Our issue is with the violations of the Rules of Professional conduct by Brian J Cali an attorney practicing law doing business as Brian J. Cali & Associates with a known office location of 103 E Drinker St, Dunmore, PA 18512, United States. A lawyer is not to engage in a fraudulent practice making claims to clients that can only be accomplished by illegal means. Rule 3.1: Meritorious Claims & Contentions | A lawyer shall not bring or defend a civil proceeding, or assert or controvert an issue therein, unless there is a basis in law and fact for doing so that is not frivolous. Attorney Brian J Cali has made frivolous claims of defending the child abductors Alexandria Ledesma and Micheal Ledesma by using a grave risk defense Article13(b) of the Hague Petition which is only reserved for the primary caregivers of the child. This defense is not a valid use of the articles of the Hague Petition to obstruct the return of the abducted child to the mother and father. Alexandria and Micheal Ledesma are non-parents and abducted the child Chelsea Toth from the country of Mexico. The return of this child has been illegally obstructed by frivolous claims and delay tactics in violation of the rules of professional conduct and in violation of the legislative intent of the Hague Petition proceedings. Any defense to the return of an abducted child can only be used by a primary caregiver. Not a foreign national, non-parent, non primary caregiver visiting a country for 3 days only to abduct a child from that country.
Brian J. Cali & Associates Reviews
Our issue is with the violations of the Rules of Professional conduct by Brian J Cali an attorney practicing law doing business as Brian J. Cali & Associates with a known office location of 103 E Drinker St, Dunmore, PA 18512, United States. A lawyer is not to engage in a fraudulent practice making claims to clients that can only be accomplished by illegal means. Rule 3.1: Meritorious Claims & Contentions | A lawyer shall not bring or defend a civil proceeding, or assert or controvert an issue therein, unless there is a basis in law and fact for doing so that is not frivolous. Attorney Brian J Cali has made frivolous claims of defending the child abductors Alexandria Ledesma and Micheal Ledesma by using a grave risk defense Article13(b) of the Hague Petition which is only reserved for the primary caregivers of the child. This defense is not a valid use of the articles of the Hague Petition to obstruct the return of the abducted child to the mother and father. Alexandria and Micheal Ledesma are non-parents and abducted the child Chelsea Toth from the country of Mexico. The return of this child has been illegally obstructed by frivolous claims and delay tactics in violation of the rules of professional conduct and in violation of the legislative intent of the Hague Petition proceedings. Any defense to the return of an abducted child can only be used by a primary caregiver. Not a foreign national, non-parent, non primary caregiver visiting a country for 3 days only to abduct a child from that country.