Thursday, June 9, 2011

The (Negro) Plaintiff and Plaintiff(s) Black African Americans children’s pervasive legacy of genocide, racism, and poverty.

                     242.
(Negro) Plaintiff and Plaintiff(s) Black African Americans herein declare, and state fully respectful before the “Honorable Justice” the Defendant (The United States of America) fully target”,
The (Negro) Plaintiff and Plaintiff(s) Black African Americans children’s hopes and dreams by “stereotype within” from a pervasive legacy of racism and poverty.


                            243.
(Negro) Plaintiff and Plaintiff(s) Black African Americans herein state before the “Honorable Justice” In 1662 the Defendant (The United States of America) Virginia Assembly passed a law that (Negro) Plaintiff and Plaintiff(s) Black African Americans descendants children should be held, bond or free,
                           244.
(Negro) Plaintiff and Plaintiff(s) Black African Americans herein state before the “Honorable Justice” the Defendant (The United States of America) In 1663 the Maryland legislature enacted a law that
" all negroes and other slaves within the province, and all negroes and other slaves to be thereafter imported into the province, should serve during life; and all children born of any negro should be slaves, as their fathers were, for the term of their lives."
                           245.
(Negro) Plaintiff and Plaintiff(s) Black African Americans herein state before the “Honorable Justice” the Defendant (The United States of America) once purchased a (Negro) Plaintiff and Plaintiff(s) Black African Americans said described defendant (The United States of America)
“Commonly branded” the (Negro) Plaintiff and Plaintiff(s) African Americans “salves descendants” with a symbol of the “trading company” or “voyage owner” on either their “chest or back” as a means of marking their commercial property and distinguishing Defendant (The United States of America) cargoes from the rest.
                           246.
(Negro) Plaintiff and Plaintiff(s) African Americans Black African Americans herein state, and declare before the “Honorable Justice” during Defendant (The United States of America) 18th century era,
Defendant (The United States of America) planters economically dependent on the “slave trade” came to depend on all of the (Negro) Plaintiff and Plaintiff(s) Black African Americans children(s) and youth.
                           247.
Defendant (The United States of America) adopted the strategy of “abduction and importing” younger (Negro) Plaintiff and Plaintiff(s) Black African American for the sole purpose as slaves who also would live longer.
As a result of the described defendant actions, (Negro) Plaintiff and Plaintiff Black African American “youth” became an attractive asset on the auction blocks of the Defendant (The United States of America) slave markets.

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