Department of Health Care Services Licensing and Certification Section Status Report
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The Miscavige Legal Statements: a Study in Perjury, Lies and Misdirection
SPEAKING OUT ABOUT ORGANIZED SCIENTOLOGY ~ The Collected Works of L. H. Brennan ~ Volume 1 The Miscavige Legal Statements: A Study in Perjury, Lies and Misdirection Written by Larry Brennan [Edited & Compiled by Anonymous w/ <3] Originally posted on: Operation Clambake Message board WhyWeProtest.net Activism Forum The Ex-scientologist Forum 2006 - 2009 Page 1 of 76 Table of Contents Preface: The Real Power in Scientology - Miscavige's Lies ...................................................... 3 Introduction to Scientology COB Public Record Analysis....................................................... 12 David Miscavige’s Statement #1 .............................................................................................. 14 David Miscavige’s Statement #2 .............................................................................................. 16 David Miscavige’s Statement #3 .............................................................................................. 20 David Miscavige’s Statement #4 .............................................................................................. 21 David Miscavige’s Statement #5 .............................................................................................. 24 David Miscavige’s Statement #6 .............................................................................................. 27 David Miscavige’s Statement #7 .............................................................................................. 29 David Miscavige’s Statement #8 ............................................................................................. -
In the State Court of Dekalb County State of Georgia
IN THE STATE COURT OF DEKALB COUNTY STATE OF GEORGIA PATRICK C. DESMOND, MARY C. DESMOND, Individually, and MARY C. § DESMOND, as Administratrix of the Estate § of PATRICK W. DESMOND § § Plaintiffs, § v. ? Civil Action File No: 10A28641-2 NARCONON OF GEORGIA, INC., NARCONON INTERNATIONAL, DELGADO DEVELOPMENT, INC., SOVEREIGN PLACE, LLC, SOVEREIGN PLACE APARTMENT MANAGEMENT, INC., LISA CAROLINA ROBBINS, M.D., and THE ROBBINS GROUP, INC. Defendants. DEFENDANT NARCONON OF GEORGIA, INC.'S RESPONSE TO PLAINTIFFS' CONSOLIDATED MOTION, MEMORANDUM AND SUPPLEMENTAL MEMORANDUM TO UNSEAL DOCUMENTS COMES NOW, Narconon of Georgia, Inc. ("Defendant") in the above styled civil action and files its Response to Plaintiffs' Consolidated Motion, Memorandum and Supplemental Memorandum to Unseal Documents showing the Court as follows: I. STATEMENT OF FACTS The above-referenced matter was filed on May 19, 2010, in which Plaintiffs seek damages for the alleged wrongful death of Patrick Desmond. Patrick Desmond died due to cardiopulmonary arrest secondary to a heroin overdose. In their Complaint, Plaintiffs assert a variety of causes of action against the Narconon Defendants for their alleged failure to provide safe, properly licensed, legally operated, scientifically and medically based rehabilitation treatment services to Patrick. (See generally, Complaint). Because of the nature of the discovery process, Plaintiffs have been allowed access to highly sensitive and even confidential information concerning employees and students of Narconon of Georgia and its structure and operation. Recognizing the privacy concerns of the Narconon Defendants, the parties entered into an agreement to treat certain documents and information confidential and limiting the use of such information as needed for this litigation. -
2016-2017 Directory
NATSAP 2016-2017 DIRECTORY 2016-2017 DIRECTORY TABLE OF CONTENTS Page About NATSAP ........................................................................................ 2 NATSAP Ethical Principles ...................................................................... 3 Program Definitions ...................................................................................4 Questions to Ask Before Making a Final Placement .................................5 - 8 NATSAP Board of Directors and Staff ......................................................9 NATSAP Alumni Advisory Council ..........................................................10 Member Benefits........................................................................................ 1 - 13 Membership Levels.................................................................................... 14 Member Programs ..................................................................................... 15 - 179 Individual Professional Members .............................................................. 180 - 202 Affiliate Members.................................................................................................. 203 - 206 Program Listing: By State ............................................................................................... 208 - 211 By Gender............................................................................................ 212 - 216 By Age ................................................................................................. 217 -
Case 1:15-Cv-00037 Doc #1 Filed 01/14/15 Page 1 of 14 Page ID#1
Case 1:15-cv-00037 Doc #1 Filed 01/14/15 Page 1 of 14 Page ID#1 IN THE UNITED STATES DISTRICTCOURT FOR THE WESTERNDISTRICT OF MICHIGAN SOUTHERN DIVISION Civil Action No. LAUREN PREVEC, an Ohio Citizen; JANNETTE PREVEC, an Ohio Citizen; and FRANK PREVEC, an Ohio Citizen, Plaintiff, V. NARCONON FREEDOM CENTER, INC.; ASSOCIATION FOR BETTER LIVING AND EDUCATION INTERNATIONAL; NARCONON EASTERN UNITED STATES; NARCONON INTERNATIONAL, and DOES 1-100, ROE Corporations I - X, inclusive, Defendants. Jeffrey P. Ray (P31098) Attorneys for Plaintiff JEFFREY P. RAY, P.C. 2500 Lake Lansing Road, Suite A Lansing,MI 48912 (517)372-5700 i eff(%Qtisravlaw,com Plaintiffs Lauren Prevec, Jamiette Prevec, and Frank Prevec("Plaintiffs"),through counsel, JEFFREY P. RAY, P.C., allege the following: I. PARTIES 1. Plaintiffs Lauren Prevec, Jannette Prevec, and Frank Prevecwere, and at all relevant times to this Complaint are residents of Ohio. 1 Case 1:15-cv-00037 Doc #1 Filed 01/14/15 Page 2 of 14 Page ID#2 2. Defendant Narconon Freedom Center, Inc. (hereafter "NFC"), is, and at all times relevant to this Complaint was, a corporation incorporated under the laws of, and with its principal place of business in, the State of Michigan. NFC has been at all relevant times transacting business in Albion, Michigan. 3. Defendant Narconon International ("NI") is a California coiporation with its headquarters in Los Angeles, California. 4. N1 is the principal and licensor of Defendant NFC. N1 exercises control over the time, manner, and method ofNFC's operations. 5. N1 was doing business in the State of Michigan by and through its agent and licensee Defendant NFC. -
Ryan A. Hamilton CA Bar No. 291349 HAMILTON LAW
Case 3:14-cv-00586-LAB-KSC Document 7 Filed 05/05/14 Page 1 of 17 1 Ryan A. Hamilton CA Bar No. 291349 2 HAMILTON LAW 5125 S. Durango Dr., Ste. C 3 Las Vegas, NV 89113 (702) 818-1818 4 (702) 974-1139 (fax) [email protected] 5 Attorney for the plaintiffs, 6 Christy Estrada and Branden Chavez 7 UNITED STATES DISTRICT COURT 8 FOR THE SOUTHERN DISTRICT OF CALIFORNIA 9 CHRISTY ESTRADA, a New Mexico Citizen; 10 and BRANDEN CHAVEZ, a New Mexico Citizen, Case No. 3:14-cv-00586-LAB-KSC 11 Plaintiffs, 12 vs. THIRD AMENDED COMPLAINT 13 AND JURY DEMAND NARCONON FRESH START d/b/a 14 SUNSHINE SUMMIT LODGE; 15 ASSOCIATION FOR BETTER LIVING AND EDUCATION INTERNATIONAL; 16 NARCONON INTERNATIONAL and DOES 1- 100, ROE Corporations I – X, inclusive, 17 Defendants. 18 19 20 Plaintiffs Christy Estrada and Branden Chavez (“Plaintiffs”), by and through counsel, 21 Ryan Hamilton of Hamilton Law, LLC, allege the following: 22 I. 23 PARTIES 24 1. Plaintiffs Christy Estrada and Branden Chavez were, and at all relevant times to this 25 Complaint are, citizens of New Mexico. 1 Case 3:14-cv-00586-LAB-KSC Document 7 Filed 05/05/14 Page 2 of 17 1 2. Defendant Narconon Fresh Start (hereafter “Fresh Start”), is, and at all times relevant to 2 this Complaint was, a corporation incorporated under the laws of, and with its principal place of 3 business in, the State of California. Fresh Start has been at all relevant times transacting business 4 in Warner Springs, San Diego County, California. -
Plaintiff SARAH LOCATELLI in Pro Per (530) 274-8198 (Phone/Fax)
Plaintiff SARAH LOCATELLI In Pro Per (530) 274-8198 (phone/fax) SUPERIOR COURT FOR THE STATE OF CALIFORNIA COUNTY OF NEVADA SARAH LOCATELLI, an individual, ) Case No. L75070 ) ) UNLIMITED CIVIL CASE Plaintiff, ) ) vs. DECLARATION OF SARAH LOCATELLI NARCONON SOUTHERN CALIFORNIA, a ) ) IN SUPPORT OF THE OPPOSITION TO California corporation, NARCONON ) MOTION TO CHANGE VENUE JOSHUA HILLS, a California corporation, and ) DOES 1 through 20 inclusive, ) Date: September 25, 2009 ) ) Time: 10:00 a.m. Defendants. ) Date action filed: June 29, 2009 ) Trial Date: None yet ) ) ) ) ) ) ______________________________________) I, Sarah Vogel, declare: I stand by my Complaint and ask that the Court consider it while reading this DECLARATION presented to the Court as an incorporated document in support of the OPPOSITION TO MOTION TO CHANGE VENUE. I never signed a written contract with any Narconon organization. The extent of the contract between the parties in this case is the telemarketing calls to and from and between fake referral help line phone number acting as a Narconon representative (Desiree Romero) and an employee of Narconon (Micki Allen) who took my credit card information when I agreed to purchase "Joshua Hills" rehabilitation services and later the 2 post dated checks made out to Narconon Southern California which I faxed copy of and then sent originals in the mail based upon what I was told to do. I never received a receipt for the deposit monies I paid by credit card; I was never informed that my deposit was going to any other entity besides the fictitious " Joshua Hills" which I was told by the rep was the California equivalent of "St Jude's of Nebraska". -
Association for Narconon Easter
Case 1:15-cv-00054 Doc #1 Filed 01/21/15 Page 1 of 15 Page ID#1 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTMCT OF MICHIGAN Civil Action No. JOSHUA CURREY, a West Virginia Citizen, Plaintiff, V. NARCONON FREEDOM CENTER; ASSOCIATION FOR BETTER LIVING AND EDUCATION INTERNATIONAL; NARCONON EASTERN UNITED STATES; NARCONON INTERNATIONAL, and DOES 1-100, ROE Corporations I - X, inclusive, Defendants. Jeffrey P. Ray (P31098) Attorneys for Plaintiff JEFFREY P. RAY, P.C. 2500 Lake Lansing Road, Suite A Lansing,MI 48912 (517)372-5700 i eff(%otisraylaw. corn Plaintiff Joshua Currey ("Plaintiff"), through counsel, JEFFREY P. RAY, P.C., alleges the following: I. PARTIES 1. Plaintiff Joshua Currey is, and at all relevant times to this Complaint was, a resident of the State of West Virginia. 2. Defendant Narconon Freedom Center (hereafter "NFC"), is, and at all times relevant to this Complaint was, a corporation incorporated under the laws of, and with its principal place of 1 Case 1:15-cv-00054 Doc #1 Filed 01/21/15 Page 2 of 15 Page ID#2 business in, the State of Michigan. NFC has been at all relevant times transacting business in Albion, Michigan. 3. Defendant Narconon International ("NI") is a California corporation with its headquarters in Los Angeles, California. 4. N1 is the principal and licensor of Defendant NFC. N1 exercises control over the time, manner, and method ofNFC's operations. 5. N1 was doing business in the State of Michigan by and through its agent and licensee Defendant NFC. 6. NFC and N1 are agents of the Association for Better Living and Education ("ABLE"). -
Scr29 Engr.Pdf
ENGROSSED SENATE CONCURRENT RESOLUTION NO. 29 By: Shurden of the Senate and Harrison of the House A Concurrent Resolution acknowledging Narconon Arrowhead for its commitment to the eradication of substance abuse; commending Narconon Arrowhead for its successful program design; wishing Narconon Arrowhead continued long and successful experience in the State of Oklahoma; and directing distribution. WHEREAS, Narconon has been successfully operating a drug and alcohol rehabilitation facility accredited by the Commission on Accreditation or Rehabilitation Facilities (CARF), as well as a drug education center in Oklahoma since 1992. Narconon has offered its lifesaving drug and alcohol rehabilitation services to more than 2,600 individuals using its own personnel and financial resources and at no cost to the State of Oklahoma; and WHEREAS, Narconon has invested more than $20 million into its operations, most of this money from outside the State of Oklahoma. This includes $5.5 million spent recently on the purchase and renovation of the Arrowhead Lodge in Pittsburg County, the home since September 2001 of Narconon Arrowhead, a 230-bed residential drug and alcohol rehabilitation program; and WHEREAS, Narconon has plans to add four additional buildings in Pittsburg County at a cost of ten to twelve million dollars in new facilities and land development projects over the next three years so that it can provide additional specialized drug rehabilitation and education services. Narconon is using its own resources to raise these funds; and WHEREAS, since opening the Arrowhead drug rehabilitation and education center, Narconon has delivered drug education programs to more than 58,000 young people in Oklahoma schools, youth groups, and church camps throughout the state. -
Scientology and Estate Planning Handout Materials Are Available for Download Or Printing on the HANDOUT TAB on the Gotowebinar Console
11/12/2019 Scientology and Estate Planning Handout materials are available for download or printing on the HANDOUT TAB on the gotowebinar console. If the tab is not open click on that tab to open it and view the materials. 1 1 Scientology and Estate Planning By: Thomas Cummins and Martin Shenkman, Esq. 2 2 General Disclaimer The information and/or the materials provided as part of this program are intended and provided solely for informational and educational purposes. None of the information and/or materials provided as part of this power point or ancillary materials are intended to be, nor should they be construed to be the basis of any investment, legal, tax or other professional advice. Under no circumstances should the audio, power point or other materials be considered to be, or used as independent legal, tax, investment or other professional advice. The discussions are general in nature and not person specific. Laws vary by state and are subject to constant change. Economic developments could dramatically alter the illustrations or recommendations offered in the program or materials. 3 3 1 11/12/2019 Additional Disclaimer If there are any errors in how a particular faith is portrayed please email [email protected] and I will correct the materials and recirculate them. There was no intent to provide more or less coverage of the impact of any particular faith on estate planning. Rather, the objective was to use customs of various faiths to illustrate how planning can be tailored to respect and reflect the precepts of any faith. If you feel something important, or a particular faith’s omissions in the materials should be addressed email me relevant information at [email protected] and I will correct the materials and recirculate them. -
181-September:Masternl 1-20.Qxd
Places for Struggling Teens™ Published by Woodbury Reports, Inc.™ “It is more important to get it right, than to get it first.” September 2009 - Issue #181 WHY PARENTS FLEE PUBLIC JUVENILE FACILITIES By Lon Woodbury One of the most common fears I hear from parents looking for help for their struggling teen is the fear that their child will wind up in the juvenile justice system. Many will do anything they can to avoid that fate for their child. Why do so many parents have this fear? Parents read and hear a constant drumbeat of horror stories about what sometimes happens to children placed in these public programs. The following are just a few of the stories I have run across lately while surfing the net as a sample of what parents are hearing: • In July, the Atlanta Journal-Constitution reported a suicide at a public “psychoeducational” school for emotionally disturbed children by a boy who had such a horrible time at the special public school, that he hung himself. According to the article, students there were frequently placed in an “Isolation Room,” were spanked, restrained and criticized. The title of the story was Death Highlights Lack Of Regulation At ‘Psychoeducational’ Schools. • In August, a 20-year Canadian study following 779 low-income youth in Montreal found that children who entered the juvenile-justice system even briefly “were twice as likely to be arrested as adults, compared with kids with the same behavior problems who remained outside the system.” Why Juvenile Detention Makes Teens Worse. • And then there is the study released last March tracking Los Angeles juvenile offenders over seven years. -
USDC IN/ND Case 1:16-Cv-00101-JD-SLC Document 1 Filed 03/24/16 Page 1 of 34
USDC IN/ND case 1:16-cv-00101-JD-SLC document 1 filed 03/24/16 page 1 of 34 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF INDIANA 1. NATIONAL ASSOCIATION OF FORENSIC ) COUNSELORS, INC., a Nevada Non-Profit ) Corporation, and ) 2. AMERICAN ACADEMY OF CERTIFIED ) FORENSIC COUNSELORS, INC., d/b/a ) AMERICAN COLLEGE OF CERTIFIED ) FORENSIC COUNSELORS, a Nevada For- ) Case No. 1:16-cv-101 Profit Corporation, ) ) Plaintiffs, ) ) v. ) ) 1. NARCONON INTERNATIONAL, a ) California Non-Profit Corporation; ) 2. NARCONON OF GEORGIA, INC., a Georgia ) Jury Trial Demanded Non-Profit Corporation; ) Attorney Lien Claimed 3. FRIENDS OF NARCONON INTL., a ) California Non-Profit Corporation; ) 4. PREMAZON, INC., a California ) Corporation; ) 5. NARCONON SPRING HILL, INC., d/b/a ) SUNCOAST REHABILITATION CENTER, a ) Florida Non-Profit Corporation; ) 6. BEST DRUG REHABILITATION, INC., a ) Nevada Non-Profit Corporation; ) 7. A LIFE WORTH LIVING, INC. d/b/a ) NARCONON COLORADO - A LIFE WORTH ) SAVING, a Colorado Non-Profit Corporation; ) 8. NARCONON FRESH START, INC., a ) California Non-Profit Corporation; ) 9. NARCONON SOUTH TEXAS, INC., a Texas ) Non-Profit Corporation; ) 10. NARCONON EASTERN UNITED STATES, ) INC., a Virginia Non-Profit Corporation; ) 11. ASSOCIATION FOR BETTER LIVING AND ) EDUCATION INTERNATIONAL, a California ) Non-Profit Corporation; ) 12. RELIGIOUS TECHNOLOGY CENTER, a ) California Non-Profit Corporation; ) 13. NARCONON FREEDOM CENTER, INC., a ) Michigan Non-Profit Corporation; ) 14. GOLDEN MILLENNIUM PRODUCTIONS, ) 1 USDC IN/ND case 1:16-cv-00101-JD-SLC document 1 filed 03/24/16 page 2 of 34 INC., a California Corporation; ) 15. INTERNATIONAL ACADEMY OF ) DETOXIFICATION SPECIALISTS, a California ) Non-Profit Corporation; ) 16. -
Exhibit FF 19-32305 Hearing Transcripts
1 STATE OF CONNECTICUT DEPARTMENT OF PUBLIC HEALTH OFFICE OF HEALTH STRATEGY NEWPORT ACADEMY ESTABLISHMENT OF TWO HEALTH CARE FACILITIES (MENTAL HEALTH RESIDENTIAL LIVING CENTERS) IN FAIRFIELD, CONNECTICUT DOCKET NO. 19-32305-CON MARCH 4, 2020 1:00 P.M. FAIRFIELD UNIVERSITY 200 BARLOW ROAD FAIRFIELD, CONNECTICUT POST REPORTING SERVICE HAMDEN, CT (800) 262-4102 2 HEARING RE: NEWPORT ACADEMY MARCH 4, 2020 1 . .Verbatim proceedings of a hearing 2 before the State of Connecticut, Department of Public 3 Health, Office of Health Strategy, in the matter of 4 Newport Academy, Establishment of Two Health Care 5 Facilities (Mental Health Residential Living Centers) in 6 Fairfield, Connecticut, held at Fairfield University, 200 7 Barlow Road, Fairfield, Connecticut, on March 4, 2020 at 8 1:03 p.m. 9 10 11 12 HEARING OFFICER MICHEALA MITCHELL: Good 13 afternoon, everyone. We’re going to go ahead and get 14 started. 15 This public hearing before the Health 16 Systems Planning Unit of the Office of Health Strategy, 17 identified by Docket No. 19-32305-CON, is being held on 18 today, March 4, 2020, to consider Newport Academy’s 19 application for the establishment of two mental health 20 residential living centers in Fairfield, Connecticut. 21 This public hearing is being held pursuant 22 to Connecticut General Statute, Section 19a-639a, and 23 will be conducted as a contested case, in accordance with 24 the provisions of Chapter 54 of the Connecticut General POST REPORTING SERVICE HAMDEN, CT (800) 262-4102 3 HEARING RE: NEWPORT ACADEMY MARCH 4, 2020 1 Statutes.