Saturday, December 27, 2014

The First Settlement Offer dated 14 Dec. 2014

By: Rene Helmerichs
Written: 14 Dec. 2014
Paginate: Settlement Offer

1.      The First Settlement Offer dated 14 Dec. 2014.
To: Attorneys For Mister Gunter Wolfgang Lorberg.
Re: SC-14-1335 at Barrie, Rene Helmerichs vs. Gunter Wolfgang Lorberg.

2.      McCarthy Law, with letter for the matter of the suit, did confirm service to have been received. That action was all that Mr. Helmerichs had required before publicating the allegations in person outside our courts.

3.      Mr. Helmerichs is quite aware that prevailing consideration may interfere with the honest and expeditious hearing of facts disputed. Accordingly, he offers this letter for settlement.

4.      Mr. Lorberg is a registered forensic psychiatrist. Superficially, this does sound grandiose until one considers the profession to be registered specifically to ensure a common standard of practice. Because the practice is government-regulated, there is also government-provided legal service for physicians in such matters as our case EXCEPT when the physician did so severely contravene conventional law that government funding cannot be provided for defense of the allegations. A physician is best compared to a stand-alone corporate entity.

5.      Lawyers, that Mr. Lorberg irreprably broke the law is NOT for dispute. In fact, need for Mr. Lorberg to use private counsel does directly evidence his guilt. Compounding matters, Mr. Lorberg has retained the lawfirm with direct association to Superior Court judge Mr. McCarthy. This same judge has attempted to vexatiously prevent the hearing of numerous more civil suits in direct contravention of Criminal Code s.176 and the Spirit of the law.

6.      Mr. Helmerichs is somewhat creative and not without means.

7.      Advertisement for the New Goal Day charity Talk To Dream shall continue while Mr. Helmerichs is alive, with eternal life.

8.      Mr. Helmerichs is currently in partnership with several clients of the Methadone clinic at 20 Owen Street in Barrie, the same clinic for which Mr. Lorberg is a group partner as owner and administrator.

9.      Criminal Code section 215(1)(c)(iii) does obligate physicians selling addictive substances for personal financial gain to only provide those substances in conjunction with the addiction-abuse counselling services exclusively seeking to decrease Methadone addiction.

10. There are no shortage of persons and numerous previous complaints put forward that testify Methadone to be as liquid handcuffs for the stringent monitoring clients undergo with probation-like visits more frequent than any normal probation orders could facilitate.

11. Mr. Lorberg is not known to provide addiction-reducing counselling services. In fact, as contract psychiatrist for the Penetang superjail C.N.C.C., Mr. Lorberg has little time for any counselling whatsoever. This is supported with the common inmate knowledge that Mr. Lorberg happily provides any remotely justifiable prescription to inmate if only to appease re-sale demand. Drugs prescribed inside CNCC retail like cash for canteen items and, believe it or not, even direct money paid through contacts outside jail.

12. Mr. Lorberg is well aware of his predicament. Pills are not the problem. The problem is the wanton psychosis perpetuating the folly of keeping individuals such as Rene Helmerichs confined in the psychiatric prison within the walls of CNCC, range 2C, merely because the former college professor desired to have two psychiatrists, Anjana Chawla and Liaqat Ali, arrested for Criminal Code s.269.1 defined torture. See www.talk2dream.me.

13. Since Mr. Helmerichs has now nothing left to lose following the 16 months of solitary confinement that Mr. Lorberg claimed to be necessary without ever once conducting a legitimate mental assessment of or for Mr. Helmerichs to utterly disrepute their maladministration of justice, Mr. Lorberg is offered this exclusive opportunity to make amends with Rene before this very letter, or one even better, is advertised with major ferocity simply not imaginable to sufferers of a major mental illness.

14. The attached email from Natalie Yewchyn in the recent 6 and 7 Dec. 2014 mailings to all crown attorneys at Barrie and the national Minister For Justice Canada, conveniently available from the 6 Dec. 2014 tweet in the profile of Mr. Helmerichs on TWITTER @talk2dream, does merit both the charges of s.180 and s.132 to Ms. Yewchyn-Halloway following her false news begun, and misleading psychiatrists, in Sept. of 2012:

15. The settlement amount of $25,000 paid Mr. Helmerichs in 5 annual installments of $5,000 shall begin this very Christmas Day 2014 with cheque payable to Fan-Xiu Hsiao mailed to Box 578 Orillia, ON, Canada, L3V 6K5 if Mr. Lorberg seeks not further disrepute of his medical practice on grounds herein cited.

16. Mr. Lorberg and attorneys are advised that Mr. Helmerichs has indeed had a book publishing contract in place to market Talk To Dream already in June of 2012, yes 2012, and had clearly stated intent to run for Prime Minister of Canada already to Ms. Chawla in the audio recording of 26 Oct. 2012 available for free download from www.renehelmerichs3.blogspot.ca, the 4 July 2014 post.

17. This letter shall be published at the continuation of the blog irrespective of settlement decision. Settlement agreement is The Choice to be Highly regarded in honesty and not longer irreparably defamed.

18. “So as ye do to these the least of my brethren, so do you request to be done to you BECAUSE, ultimately, we are all of one kind and do therewith share in only one mind.”

19. “Judge not, lest ye be judged the measure ye have met out. Seek and ye shall find BECAUSE COMPASSION IS THE LAW OF OUR MINDS.” Signed,

Rene Helmerichs   14 Dec. 2014 from CNCC Penetang.



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