Friday, August 23, 2019

AMERICAN JUSTICE SYSTEM FAILS THOUSANDS OF PLAINTIFFS AS IT CRUMBLES UNDER THE WEIGHT OF CORRUPTION BY ATTORNEYS & JUDGES. FIGHT WITH ME AGAINST UNEQUAL JUSTICE IN MASSIVE #MESH MULTIDISTRICT LITIGATION IN WEST VIRGINIA ~ ~ MOTION TO RECUSE JUDGE JOSEPH R. GOODWIN FILED AUGUST 23, 2019

PRESIDENT DONALD J. TRUMP SEES THE AMERICAN JUSTICE SYSTEM
CRUMBLING FROM THE WEIGHT OF
THE CORRUPTION IN THE COURT SYSTEM
THE WHITE HOUSE. WASHINGTON, D.C.07/27/2010
@all rights reserved Lana C. Keeton
MOAR RALLY, WASHINGTON, D.C. 09/08/2018
@all rights reserved Lana C. Keeton

THE DAILY DROP”
The Legal Cartel: Facts, Rumors & Innuendos

“LANA C. KEETON’S MOTION FOR RECUSAL OF JUDGE JOSEPH R. GOODWIN & MEMORANDUM OF LAW” “DUE TO PERSONAL BIAS and PREJUDICE AGAINST LANA C. KEETON and POTENTIAL MISHANDLING OF COMMON BENEFIT FUNDS”

by…..   Lana C. Keeton
Med Device Expert LLC
Legal Consultant  .  Medical Device Expert
© 2005 – 2019 Lana C. Keeton All rights reserved.
This material may not be published, broadcast, rewritten or redistributed
Volume II, Issue 6, August 23, 2019

901 Pennsylvania Avenue, Suite 3-423, Miami Beach, FL 33139
305.671.9331 phone  .  800.509.9917 fax  .  305.342.8002 cell phone

LET'S FIGHT 
UNEQUAL JUSTICE UNDER THE LAW
IN MULTIDISTRICT LITIGATION 
TOGETHER

ACTUAL COURT DOCUMENT...  Excerpt from LANA C. KEETON"s
Case 2:12-md-02327 Document 8580 Filed 08/23/19 Page 1 of 16 PageID #: 207547

Page 1 of 16
“LANA C. KEETON’S
MOTION FOR RECUSAL OF JUDGE JOSEPH R. GOODWIN &
MEMORANDUM OF LAW”
“DUE TO PERSONAL BIAS and PREJUDICE AGAINST LANA C. KEETON
and POTENTIAL MISHANDLING OF COMMON BENEFIT FUNDS”

“Pursuant to 28 U.S.C. § 455 (a) and certain sections of 28 U.S.C. § 455  (b), Plaintiff Pro Se Litigant, Legal Consultant and Medical Device Expert LANA C. KEETON calls for Judge Joseph R. Goodwin to recuse himself from any further adjudication of Keeton’s rightful legitimate claims to be paid from the Common Benefit Fund(s) of:”
“IN RE: C.R. BARD, INC.                                       MDL NO. 2187
IN RE: AMERICAN MEDICAL SYSTEMS, INC  MDL NO. 2325
IN RE: BOSTON SCIENTIFIC                                MDL NO. 2326
IN RE: ETHICON, INC.                                           MDL NO. 2327
IN RE: COLOPLAST                                                MDL NO. 2387
IN RE: COOK MEDICAL, INC                                MDL NO. 2440
IN RE: NEOMEDIC                                                   MDL NO. 2511”

                Page 15 of 16
“Pursuant to these Supreme Court case laws and U.S. Judicial Codes, Judge Goodwin must recuse himself because:
1.      The risk of bias was too high to be constitutionally tolerable.
2.      Judge Goodwin’s significant personal involvement in an earlier judicial proceeding related to Lana C. Keeton
3.      Under 28 U.S.C. § 455 (a), recusal is mandatory in “any proceeding in which his impartiality might reasonably be questioned.”
4.      “Section 455(b) (1) provides that a judge should disqualify himself in any proceeding in which he has “a personal bias or prejudice concerning a party, or personal knowledge of disputed evidentiary facts concerning the proceeding.” ie., Judge Goodwin’s close personal relationship with William H. McKee, Jr. whom he appointed to be paid from the Common Benefit Fund(s) based on his “non-attorney participation” on the Fee and Cost Committee and his personal knowledge of the facts of Keeton’s Case No. 2:13cv24276”

“Judge Joseph R. Goodwin’s clear bias and prejudice against Lana C. Keeton mandate his recusal. He favors Henry G. Garrard III and other known bad actors, Officers of the Court, who do not hesitate to place false evidence into the United States Federal District Court System         through their “theft by allocation” of unearned Common Benefits Fund over Lana C. Keeton’s rights to the fair and honest and due administration of justice and her rights to Due Process under the 5th/14th Amendments of the Constitution.”

Lana C. Keeton
© 2005 – 2019 Lana C. Keeton All rights reserved.
This material may not be published, broadcast, rewritten or redistributed.
Med Device Expert LLC
Legal Consultant . Expert Witness . Device Expert . Patient Advocate
901 Pennsylvania Avenue, Suite 3-423, Miami Beach, FL 33139

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Volume II Issue 6 August 23, 2019
© 2005-2019 all rights reserved Lana C. Keeton

This material may not be published, broadcast, rewritten or redistributed
901 Pennsylvania Avenue, Suite 3-423, Miami Beach, FL 33139