Dipl.-Ing. Univ., Prof. Eng., MSc.

Helmut F Giesa

 

Consulting Engineer

Contract and Project Management Advisor

 

Helmut F GiESA, www.aid21.de/index.pdf                                           Writ of Execution : www.aid21.de/TLA/3.pdf

 

To TLA – Lawyers
Siaka Steven Street
Freetown / Sierra Leone – West-Africa.



Request / Application of Writ of Execution

 

1 _ Validation of the obligations of
Mr. Watfa and/or Company Chickenland
against all involved parties at once

2 _ Sequestration
of Mr. Watfa’s and / or Company Chickenland
taking into account the recovery costs
(166 % fair market value)

3 _ Seize travel documents of Mr. R.A. Watfa

 

 

This Request / Application will be published for preview under www.aid21.de/TLA/3.htm

And shall be a supplement to Mr. Helmut F Giesa’s

FACTS and COMMENTS against “affidavit in opposition”


dated 14th May 2013, published under www.aid21.de/TLA/1.htm or www.aid21.de/TLA/1.pdf

 

 

 


Published und www.aid21.de/TLA/3.pdf   or   www.aid21.de/TLA/3.pdf


References / documentary evidences / witnesses

Ref
No.

Content

Published under

R1

Credit / Loan Agreement No. 1 : 47,500 Euro Loan / Payment of interest rates, due every two months to the GuB GmbH ACCOUNT, dated 07. October 2011

First Breach of Contract
WCL (Watfa-Chickenland)
www.aid21.de/wcl/11.pdf

R2

Invoice No 1 : 47,500 Euro, dated 09 August or 08. Sept. 2011

www.aid21.de/wcl/21.pdf

R3

Payment of 47,500 Euro via Ecobank Wilkinson Road, done on 08. Oct. 2011

www.aid21.de/wcl/31.pdf

R4

Credit / Loan Agreeement No 2:
29,500 Euro Loan / Payment of interest rates, due every two months to the GuB GmbH ACCOUNT, dated 09. October 11

www.aid21.de/wcl/12.pdf

R5

Invoice No 2 : 29,500 Euro, dated 09 August or 08. Sept. 2011

www.aid21.de/wcl/22.pdf

R6

Payment of 29,500 Euro via German GuB GmbH Account, done on 11. Oct. 2011

www.aid21.de/wcl/32.pdf

R7.1

Invoice dated 26 August 2012, 50% payment, date of expected delivery 27.Sept. 2012 (Inquiry : Delmas informed us about the actual delivery date = 13th October) see Bill of Lading and “urgent payment up to 15th October 2012 to pay the other 50% of 116,270.44 USD (if the invoice is a true document)

Invoice ESS-Food: (TLA)

www.aid21.de/tla/3-1.pdf
Bill of Lading:
www.aid21.de/tla/2-1.pdf

R7.2

Correspondence Tanner Legal Advisory to Mr. Assad R Wata (Sierra Leonean, Arab/Lebanese Descendant) Proprietor Chickenland, to pay the interest rate and provide an acceptable payment plan, dated 10th DEC 2011.

Witness TLA
www.aid21.de/wcl/40.pdf

R8

Acknowledgement of Mr. Helmut F Giesa on 21st DEC 2012: Payment for 1st Instalment of 10,300 USD (almost 10% of the principal amount) received and acknowledgement of Mr. Watfa to pay the 2nd instalment of 10,308 Euro due on 28.02.2012,
3rd instalment of 10,308 Euro due on 30,04.2012 and payment of the “principal” amount of 103,796 EURO on 30th APRIL 2012.

www.aid21.de/wcl/41.pdf

R9

Reminder and Request for Interest rates from 20th March 2012 onwards: 10% interest rates every two months!

Witness TMB Sombi, 21.03.2012
www.aid21.de/wcl/42.pdf

R10.1

Receipt: 2nd instalment in two charges on 28.02.2012 and a delayed charge on 28.03.2012 with an total amount of 10,350 €
signed by A.R. Watfa + H F Giesa, 28th March 2012

Signed by both parties, 28.03.2013
www.aid21.de/wcl/43.pdf

R10.2

Discussion with BMT / Drucil Taylor – Lawyer of Wafta –
with Mr. Watfa’s excuses (late delivery … what seems a lie)

www.aid21.de/wcl/44.pdf
www.aid21.de/tla/2-1.pdf /3-1.pdf

R10.3

Discussions about Repayment plan of Mr. Watfa (30.04.2013 – www.aid21.de/wcl/45.pdf )with Lawyer BMT / Drucil Taylor on 17.04.2012, 24,04.2012, 27.04.2012

Witness Sahr D Dugba, Emmanuel Kondo and H.F Giesa
www.aid21.de/WCL/45.pdf

R10.4

Arrear and Demand Letter to Debtor Chickenland / Mr. Assad R Waftfa to pay 114,284.80 USD with a table of  
dated and handed over 07 May 2012

Witness Esther I. Munu
www.aid21.de/wcl/46.pdf
www.aid21.de/wcl/47.pdf

R10.5

Letter of BMT Law Chamber: Arrear / Demand Letter due to delay of Payment / Breach of Contract, dated 10. May 2012 – including a Payment plan starting June 2012 up to November 2012 with an total re-payment amount of 105,000 USD only

www.aid21.de/WCL/51.pdf

Second Breach of Contract

R11.1

Agreement between TLA-Lawyers and Helmut F Giesa
9,000 Euro out of a value of 77,000 Euro = 11,7%
Scope of legal advisory: all actions / costs necessary to recover the money from Mr. Watfa / Chickenland – 15.June 2013

www.aid21.de/wcl/60.pdf

R11.2

Writ of Service of the High Court of Sierra Leone (Commercial and Admiralty Divison) with the statement of Claim:
(1) Recovery of the sum of 77,000 Euro, (2) damages and breach of contract, (3) interest on the sum at 10% from 17th December 2011 until judgment (?), (4) any further relief/s that the Honourable Court may deem fit and just and (5) costs

www.aid21.de/WCL/71.pdf


on 15th JUNE 2012 (twelve)

R12.1

Status of the money flow from Mr. Watfa / Chickenland to TLA
and money flow from TLA to Mr. Helmut F Giesa (German),
reducing the Lawyer`s Fee. (Procedure of Judiciary seems here not clear regulated or not cleary explaind) –

Status 01.January 2013 up to now.

E-mail to TLA – Lawyers, witness Sahr D Dugba (Kono), Esther Munu (Temne) und GuB GmbH (Bavarian / Germany) (GuB21@GuB21.de)
www.aid21.de/wcl/61.pdf

R12.2

Status 01.01.2013 / 18.06.2013: TLA-Lawyer’s Fees paid by Helmut F Giesa (www.aid21.de) : 6,121,88 Euro / 7,682.—USD

www.aid21.de/wcl/62.pdf
Last Payment Mid DEC 2012.

R13

BMT to TLA : AFFIDAVIT in OPPOSITION
TLA received on 03 April 2013;
Plaintiff H F Giesa received on 13rd May 2013  [page 1 5]
Remark: Now Mr. Watfa mixes up the credit case with a lease case, instead to separate this two legal aspects / procedures with legal consequences … just a DELAY Strategy in the entire game.

 

www.aid21.de/TLA/0.pdf

R14

Answer of Helmut F Giesa to Credit / Loan Case and Lease Case with reference to several witnesses / documentary evidences.

www.aid21.de/TLA/1.htm
(preview)
www.aid21.de/TLA/1.pdf 

R15.1

Payment of 129,0 Mio. SLL for the rent of the 1st floor in the Mr. Watfa Compound for the period of 24 months (Jan. 2011 up to Dec 2012) including all water, electricity, generator, security …all inclusive, signed by Mr. Watfa – 23.11.2010 (ten)
Note: It has been agreed to pay upfront 30,000 USD in SLL.

www.aid21.de/watfa/watfa1.pdf

R15.2

Payment proof – Check to Chickenland / Mr. Watfa on 25 Nov. 2010 (ten) with the amount of 129 Mio. SLL via ECO Bank

www.aid21.de/watfa/watfa2.pdf

R16

Minutes of Handover – of the flat
3 minor objectives have been arisen by Mr. Watfa in presence of two witnesses : Mrs. Emma A. O. Allen and Mr. Mohamed Kaneh, during the inspection of the apartment on 30th DEC 2012.
The minutes of meeting has been done after the clarification of the three minor objections, dated 03rd JAN 2013.

www.aid21.de/watfa/watfa3.pdf

R17

Affidavit of Mrs. Emma A.O.Allen (Krio):
(1) proper hand over with no damages
(2) statement of Mr. Watfa to convert the huge (1) appartment
into two (2) appartments – what has been done so far.

www.aid21.de/watfa/watfa11.pdf
see affidavit
of Emma B Suma (Susu), too : www.aid21.de/watfa/watfa13.pdf

R18

Affidavit of Mr. Mohamed Kanneh (Mende) that
(1) Mr. H.F. Giesa and his fellow occupants have not damaged the first floor of Mr. Watfas Appartment, and
(2) Mr. Watfa approached him to give a false statement against Mr. H F Giesa at the court, that he has damaged the apartment and offered him 200 US-Dollar (suborn a witness) -
www.aid21.de/watfa/watfa12.pdf 

www.aid21.de/watfa/watfa12.pdf
signed by witness : Kadie Tommy and Emmanuel Kondo
and oral statement has been given to the TLA Lawyer Brima Koroma on 24th MAY 2013, after the “adjourned” Court Meeting.

R19.1





R19.2

Scheduled Court Sitting on Friday, 24 MAY 2013 – 09:00 h, but “adjourned”?
The “ghost (-) meeting” has been adjourned without stating any reasons by the lawyers.
No chance has been given to the Plaintiff Helmut F Giesa and the six present witnesses up to now.
Mrs. Esther Munu (Temne), Mrs. Kadie Tommy (Mende), Mrs. Emma B Suma (Susu), Mrs. Emma A. O. Ellen (Krio), Mr. Mohammed Kaneh (Mende) and Mr. Emmanuel Kondo (German-Ghanaian) to clarify all the “fraudulent” accusation.

Six Witnesses
have been gathered at the court
but no sitting has taken place
         (…..adjourned ….)


on Friday, 24th MAY 2013
Photos of witnesses

www.aid21.de/watfa/watfa14.pdf
www.aid21.de/watfa/watfa15.pdf

R20

Meeting at the TLA-Law Chamber on
Friday, 24 May 2013 – ~ 16:00
The Lawyer Brima Koroma handed over the Notice of Ex parte Motion Affidavit, Defence and Counter Claim, dated on 10th APRIL 2013, on Friday, 24th MAY 2013
Note: On 13th May 2013 I have already received the Affidavit in Opposition, dated 04th April 2013.
A) In addition the witness Emma B Suma (Susu) acknowledged in front of the lawyer Brima Koroma and other witnesses, that Emma B Suma has kept the house-hold of Mr. Helmut F Giesa in a good order for a period of 18 months, 6 days per week during the day times. Nothing has been damaged during this 18 months period
B) witness Mr. Mohamed Kanneh approved in front of the lawyer Brima Koroma, that he has attended the handover of the apartment on 30 Dec 2012 and nothing has been damaged.
C) Witness Mr. Mohamed Kanneh approved in front of the lawyer Brima Koroma, that Mr. Watfa has tried to suborn him as a witness for an amount of 200 USD to give a false testimony at the court.
D) Witness Kadie Tommy, fellow occupant and cook, approved in front of the lawyer Brima Koroma, that she has not observed any damage in the house during her stay with Mr. Giesa (May 2009 up to December 2012)

Witnesses:

present in TLA-Law Chamber

A _ Emma B Suma (Susu)
www.aid21.de/Watfa/watfa13.pdf

B_ Mohamed Kaneh

www.aid21.de/Watfa/Watfa11.pdf

www.aid21.de/Watfa/Wata12.pdf

C_ Esther Munu (Timne)

D_ Kadie Tommy, oral statements to the Lawyer Brima Koroma.


apologized
E_Emma Allen (Krio) and
F_ Emmanuel Kondo (Ghanaian – German passports) had some other appointments in town.

R21

BMT / Court : Notice of Ex Parte Motion / Affidavit / Defence and Counter Claim of Mr. Watfa, dated 12th April 2013
TLA received 12.04.2013, and Helmut F Giesa received on 24th May13
Note: the “affidavit from 12.04.2013 differs not very much from the affidavit from 03.04.2013 – however a counter claim for the “damage of the apartment” has been added.

www.aid21.de/TLA/2.pdf

R22

Request / Application for a Writ of Execution:
(1) validation of the Claim of Mr. Helmut F Giesa
(2) Sequestration of Mr. Watfa’s / Co. chickenland’s Property
(3) seize travel document of Mr. Watfa, because the entire family (sons and wife) stays outside of Africa.

www.aid21.de/TLA/3.htm
(preview)

www.aid21.de/TLA/3.pdf
(download)

R23

Affidavit of Mrs. Emma B Suma (Susu), House-keeping:
worked for a period of 18 months up to end of Dec 2012 in the house-hold of Mr. Giesa, she worked during day-hours, six day per week, nothing has been damaged either by Emma Suma, or the other fellow occupants and Mr. Helmut F Giesa in the house-hold. Mr. Giesa has not even proper tools available to “destroy” the house structure.
At the end of Dec 2012 the entire apartment had been cleaned properly. Everything was fine. And Emma B Suma has observed / has seen with her own eyes, how the construction works were on-going in the first floor, due to the fact, that the visited her friends Isatu und Fatmata in Mr. Watfa’s household.
Both are now in the Freetown Household anymore:
one is in US with Mr. Watfa’s wife and the other have left.

www.aid21.de/watfa/watfa13.pdf

 

 

 

www.aid21.de/watfa/watfa13.pdf

Note:
Esther I Munu (Temne) worked
 in the 1st floor apartment
during the day
- for a period of over one year -.

R24

ViSA-Stamp in Mr. Helmut F Giesa’s Passport : Exemption from Registration under 4(0) of the non-citizen registration immigration and expulsion act No. 14 of 1965 / Catergory Official (SLRA) The similar visa is given from March 2009 up to April 2013.

E-Mail to TLA-Lawyers with copy to witnesses (see document)
www.aid21.de/watfa/watfa24.pdf
www.aid21.de/watfa/watfa24-1.pdf

 

Published with the Application / Request for

a)      Validation of the entire obligations of Mr. Watfa’s / company Chickenland’s property

b)      Sequestration of Mr. Watfa’s / company Chickenland’s property

c)      Seize the travel documents of Mr. Assad R. Watfa www.aid21.de/TLA/3.htm for preview or www.aid21.de/TLA3.pdf for download

 

Mrs. Esther I Munu-Lakoh (www.aid21.de/TLA/77.pdf and Mrs. Emma O.A. Allen (www.aid21.de/TLA/78.pdf) have the power of attorney to represent myperson at the court and can negotiate in my interest.


 

From Helmut F Giesa, Weissenburg / Bavaria – Germany
 
Request for Sequestration of Mr. Watfa’s / Company Chickenland’s Property

published with the Reference Table from  No1 to No 24 under
www.aid21.de/TLA/3.htm

To
TLA Lawyer: Mr. Brima Koroma, Siaka-Stevens-Street, Freetown
Sierra Leone / West-Africa


Copies to the trustees and witnesses



Request / Application of Writ of Execution

 

1 _   Validation of the obligations of
Mr. Watfa and/or Company Chickenland

a) HFG Claims of the truly credit / loand (www.aid21.de/WCL)

          b) Watfa’s “fraudulent” counter claim of the apartment
          c) Extra Claim / reimbursement of HFG-costs incurred in asserting the legal rights caused by the false accusation (damage of apartment)

2 _     Sequestration / confiscation of
of Mr. Watfa’s and / or Company Chickenland

166 % fair market value = 100% “collateral” / debt value.

3 _     Seize travel documents of Mr. Watfa
Rest of the Family (Mrs. Waftfa and two sons) stays/studying in the USA now.


Dear Lawyer Mr. Brima Koroma,

I reply to the handed over documents stated in the table with the references No. 1 up to 24 attached to this letter, dated, 07th June 2013.

0. General

 

0.0    Please read this application / request for a writ of execution in context with the letter
“FACTS and COMMENTS to the Affidavit in Opposition” [page 1 to page 8]
dated 15th May 2013 (Ref R 14, published on the private web site www.aid21.de/1.htm )

0.1.   A loan of 77,000 Euro (seventy thousand) Euro has been given in October (Ref R1+R4).

0.2.   Three instalments have been agreed. Two have been paid.
The third instalment of 10,308 USD and the principal amount of 103,796 US-Dollar has not been paid on the 30th April 2012 latest (Ref R8-R10).
The first breach of contract has been identified.

0.3    A repayment plan of 75,000 USD with the option to rent the apartment of 30,000 USD has been submitted to the creditor / plaintiff Helmut F Giesa, dated 30th April 2012. However this has been not accepted due to the fact, that 114,284.80 USD had been outstanding. Documentary evidences: see handwritten list with the payment status, dated 07th May 2012. In this context an Arrear and Demand letter has sent to the Debtor Chickenland / Mr. A.R. Watfa (Ref R10, dated 07th May 2012).

0.4    Discussions with BMT lawyer with different reasons, why he is not able to pay the monies now. Hence a re-payment plan from June 2012 to Nov 2012 have been submitted with an amount of 105,000 USD, dated 10th of May.
70,000 USD has been paid with delay … up to mid Dec 2012.
Again breach of contracts have been identified during the re-payment procedure and at the deadline of 31.Nov. 2013
Please see References R8, R9, R10, R12. f Lading and Invoice, dated 26.08.2012.

0.5    The creditor / plaintiff Helmut F Giesa moved out of the rented apartment, 1st floor in 55, Freetown Road, Lumley on 30th DEC 2012. Witness have given statements, that the handover has been correct and no damages have been done
See Ref R16, R17, R18, R20, R23.

0.6.   The debtor Mr. A.R. Wafta just came along in APPIL 2013 (more as three months after the move out of the apartment), he just brings up a counter-claim of more as 15,000 USD. See Affidavit in Opposition (R13 + R21)
The witnesses with the documentary evidences Ref R16, R17, R18, R20, R23 indicates the fraudulent practise of Mr. Watfa, and that he wanted even to suborn a witness for 200 USD (Ref R18 and witness TLA-Lawyer Brima Koroma).

0.7    The “amended” Affidavit with the Notice of Ex Parte Mition (Ref R21) was handed over on 24th May 2013. The plaintiff had a lot of efforts to get in touch with the witnesses and to get the documentary evidence as well.
All

0.8    The answer of the “amended” affidavit is this letter with the
Request / Application for Writ of Execution (1) to validate the property, (2) to confiscate the property of Mr. Watfa / Co. Chickenland and (3) to seize the travel documents.

 

 Note 1: Excuses of Mr. Watfa’s and opinion of Mr. Helmut about these observed conducts

If I review the entire behaviour with all the excuses of Mr. Watfa, then I come to the following conclusions, that he has allegedly taken into account a “fraudulent” conduct from the begin on:
(a) He know, that I have no experiences with import of frozen goods to Sierra Leone.
However the invoice from August, the Delmas Bill of Lading and the information of DELMAS agency shows, that the container has arrived in October 2013.
In principle there was no need to show kindness towards Mr. Wafta. He saw this kindness as a type of weakness.
(b) And a creditor is not responsible about the delay of the food, what was contractual not linked to the credit agreement.
(c) He was quite sure that Mr. Helmut F Giesa will leave the country after completion of this EU-financed programme “Technical Assistance to Sierra Leone Roads Authority”.
(d) He is quite familiar with the deficiencies of the judiciary – procedures.
As I have recognized, a lot of people complain about the “adjourning delay pattern” at the court in Freetown (observed in the restaurant next to the TLA law chamber)
(e) He allegedly knows, that Mr. Giesa is a foreigner, and that foreigners get discriminated in different ways in Sierra Leone
(f) And he knows, that the court procedure takes years, because the “system” is dysfunctional.

 

I.      Validation of the obligations of Mr. Watfa and/or Company Chickenland against all involved parties at once

 

I.1     Basic outstanding amount (see Ref R12, dated 01st January 2013)

The basic amount of Euro and USD have been agreed … Ref R8, dated 21.DEC 2011.

        

Description

Plan (USD)

Act.paid (USD)

Principal Amount in context with
(a) Agreement with outstanding payments – dated 21st DEC 2011 (Ref R8)
(b) Arrear and Demand Letter, dated 07th May 2012 (REF R10)

114,284.80 USD

xxx

BMT-Re-payment plan submitted,
however not approved in writing
by H.F. Giesa

105,000 USD

 

June up to October Rates paid, however some with delay and with a further payment amount of 15,000 USD according to BMT-plan has not been paid. – another breach of contract

85,000 USD

70,000 USD

Last November Rate not paid, breach of contract, overdue since 31st NOV 2013

20,000 USD

Not paid

 

 

 

In breach of contract in compliance with principal amount of 114 T_USD

Outstanding

44,284.80 USD

In breach of contract in compliance with BMT-amount of 105 T_USD

 

35,000.00 USD

 

I.2     Lawyers Fee of the amount of 9,000 Euro, will be fully paid in US-Dollar by plaintiff Helmut F Giesa, to be reimbursed by the debtor A.R. Watfa / Co. Chickenland.

A memo has been drafted to remind the agreements between TLA and Helmut F Giesa
(see REF R12, 15th June 2012)

        

Description

Euro

US-Dollar

Agree FEE (memo R12 / 15 June 2012)
assumed FOREX of 1,30 USD / EUR

9,000 EUR

11,700 USD

Received up to date with a prevailing rate at the point of payment

6,121,88 EUR

7,682.00 USD

 

 

 

Outstanding, with an assumed
FOREX of 1,30 USD / EUR

2,878.12 EUR

3,741,56 USD

 

I.3     Interest Rate

        
The lawyer determined 10% interest rate from 17th DEC 2011 onward.
See Service of writ / writ of service of the High Court Freetown …
REF R8, dated 15th JUNE 2012 (twelve)

Description

Euro

US-Dollar

Interest rate of the prinicipal amount of 114 T_USD

 

 

17th DEC 2011 up to
18th June 2013  >>> 18 months (1,5 years)
kindly 10% per anno!

1,5 yrs * 10% = 15% out of the principal amount =

 


17,100 USD

 

 

 

 

 

 

 

I.4     Loss and Damage – due non-opportunity to invest the money in a profitable business
5% per month
The ECO-/Procredit Bank even takes a penalty fee of 0,5% per day from the first day of default until the date of the relevant instalments is (are) paid.
Please read the Helmut F Giesa letter : “FACTS and Comments to the Affidavit in Opposition”, §14 - dated on 15th May 2013 (REF R14) - , too.

        

Description

Euro

US-Dollar

Worst Case :
The total principal amount of 114,000 USD (105,000 USD) could not invested in a business since 1st May 2012
5% per month loss up to end of May : 13 Months @ 5 % loss of opportunity per months out of 114,000 USD

 

Maximum

74,000 USD

Kindly case, but think about : kindness will be judged as weakness in West-Africa

 

 

Part I
The outstanding amount of 44,000 USD (35,000 USD) could not invested in a business since 1st DEC 2012
5% per month loss up to end of May 2013: 6 Months @ 5 % loss of opportunity per months out of 44,000 USD = 10,500 USD

 

Minimum

 

10,500 USD

Part II of the delayed payment are not taking into account.

 

 

Negotiation between the lawyer : 10,500 and 74,000 USD … average = 42,25

 

Average
42,250 USD



I.5     Extra Claim of Mr. Helmut F Giesa

        
The accusation of Mr. Watfa, that I have damaged his property has forced me to come from outside to Sierra Leone to clarify the fraudulent practise of him.
So a lot of witnesses have to been visited, and the documentary evidences has been collected to testimony the false statement of Mr. Watfa - he even approached one person to bribe / to suborn him as a witness -- with 200 US-Dollar ALMS - to receive a “fraudulent” amount of over 15,000 US-Dollar.
(References R R16, R17, R18, R20, R23 and the TLA-Lawyer Brima Koroma can affidavit the oral statements of the witnesses).

It is used to, that who gives a false accusation is compelled to reimburse the costs incurred in asserting the legal rights. Hence Mr. Helmut F Giesa is requesting 6,110 USD minimum.

Description

Euro

US-Dollar

Flight, Economic in MAY 2013,
with a forex of 1,30 USD / Euro

1,200 Euro

1,560 USD

One week no possibility to achieve income
5 days only @ 700 EURO per day
with a forex of 1,30 USD / Euro 

3,500 Euro

4,550 USD

 

 

 

Total

4,700 Euro

6,110 USD

 

I.6     Zero claim amount of the “fraudulent” counter claim of Mr. Watfa

 

Description

Euro

US-Dollar

The fraudulent claim has to be rejected: all the documentary evidences shows the intention to delay the process at the court and hence the re-payment of his debts.
All the documentary evidences are attached to this submitted file – dated 07th June 2013.

 

0.00  USD

 

 

I.7 Summary / Validation of the obligation of Mr. Watfa / Co Chickenland.

        
Here is the summary of the items I.1 – I.6

Description

Euro

US-Dollar

I.1  Outstanding amount of the principal agreed amount of 114 … T_USD

 

44,284.80 USD

I.2. Lawyers Fee (Plaintiff Helmut F Giesa will paid the outstanding amount of 3,741,56 USD)

 

11,700.00 USD

I.3 Interest Rate 10%, since 17 DEC 2011

Either

17,100.00 USD

I.4 Loss and Damage due to non-opportunity to invest in profitable business

Or

42,250.00 USD

I.5 Extra Claim to revert “fraudulent Counter claim of Mr. Watfa”:

 

6,110.00 USD

I.6 Rejection of the fraudulent counter claim of Mr. Wata

 

0.00 USD

 

Xxx

 

I.7 Summary of Mr. Watfa’s / Co Chickenland obligation towards the creditor Helmut F Giesa

Min (either)

Max (or)

79,194,80 USD

104,344,80 USD

 

         The valuation of the obligations of Mr. Watfa / co. Chickenland amounts to
approx.. 80,000 USD up to 104,000 USD


II.     Application for Sequestration / Confiscation
of Mr. Watfa’s / Co Chickenland’s property


The plaintiff / Creditor Helmut F Giesa is requesting the confiscation of the property of the 166 % of the outstanding amount, due to the fact – in compliance with ECO-Bank regulations - :

“Upon default by the borrower, the lender shall be at liberty after obtaining all the necessary orders to take possession of the “pledge” item for sale.
The Lender will pay to the borrower any balance from the proceeds of the sale after the lender has realized all of the outstanding balances, interest, penality fees, cost of sales and /or expenses incurred in the recovery process”.


Description

Euro

US-Dollar

Collateral / Credit amount

Minimum
Maximum

60% of the fair market value

79,194,80 USD

104,344,80 USD

The ECO Bank policy is applied:
60% collateral of a pledge agreement of the fair market value.

 

 

Fair market value of …..
has to be confiscated

100% to be confiscated

 

 

xxx

 

II.7 Summary of Mr. Watfa’s / Co Chickenland obligation towards the creditor Helmut F Giesa

Min

Max

132,000.00 USD

 

174,000.00 USD

 

     The plaintiff is requesting the sale of the property with a fair market value between 130,000 USD(one hundred thirty thousand US-Dollars) and
170,000.00  USD
(one hundred seventy thousand US-Dollars).

 

III.    Sieze Travel Document

 

Following below mentioned facts are indicating that Mr. Watfa is already preparing the purchase of all his property with the intention to leave the country to avoid further payments to the creditor / plaintiff Mr. Helmut F Giesa.
A confiscation of property will be not possible anymore due to the protracting procedure within the judiciaries system. I assume this is the motive of his dealing with the credit case.
I would judge it as a criminal act to prevent the re-payment of the Credit.

III.1   The two sons are studying in USA

III.2   Mr. Watfa’s wife is staying in USA as well

III.3   His parents and brother is living in Lebanon.

III.4   Citizenship
Is it true : A Sierra Leonean Citizenship can only be acquired, if the grand grandfather is a Sierra Leonean?


Note 2 : Exempted from Registration

Mr. Helmut F Giesa is anyway exempted from registration under 4(0) of the non-citizen registration immigration and expulsion act No. 14 of 1965, category Official (SLRA)
Refer to Ref R24.

 

Note 3: Power of attorney to represent me at the Court anytime.

Mrs. Esther I Munu-Lakoh
(www.aid21.de/TLA/77.pdf and Mrs. Emma O.A. Allen (www.aid21.de/TLA/78.pdf) have the power of attorney to represent my person at the court and can negotiate in my interest. The power of attorneys are attached at the end of this letters. Mr. Sahr D Dugba has as well a power of attorney, however due to his professional position he will not be available any time to attend the court sittings.

 

Dear Lawyer,
I am confident, that the sequence and procedure at the Court will be expedited with your proper effort.

But please inform me about new developments through short messages
via e-mails and / or Facebook with my ID of HFG2404@yahoo.de

Mrs. Esther and / or  Mrs. Emma, as mentioned above, will discuss the matters in detail with you. They are even prepared to scan the necessary documents to provide them via e-mail to Germany or West-Africa.

Thank you very much for your co-operation in advance.

 

 

 

………………………………………………

Eng. Helmut F Giesa,
Dip.-Ing. Univ, Prof. Eng., MSc.

Freetown / Godrich, 07th June 2013

WEB       
www.aid21.de/index.pdf to download all the communication data
E-Mail     HelmutFGiesa@yahoo.de; HelmutFGiesa@web.de; Helmut F Giesa@Gmail.com

 

 

 

 

This request / application of writ of execution:

§  Validation of the obligations of Mr. Watfa / Co. Chickenland’s Property

§  Sequestration n / Confiscation of Mr. Watfa’s / Co Chickenland’s Property

§  Seize travel document of Mr. A. R. Watfa

is published under
               for preview www.aid21.de/TLA/3.htm and
               for download www.aid21.de/TLA/3.pdf .