castellano

This is a Petition for Order of Protection with regard to my residence, the Regency, and the following: Sepehr Azma, Mohammad Azma, Norman Police Department, Oklahoma City Police Department, Oklahoma State Bureau of Investigation, Oklahoma Highway Patrol, and the Central Intelligence Agency.

I am seeking relief from the repeated and habitual violence, aggression, and intrusion that Sepehr Azma and Mohammad Azma together represent in my life. They have repeatedly attempted to use the concept of parenthood to establish control over my life and my doings, sometimes using the police and other legal authorities to intrude upon me and/or attack me. They have done this in multiple states and across borders also. They are not my parents. Sepehr Azma is a highly manipulative person who has a real history of contacting the police about me, threatening me with calling 911, and doing it. Both of them have physically attacked me. I doubt the ability of local and state policemen to observe an interaction between me and these two individuals without being duped into supporting their Big Lie that they are concerned parents seeking to help or protect their child. The police have helped Sepehr Azma and Mohammad Azma carry out their abuse.

I have witnessed over the course of decades that Sepehr Azma and Mohammad Azma are individuals who collaborate on breaking down bedroom doors and getting away with domestic violence. When I was in high school, they would subject me to drug tests and not relent their campaign of abuse when the tests resulted negative. They brandish kitchen knives and they get in my face to shout loudly. My main object of concern is that they will enter my building and try to come to my apartment. I argue that I should be safe and free of incursion in my place of residence, the Regency, and therefore I request a protective order restraining Sepehr Azma and Mohammad Azma. They should not be allowed at the Regency, a professionally managed place where I live. I direct this request to the Regency management.

I have truly attempted to help Sepehr Azma with her psychological wellness but she does not seek real treatment and taints others' view of me by lying to them about me being diagnosed with psychological problems. For example, she said to her therapist Jerry Duncan that I have Obsessive Compulsive Disorder; I have never been diagnosed with that or any personality disorder, and Jerry Duncan did not take time to talk to me and determine whether I present symptoms of Obsessive Compulsive Disorder before he repeated her assertion about my mental health as a fact. Jerry Duncan is a person with a doctorate, and he very obviously was put to the test by Sepehr Azma. Jerry Duncan is supposed to be a professional, but Sepehr Azma said I had Obsessive Compulsive Disorder and he — apparently — believed her. However, he brought it up immediately when he spoke with me and I corrected the falsehood. He was able to determine that something was wrong with her, and rebuked her. Her own therapist asked me to divulge information that I had discussed with other professionals in the privacy of their practice. I heard him lie in his practice and I never returned.

Sepehr Azma has at many times in my life pressured me to seek mental health counseling, and on three occasions that I went to a therapist at her insistence, I perceived that her actions exhibited a manipulative desire to disarm me of my basic social faculties. She is a gaslighter who tries to convince people that they are crazy. I have witnessed her do this to Mohammad Azma and Sheeva Azma, but this present petition is simply a request for a legal protection with regard to the Regency building. Imagine someone so bad that they turn something nice like psychology into a sledgehammer against the basic peace and tranquility of your life. Mohammad Azma does not do that; he attacks me directly and then pretends that he did not do anything wrong; he attacks me directly and then claims that it was justified. Those individuals are septuagenarians, and I want them to be able to live their lives in peace without trying to destroy mine at my place of residence: the Regency. They are Iranians who act like they can eat my life and physically attack me and verbally attack me and wake me up by screaming at me or breaking through a door, because like an owl they shift shape when threatened by the possibility of being rightly judged when sized up in the eyes of another. The Oklahoma judiciaries are not an appropriate venue for this Petition for Order of Protection because the chance of going before a thoughtful judge like Alfred P. Murrah is not guaranteed in this state where one federal judge demonstrated an inability to count to thirty while judging me, a petitioner before the court, and because the process for filing a Petition for Order of Protection includes a form that is not fully compatible with the statute, and because the statute itself is written like a list of intentionally over-broad patent claims instead of the safe and clear protection of the weak and encumbered that it ought rightly to be. Sheeva Azma is not somebody that I consider family and I have already filed a disclaimer in Cleveland County precluding the execution of any probate divvying in conjunction with her based on the assets of Sepehr Moghadassi and Mohammad Azma. It was signed and filed with two different record-keeping entities of Cleveland County on the twenty-eighth day of February 2024. The document irrevocably abrogated my beneficiary interest in all property or assets of Mohammad Azma and Sepehr Moghadassi upon the event of their passing away. Prior to the time of filing, they had directly stated that Sheeva Azma should have a roof over her head.

Sheeva Azma, like Gentner Drummond, claims to have received a degree from Georgetown University. Ex 14:14

Nick Migliorino watched me speak after I was called to the lectern at the December 9 2024 meeting of the Norman Public Schools board at their Administrative Services Center. Norman Public Schools sent the Norman Police Department to break the law on the subsequent day. Norman Public Schools posted a YouTube video of the meeting; I was wearing a suit and tie, and I spoke in the allotted time. Under color of law, as a trespass warning, Norman Public Schools used the Norman Police Department to break Oklahoma law. I notified Norman Public Schools by mail that they had committed crime under Section 314 of the Oklahoma Open Meeting Act, but they did not lift their prohibition on my return to the venue of open meetings. They had unlawfully banned me from their Administrative Services Center and Norman High School.

I am against Norman Police Department deleting body camera data from December 9 2024, December 10 2024, and April 18 2025. The Attorney General of Oklahoma had notice and grounds to retrieve and save the December information; I provided evidence and a formal complaint to the Attorney General of Oklahoma in regard to Norman Public Schools and Norman PD. Prior to April 18 2025, Police Chief Foster of the Norman PD was notified by me in writing at his offices that his department committed misdemeanor under state law, so he is liable for evidence tampering if the December information was deleted. The April 18 2025 body camera information is relevant to a 911 call from Norman, Oklahoma, where I was unlawfully imprisoned without charge and without a habeas meeting for weeks. I was never taken before a judge, but they told me that I was "court-ordered" before injecting me with a substance that someone named Kieran (not present at the site and time of that injection) later told me was a once-monthly injection. I had not been taken before a judge or medically evaluated. Norman Police Department put me in that detention facility without charging me with a crime and with no probable cause for the arrest, even though I verbally stated in the presence of multiple uniformed officers of the department — prior to entering the police vehicle in handcuffs and prior to exiting the police vehicle in handcuffs — that I did not consent to their actions. I also stated that Sepehr Azma knows how to lie to the police, in the presence of uniformed officers and non-uniformed responders to the 911 call, while I was handcuffed and being moved forcibly by uniformed officers within the building at 500 Crest Place in Norman. I had stated on a prior 911 call from 405-329-9255 at 500 Crest Place that they attacked me. Some police departments and police organizations respect the authority of the judiciary; Tulsa Fraternal Order of Police filed an emergency application for temporary restraining order against the City of Tulsa to compel deletion and that means that even some police in Oklahoma seek to use courts to maintain evidentiary legality. In that case it is different; Tulsa Fraternal Order of Police sought to delete evidence. The public safety website of the City of Norman establishes that Norman PD asks for money in exchange for access to body camera footage; the price is $30 per video. Furthermore, 424.7.1 RETENTION REQUIREMENTS in the Norman Police Department Policy Manual states a minimum retention time of 90 days for body camera footage. Policy 424 establishes no practice for prolongation of the minimum retention time based on a request originating outside of the Norman Police Department, even if the request for retention of body camera data originates from a state lawman or court. I was held for weeks without being taken before a judge. In Policy 424, Norman PD cites 13 OK Stat § 176.4 in a way that asserts the statute says something that it is not quoted as saying. Norman PD asks for money in exchange for access to body camera footage and 424.7 RETENTION OF RECORDINGS does not mention the word "delete" or "deletion" at all, as shown in this policy document:

https://web.archive.org/web/20251106094118/https://www.normanok.gov/sites/default/files/documents/2020-06/portable_audio_video_recorders_policy.pdf

CTRL+F "del": This policy of Norman PD does not explicitly articulate that Norman PD is permitted to delete body camera data, but it also establishes a minimum retention time of 90 days. I told Norman Police Chief Foster in writing at his offices that his department participated in a crime. After that, I was taken into custody without being charged, by people who did not observe me committing a crime and did not articulate why they took me into custody. They did not state a reason for the arrest and they took me to a mental hospital. I was peeing in a bathroom when they kicked in the door; they pulled up my boxers after they took me into custody.

In the time that I was detained unlawfully without charge and without being taken before a judge for weeks, I had no ombudsman nor access to an attorney. Facility staff disconnected the phone line when I called 911 for help. I called multiple times. I was held for weeks without being medically evaluated by a doctor. A case manager was assigned to me by the facility but she refused to meet with me, even for two minutes. The facility violated state and federal law, and also its own policy, regarding detention without presentation of a detained person to a judge. The state is responsible for investigating and prosecuting these very serious violations of law. In the meanwhile, I seek explicit protection from Oklahoma City PD, OSBI, and OHP in my place of personal residence: the Regency apartment building. I am a candidate for Governor of Oklahoma and my declaration of candidacy is available here:

https://en.wikipedia.org/w/index.php?title=2026_Oklahoma_gubernatorial_election&diff=prev&oldid=1319051337

Further, the present Governor of Oklahoma, Kevin Stitt — a person whom I have criticized openly and who is still doing his job — should enjoin these police entities from questioning me because it is election tampering. The frontrunner candidate is the Attorney General of Oklahoma and he is the party who was responsible for executing the prosecution of my complaint. That includes accessing the multiple body camera files generated under Norman PD's body camera rules. They are rules, not simply policy. "Law" and "order" are words, not simply a given state of affairs. Kevin Stitt is in charge.

I also petition for a restraint against the Central Intelligence Agency, an organization of the federal government that should not be permitted, in the interest of free and fair elections, to attempt entry without writ upon probable cause, supported by Oath or affirmation, to my building of residence: the Regency.

Arya Azma

2025 1 107

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