Since some of the materials which describe the $cientology cult could be considered to be

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Master Index Current Directory Index Go to SkepticTank Go to Human Rights activist Keith Henson Go to Scientology cult

Skeptic Tank!

Since some of the materials which describe the $cientology cult could be considered to be copywritten materials, I have censored myself and The Skeptic Tank by deleting any and all possible text files which describes the cult's hidden mythologies. I have elected to quote just a bit of the questionable text according to the "Fair Use" legal findings afforded to those who report. - Fredric L. Rice, The Skeptic Tank, 09/Sep/95 -=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=-=- From news.interserv.net!news.sprintlink.net!howland.reston.ans.net!ix.netcom.com!netcom.com!modemac Tue Jul 18 10:03:47 1995 Newsgroups: alt.religion.scientology Path: news.interserv.net!news.sprintlink.net!howland.reston.ans.net!ix.netcom.com!netcom.com!modemac From: modemac@netcom.com (Modemac) Subject: Document #7 Message-ID: Organization: NETCOM On-line Communication Services (408 261-4700 guest) X-Newsreader: TIN [version 1.2 PL1] Date: Mon, 17 Jul 1995 19:21:15 GMT Lines: 909 Sender: modemac@netcom2.netcom.com ------------------------------------------------------------------- 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. ------------------------------------------------------------------- \Miscavige Subponea\Page.00001 UNITED STATES DISTRICT COURT CENTRAL DISTRlCT OF CALIFORNIA CHURCH OF SCIENTOLOGY INTERNATIONAL, a California non-profit religious corporation, SUBPOENA IN A CIVIL CASE V. CASE NUMBER: 91-6426-HLH (Bx) STEVEN FISHMAN and UWE GEERTZ TO: Religious Technology Center 6517 Sunset Boulevard Los Angeles, CA 90028 \Miscavige Subponea\Page.00002 UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA CHURCH OF SCIENTOLOGY INTERNATIONAL, a California non-profit religious corporation SUBPOENA IN A CIVIL CASE v. CASE NUMBER: 91-6426 HLH (Bx) STEVEN FISHMAN and UWE GEERTZ TO: Religious Technology Center 1710 Ivar Avenue, Suite ll00 Los Angeles, CA 90028 \Miscavige Subponea\Page.00003 ATTACHMENT "A" 1. The authenticity of L. Ron Hubbard's final wills written before his death; and 2. Who it was who first called by Pat or Anne Broeker to be told that L. Ron Hubbard was dead and who called Earl Cooley and others to tell them that they would go to L. Ron Hubbard's ranch in Creston that night; and 3. The authenticity of L. Ron Hubbard's signature on a document filed with a probate court in Riverside, California, circa 1983, challenging the claims of L. Ron Hubbard, Jr.; and 4. The authority for David Miscavige's assumption of the position of Chairman of the Board, Religious Technology Center; and 5. The manner in which communications were assembled and transmitted to and receive from Pat Broeker in bankers boxes on a weekly basis from 1982 until death in 1986; 6. The conversation(s) between Mary Sue Hubbard and David Miscavige which caused her to relinquish control of the Guardian's office in 1981 to David Miscavige; and 7. The conversations between David Miscavige and Pat Broeker in 1987 that caused Broeker to leave and caused Miscavige to issue a directive stating that Broeker had falsified a message from Hubbard that appointed Broeker a "Loyal Officer;" and 8. All post titles that David Miscavige has held including but not limited to Chairman of the Board of Religious Technology \Miscavige Subponea\Page.00004 Center ("RTC"), or to which he has received or from which he has issued communications, whether in writing or on the Mercury INCOMM system in the past 48 months, and all posting orders for any of these posts and the full hat check sheets and facts for any and/or all of these posts ; and 9. The Org. Board that shows David Miscavige's relation to RTC, CSI, CST, ASI, CMO Int., Office of Special Affairs and any other Scientology or Scientology or Scientology-related organizations over which David Miscavige has any authority whatsoever. ("Scientology organization" shall herein be defined as any person, group or organization, whether incorporated or unincorporated, that has a trademark licensing agreement with RTC); and 10. The duties, responsibilities and/or functions David Miscavige has had in RTC or any other Scientology-related organization in the past 48 months including all LRH policies, Flag orders (FOs), Central Bureau Orders (CBOs), Scientology Policy Directives (SPDs), LRH advices and orders, Guardian's Orders (GOs) and any other issues, orders, orders logs or tapes relating thereto; and 11. All Evals, Strategic Plans, Tactical Plans, Programs and/or Projects on which any of the posts for which David Miscavige has been directly responsible for the past 48 months are named or have targets; and 12. All orders David Miscavige has issued to Heber Jentsch, Lynn Farney, Kurt Weiland, Norman Starkey, Marc Yaeger, Greg \Miscavige Subponea\Page.00005 Wilhere, Ray Mithoff, Marty Rathbun, Rick Moxon, Tim Bowles or any other RTC CSI or OSA executive or staff member whether directly or via the standard command lines, in the past 48 months; and 13. All weekly reports David Miscavige has received from all sectors of Scientology including all weekly reports and weekly report summaries from Greg Wilhere, Ray Mithoff, Marc Yaeger, Marty Rathbun, Norman Starky, Heber Jentsch, Lynn Farney, Jonathan Epstein, Rick Moxon, Tim Bowles, Kurt Weiland and David Butterworth for every week in the past 48 months; and 14. Any and all statistical graphs and statistical analyses sent to David Miscavige from Greg Wilhere, Ray Mithoff, Marc Yaeger, Marty Rathbun, Norman Starkey, Heber Jentsch, Lynn Farney, Kurt Weiland, Rick Moxon and Tim Bowles for every week in the past 48 months; and 15. All communications, whether in writing on the INCOMM computer system, on the Mercury system, by phone or by any other means, which David Miscavige has had in the past 48 months with Gene Ingram or any other private investigator or security personnel in the employ of any Scientology Organization or any private investigator or security personnel in the employ of any attorney in the employ of any Scientology organization; and 16. All orders David Miscavige has issued in the past 48 months concerning anyone related to or involved in any Scientology or Scientology-related litigation, whether or not a Scientoldgy organization is actually named in the suit as either \Miscavige Subponea\Page.00006 plaintiff or defendant; and 17. All cramming orders David Miscavige has issued to any one in any Scientology or Scientology-related organization in the past 48 months including full compliance results from the cramming officers who did the crams either on David Miscavige or on those whom he issued crams; 18. All conditions Orders in which David Miscavige has been assigned or had assigned himself and all Conditions Write-ups he has done including weekly postcondition write-ups and condition write-ups he has done for any ethics situation on any of David Miscavige's eight dynamics, particularly his first, second and third dynamics, in the past 48 months; and 19. All Committees of Evidence in which David Miscavige has been an interested party and the findings and recommendations of such Committees of Evidence which he has personally ordered or has ordered others to convene, and the findings and recommendations of such Committees of Evidence in the past 48 months; and 20. Any and all Courts of Ethics in which David Miscavige has been an interested party and the findings and recommendations of such Courts of Ethics, and any and all Courts of Ethics in which David Miscavige has personally ordered or had others ordered to convene and the findings and recommendations of such Courts of Ethics; and 21. All Boards of Investigations in which David Miscavige and his post area has been the subject of investigation and the \Miscavige Subponea\Page.00007 findings and recommendations of such Boards of Investigation and any and all Boards of Investigations which David Miscavige has personally ordered others to convene and the findings and recommendations of such Board of Investigation; and 22. All RPF assignments David Miscavige has received since being in the Sea Organization and all RPF assignments he has ordered on others, whether directly or indirectly, through orders to CMO, RTC, ASI, OSA, CSI, or any other Scientology or Scientology-related organization, since he has been in a position of authority to do so, and all RPF graduation CSWs which pertain to such RPF assignments; and 23. All Suppresive Person Declares and Non-Enterbulation orders David Miscavige has ordered on others including any such Declares issued during the 1982 Mission Holders Conference in San Francisco; and 24. All security checks David Miscavige has received in the past 48 months and any and all O/W write-ups he has done in the past 48 months; and 25. All Errands which David Miscavige has either been on as a missionaire or has been responsible for as the Mission Ops or about which others have reported to David Miscavige, or to which he has had access as COB RTC, including any and all missions, projects, or errands related in any way to the following: the Cult Awareness Network, the handling of any plaintiff or defendant (or their legal counsel) in Scientology or Scientology- related litigation, whether or not any Scientology organization \Miscavige Subponea\Page.00008 was named as either plaintiff or defendant, any individual psychiatrist, group of psychiatrists, psychologists, group of psychologists, or any other individual or group in the field of mental health or mental healing; the handling of any one who has been critical of Scientology or who has been considered a threat to Scientology in any way; and 26. All reports, debriefs, CSWs, Mercury messages, orders or any other forms of written, oral, taped or videotaped communications that David Miscavige has sent to others or others have sent to David Miscavige or to which David Miscavige has had access as COB RTC concerning Bowles & Moxon "Plan 100"; Steven Fishman, Uwe Geertz, Gary Scarff or Ron Nordquist; and 27. All plans, programs, projects, evals, orders, reports, newsletters, brochures, or any other documents concerning the Cult Awareness Network, Priscilla Coates, Cynthia Kisser, or any other individual in any way related to CAN to which David Miscavige has had access as COB RTC; and 28, Any and all press, books, magazine articles, TV and Radio and any other form of media (both theta and entheta, meaning positive and negative Scientology and/or Scientologist) that has been counted on the RTC and/or OSA statistics over the past 48 months; and 29. Any and all communications and agreements and/or contracts made with any media, specifically but not limited to ABC-TV (Nightline), Premium Magazine, financial network news, regarding David Miscavige's appearance or the publication or use \Miscavige Subponea\Page.00009 of materials under David Miscavige's name; and 30. All communications by David Miscavige with the Internal Revenue Service regarding previous or ongoing investigations into David Miscavige's and/or his wife Shelley's personal finances and or his role(s) in any Scientology or Scientology-related organization; and 31. David Miscavige's knowledge of the details and circumstances regarding the grant of Internal Revenue Code Section 501(c) exemption status to RTC, CSI and various other Scientology organizations and the circumstances and details regarding any sealed documents which have not been made public in relation thereto; and 32. David Miscavige's communications and knowledge of communications with any representatives of the Department of Justice, Federal Bureau of Investigation andjor other law enforcement agency, with a local, state, federal or foreign, regarding previous or ongoing investigations into David Miscavige's and/or his wife Shelley's personal finances and/or his role(s) in any Scientology or Scientology-related organizations; and 33. David Miscavige's correspondence with foreign and/or overseas banking entities for the purpose of personal and corporation financial transactions for David Miscavige and his wife Shelley; and 34. David Miscavige's knowledge and participation in any and all agreements with Pat Broeker at Preston, California, or \Miscavige Subponea\Page.00010 any other location regarding the estate of L. Ron Hubbard and the handling of final communications from L. Ron Hubbard; and 35. David Miscavige's knowledge and receipt of all moneys spent by the International Association of Scientologists (IAS) for his legal defense; and 36. David Miscavige's receipt of any gifts with a value greater than $100 and given to him and/or his wife Shelley by any Scientology group or person under his command; and 37. David Miscavige's knowledge's knowledge and receipt of all financial awards or bonuses paid to him and/or his wife Shelley by Scientology organization; and 38. David Miscavige's knowledge of the details of Author's Family trust A and Author's Family Trust B including all past and present executed either of those acts and the renumeration and/or compensation of all present and past executives of both trusts; and 39. All private contracts and agreements made between David Miscavige and L. Ron Hubbard; and 40. All occasions on which David Miscavige has departed from and entered into any country including the United States since he became one of the commodore's messengers; and 41. All monies and funds David Miscavige couried or carried out of the United States or into any other country either before or after he became a commodore's messenger; and 42. All "special properties" that David Miscavige and/or his wife Shelley have bought, borrowed or in any way obtained \Miscavige Subponea\Page.00011 from Author Services, Inc. and/or Bridge Publications; and 43. All "special properties" that David Miscavige and/or his wife Shelley has personally sold or received commissions on and the persons to whom they have been sold to, the price and special commission and dates and all jewels and precious metals given or awarded to David Miscavige and or/his wife by Author Services, Inc.; and 44. All stock and bonds and any other investments given or awarded to David Miscavige and/or his wife Shelley by Author Services, Inc. including their original value and current value; 45. All improvements made to David Miscavige's personal living spaces at Gilman Hot Springs and in Los Angeles by Scoientology personnel including but not limited to, members of Rehabilitation Project Force (RPF) and /or Estates Project Force (EPF), the estimated value of those improvements and the wages paid to those people by whom and when if any; and 46. All clothing and personal items bought for David Miscavige and/or his wife Shelley from funds of Author Services, Inc. and the Religious Technology Center and the date, cost of each item and whether such items are still in David Miscavige's possession or the possession of his wife Shelley; and 47. All weapons in the possession or under the control of David Miscavige or owned by David Miscavige, including all rifles, pistols, handguns, knives, martial arts weapons, teargas, ammunition and any required licenses for same; 48. David Miscavige's knowledge of the details and \Miscavige Subponea\Page.00012 circumstances of the death of Mary Florence Barnett a.k.a. Miller including the ownership of any rifles or other guns involved in same and the 'handling' of any investigation of involving the death of Mary Florence (Flo) Barnett a.k.a. Miller; and 49. All trips undertaken by David Miscavige and/or his wife Shelley at the expense of or paid by Author Services, Religious Technology Center, and/or any Scientology organization especially those for recreation such as skiing trips in California, Utah and or Colorado mountain resorts; and 50. All financial loan agreements or contracts where a Scientology organization loaned money to David Miscavige and/or his wife Shelley; and 51. All real property, whether developed or undeveloped, that David Miscavige and/or his wife Shelley has purchased or paid monies toward in the United States and/or Mexico, Venezuela, the Carribean Islands or any other country, nation, sovereignty or possession and the amount of monies paid by David Miscavige and/or his wife Shelley or by another on behalf of either or both of them; and 52. All automobiles and/or boats bought by David Miscavige and/or his wife Shelley or by another that is under the control and/or ownership of David Miscavige and/or his wife Shelley; and 53. Any secular Scientology organizations, enterprises and or business, including but not limited to Sterling management or members of the World Institute of Scientology Enterprises in which David Miscavige and/or his wife Shelley own or control \Miscavige Subponea\Page.00013 stocks or investments and the value of same and dates of purchase, gifts or other transfer; and 54. David Miscavige's knowledge or any Scientologist(s) being physically assaulted, beaten, harrassed or otherwise physically or psychologically abused or ordered to be physically or psychologically abused by Scientology staff members or those in the employ of any Scientology or Scientology-related organization, especially but not limited to private investigators; and 55. David Miscavige's knowledge of all reports, proposals, orders and/or notes concerning Steven Fishman becoming a stockbroker; and 56. Any and all meetings between David Miscavige and Steven Fishman including but not limited to a meeting in Clearwater on November 9, 1980; and 57. David Miscavige's factual basis or otherwise for the various statements he made on the Nightline interview with Ted Koppel and in his rebuttal letter to Premium Magazine in 1993 and David Miscavige's knowledge of any damage caused to any Scientology entity or Scientology related entity as a result of the publication of the Time Magazine article on May 6, 1992 and entitled "Scientology, the Thriving Cult of Greed and Power," and the statements attributed to any person therein; and 58. David Miscavige's knowledge and participation in the disbanding of the Guardian's office, and David Miscavige's knowledge of any carryover of personnel from the Guardian's \Miscavige Subponea\Page.00014 office to any other Scientology or Scientology-related entity; and 59. David Miscavige's knowledge of how policy letters are adopted as Church policy by either RTC or CSI; and 60. David Miscavige's knowledge of whether RTC has received any complaints regarding possible fraud by Author Services Inc in the handling of "special properties"; and 61. David Miscavige's knowledge of whether anyone has filed suit or threatened suit regarding possible fraud by Author Services Inc in the handling of "special properties"; and 62. David Miscavige's knowledge of any RTC or CSI staff who bought "special properties" as part of an ASI push; and 63. David Miscavige's knowledge of any investigations regarding possible fraud by ASI in the handling of "special properties"; and 64. David Miscavige's knowledge of any complaints regarding the financial conduct of Michael Baybak; Ken Gerbino; the Feshbach brothers, Sterling Management and any lawsuits, threats of lawsuit or investigations regarding the same; and 65. David Miscavige's knowledge of any financial scams or irregularities regarding individual Scientologist's use of the American Express card for the benefit of any Scientology entity or Scientology-related entity in Los Angeles or elsewhere; and 66. David Miscavige's knowledge of any Scientologist misusing the proceeds of student loans, or other loans, including the misuse of loan and student loan proceeds (by using the \Miscavige Subponea\Page.00015 proceeds for purchase of Scientology processing, services and publications) at any Scientology mission or org. including but not limited to the Portland Mission, the Fort Lauderdale Mission and the Riverside Mission including any police investigation(s) into the sane; and 67. David Miscavige's knowledge of any investigation of two Scientologists who went to jail in Germany for financial scams; and 68. David Miscavige's knowledge of whether Fran Harris, Fred Harris, Richard Tinkelnbarg and Terry Gamboa are in good standing; and 69. David Miscavige's knowledge of any investigation into allegations of fraud that recently prompted the arrest of Scientology officials in France; and 70. David Miscavige's knowledge of an investigation into the firm of Bernstein, McCaffrey and Lee in Clearwater which was raided by authorities in December, 1989; and 71. David Miscavige's knowledge of any concession by RTC, CSI or any other Scientology related entity or official that L. Ron Hubbard had broken the law as part of a concession for tax exemption and that this concession and admission is being kept under seal; and 72. Whether David Miscavige has ever been at a property in Baja, Mexico owned by Eugene Ingram; and 73. David Miscavige's knowledge of any storage facility operated by Eugene Ingram that Eugene Ingram alleges has "enough \Miscavige Subponea\Page.00016 to send [a top Scientology executive] to jail;" and 74. David Miscavige's knowledge of any RTC, CSI or other Scientology entity investigations into any suicides or wrongful deaths including but not limited to the death of Susan Meisner; and 75. David Miscavige's knowledge of "overboarding" and "off loading"; and 76. David Miscavige's knowledge of certain Scientology scriptures, policy letters and Hubbard lectures dealing with suicide, end of cycle, total knockout, R2-45, etc.; and 77, David Miscavige's knowledge of any investigation of the death of Quentin Hubbard in 1976; and 78. David Miscavige's knowledge of the alleged involvement of Rick Moxon in the killing of Judge Swearinger's dog ("Duke"); and 79. David Miscavige's knowledge of the manner and circumstances of L. Ron Hubbard's death, cremation and the results of the blood tests that were taken from the dead body of L. Ron Hubbard; and 80. David Miscavige's knowledge of all persons who were present at the time of L. Ron Hubbard's death and David Miscavige's knowledge of any new will or trust arrangements that were made by L. Ron Hubbard within the 7 days preceding his death; and 81. David Miscavige's knowledge of the conviction of Milan Nekuda who tried to kill a woman in 1988; and \Miscavige Subponea\Page.00017 82. David Miscavige's knowledge of any investigation into the death of Pedro Rimando who fell from the roof of the Manor on Franklin Avenue in 1986; and 83. David Miscavige's knowledge of any lawsuit filed or threatened by Irene Marshall; and 84. David Miscavige's knowledge of any investigation into the suicide of Noah Lottick in 1990; and 85. David Miscavige's knowledge of whether or not Mary Florence Barnett a.k.a. Miller was about to turn over confidential material to perceived enemies of the church just prior to her death; and 86. David Miscavige's knowledge regarding the sending of Scientology personnel to Philadelphia about ten years ago to handle a highly confidential family matter for David Miscavige; and 87. David Miscavige's knowledge of policy that a CSW must be approved for Sea Org. members to get pregnant; and 88. David Miscavige's knowledge of any orders by L. Ron Hubbard or David Miscavige for staff to have abortions; and 89. David Miscavige's knowledge of any investigations by RTC or CSI into sexual improprieties of top executives with staffs from other organizations; and 90. Whether David Miscavige knows Paula Ross Dain; and 91. David Miscavige's knowledge of homosexuality in the Hubbard family and material of Hubbard's that reveals bisexual behavior; and \Miscavige Subponea\Page.00018 92. David Miscavige's knowledge of the influence, if any, of Arthur Crowley, Occultists, and others on L. Ron's Hubbard's writings; and 93. David Miscavige's knowledge of upsets with staff regarding housing and living conditions and whether or not David Miscavige gave a talk to staff at Golden Era Productions about eight months ago where he berated them for their attitude; and 94. David Miscavige's knowledge of upsets with staff for not being able to see their children; and 95. David Miscavige's knowledge of whether sea org. members are still transferred to non sea org. orgs when the wife gets pregnant; and 96. David Miscavige's knowledge of any couple being ordered to be divorced because one of them is not in the sea org.; and 97. David Miscavige's knowledge of the financial, corporate, organization, contractual and ecclesiastical relationships between RTC, CSI and WISE; and 98. David Miscavige's knowledge of the truth or falsity of all statements made in the Time Magazine article entitled "Scientology -- The Thriving Cult of Greed and Power" published in Time Magazine on May 6, 1991 and any and all damages caused to any Scientology entity as a result thereof; and 99. David Miscavige's knowledge of allegations of financial irregularities, involving Scientologists and Scientology-related entities, by William Jordan of Athena Gold and others; and 100; David Miscavige's knowledge of Mission All Clear, \Miscavige Subponea\Page.00020 Project Quaker, TR-L, 'On Control and Lying,' Hatting the Witness, the Witness College, Operation Paper Chase, Operation Pill Freak, the Rehabilitation Project Force, the FBO network, The Ethics Bait Project, Operation Acting Classes, Operation Financial Rescue, The Student Assistant Project; Operation Piggy Bank, Operation Student Loan, Operation Student Assistance Project, the Way to Happiness Project, Operation Snow White, the Battle of Los Angeles, Psych Busting, The DC-9, all unindicted co-conspirators associated with the DC-9, the conviction and sentencing of Mary Sue Hubbard and Jane Kember, the B-1 hat pack, Michael Meisner and the destruction of documents by Scientologists following the FBI raids in 1977 and 1978; and 101. David Miscavige's knowledge of vetting, culling, and the removal of documents from Scientologist's files; and 102. David Miscavige's knowledge of the Religious Research Foundation which has/had bank accounts in Luxembourg; and 103. David Miscavige's knowledge of the use of Religious Research Foundation funds to purchase property in Clearwater and provide monies directly to L. Ron Hubbard; and 104. David Miscavige's knowledge of the Mission Category Corporate Sortout (MCCS) Objectives and Transactions; and 105. David Miscavige's knowledge of the composition (at various times) and activities of the All Clear Committee; and 106. David Miscavige's knowledge of the removal from post of David Mayo, Pat Broeker, Annie Broeker, Bill Franks, Alan Walters, and their involvement in the RPF and running program; \Miscavige Subponea\Page.00021 and 107. David Miscavige's knowledge of the circumstances surrounding the incorporation of RTC and its powers and authorities over other Church of Scientology missions, churches, entities, organizations, parishioners and staffers etc.; and 108. David Miscavige's knowledge of the actual proceedings at the San Francisco Mission Holders Conference and the subsequently published transcript of those same proceedings; and 109. David Miscavige's knowledge of the establishment of I HELP; and llO. David Miscavige's knowledge of the operations of and finances of the World Institute of Scientology Enterprises and of Sterling Management, Inc.; and 111. David Miscavige's knowledge of the establishment and activities of the International Finance Police; and 112. David Miscavige's knowledge of the transactions that led to the transfer of trademarks and monies as between L. Ron Hubbard and RTC, the monies paid therefor or in relation thereto and the income taxes paid thereon; and 113. David Miscavige's communications with L. Ron Hubbard regarding David Mayo and his relay of communications between L. Ron Hubbard and David Mayo; and 114. David Miscavige's knowledge of altered reports to L. Ron Hubbard regarding sec checking of Pat Broeker by David Mayo; and 115- David Miscavige's knowledge of the Committee of \Miscavige Subponea\Page.00022 Evidence that found David Mayo to be a Suppressive Person and which expelled him from the Church; and 116. David Miscavige's knowledge of the activities of Scientology Missions International (SMI) between 1982 and 1986 with regard to mission investigations, mission closings, mission fines and the sale of new charters; and 117. David Miscavige's knowledge of the birthday game played by Scientologists generally and as played by Steven Fishman specifically; and 118. David Miscavige's knowledge of the arrests and investigation of Scientology officials (including but not limited to the Reverend Heber Jentsch) in Spain, Italy, Greece, West Germany, England, Canada, New Zealand, Australia, Israel, France, Germany and the United States; and 119. David Miscavige's knowledge of Black Dianetics, Reverse Processing, the Use of Hypnosis in Scientology, the Fair Game Doctrine or Policy, Suppressive Persons, Suppressive Acts and Disconnection; and 120. David Miscavige's knowledge of the assignment of trademarks between L. Ron Hubbard and RTC including but not limited to the assignment of such trademarks on two documents entitled Assignment Agreements, their examination by professional questioned document examiners, their examination by John L. Swanson, and Ermgart Wassard and the conclusions of such examinations as to the authenticity of the signatures of L. Ron Hubbard, David Miscavige and the official witness to those \Miscavige Subponea\Page.00023 questioned signatures; and 121. David Miscavige's knowledge of all ethics orders, sec checking, suppressive person declares, and expulsions involving Kingsley Wimbush and Steve Surrey and John Zegel and the various committees of evidence convened regarding each; and 122. David Miscavige's knowledge of the OT Committee John Cavan, Peers Gardtrum, and the alleged illegal activities of the Church of Scientology in Spain; and David Miscavige's knowledge of the details of Mission Category Corporate Sortout as handled by Laurel Sullivan; and 123. David Miscavige's knowledge of the elimination of all of LRH's comm lines except his own during the years 1977 and 1986; and 124. David Miscavige's knowledge of the establishment of The Watchdog Committee and CMO Int's responsibility for church management as of September 1, 1979; and 125. David Miscavige's knowlege of the indictment of L. Ron Hubbard by a Tampa Grand Jury in February 1980; and 126. David Miscavige's knowledge of the personal history of L. Ron Hubbard insofar as it was involved in the Armstrong case; and 127. The circumstances of the establishment of the All Clear Committee, Project All Clear, the original composition of the All Clear Committee and the circumstances of successive changes in the composition of the All Clear Committee; and 128. David Miscavige's Communications in 1981 with Mary Sue \Miscavige Subponea\Page.00024 Hubbard regarding relationships and responsibilities of the CMO and the Guardian's office, the takeover of the Guardian's office by CMO and the telexes from L. Ron Hubbard to Jane Kember ordering her to step down from the Guardian's Office; and 129. David Miscavige's knowledge of the circumstances surrounding, and the purposes for, the establishment and incorporation of Religious Technology Center and Author's Services, Inc.; and 130. David Miscavige's knowledge of the relationship between Religious Technology Center and the rest of the Churches of Scientology; and 131. David Miscavige's knowledge of those persons who were pulled off post in July and August in 1982; COMM EV'd, declared and expelled; and 132. David Miscavige's knowledge of the handling of various 'squirrels', and that certain "EYES ONLY" dispatch from David Miscavige to Marc Yaeger, the CO CMO INT that called for the squashing of the 'squirrels'; and 133. David Miscavige's knowlege of the amount of money spent by RTC, CSI and other Church of Scientology churches on legal expenses for the past ten years; and 134, David Miscavige's knowledge of the handling of suppressive persons, potential trouble sources, enemies of the church, adverse litigants and opposing counsel; and 135. David Miscavige's knowledge of the phrase "acceptable truth" as used in Scientology; and \Miscavige Subponea\Page.00025 136. David Miscavige's knowledge of improper and/or illegal financial activities on the part of Peter Letterese, Barbara Letterese, Nancy Witkowski, Fred Hare, Michael Hambrick, Pat Clouden and Steven Fishman and all vetting, culling, sec checs, drilling, cramming or ethics orders in relation thereto; and 137. David Miscavige's knowledge of the deposition herein of Garry L. Scarff, Timothy Bowles, Lynn Farney, Peter Letterese and Barbara Hambrick and all hatting, cramming, drilling, sec checs, vetting or culling in relation thereto; and 138. David Miscavige's knowledge of any and all murders, suicides and/or financial scams involving Scientologists, Scientology staff, sea org members, Scientology entities and Scientology related entities or affiliates, fraternal organizations or WISE members; and \Miscavige Subponea\Page.00026 139. David Miscavige's knowledge of all 'red box data'; and 140. Any drilling, cramming, sec checs, orders, instructs, dispatches, or sessions requested by, given to, and/or ordered by David Miscavige, or any other RTC, CSII OSA or Scientology staffer, employee or agent, in connection with this notice of deposition. ================================================================= 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. Under certain conditions specified by law, libraries and archives are authorized to furnish a photocopy or other reproduction. 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