• OFUME V. THE GREAT CANADIAN DOLLAR STORES, INC. (1/2)

    From ofume.phillip@gmail.com@21:1/5 to All on Mon Mar 7 19:57:00 2016
    FORM 4.02A

    2015 Hfx. No._________________________

    IN THE SUPREME COURT OF NOVA SCOTIA

    THE ENDOWED PROF.(DR.) PHILLIP OFUME
    Plaintiff

    V.

    THE GREAT CANADIAN DOLLAR STORE, INC. & KELVIN KANE
    Defendants ________________________________________________________________

    NOTICE OF ACTION ________________________________________________________________


    TABLE OF CONTENT


    THE GREAT AMERICAN DOLLAR STORE
    c/o The Endowed Prof. (Dr.) Phillip C. Ofume & Associates, Inc. Email Ofume.phillip@gmail.com, 56 Jacob Lane, The Abigail
    buildings, #1

    Suite 403
    Halifax, Nova Scotia
    Canada B3M OH5
    Cell: (902) 424-2098
    \Phone (902) 4057255
    Email Ofume.phillip@gmail.com
    limptintinc@gmail.com
    humanrights.researchgroup@gmail.com
    ----------------------------------------------------------------------


    FORM 4.02A

    2015 Hfx. No._________________________
    IN THE SUPREME COURT OF NOVA SCOTIA

    THE ENDOWED PROF.(DR.) PHILLIP OFUME
    Plaintiff

    V.

    THE GREAT CANADIAN DOLLAR STORE, INC. & KELVIN KANE
    Defendants ______________________________________________________________________
    NOTICE OF ACTION

    ______________________________________________________________________________

    TABLE OF CONTENT
    TAB


    ITEM PAGE

    I. Action has been started against you------------------------------1

    II. Deadline for defending the action------------------------------1-2

    III. Judgment Against You if Do Not Defend-----------------------------2-

    IV. You May Demand Notice of Steps in the Action---------------------2

    V. Action for Damages above $100,000---------------------------------2

    VI. Filing and delivering documents----------------------------------2

    i
    VII. Plaintiff designates the following address:---------------------2-3

    A. Action has been started against you---------------------------3-4

    B. Judgment Against You Do Not Defend--------------------------4

    C. You May Demand Notice of Steps in the Action-------------------5

    D. Filing and Delivery of Documents to court----------------------5


    E. Contact Information of Parties in the Action----------------------5


    F. Proposed Place of Trial--------------5-6

    Prothonotary’s Certificate---------------------------------------------------------------------6
    G. Statement of Claim-------------------------------------------------------------------------------6

    I. OVERVIEW----------------------------------------------------------------------------------------6-7
    II PLAINTIFF-----------------------------------------7

    III. DEFENDANT--------------------------------------------------------8

    H. CAUSE OF ACTION-----------------------------------8

    IV. Mistreatment & Inability to Disclose End Time Intention to Deny---8-9

    I. Time & fund Wasting Over 7 Months Processes-------------------9-11
    II.
    V. Deprivation of Economic and other Sustenance of the Rights to Means

    of Livelihood----------------------------------------------11-12

    VI Tort Liability Based on Denial of Rights to Open and Do Business in Nova Scotia----------11-12

    VII Extra-ordinary Negligence----------------------------------12
    ii
    .

    VIII Damages-------------------------------------------------------------------------------------12

    IX Aggravated, Punitive & Exemplary Damages-----------------------------13

    J. Seeks Relief Following:----------------------------------------13

    K. Contact Information and Designated Address----------------------------10

    L. Certificate AFFIRMING Address---------------------------------------10-11

    M. Change of Address-------------------------------------------------10-11

    N. Affidavit of Service-------------------------------------------11



    iii

    _____________________________________________________________________________




    FORM 4.02A

    2015 Hfx. No._________________________
    IN THE SUPREME COURT OF NOVA SCOTIA

    THE ENDOWED PROF.(DR.) PHILLIP OFUME
    Plaintiff

    V.

    THE GREAT CANADIAN DOLLAR STORE, INC. & KELVIN KANE
    Defendants ______________________________________________________________________
    NOTICE OF ACTION

    TO: THE GREAT CANADIAN DOLLAR STORE, INC. & KELVIN KANE

    I. Action has been started against you

    The Plaintiff takes action against you.
    The Plaintiff started the action by filing this notice with the court on the date certified by the prothonotary.
    The Plaintiff claims the relief described in the attached statement of claim. The claim is based on the grounds stated in the Statement of Claim.
    II. Deadline for defending the action
    To defend the action, you and your counsel must file a notice of defence with the court no more that the following number of days after the day this notice of action is delivered to you.

    ISSUED the day of March 3, A.D. 2016

    III. Judgment Against You if Do Not Defend
    The Court may grant an order for the relief claimed without further notice, unless you file the notice of defence before the deadline.

    IV. You May Demand Notice of Steps in the Action
    If you do not have defence, to the claim or you do not choose to defend it you may, if you wish to have further notice, file a demand for notice.
    If you file a demand for notice, the Plaintiff must notify you before obtaining an order for the relief claimed and, unless the court orders otherwise, you will be entitled to notice of each other step in the action.

    V. Action for Damages above $100,000


    This action is not within Rule 57 and otherwise will include injunction, declaration, and the claim is based on injury to a person, breach of contract, breach of trust, or denial to purchase franchise, open and float business in Nova Scotia and Canada in
    general.


    VI. Filing and delivering documents

    Any documents you file with the court must be filed at the office of the prothonotary
    Street, Nova Scotia (telephone # ).

    When you file a document you must immediately deliver a copy of it to each other party entitled
    to notice, unless the document is part of an ex parte motion, the parties agree delivery is not
    required, or a judge orders it is not required.

    VII. Plaintiff designates the following address:
    Phillip C. Ofume, Ph.D.
    The Abigail # 1
    2
    56 Jacob Lane, Suite 403
    Bedford (Halifax),
    Nova Scotia Canada B3M 0H5
    Tel. 902-443-4807
    Fax: 902-443-5562
    E-mail: ofume.phillip@gmail.com
    Documents delivered to this address are considered received by the Plaintiff on delivery, further contact information is available from the prothonotary



















    3
    2015 S.H. No._________________________


    IN THE SUPREME COURT OF NOVA SCOTIA

    ENDOWED PROF.(DR.) PHILLIP OFUME
    Plaintiff


    V.

    THE GREAT CANADIAN DOLLAR STORE, INC.
    Defendant

    Notice of Action
    TO: THE GREAT CANADIAN DOLLAR STORE, INC.

    A. Action has been started against you
    The plaintiff takes action against you.
    The Plaintiff started the action by filing this notice with the court on the date certified by the prothonotary.
    The Plaintiff claims the relief described in the attached statement of claim. The claim is based on the grounds stated in the statement of claim.
    ISSUED the day of March 3, A.D. 2016

    B. Judgment Against You Do Not Defend
    The Court may grant an order for the relief claimed without further notice, unless you file the notice of defence before the deadline.
    4
    C. You May Demand Notice of Steps in the Action

    If you do not have defence, to the claim or you do not choose to defend it you may, if you wish to have further notice, file a demand for notice.
    If you file a demand for notice, the Plaintiff must notify you before obtaining an order for the relief claimed and, unless the court orders otherwise, you will be entitled to notice of each other step in the action.


    D. Filing and Delivery of Documents to court
    Any document you file with the Court must be filed at the Office of the Prothonotary at
    The Law Courts: 1815 Upper Water St. Halifax, NS Canada B3J 1S7 Phone: (902) 424-4900
    Fax:(902) 424-0524

    When you file document you must immediately deliver a copy of it to each other party that is entitled to the notice, unless the document is part of an ex-parte motion, the parties agree delivery is not required, or a judge orders is not required
    E. Contact Information of Parties in the Action
    Plaintiff designates the following address:
    Phillip C. Ofume, Ph.D.
    The Abigail # 1
    56 Jacob Lane, Suite 403
    Bedford (Halifax),
    Nova Scotia Canada B3M 0H5
    Tel. 902-443-4807
    Fax: 902-443-5562
    E-mail: ofume.phillip@gmail.com
    Documents delivered to this address are considered received by the Plaintiff on delivery, further contact information is available from the prothonotary
    F. Proposed Place of Trial
    The Plaintiff proposed that, if you defend this action, the trial will be held in Halifax, Nova
    5
    Scotia.
    Signed this 3rd day of March 2016

    ______________________
    Phillip C. Ofume, Ph.D. - Plaintiff
    The Abigail # 1
    56 Jacob Lane, Suite 403
    Bedford (Halifax),
    Nova Scotia Canada B3M 0H5
    Tel. 902-443-4807
    Fax: 902-443-5562
    E-mail: ofume.phillip@gmail.com

    Prothonotary’s Certificate
    I certify that this notice of action, including the attached statement of claim, was filed with the Court on the March 2016


    ________________________________________
    FORM 4.02B

    G. Statement of Claim


    I. OVERVIEW

    1. Month after month for several months, all the initial and other SEVEN STEPS which must be completed to become franchise member of The Great Canadian Dollar Store, Inc. were completed by the Plaintiff and his agents with the following expensive
    business process directly
    6
    with the corporate headquarters and Regional Atlantic offices of The Great Canadian Dollar Store, Inc: STEP 1 Becoming a Member; STEP 2. Becoming a Franchise Member; STEP 3. Franchise Application; STEP 4. Personal Meetings & Interviews; STEP
    5. Approval & Deposit; STEP 6. Due Diligence; and STEP 7 Location.

    2. The Bank Statement of Account of the Plaintiff and his family which the Defendants know during the interview show that Plaintiff and his family and granting banks have no problem to open the store in Halifax of the Atlantic Region of Canada. How? The
    support and boldness of the bank extend to the Bank to act and sign also as Plaintiff’s some of his References and they signed The Canadian Dollar Store’s Application Form filled out by the Plaintiff.

    3. One of largest banks in Canada stepped forward to sign and approved the worth of the Plaintiff to manage the store in Halifax and also the bank is ready to open super store in Halifax bigger than Dollarama with new face of Dollar Store because the
    dollar store will be made up of Pharmacy store and Walk-In Clinic first type in North America.

    4. During the time these processes were completed, Mr. Kevin Kane (Director of Franchise Services – Atlantic Region, Great Canadian Dollar Store) said that, their store has one store in Turo which is good competitive distance from the biggest city in
    the Atlantic Region.
    5. After the interview and Plaintiff passed issue like monthly royalties; cost of franchise, $19,880 plus GST or HS; purchase of Inventory; durations of the term of the franchise agreement; selection of the site of the franchise; etc were not a problem
    because Plaintiff passed all these interviews.
    6. The the Canadian Charter of Rights and Freedoms (Secs 7 -14) bar the Great Canadian Dollar Store from opening Halifax Store with reason when Plaintiff passed all the financial, academic professional, etc test and more qualified than all the
    candidates granted the right to open stores inside and outside the Atlantic Region.

    II PLAINTIFF
    7
    7. The Plaintiff, Endowed Prof. (Dr.) Phillip C. Ofume resides in 56 Jacob Lane Bedford of Halifax Nova Scotia of the Atlantic Region of Canada

    III. DEFENDANT

    8. The Great Canadian Dollar Store, Inc.” Is a corporate body and Canadian company incorporated in Canada with its national corporate headquarters located in the province of British Columbia (BC) at : 101-2957 Jutland Road , Victoria, BC V8T
    5J9 Tel. 1-877-388-0123 Fax. 1- 250-388-9763 E-mail: franchise@dollarstore.com website: www.dollarstore.com


    H. CAUSE OF ACTION

    IV. Mistreatment & Inability to Disclose End Time Intention to Deny

    9. Effective January 2014 Plaintiff recruited associates. Jointly, they researched and investigated the plan to purchase a Franchise nature of any Dollar Store.

    10. In the Atlantic Region, they found The Canadian Dollar Store, Inc. and opened contact with it and negotiated to purchase a franchise: several aspects listed in paragraph 1 above were negotiated.

    11. In January 2014 they started telephone negotiation and the corporate office of The
    7
    Canadian Dollar Store, Inc. indicated strong interest to allow a store to emerge in Halifax because it has highly qualified candidates who are successful in business, successful in academics with several doctorate degrees, one store of the Great Canadian
    Dollar Store is located in distance town called Truro, NS, that in HRM is another large populated location for another store to emerge which will be owned by the Applicant and Associates that also the owners of big and multi-million dollars companies
    such as G.M. Bond Enterprises and Phonex Enterprises. The Endowed Prof. (Dr.) Phillip C. Ofume & Mrs. Maureen N. Ofume rose to stardom in corporate management level and they became the CEO, President, Assistant General Manager and General Manager of G.M.
    Bond Enterprises and Phonex Enterprises.

    12. In February 2014, the courage given to Plaintiff and Associates made them to release money to engage in investigation and research of the content, worth and progress of The Canadian Dollar Store, Inc. across the Province of NS and federal worth of
    the franchise. Plaintiff and Associates found that the franchise is viable and they were interested in purchasing the franchise.

    13. In March 2014 Plaintiff and Associates applied to The Canadian Dollar Store, Inc. and they approved the written application of the Plaintiff and Associates and The Canadian Dollar Store, Inc. started long range of investigation and research on them.

    8
    14. Several more real and estate properties agents were mobilized to search and investigate locations and they found good locations after the locations stated in paragraph above were rejected politically and only one location was approved and
    continued the search.

    15. The banks were very anxious to see The Canadian Dollar Store, Inc. approve the store locations which the banks know will be very good for The Canadian Dollar Store, Inc. and the Plaintiff and Associates but without reason, Mr. Kelvin Kane did not
    approve the location approved.

    16. Plaintiff and Associates did all the processes stated above and below and above which ate off several thousands of dollars and on August 5, 2014 shocking that The Great Canadian Dollar Store, Inc. and Mr. Kelvin Kane denied opening the store in
    Halifax, NS.

    17. Very shocking on August 5, 2014 under a losing cash through about 7 months to read from Mrs. Kane that he will not open our store in Halifax, NS.

    18. Plaintiff’s and Associates banks and customers (to serve upper, middle and lower classes, immigrant, migrant, tourist, students, elderly and the general public of Nova Scotia) were disappointed and Plaintiff and Associates are continually
    branded as liars, deceitful, and they called The Canadian Dollar Store, Inc. names.

    19. In note titled, “TOO LATE TO DISCLOSE THIS OPPORTUNITY” by the Plaintiff and Associates to The Canadian Dollar Store, Inc., they blamed The Canadian Dollar Store, Inc. for wasting too much time to inform them that it will not open store in
    Halifax, NS.

    20. In this response, Plaintiff and Associates want to walk away from this case to avoid
    8
    litigation, articling and publicizing The Canadian Dollar Store, Inc. nationally and internationally when they demanded for a peanut of $150,000.00 but again shocking that The Canadian Dollar Store, Inc. did not reply which shows that The Canadian
    Dollar Store, Inc. is dealing with the Plaintiff and Associates politically and cruelly.


    I. Time & fund Wasting Over 7 Months Processes
    21. “Franchise Application Form” defined under “The Great Canadian Dollar Store, Inc.” …has a four-page Application Form which must be completed and signed by several people including the funding banks which “The Great Canadian Dollar
    Store, Inc.” called “next step” is for you to complete the Franchise Application Form and return it for our review and expert interview, research and investigation were conducted and Plaintiff and Associates
    9
    passed with high readiness point.

    22. Completing the Franchise Application Form is a major part and the process which will lead to other investigation and research of the following prongs: (a) Personal contact information; (b) Business and personal references; (c ) Statement of net
    worth; and (d) Your resumé. APPLICATION FORM
    23. “Research and Investigation of paragraph (3) above” After the lengthy investigation and research of this paragraph for several months, Plaintiff passed and “The Great Canadian Dollar Store, Inc.” moved to the final stages as follows:
    24. Stage I “Business Plan and Business Worth references” An expensive professional business plan was prepared and funding bank reference was involve to proof funding credibility and banks were ready with the fund to open“The Great Canadian
    Dollar Store, Inc.” and Plaintiff had full deposit required by the banks located in Halifax of the Atlantic Region of the Province of Nova Scotia and Plaintiff passed this test.
    25. Plaintiff had over the cash deposit required by “The Great Canadian Dollar Store, Inc.” and Plaintiff passed this stage also. See attached submission which are Letters in support of the Application Form.
    26. Stage II The Great Canadian Dollar Store, Inc. related next store geographical proximity to Halifax is in Truro, Nova Scotia and rated as being excellent location and Plaintiff passed this prong also.
    27. The Great Canadian Dollar Store, Inc. Plaintiff and his family and relied on their business money to survive and now Plaintiff and his family are cash trapped and broke because of the action of the Defendant.
    28. Final Stage: Stage III: Search for viable store location in Halifax Regional Municipality
    10
    (HRM) to open store in the HRM. At this point, “The Great Canadian Dollar Store, Inc.” continued to retain the same Director of Atlantic Region Mr. Kelvin Kane to lead this stage and open the store on behalf “The Great Canadian Dollar Store, Inc.”
    in Halifax.
    29. But things were impeded because Mr. Kane was deeply connected with Plaintiff’s and Associates’ opposition which are the United States, oil/gas companies of Nigeria, government and some politicians of Nigeria, etc. Mr. Kane traveled oversea to
    see them several times.
    30. “Mobilization of Experts, Real Estate and Properties” to undertake Stages mentioned above. They were seriously engaged in strong search and they found best locations in Bayer’s Lake, Clayton Park, Dartmouth Crossing, etc.
    31. Shocking that Mr. Kane visited Plaintiff and associates and disqualified these good store locations without good reason as the opinion of the Franchisors and Franchisees govern this approval but dictatorially Mr. Kane sanctioned the right of
    Plaintiff to oppose his unwarranted denial of these lucrative store spots and locations. Letters of disqualification available for perusal and inspection and will be incorporated as part of Plaintiff’s affirmative evidence.


    V. Deprivation of Economic and other Sustenance of the Rights to Means of Livelihood
    32. “Section 7 of the Canadian Charter of Rights and Freedoms is a constitutional provision that protects an individual's autonomy and personal legal rights from actions of the government in Canada. There are three types of protection within the
    section, namely the right to life, liberty, and security of the person. Denials of these rights are constitutional only if the denials do not breach what is referred to as fundamental justice.”
    33. “This Charter provision provides both substantive and procedural rights It has broad application beyond merely protecting due process in administrative proceedings and in the adjudicative context, and has in certain circumstances touched upon
    major national policy issues such as entitlement to social assistance and public health care. As such, it has proven to be a controversial provision in the Charter”.
    34. The Canadian Human Rights Act, passed in 1977, also protects human ... No one can be deprived of these rights except through fair legal procedures …”
    11

    35. Defendants must be questioned under paragraphs 32 and 34 above why they have ignored these constitutional and human rights legislation to deny Plaintiff the rights to open large store in the biggest city in the Atlantic Region.
    VI Tort Liability Based on Denial of Rights to Open and Do Business in Nova Scotia
    36. The Great Canadian Dollar Store, Inc. is liable in tort because of “negligent mismanagement. Politicized Negligent mismanagement”. It has arisen out, “ when the injury suffered by the tort victim can be attributed to carelessness in the
    oversight of some aspect of the corporation's operations.” The administrative path applied to deal with applicant application to purchase franchise was reckless, punitive, heartless, and seen in administrative misconduct punishable under national law
    and UN international laws because they permitted an unsafe condition to exist on the corporation's property contrary to the publications they are making across Canada and world in general.

    VII Extra-ordinary Negligence

    37. First month through over seven months, The Great Canadian Dollar Store, Inc. allowed Plaintiff start each expensive and trust breeding process without using less than one month to take decision to stop Plaintiff from wasting their time and money in
    running all the lengthy process to purchase the franchise by not allowing them to pass through all the process in a timely manner.

    VIII Damages

    38. The impunity wrongs committed against Plaintiff have severe forms of economic, social, political, financial and civil detrimental effects on the community, regional and national worth of the Plaintiff and Associates.

    39. Plaintiff and Associates have suffered injuries and damages that were caused by the Defendants.

    40. The invasion of trust in business caused by the Defendants is extensively very offensive thus causing high level of anguish, humiliation and shame to come back to these communities, banks and intending share holding to solicit for similar help in
    the future.

    12
    IX Aggravated, Punitive & Exemplary Damages

    41. Plaintiff states that the action of The Great Canadian Dollar Stores, Inc. and Mr. Kelvin Kane for which Mr. Kelvin Kane is vicariously liable, was evil, satanic, arrogant, destructively worst than Armageddon, highhanded, matchless in crime
    against humanity, and constitute maximum personality destruction passively chronic and matchless in violation of the “Section 7 of the Canadian Charter of Rights and Freedoms”. The Plaintiff submits that this right path to nail Defendants to
    Aggravated, Punitive & Exemplary Damages.

    J. Seeks Relief Following:

    42. Plaintiff restates the fore-going submissions and seeks the following relief:

    42.a. An Order satisfying these proceedings as a case of Fundamental Human Rights violation and violation of the “Section 7 of the Canadian Charter of Rights and Freedoms”.

    42.b. A declaration that Mr. Kelvin Kane and The Great Canadian Dollar Store, Inc. have committed the tort of” individual sanction” which are slammed against people designated as terrorist and crime against people convicted of crime against humanity
    under Rome Convention of July 28, 1998.

    42.c. Vicariously, a declaration that Mr. Kane is liable for the action of The Great Canadian Dollar Store, Inc.

    42.d. Damages of the Plaintiff’s community, grantors’, shareholders’, etc trust, reliability and worth within the entire academic and professional colleagues.

    42. e. Aggravated, punitive & exemplary damages.

    42.f. Interests as allowed by the operating legislation

    42.g. Cost et als

    42. h. Such further and other relief as allowed by this Honourable Court deems appropriate.

    13

    DATED at Halifax this 3th day of March 2016

    ____________________
    Phillip C. Ofume, Ph.D.
    The Abigail # 1
    56 Jacob Lane, Suite 403
    Bedford (Halifax),
    Nova Scotia Canada B3M 0H5
    Tel. 902-443-4807
    Fax: 902-443-5562
    E-mail: ofume.phillip@gmail.com


    To:

    The Prothonotary The Law Courts:
    1815 Upper Water St.
    Halifax, NS
    B3J 1S7
    Phone: (902) 424-4900
    Fax:(902) 424-0524



    Respondent Contact Information:
    Great Canadian Dollar Store (1993) Ltd.
    101 – 2957 Jutland Road
    Victoria, BC V8T 5J9
    Phone: (250) 388-0123
    hone: (250) 388-0123 ext. 229
    Toll Free: 1-877-388-0123 ext. 229
    Fax: (250) 388-9763
    E-mail: franchise@dollarstore.com
    website: www.dollarstore.com


    14


    CONTACT INFORMATION AND DESIGNATED ADDRESS
    Prof. (Dr.) Phillip C. Ofume Name:__________________________________________________________________

    56 Jacob Lane Suite 403 Bedford (Halifax) Nova Scotia B3 Address_________________________________________________________________
    Canada B3M 0H5
    ____________________________________Postal Code___________________________

    902-448-4807
    Telephone: Home___________________________ Work_________________________
    Ofume.phillip@gmail.com
    Cell Phone_____________________________ E-Mail_____________________________
    X
    File Name _____________________________ I am the:_____Plaintiff/Applicant/Petitioner
    ______________________________ ______Defendant/Respondent
    ______________________________ _______ 3rd Party/Other________
    _______________________________________________________________________________
    Certificate
    I certify that the above address is my address for receiving court documents.

    I confirm and understand that any court documents sent, mailed, or delivered, to the above address are considered by the court to be received by me.

    __________________________________ ________________________________ Date Signature
















    15



    Change of Address

    I f my address provided above changes, I undertake to immediately notify a court officer at this court location, in writing, of my new address where I can receive documents in relation to this proceeding.

    If I do not do this, I understand my action, application, appeal, defence, response, or answer could be dismissed, or proceed in my absence, without further notice to me.
    3/3/2016
    __________________________________ ________________________________ Date Signature
    ………………………………………………………………………………………………
    PLEASE NOTE: The information on both these pages will be placed in the court file.
    =====================================================================















    16



    CONTACT INFORMATION AND DESIGNATED ADDRESS
    The Great Canadian Dollar Store, Inc. Name:__________________________________________________________________

    101 – 2957 Jutland Road Victoria, BC Address_________________________________________________________________

    Canada V8T 5J9
    ____________________________________Postal Code___________________________

    Phone: (250) 388-0123
    (902) 424-5110 Telephone: Home___________________________ Work_________________________

    franchise@dollarstore.com
    Cell Phone_____________________________ E-Mail_____________________________ File Name _____________________________ I am the:_____Plaintiff/Applicant/Petitioner
    ______________________________ _X_____Defendant/Respondent
    ______________________________ _______ 3rd Party/Other________
    _______________________________________________________________________________


    [continued in next message]

    --- SoupGate-Win32 v1.05
    * Origin: fsxNet Usenet Gateway (21:1/5)