OSWPCA: Sunshine / Threats by the Mayberry Mafia, OSWPCA - 26Apr2012

Text facsimile
--------------------------> Joel R. Anderson

                            13 George Drive
                            Old Saybrook CT 06475-2636
                            860 388-9858
                            oswpca.com
                            govtwork.org
                            26 April 2012
Peter A. McShane, State's Attorney
1 Court St, Ste 100
Middletown 06457-3374

Complexity is fraud.

Dear State's Attorney McShane:

Re Old Saybrook's Mayberry Mafia, the Water Pollution Control Authority [WPCA].

It is not a proper function of government to make threats.

If Old Saybrook's Wastewater Management District [WWMD] Ordinance cannot be enforced in a court of law it is ipso facto illegal.

I have written letters to the Town addressing the issue of illegality. They are ignored.

E.g:

To: Carl P. Fortuna Jr., 1st Selectman
Date: 21 December 2011
Subject: 1. Cite the specific section of law that
authorizes the Town's Health Officer to issue
ultimatums on WWMD financing.

From: Carl Fortuna cfortuna@town.old-saybrook.ct.us
To: joel anderson sunshineonseptics@gmail.com
CC: cpfortuna@fortunaandcartelli.com
Date: Fri, Dec 23, 2011 at 1:27 PM
Subject: (No answer to Question 1 (cited above).)

From: CONNECTICUT RIVER AREA HEALTH DISTRICT
Date: February 16, 2012
To: Joel R. and Judith M. Anderson
Subject: This letter shall serve as a final warning.
Should the application for entry into the Decentralized
Wastewater Management Program not be received by the
Director of Health within thirty days of the date of this letter
formal action will be taken as set forth in the Ordinance.

To: Mary Jane Engle, MPH, R.S., Director (CRAHD)
Date: 9 March 2012
Subject: Re (CRAHD) Connecticut River Area Health
District's application form "Exhibit A." Is Exhibit A
a DPH Commissioner-approved form?

From: Jewel Mullen, M.D., M.P.H., M.P.A., DPH Commissioner
Date: March 21, 2012
To: Joel R. Anderson
Subject: Re: CRAHD Exhibit A ... In your letter you asked
whether the Department approved Exhibit A as equivalent to
Form #1 in accordance with Public Health Code Section 19-13-
B103e (c) (2) (B). The answer to your question is no.

To: Carl P. Fortuna Jr., First Selectman
Date: 20 April 2012
Subject: The Town/WPCA/CRAHD's "Exhibit A" is not
a valid Application.

--

My letters, and the replies (if any), can be found in order by date on oswpca.com. See oswpca.com for the letters' details summarized in the Subject lines above.

The Town is taking property, $42 million, from Wastewater Managment District property owners, bluffing owners (with Exhibit A) into accepting federal Clean Water loans (or worse) to satisfy a recognized deficiency of the Town, absent allegation that any owners' property is polluting.

What recourse do I have to being threatened by the Town (16Feb12) with a fraudulent document, Exhibit A?
                             Very truly yours,

                             Joel R. Anderson

N.B: a copy of this letter is posted to oswpca.com.
  Electronic and paper copies have been distributed
  to interested parties.
c:
Attorney General Eric H. Holder Jr.
U.S. Department of Justice
950 Pennsylvania Avenue, NW
Washington, DC 20530-0001