I Lived My Dogs.
          Pg. 23 Line 25 Missing My Words That Said Both…. Of These Dogs That Were Mine , That I Bought And Cared For And I Loved Like They Were My Children And I Took Excellent Care Of Them. My Vet Will Prove That Was A Lie. That Got Me Kicked out Of My Home And Left Homeless.
          Pg. 24. Master Suspiciously Goes Off the Record to Tell Me That If I Call My Vet Then He Won’t Let Me Enter All the Evidence and Photos I Had Sitting on The Desk. That Was My Choice And I Chose To Call My Vet.
          Pg. 26. Line 14 Missing After Debie Bujdos……. And Her Request For You To Confirm That She Did Not Kill Her Dogs.
          Pg. 27 Line 16 Whalens Unfished Sentence
          Pg. 36 Line 18 My Entire Sentence Is Missing After I Said Can I Object?
          Pg. 36 Pg. 36 Pg. 36
          Line 21 I Object To All Of His Perjured Testimony
          Line 5 Numerous Times Here And I Showed That On The Record. Line 5-6 C Allowed To Enter My Evidence If I Called My Vet.
          Pg. 39
          A Contract With For Gas Well Contract.
          TRANSCRIPT CORRECTIONS – 3
          Line 9 It Is Here With The Name Ed Bilik Who He Agreed To Sign

          Pg. 39 Line 10 Mr. B’s Unfinished Sentence Trying To Conceal His Plans To Sign A Contract Only After The Divorce.
          Pg. 39 Line 18 My Words Missing They Wanted To Have Us Both Sign The Agreement But Mr. Bujdos Did Not Want To Include Me In Having Any Future Income From The Gas Wells.
          Pg. 74 Line16 All Of The Appliances Are There
          Pg. 75 Lines 8–25
          And Through
          Pg. 76 Lines 1-9 Many Words Missing That Confirm
          Whalen Assists Her Client In Concealing What The Husband Did With
          112,00.00 That He Got From A Mortgage On The Home We Did Not Need.
          Pg. 76 Line 4 Should Say I Asked The Same Question About The 112,000.00 Before And On The Record, She Told Him Not To Answer.
          Pg. 76 Line 9 Should Say: Well, I Do Want To Say That You Should Have A problem With Whalen Telling Her Client N Ot To Answer A Question About A Missing 112,000.00 , She Is Helping Him Hide Assets and Your Letting Her Go.
          Pg. 78 – 83 All Confirm The Contempt Hearing For Me To Return Things Was Based On Lies Seen In These Pages , Told By Mr. Bujdos. Judge Smail Charged Me 87,000.00 Total For Things I Never Took.
          TRANSCRIPT CORRECTIONS – 4

           

          End Of Transcript
          Evidence That Supports The Need For These Transcripts To Be Corrected ; This Transcript Proves There Are Many Investment Assets That Remain Missing From The Final Order
          This Reveals Attorney Whalens And Her Clients The Lack Of Credibility.
          This Also Reveals Attorney Whalens Repeated Advice To Her Client Not To Answer Questions About Missing Assets
          This May 9, 2016 Transcript Also Reveals That I Was Subjected To
          To Being Forced To Remain In The Legal Arena For Actually 5 Years , In Order For Judge Smail To Gain 17,600.00 In Fines For A Contempt Hearing He Dragged On For Nin Months While Charging Me 100.00 A Day For Not Returning Things That Were Never Missing .
          This Also Proves That I Was Evicted From My Home With A Void Order That Contained Lies About The Death Of My Dogs,
          This Also Proves That Judge Smail Lost Subject matter Jurisdiction To File A Final Order That Was Missing 4 Million To Divide
          This Transcript Also Proves This Case Was Deliberately Delayed In Order For The Attorneys To Collect Fees For 5 Years And Master Bononi To Become Unjustly Enriched With A Total Of 32,000.00 For Fees By Delaying His Hearings In The Case . TRANSCRIPT CORRECTIONS – 5

          It Also Reveals That Met Life, Scott Shoups And Cetera Were All Aware That I Was Financially Suppressed For 5 Years Without My Own Annuity Income That Prevented Me From Having A Fair Divorce
          This Also Proves That Met Life, Scott Shoups And Cetera Knew My Name Was Illegally Removed From The Joint Annuity
          This Also Proves That Scott Shoups Was Aware Of The Husband Draining The John Hancock Joint Annuity To Pay Off The Commercial Building.
          Notes From Bononi Transcript Dated 5-9-16
          This Transcript Proves There Were Other Investments Not Listed On Final Order And Also Proves And Roy Reick Perjury Regarding Him Being Named A Trustee And That He Claimed Not To Have Knowledge Of A 500,000.00 Guardian Policy, Not On The Final Order.
          TRANSCRIPT CORRECTIONS – 6

          Pg. 4
          TRANSCRIPT CORRECTIONS – 7
          7 8 9
          10
          #20B appraisal for 26 acres
          #21A-D deed to Donner Ave. Property Deed to Donner Ave. Property
          Mortgage
          Complete appraisal
          11
          MISSING ASSETS NOT ON FINAL ORDER
          12 13 14 15 16 17 18 19 20 21 22 23 24 25
          #22A B #23A B
          #24 #25 A
          B #26
          #27A B C #28A B
          #29
          value in 2013 and 2014 value in 2011 and 2012 insurance policy
          Lincoln Life policy
          American Funds rollover
          Met Life policy
          initial investment
          annuity statement
          Fidelity statement
          initial investment/Lincoln National annuity Lincoln National Life Insurance annuity First Federal rental account
          First Federal
          joint account, BVA federal credit union

          1 Z John Hancock account
          2 AA 8/15/11 portfolio value
          PG. 9 ROY REIPERJURY
          1 3#3B0B bankBsVtaAtemfendteFriba-lChecmredit union 4 CC Sky Bank
          2 #30A
          BVA Federal Credit Union
          deposit slip
          BVA federal credit union sale of Impala 1996
          5 DD
          3 #31 6 EE
          authorization for direct 8 GG fax cover page
          5 B
          statement of 8/2012
          9 HH 6 #33
          10 II
          National City Bank
          trustee account register
          Sky Bank
          7 #34A
          11 JJ Huntingdon Bank
          13 #35E
          19 RR
          14 #36
          20 SS
          PNC Bank overdraft notice
          letter 10/3/13
          8 #34B letter 10/3/13 12 KK various copies of checks
          13 LL e-mail
          9 #35A PNC Bank account/joint
          14 MM Lincoln Financial Group
          10 #35B PNC Bank account/joint
          15 NN John Hancock quarterly review
          11 #35C PNC Bank transfer notice 16 OO special meeting
          12 #35D PNC Bank overdraft notice 17 PP letter dated 3/4/08
          18 QQ letter from Roger Gaydos, Esq.
          private detective license
          Commercial lease/Donner Avenue
          Met Life statement
          9
          4 #32A
          7 FF Sky Bank deposit slips
          deposit
          pg.9
          19 #37E
          20 #38
          21 #39A
          22 #39B
          23 #40A
          24 #40B
          receipt for check for Millvale prop list of personal items
          Valley Community Federal Credit Uni Valley Community Federal Credit Uni Community Bank loan statement
          First Federal Savings Bank loan sta balance sheet
          TRANSCRIPT CORRECTIONS – 8
          25 #41
          15 #37A, 3/28/14 consent judgement 21 TT Notice of payment due/Guardian
          16 #37B Regis Steele bankruptcy discharge 22 UU request of change in plan
          23 VV primary account
          17 #37C Citizens Bank account statement
          24 WW second request for production of documents
          18 #37D copy of check for Millvale property
          25 XX order of court 5/6/2016
          rty
          n n
          ement
          e
          o o
          t

          TRANSCRIPT CORRECTIONS – 9

          PG. 10 LINE 1 WHALEN’S FORGED POWER OF ATTORNEY DATED 4-17-13
          10
          1 YY limited power of attorney
          2 ZZ 8/1/2006 schedule, Larry Bujdos
          3 AAAcheckregister(DeborahBujdos)
          4 BBBcheckregister(DeborahBujdos)
          5 CCCcheckfromPershing
          6 DDDMetLifestatement
          7 EEEcheckendorsement(LarryBujdos)
          8 FFFFib-Chembalancesheet
          9 GGGcheckbookregister(DeborahBujdos)
          10 HHH1/13/2005letterfromRoyReick 11 III10/21/2015letterfromCetera 12 JJJphotoofaredtruck
          13 KKKphotoofaredtruck
          14 LLLtranscript5/12/14depoofLarryBujdos 15 MMMphotographs
          16 NNNphotographswithhandwrittennote
          17 OOOFib-Chembalancesheet
          18 PPPcompositeofcorrespondence
          19 QQQhandwrittenpaper
          20 RRRFormSS42001
          21 SSScheckregisterfromValleyFirst
          22 TTTcompositeofLincolnFinancialGroupaccount 23 UUUValleyForgeLifeInsurancecorrespondence 24 VVVDeblarEnterprisesbalancesheet
          25 WWWcheckregister
          TRANSCRIPT CORRECTIONS – 10

          Pg. 11
          1 Q. 2
          3 A. 4
          What materials I guess, were you able to review
          in that voluminous packet of documents?
          There were year end brokerage, brokerage statements, some interim statements. There were
          5 notes related to client meetings between Scott 2 YYY letter dated 2/19/2008 from James Clister
          6 and Larry. That is pretty much what was there. 3 ZZZ Allegheny General health records 1989
          4
          5
          6
          7
          8people under the
          9
          0
          1
          2
          3
          4
          5
          6
          7
          8
          9 25 0
          1 2
          3 4 5
          Pg. 14.
          7 8 9
          Q.
          Were you able to get a good snapshot of the, I guess, financial investments of the parties from their beginning time working with Scott Shoup?
          Pg. 13 A1le0x kindAl.ers tIestiwmaosn.y says in 2007 moneys taken out exceeded what coming in . 11 Q. And I guess what did you learn from the
          A review of Mr. B.’s handmade ledge for 2007 shows he spent an excessive amount paying
          12 information that you were able to review?
          table building his third garage. The big Brown Garage
          13 A. 14
          15
          16
          Well, I basically you know, the account balances that existed you know, as the most recent statements we had were consistent with you know, the investments through that time period.
          You know, clearly money came in and money went out. But you know from the, from Scott Shoup’s note from about 2007 going forward, the amount of money going out was exceeding the amount of money, you know, the income that was being generated.
          So the assets were being spent down during that time period.
          Okay.
          17
          18
          19
          20
          21
          22
          23
          24
          Q.
          Shows Alex is not discussing the fidelity 590,000.00 IRA that is not on the final order. TRANSCRIPT CORRECTIONS – 11
          11
          13
          1 XXX e-mail dated 6/9/2015

          25 Q.
          there was sufficient money that went into the account to go to fund the purchase of the John Hancock annuity and the Met Life annuity.
          The, Larry’s IRA was you know, was rolled into that, there was a rollover IRA from the pension plan that went into that.
          But you know, as of the most recent statement, there wasn’t much left in that. I don’t have a, I don’t think I have a current statement I can get my hands on quickly.
          But my recollection was that you know, really what existed was you know, basically you know you know, whatever was left of those two annuities and Larry’s IRA and there wasn’t much left other than that.
          So the investments that you reviewed included
          TRANSCRIPT CORRECTIONS – 12

           

          TRANSCRIPT CORRECTIONS – 13
          the Met Life annuity that we have discussed previously, the John Hancock annuity, which we have discussed previously and the Fidelity IRA rollover account that we had discussed previously.
          Was there anything else that was included in that information that you were not aware of previously?
          A. Well, I mean I said there were funds that went in, you know, some funds that initially went in but you know, but eventually went out so.
          Q. Right.
          A. No, nothing other than the $200,000.00 that is
          what the account was initially funded with.
          Q. During your review, there was no new information that you were able to ascertain from this SATARA
          documents?
          A. Correct. I mean it –you know from the,
          definitely from the notes from Scott Shoup you know, it certainly looked as though you know, Scott Shoup was under the impression that he was dealing with you know, all of the assets you know, all of the investment assets that you know, were being considered.
          Q. Okay.
          15

           

          TRANSCRIPT CORRECTIONS – 14
          Is there anything else in particular you would like to explain to the Master, the parties here about your review of the documents?
          A. Well,Imeantheyouknow,basicallyyouknow, from my testimony you know last time, from when it was schedule I showed a cumulative you know, amount to be accounted for, the two million 387,110 dollars.
          You know, I said that there were you know, a number of things that would need to be subtracted from that amount such as you know, moving expenses over a seven year period. You know, to figure out what those expenses were that would need to be subtracted.
          You know, I would have needed all of the bank statements for the seven year period, and all the credit cards statements really, from that time period to actually see you know, what was being spent for living expenses.
          You know, that information was not available, it wasn’t given to me. So you know, there is really not a lot of the, there is not a lot of initial information that I can you know, I can shed on that.
          Q. Okay.
          16

          Pg. 19 line 25 Alex under my cross
          TRANSCRIPT CORRECTIONS – 15
          MR. DUNN: I don’t really have anything else for Alex at this time. Turn him over for cross, if you have any questions.
          MS. WHALEN: I do. CROSS EXAMINATION
          BY MS. WHALEN:
          Q. Alex, from what you looked at, did you see a
          pattern of continuing increases in the automatic
          payments that were being made from the accounts? A. The yes, more money was being taken out. And it was yes, each one of those memos you know, Scott
          noted that he said something to Larry that you know, it was getting to be a you know, precarious situation. That you know, that the amount that was going out certainly exceeded the amount that was coming in.
          Q. The automatic withdrawals started out about $2,000.00 per month, didn’t they?
          A. I think it was around that amount.
          Q. And they kept increasing up to like $4,000.00 a
          month over several years?
          A. At least, yes.
          Q. Then at some point Larry started to withdraw
          $3,500.00 per month from his IRA?
          17

          24 Q. 25
          to Deb regarding spending habits.
          It didn’t say that Scott was going to speak to her.
          Okay.
          And then on the John Hancock, did you notice
          Pg. 18-19 Alex still under my cross DISCUSING THE JOINTLY OWNED john Hancock 500,000.00 annuity, DISSIPATED
          Was used to pay off the commercial building that pays the husband 13, 000.00 a month rent to
          present date .
          PG. 18 LINE 25 – PAGE 19 LINES 1- 6 GOES TO MR. BUJDOS’S LACK OF CREDIBILITY / COMPARE TO HIS ANSWERS ON THE MAY 12, 2014 DPOSITION WITH HEID NORTON HE CLAIMS HE WOULDNOT EVEN KNOW HOW TO MAKE TELEPHONIC WITHDRAWS FROM JOHN HANCOCK
          PG 19 LINE 4 ALEX CONFIRMS THAT MR. B. MADE MANY J. H. ANNUITY WITHDRAWS VIA TELEPHONIC
          PG 19 LINE 16 MASTER GOES TO TIME OUT
          TO HELP WHALEN WITH HER OBJECTION TO CONCEAL THE HUSBANDS FINANCIAL MISCONDUCT BY DRAINING THE J.H. ANNUITY FOR HIS OWN BENEFIT AFTER THE DIVORCE. BEFORE I CAN PROVE THE HUSBANDS FINANCIAL MISCONDUCT
          PG 20 LINE 11 ALEX KINDLER
          CONFIRMS A MISSING INVESTMENT THAT WAS CREATED DURING THE MARRIAGE AND WITH SCOTT CALLED A PERSHING ACCOUNT THAT HAD 250,000.00 TAKEN
          AND WITH NO EXPLAINTION WHERE IT WENT TRANSCRIPT CORRECTIONS – 16

          PG 20 LINE 15 AND LINE 16 ALEX CONFIRMS WE HAVE NO IDEA WHERE THE 500,000.00 JOHN HANCOCK JOINT ANNUITY WAS USED OR PLACED.
          PG 73 LINES 5 AND 6 WHALEN
          ASSISTING IN CONCEALING AMOUNT OF IRA SHE ENCOURAGES HER CLIENT
          NOT TO ANSWER THE ? ABOUT MR.B’S PENSION BEING MUCH LOWER WHEN WE GOT MARRIED
          TRANSCRIPT CORRECTIONS – 17

           

          TRANSCRIPT CORRECTIONS – 18
          that there were quite a few withdrawals that were made by telephonic? I have all of the documents they showed me them.
          A. Yes. I mean you know, there were telephone withdrawals, sure.
          Q. And I mean it pretty much drained the account, using those big withdrawals?
          A. Correct.
          Q. Exactly. It drained the whole account.
          It paid off the PETA loan on the commercial building?
          MS. WHALEN: Objection. There has been no foundation laid for that.
          MS. BUJDOS: I will show you that in a minute.
          THE MASTER: We are going to do a time out. Time out. Okay.
          You ask him questions. Okay.
          MS. BUJDOS: I was just trying to
          help him, remind him.
          THE MASTER: Just hear me out. Ask
          him the questions. Okay. And then you can, I will let Travis testify with you afterwards. Okay.
          MS. BUJDOS: Okay.
          19

          PG 19 LINE 12 WHALEN ‘S OBJECTION IS ANOTHER ATTEMPT IN CONCEALING THE FINANCIAL MISCONDUCT ,HUSBANDS PRE-DIVORCE PLANNING BY DISSIPATION OF JOHN HANCOCK JOINT 500,000.00 RETIREMENT ANNUITY FOR LIFE WAS USED TO PAY OFF THE 1.4 MILLION DOLLAR RENTAL PROP COMMERCIAL BUILDING THAT CONTINUES TO PAY HIM 13, 000.00 A MONTH RENT . SO, THE HUSBAND CONTINUES TO RECEIVE THE RENT AFTER THE DIVORCE AND THE WIFE LOST HER $2,000.00 A MONTH JOHN HANCOCK ANNUITY FOR LIFE PAYMENTS.
          MARRIAGE.
          THE 1.4 MILLION DOLLAR BUILDINGS 880,000.00 MTG WAS PAID OFF DURING THE
          THE RENTAL BLDG IS NOT ON THE FINAL ORDER
          RESPECTFULLY SUBMITTED B,
          DEBORAH A. BUJDOS
          Plaintiff September 18, 2020
          TRANSCRIPT CORRECTIONS – 19

           

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