Cmdr. Bluefin a/k/a (Sherlock Holmes) "Legal page"
Sunday, June 14, 2026
(Defendant) Hamilton citing “ Intentional Plagiarism” act of using (Defendant) Hamilton ideas, words, and expressions from (Instagram & Blog) on May 11th 2026 and presenting them as (Defendant) Trump Presidential own original work, being continually fraudulently in this (Bogus) 21st Century ROAD to Housing Act successfully passed the House with a sweeping 396-13 vote “fraudulent centerpiece of government housing legislation” stole from the (Pro Se Plaintiff) Hamilton actually commenced on May 11th 2026 “Claiming to be a bipartisan 21st Century ROAD to Housing Act, which passed the U.S. House of Representatives and is backed by the Trump administration. Additionally, the administration is advancing regulatory measures aimed at tackling the affordability crisis through specific executive actions, Key Housing Initiatives 6. • 21st Century ROAD to Housing Act: Passed by the House in May 2026, this legislation aims to streamline housing development, encourage new construction, update HUD programs, and eliminate burdensome regulatory barriers. Crucially, it contains provisions that restrict large institutional investors from purchasing single-family homes, reflecting Trump administration priorities Wherefore (Defendant) Hamilton Notice to Strike the “fraudulent bipartisan 21st Century ROAD to Housing Act” which passed the U.S. House of Representatives and is backed by the (Defendant) Trump administration, due to (Defendant) Trump et al government’s continues to commit Plagiarism which having occurred of May 11th, 2026., direct at (Defendant) Louis Charles Hamiton II. Statement of Facts State of Texas County of Galveston I, __________________________________________ Louis Charles Hamilton II (Defendant) Residing at 4201 Sealy Avenue, Galveston, Texas 77550 legally described as: ABST 628 PAGE 105 LOTS 8 THUR 10 HOXIE’s Special HUB in Galveston County Texas being duly sworn, depose and state the following to be true and correct: 1. I personally witnessed the events described herein acting as “Pro Se Plaintiff Louis Charles Hamilton II, Estate of Louis Charles Hamilton II v. Trump (1:20-cv-00266)
Tuesday, June 9, 2026
In County Court at Law No. 3 of Galveston County CV- 95677 Hamilton vs DND Texas Investment’s, Defendant Mr Andre Horn (Co-Defendant) Wherefore (Defendant) Hamilton being awarded upon a jury trial an amount exceeds $75,000, exclusive of interest and costs for “Liable” overt acts of ((Plaintiff) DND Texas Investments “Text Message” he is being in fear of his loss of life...? at the hands of the (Defendant) Louis Charles Hamilton II, Pain and suffering, mental anguish, exemplary damages (3). Wherefore (Co-Defendants) Earnest Lee Hamilton Sr., (Co-Defendant) Sandra Harris, (Co-Defendant) Ron D. Harris Attorney at Law, each being awarded separately upon a jury trial an amount exceeding $75,000, exclusive of interest and cost Pain and suffering, mental anguish, exemplary damages (4). Wherefore Reimburses the (Defendant) Hamilton for actual, out-of-pocket financial losses, making Unit 3 livable after Hurricane IKE, in 2024…? $2800.00 plus Pain and suffering, mental anguish, exemplary damage and diminished quality of life as described in counterclaims from 2016 – 2024 (5). Wherefore (Defendant) Hamilton being reimbursed for “Electrical Labor work for (3) working period days of 8 hours at the Pay Rates by Experience Level Apprentice $25 per hour X 24hrs, $600.00, plus Pain and suffering, mental anguish, exemplary damages with 6% interest incurred since date of injuries2024 throughout June 16th 2026 (Plaintiffs) DND Texas Investments did so commits theft of service with intent to avoid payment for service that was rendering regardless of shoddy illegal workmanship
Friday, June 5, 2026
In The Galveston County Court Louis Charles Hamilton II Plaintiff. Earnest Lee Hamilton Sr., Ron D. Harris Attorney at Law, Sandra Harris 2724 61st St. STE 1B #17 Galveston Texas 77551 VS. DND Texas Investment’s LLC. et al Mr. Andre Horn P.O. Box 9884 Houston Texas 77213 Civil Complaint (Jury Demanded)
Sunday, May 31, 2026
Subpoena Duces Tecum to: Chief Building Official and Assistant Director of Development Services for the City of Galveston Robert "Joe" Toland, you must appear in court, located at 600 59th Street, 1st floor, Galveston, Texas 77551 on June 16th, 2026, at 10:30 AM (a) Having in your possession specific DND Texas Investment, LLC 4201Sealy Avenue, Galveston, Tx, ABST 628 PAGE 05 LOTS 8 THUR 10 HOXIE’s Special HUB in Galveston’s Texas “Electrical Permits” from the dates of 2019- 2026 (b) Provided (Defendants) Louis Charles Hamilton II copies of any such “Electrical Permits” (Defendants) (Hamilton) Mailing Address 2724 61st St Suite 1b #17 Galveston Texas,77551-1800 on or before June 15th, 2026, and or hereby (respectfully) order to: (c) Provided any documents related to Plaintiffs DND Texas Investments “having not obtained any Electrical Permits” on the dates of 2019-2026 (d) Take Legal Notice Copy of Citation (Eviction Case) No. 26-EV03-0227 and DND Texas Investment, LLC Notice to Vacate attached herein. (e) Take Legal Notice Copy of (Defendant) (Hamilton) Counterclaims in regard to Electrical Permits among other Building Issues” of Plaintiffs DND Texas Investments, LLC, with (Defendants) (Electrical Photos) (Exhibit) attached herein.
Friday, May 29, 2026
(Defendant) Louis Charles Hamilton usage of emergency “Veterans Funding of U.S. Department of Housing and Urban Development OMB Approval No. 2577-0286 Expires 1/31/2028 officially used at (Plaintiff) DND Texas Investments ABST 628 page 105 LOTS 8 THUR 10 HOXIE’s Special HUB in Galveston Mr. Andre Horn P.O. Box 9884 Houston Texas 77213 (713-213-6026) ahorn@dndtexasinvestments.com with additional Libelous Trama from DND Texas Investments of “Life ending violence involved and directly to himself…? With (Plaintiffs) Earnest Lee Hamilton Sr., Sandra Harris, Ron D. Harris Attorney at Law accused of this additional libelous Trama surround “Death, DOA loss of DND Texas Investment Entire Human Life...? on the property 2026 Text Message that there is a threat of imminent harm in the form from further violences other than was described herein (Defendants) Exhibit C to occurred on the premises, with the additional “perpetrators” being described as the (Plaintiff)DND Texas Investments now also being the housing provider having already received from Amber Evans (409-765-2210) $3200.00 (2) months’ rent and deposit Plus $600.00 Dollars in Home furniture (Bed, Desk, Kitchen table, Nice Sofa) upon referral from (HOPE) St. Vincent’s House 2817 Post Office Galveston, TX 77550 upon application dated January 8th 2026 attached herein (Defendants) Exhibit C
Pro Se Defendant Louis Charles Hamilton II Notice of Occupancy DND Texas Investments ABST 628 page 105 Lots 8 THUR 10 HOXIE’s Special HUB in Galveston 4201 Sealy Unit 5 Galveston Texas 77550 “term of this lease” begins March 1st, 2026, and Expiration date March 31st, 2027 (pages 1-19) attached herein Plaintiffs DND Texas Investments Residential Lease attached herein as (Defendants) Exhibit (A) under the Application’s for Rights Under the Violence against Women Act HUD-5380 U.S. Department of Housing and Urban Development OBM Approval No. 2577-0286 Expires 1/31/2028 (pages 1-5) Defendants Exhibit (B) attached herein Covering housing provider means the individual or entity under a covered housing program that is responsible for providing or overseeing the VAWA protection in a specific situation; The Covered housing provider may be a public housing agency, project sponsor, housing owner, mortgagor, housing manager, State or local government, public agency, or a nonprofit or for-profit organizations as the lessor, Pro Se Defendant Louis Charles Hamilton II under a program covered by VAWA, cannot lose housing, housing assistances, or homeless assistance covered by VAWA or be evicted while actually being a victim of attempted violence further undergoing several years of slanderous HIV infection trauma, Associated with property damages, (Video Evidence filed herein) also attempted aggravated assault with a deadly weapon resulting in the (Defendant) Louis Charles Hamilton usage of emergency “Veterans Funding of U.S. Department of Housing and Urban Development OMB Approval No. 2577-0286 Expires 1/31/2028 officially used at (Plaintiff) DND Texas Investments ABST 628 page 105 LOTS 8 THUR 10 HOXIE’s Special HUB in Galveston Mr. Andre Horn P.O. Box 9884 Houston Texas 77213 (713-213-6026) ahorn@dndtexasinvestments.com with additional Libelous Trama from DND Texas Investments of “Life ending violence involved and directly to himself…? With (Plaintiffs) Earnest Lee Hamilton Sr., Sandra Harris, Ron D. Harris Attorney at Law accused of this additional libelous Trama surround “Death, DOA loss of DND Texas Investment Entire Human Life...? on the property 2026 Text Message that there is a threat of imminent harm in the form from further violences other than was described herein (Defendants) Exhibit C to occurred on the premises, with the additional “perpetrators” being described as the (Plaintiff)DND Texas Investments now also being the housing provider having already received from Amber Evans (409-765-2210) $3200.00 (2) months’ rent and deposit Plus $600.00 Dollars in Home furniture (Bed, Desk, Kitchen table, Nice Sofa) upon referral from (HOPE) St. Vincent’s House 2817 Post Office Galveston, TX 77550 upon application dated January 8th 2026 attached herein (Defendants) Exhibit C
Tuesday, May 26, 2026
YOU ARE THEREFORE COMMANDED to appear before the Galveston County District Court, Texas at the Courthouse and answer said application showing cause as Following: Why Rentals Properties in Galveston Texas, Mr. Andre Horn DND Texas Investment LLC. P.O. Box 9884 Houston, Texas 77213: Said (1) Rentals Properties Not being Condemned, All Tenants Forced into Eviction and Both Properties Order Completely Gutted out over Sub-Standards Living Accommodation, Under Texas property law, pest infestations which are legally addressed through the implied warranty of habitability in Chapter 92 of the Texas Property Code; Texas law states that a landlord must make a diligent effort to repair a problem if it materially affects the physical health or safety of an ordinary tenant, (2)hereinafter Gross Neglected to having a License Extermination protecting’s the implied warranty of habitability, in this case “Never Occurred” from 2016- 2026 (10) plus years of on hell of a Massive Roaches Infestation, (pictures included) as upset of been bitten while a sleeping under “roach attacks” (pictures included) to the points of my-self forced from neglect of property owner did so gutting out unit (3) as described above, to get this mess under some sort of control since “Hurricane Ike” while paying my-self as described Under Texas Penal Code Section 31.04, theft of service occurs when you intentionally or knowingly avoid paying for compensation-based services through deception, against Pro Se Plaintiff’s Louis Charles Hamilton II, “Remodeling of Unit 3” counter-claims for actual damages— above and herein this paragraph for several replacement of ruined belongings, with moving expenses, and statutory damages up to three months' rent, $1200.00 deposits returned plus attorney's fees—because this landlord's inaction breached the implied warranty of habitability from 2016 through out May 31st 2026 while Pro Se Plaintiff living in such conditions collectively with unit 5 having been unrented for a 6–7-month periods under hot mildewing’s enclosed apartments no A/C on with several other unit’s went this way...? “Massive Roaches” roaming Throughout Old Sheets Rock Walls, from apartment to apartment with rodent and rats eating the old electrical wiring thus resulting in the electrical shortages and possible “Massive Fire within the Old Sheet rock Unit 3 repairs pictures herein, Now exposing factual requiring an Entire New Electrical Wires, Electrical Panels Boxes and in some cases once exposed Walls replace New plumbing upon City Inspection Codes Databases 2026 as required by Texas & Federal Laws, with installation of Security CamerasOver (8) years ago property owner Falsey Stated that “He Would be installing (Security Cameras) especially after Galveston PD SWAT came with the “Army Tank”; shooting tear-gas..? and then made further false assurance over (8) years ago (He) would relies on the presence of cameras to deter crime but fails to keep them functional, by means of never producing said (Security Cameras) upon his continuing failures in “attempting not to be legally accountable” for any injuries tenants suffered during a criminal assault, on his property described as follows:
Subscribe to:
Posts (Atom)