The Jam Lab in Sugar Land, TX USA Live Improvisations for you to listen or record with.
The Jam Lab - Sugar Land, TX
Danny Toffer Keyboard
Paul Nichols Guitar
Scott Moritz Bass
Kurt Angel Drums

© 2003, 2004, 2005


Justice Not Torture Toffer, Nichols, Moritz, Angel 2005
Power Ballad
download PSDK142 7 MB

Leo Wanta Lives Toffer, Nichols, Moritz, Angel 2005
Our first quartet piano jam
The 27 trillion dollar man who President Reagan authorized to destabalize the Russian economy lives. Criminal CIA lawyers lied about his death in order to gain control over these US Treasury funds. Crimes in the name of national security are crimes that must be prosecuted by the people.
download PSDK141 7 MB

EU v. RJR Toffer, Nichols, Moritz, Angel 2005
Our first trio piano jam in 5/4
download PSDK138 5 MB

Maintain power at all cost Copy of the complaint.

5 Tons of evidence here: Cocaine One DC9 The real reason Porter Goss resigned.

UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF NEW YORK
_________________
COMPLAINT

THE EUROPEAN COMMUNITY, acting on its own behalf and on behalf of the MEMBER STATES it has power to represent, and the Kingdom of Belgium, Republic of Finland, French Republic, Hellenic Republic, Federal Republic of Germany, Italian Republic, Grand Duchy of Luxembourg, Kingdom of the Netherlands, Portuguese Republic, and Kingdom of Spain, individually,

Plaintiffs,

- against -

RJR NABISCO, INC.,

I. INTRODUCTION

1. For more than a decade, the DEFENDANTS (hereinafter also referred to as the “RJR DEFENDANTS” or “RJR”) have directed, managed, and controlled money-laundering operations that extended within and/or directly damaged the Plaintiffs. The RJR DEFENDANTS have engaged in and facilitated organized crime by laundering the proceeds of narcotics trafficking and other crimes. As financial institutions worldwide have largely shunned the banking business of organized crime, narcotics traffickers and others, eager to conceal their crimes and use the fruits of their crimes, have turned away from traditional banks and relied upon companies, in particular the DEFENDANTS herein, to launder the proceeds of unlawful activity.

2. The DEFENDANTS knowingly sell their products to organized crime, arrange for secret payments from organized crime, and launder such proceeds in the United States or offshore venues known for bank secrecy. DEFENDANTS have laundered the illegal proceeds of members of Italian, Russian, and Colombian organized crime through financial institutions in New York City, including The Bank of New York, Citibank N.A., and Chase Manhattan Bank.


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