Living Will Update Clacton and Harlo Hospitals

C/O Clacton and District Hospital
Patient Record Department
W/Regards to Peter Bruff Ward
and Martello Court,Tendring in Essex

Fax Transmission 13 pages including cover

Regarding Mr. Alexander Dobre
7 Skelmersdale street ,7D
Clacton on the Sea, Essex

Birth Date 07/10/1971

NHS Number :649 719 8253 including any other billing associated to the file held currently and or formerly at Derwent Centre incorporating any “Former treatment recordings” “Requested” and or held.

In accordance with the British Mental health ,but first with the international draft law on Mental Health Practices[ (..Acts referring to religion prevailing in a persons community,family conflict..and requests regarding clinical recording) (practice)], Mr. Dobre on behalf of his self requests that this “Living Will” and “Advanced Medical Decision”, is placed the record held or referred to by the N.Essex NHS in any reference or possible reference to Mr.Dobre and further to this, any health oriented or legal oriented person with which the N.Essex NHS has shared information with where possible .

In the case that the N.Essex NHS has ordered other Records from any where else that they may be provided with the fax contents is within the international draft law pertaining to the application on views of former or current ,but “relevant” treatment incorporating their jurisdictional laws and your former “patients” right to update them by this request which incorporated the international draft law on Mental Health Paractices or The United Nations Principles for The Protection of The Mentally Ill and also the Scottish Mental health Act where applicable which also but at first refers to the the cover letter request , and only the direction of interests expressed in the fax contents ,but after the cover page of course.

Contents of Fax 1 cover page and 10 pages “Living Will” ,“Advanced Medical Decision” and

with an additional 2 pages which I request to be put with any records refering to the City of Ottawa, Manotick , Brockville, Royal Ottawa Health Care Group,Brockville Psychiatric Hospital and the Province of Ontario as a legal viewpoint on any professional remark imposed on Mr.Dobre’s record which refers to the opinions of any of the professionals of that group and with whom their records may have been shared with by the Derwent Centre or institutions governed by the British and Scottish Mental health act but first with the international draft law of course. (this is only to reflect Mr.Dobre’s view on the remarks of the Royal Ottawa Health Care group which reflects on Mr.Dobre’s “views” on their motives and the DSM-IV which include all aspects of the ICD-10.

15th of February 2016 in Essex but within and including the European Union


Issues on Royal Ottawa Health Care Group Forensic 1990s-2004 and including all relevant Disclosures former or current

Posted on January 10, 2016 by legalproposal
(1)Mr. Dobre wishes to make allegations that he was an influenced young adult with little education and serious learning difficulties who was taken advantage of by the Royal Ottawa Health care Group. The behavior of the Royal Ottawa health care group including the civil behavior of its members has taken up half of Mr.Dobre’s life-time.
(2)Mr.Dobre has not had the ability or education to pursue the group. Additionally syndromes caused from their treatment have acted as a life long anesthetic w consumer oriented pain reaction and inhibition syndromes possibly known as PTSD .
(3)Mr.Dobre’s lawyer in the 90s did not follow his clients instructions and pleaded not criminally responsible w/out his clients permission. Mr. Dobre at the very beginning and through the course of years was taken advantage of by professional witnesses of the group who were likely dominant for food chain purposes on identity and consciousness. Mr. Dobre did not support there views and lacked the education to properly purse the situation.
(4) The health care group set a precedent and shared records with other persons who up to date have acted on the careless acts of the group who were defamatory and aided Mr. Dobre’s family in dramatizing situations and disposing of their son’s rights who was abandoned by them and subject to street associated identity perceived as unclean , dirty or something ugly as to tranquilize something un-appealing w no education as a result of “conflict prevailing w in a persons community and family oriented conflict”(mental health UN draft law).
(5)Mr. Dobre’s family ditched Mr. Dobre in the 80s to The Portage Program to get rid of him in spite of alienation of Mr.Dobre  w in the home and that Mr. Dobre may have appeared retarded, a burden and unwanted. Not being able to look after himself Mr. Dobre was unwanted .
(6)The family dramatized that they were afraid of him and pretended that they felt as though he would harm them. Mr. Dobre a younger adult may have sworn at them on the phone. They were never held criminally or psychologically accountable based on their own social status with the police and the community. They had made a mistake and continued to insist on(medicating/over-medicating) tranquilizing Mr. Dobre resulting in symbolism of concentration and alienation.
(7)Mr. Dobre believes he had learning difficulties  was influenced by persons in his home, and due to the lack of education or axioms was hypnotic and otherwise. The medicine given to Mr.Dobre likely resulted in him being more hypnotic. Major tranquilizers are also said to cause violence says Robert Whitaker author of Mad in America.
(8)Mr. Dobre has situational evidence on his experience of persons in the health profession on how he was treated.
(9)Treatments were representing food chain purposes and instructions against quality of life issues, marital, identity and other issues which were curricular (not therapeutic)and are not clear, though the acts committed by the Royal Ottawa and Brockville Psychiatric are “tangible”.  The original acts demonstrated or the ownership of fundamental freedoms seems to be  therapy carried out by the health care group.
(9)Mr. Dobre was alienated from interests by the health care group who used major tranquilizers and the experience of the group was not therapeutic , the group tortured Mr. Dobre and made him sick. The group was malicious ,unprofessional and continually alienated Mr.Dobre from symbolism necessary for survival , ego and the development of self.
(10)The health care group prevented the development of self w major tranquilizers and theoretical applications of medicine. The care group was not concerned that the medicine was making him sick and were identifying helpful medicines vexatiously and associated with recreational use and committed defamation daily in the form of clinical fraud.
(11)The health care group helped mask the parents abandoning of Mr. Dobre as a child.
(12)The health Care group implicated the justice system with their pseudo-scientific claims.
(13)Mr. Dobre did commit influenced acts because he didn’t know better and was suggestible(and only responsible to that degree as far as the aledged acts and Mr.Dobre went through learning preparation classes but obviously did not receive adequate treatment for learning problems which were likely associated to family conflict and representations of Mr.Dobre possibly not participating in incest.
(14)The professionals of the health care group had a food chain relationship and criminally suspended what may be considered the social component of Mr. Dobre’s consciousness ,and in doing so did tortured Mr. Dobre as a form of cruelty unlawfully. The Group and it’s members did not at any time attempt to actually communicate with Mr. Dobre, but promoted defamation as therapy. The amount of pretend therapy was superficial engagement for show ,which consisted of causation, humiliation and other factors
Mr. Dobre would like to pursue the matter with fundamental witnesses on fundamentals of consciousness,identity and causation factors that would produce compatible behaviors to their diagnosis symbolism w the symbolism of slavery ,causative medicines, and superficial representations that therapy did take place for show incorporating clinical fraud. Mr.Dobre seeks relief in hours of the said treatment and years of effect to life and the pursuit of happiness
This includes any relief past or present which incorporates very strong symbolism that members of authority may break the law for purposes in any way social or animate which would affect Mr.Dobre’s health or civilian behavior or freedoms, or that was meant as defamatory to Mr.Dobre in any way currently or formerly and with geno-toxins ,including any act leading to or instructing onership of fundamental freedoms or ritualistic nationalistic N.American Behavior which incorporates any parties which may have acted as any form of brokerage at Mr.Dobre’s utilities or the utilities of persons considered by Nationalistic authority as a manifestation of energies and motives which incorporate a part or a whole consensus, with all parties claiming that responsibility on providing energies on the onus formerly(of course) placed on Mr.Dobre’s self set at acts of the depravation of self in any way representing the celebration of a holocaust form of schizophrenia or illness where there was the practice of those with authority for example of persons employed by rail companies or the NHS.


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