TEXT OF DOCUMENT IN COURT FILE ---- OBJECTION TO DENNISON MOTION TO STRIKE

1st May, 2010 
Dr. William H Dean
128  3rd Ave at 3rd Street
St. Albans, WV 25177          Ph: 304.727.9372

P. Michael Muncy
P.O.  Box 271
Pursglove, WV 26546          Ph: 909.549.7110

Ms. Wendy Zucal, Ms. Carrie Callahan            
Dennison Railroad Depot Museum
c/o Brad L. Hillyer, Esq., Attorney
                                         
Uhrichsville, Ohio   44683  Ph: 740.922.4161

Mr. Nick Kallas, in his individual capacity.                                 
c/o Joseph J. Golian, Esq., Attorney
2109 Stella Court
Columbus, Ohio  43215 Ph: 614.545.0439

Rockne Clarke, Clerk of Courts
Tuscarawas County Common Pleas Court
125 East High Avenue
New Philadelphia, Ohio  44663 

Fifth District Court of Appeals                                                      CERTIFIED MAIL
Attention: Cindy, Appeals Clerk                                            
125 East High Avenue
New Philadelphia, Ohio 44663
Ref: Civil Action Styled Dennison Rail Road Museum, Inc., vs. Nick Kallas (On Appeal: 2009-AP100051) 
To whom it may concern;
Please be advised that I am, through my post office mailing address, in receipt of a MOTION TO STRIKE, from Brad L. Hillyer, attorney for the Dennison Railroad Depot Museum. Attached hereto (Exhibit A), is a copy of the envelope and that document which is addressed to P.William Muney. In my nigh on 60 years I have been called a lot of things, many of which were prefaced by expletive delete’s, but I have never before been known as P. William anything. As a non-attorney I have been known to make typographical and syntax mistakes, however I usually try to at least get the names of the parties correct.
If I were a direct party to this action, I believe that I would move for some sort of Writ of Error on the matter. In addition, I must take exception to the allegation by the learned attorney with regard to his fugitive statement that the claims made by William H. Dean and P. Michael Muncy herein are “frivolous and without merit.”
Attached hereto and made part hereof as (Exhibit B) is a copy of the 1989 order in West Virginia, styled, St Albans Firefighters Association, Local 1155, AFL-CIO, v. The 2700 Preservation and Restoration and Restoration Society, et al., Civil Action  86-C-2344 to which a Declaratory Order and Judgment affirms the ownership of the subject 2700 Steam Engine to the 2700 Preservation and Restoration Society, Inc. Please find also attached hereto and made part hereof as (Exhibit C) a copy of the January 7th 1991 order entered in the Stark County Court, Canton, Ohio, styled 2700 Preservation and Restoration Society, Inc., v. Silver Throttle Engine Association and Museum et al.(S.T.E.A.M.), Case 90-1370, an Agreed Entry, with Prejudice to the defendant S.T.E.A.M. , which voids that lease and returns full control of the subject engine, its parts and,  appliances to the same not for profit corporation.
At this juncture, I would herein stipulate that Mr. Dean and I are not without merit with regard to our claim and with regard to the title and ownership of the engine. We further believe that the outcome of your court, will have little effect on our efforts to recover our engine through a new Civil Action asserting our attack through a REPLEVIN and CONVERSION ACTION.
As such, we covet the decision that is to be made by your “Honorable Tribunal” and will make a decision following your ruling as to the final direction we take in protecting our interests.
Sincerely,

                                                                              P. Michael Muncy, Pro Se
cc: Dr. William H. Dean
128 Third Avenue
St. Albans, WV 25177