Monday, August 1, 2011

Conclusion Docket No. 1:2011 CV-OO240, Plaintiff Louis Charles Hamilton II "Amend Complaint" Defendant(s), United States Attorney, “Eric H. Holder Jr.”, United States Attorney, “John M. Bales”, Assistant United States Attorney, “Andrea Parker” ,Co-Defendant(s) CVS/Caremark and (UPS)

                                     Cause of action
(Obstruction of Justice)
          The Pro Se Plaintiff Louis Charles Hamilton II seeks additional cause of action for obstruction of Justice @ two counts against all Defendant collectively: 
           United States of America, United States Attorney “Eric H. Holder Jr.”, United States Attorney “John M. Bales” and Assistant United States Attorney “Andrea Parker”.
1.For the direct straightforward abduction & destruction of (Plaintiff) personal property a 1994 “Home Utah Video” being physical evidences in process for a Live Federal in suit in Common Law in the custody and control of the Co-Defendant CVS/Caremark Corporation and (UPS) United Parcel Services.
2. Aid and abetting and conspire in the “Obstruction of Justice as described above in paragraph (1).
3. “Obstruction of Justice” committed by Defendant United States of America, And their agents United States Attorney “Eric H. Holder Jr.”, United States Attorney “John M. Bales” and Assistant United States Attorney “Andrea Parker” in the complete highjack and abduction of their own United States Federal Mail,
 Namely (1) Summons and Complaint for Docket No. CV00808 All (Negros) Black African Americans in and for the United States of America vs. United States of America et al, President Andrew Johnson, and President Rutherford B. Hayes
 Said described defendant (Legal Attorney Agents) herein being a criminal (RICO) organization will full corruption desire, and conspire collectively together to cause continue wrongful losses against
 The peace, will, civil rights and dignity for all the (Negro) Plaintiffs Black African Americans and their (Negro) descendant as described fully in Civil Docket No. CV-00808 Federal Complaint.
                                        Cause of Action
                                 (Fraud upon the Court)
          All described Defendant herein being fully well educated Professional (U.S. Attorneys at Law), candid engaging in such upfront dishonest, cross the dam line conduct,
Foremost attempting to sincere be blunt in devious illegally thievery maneuvering, of a Federal Summons-Complaint to civilly win, and physical federal exhibit to civilly win,
While identical harmonizing together in the complete downfall failure and full termination of the acting Counsel of record in two separate Federal Civil Actions
Namely Pro Se Plaintiff Louis Charles Hamilton II, appearing in Docket No. 00808
And also appearing the above caption Federal Action before the “Honorable Justice” entertainment which now the ending is very near,
Being U.S. Federal Docket No.1:2011-CV-00240.
To include but not limited to defendants (U.S. Attorneys) collective belittle, demean, put down, ridicule, mockery, scorn, make fun of, and  jeer at  
The Pro Se Plaintiff (Louis Charles Hamilton II) state of being a Non-professional Attorney at Law without a full law degree, matching wit against,
Such High price, high power suits, well educated, Happy, Honest Top Gun Lawyers engaging against “a retarded, ignorant, ill-bred, Homeless “Sherlock Holmes” Street Nigger Trash”
                             Conclusion
The Honorable Justice”        J
 I Louis Charles Hamilton II, A/k/a “Cmdr. Bluefin” (United State Navy)
. A/k/a “Sherlock Holmes Mystery Writer,
 Being quite respectfully forwarding ahead
“Judicial Notice” in that the “Nigger” herein is again after their “Collectively Crooked Attorneys Freaking Throats” ……………….
Please Respectfully Stand by for another bunch of Crooked U.S. Attorneys at Law seeking a Corrupted “Judicial Bailout” request.
Wherefore the Pro Se Plaintiff Louis Charles Hamilton II respectfully moves the above entitled Honorable U.S. Court for the following relief(s):                   
                                                I
Plaintiff (Hamilton II) seeks actual, accumulative, compensatory, consequential, continuing, expectation damages, foreseeable, Future, incidental, indeterminate, reparable, lawful, proximate, prospective, special,
Speculative, substantial, and “Permanent damages”; “Intentional Infliction of Emotional Distress”, and “Mental Anguish” “damages and awards” from a Jury Trial in excess of (6.8) Million dollars from Co-Defendant(s) (UPS et al) (United Parcel Services et al)
To include but not limited to “Exemplary” treble damages under (RICO) statue being awarded to the Plaintiff (Hamilton II) as described in excess of a total of $20.4 Million Dollar Judgment by a Jury Trial from Co-Defendant(s) (UPS et al).
With full interest incurred since date of injury of April 22 of 2011  Co-Defendant(s) (UPS et al) each herein be made to pay all Court cost, and Any Attorneys Cost.
                                                II
Plaintiff (Hamilton II) seeks actual, accumulative, compensatory, consequential, continuing, expectation damages, foreseeable, Future, incidental, indeterminate, reparable,
Lawful, proximate, prospective, special, speculative, substantial, and “Permanent damages”;.
“Intentional Infliction of Emotional Distress”, and “Mental Anguish” “damages and awards” from a Jury Trial in excess of (6.8) Million Dollars from Co-Defendant(s) (CVS/Caremark et al)
To include but not limited to “Exemplary” treble damages under (RICO) statue being awarded to the Plaintiff (Hamilton II) as described in excess of a total of $20.4 Million Dollar Judgment by a Jury Trial from Co-Defendant(s) (CVS/Caremark et al).
 With full interest incurred since date of injury of April 22 of 2011 Co-Defendants’ (CVS/Caremark et al) each herein be made to pay all Court cost, and Any Attorneys Cost.         
                                                III
Plaintiff (Hamilton II) seeks actual, accumulative, compensatory, consequential, continuing, expectation damages, foreseeable, Future, incidental, indeterminate, reparable,
Lawful, proximate, prospective, special, speculative, substantial, and “Permanent damages”;.
“Intentional Infliction of Emotional Distress”, and “Mental Anguish” “damages and awards” from a Jury Trial in excess of (8.8) Million Dollars from Defendant(s) (United States of America et al) and their agents “The United States Attorney Office”
To include but not limited to “Exemplary” treble damages under (RICO) statue being awarded to the Plaintiff (Hamilton II) as described in excess of a total of $26.4 Million Dollar Judgment by a Jury Trial from Defendant(s) (United States of America et al).
 With full interest incurred since date of injury of April 22 of 2011 Defendants’ (United States of America et al) each herein be made to pay all Court cost, and Any Attorneys Cost.
Award all of the (Negro) Plaintiffs Black African Americans in U.S. Federal Docket No. CV-00808, A Complete polite, will full consideration of the United States of America official Laws…..
Default entry Judgment against all said Defendant (The United States of America et al) with full Awards,
And compensation as described therein being duly just considerations, To include for all “Deem” being just Before The “Honorable Justice” respectful entertain before this entitled United States Federal Court,
During a lawful proceeding on the behalf of Pro Se Plaintiff Louis Charles Hamilton II.
Certificate of Mailing Services
        Comes Now the Pro Se Plaintiff, Louis Charles Hamilton II, Appearing in this Cause No. 1:2010-CV-00240 hereby certify and state against penalty of perjury that the following documents:


1.   Plaintiff Motion to Amend Complaint.
2.   Plaintiff Amend Complaint.
Plaintiff further states regular mail having been received at the address indicated for the Co-Defendant(s) (UPS) through his attorney of records which is on file with the Clerk Office,
 Maureen Blackburn Jennings (Attorney at Law) with the firm Phelps Dunbar) for the Defendant (UPS) 700 Louisiana Street, suite 2600 Houston Texas 77002

 Dated the _______ day of __________, 2011

        By, ____________________________
                Louis Charles Hamilton II
                Pro Se Plaintiff
               
P.O. Box 20126
                Houston Texas 77225

No comments:

Post a Comment