54.
Pro
Se Plaintiff herein “States”, “Affirm” and “Declare” further before the
“Honorable Justice” Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar
No. 24058299 herein used his skills as a “Attorney of Law” to commit fully to
“Obstruction of Justice” for (16) months in refusal to reply to Pro Se
Plaintiff Discovery Request to “facilitate”, and “conceal” Co-Defendant(s)
“Joyce M. Guy and Edward McCray” by provide (Attorney in Law) Professional
Legal efforts to evade the 58th Judicial District Court of Jefferson
County Texas proper administration of Justice in the complaint A-180805 against
all of the Fraud activities already being described in said complaint against
said Co-Defendant(s) herein.
Furthermore
Defendant (Attorney at Law) keeping the “Honorable Court” and The Pro Se
Plaintiff isolated in 2008 while the ongoing (RICO) racket scheme of things currently
ongoing fraudulent activities involving the secrete destruction of the old home
located at 448 DeQueen Blvd. in Port Arthur Texas in exchange for a new one at
the same location all of which being secretly done while the “older home” still
being a civil issue of Fraud as described by the Pro Se Plaintiff before the
“Honorable Court”.
55.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice”
Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein “facilitate” all of his own “Fraudulent Activities” upon the Pro Se
Plaintiff and fraud of the 58th Judicial District Court of Jefferson
County Texas for the full benefit of hiding the Co-Defendant(s) “Joyce M. Guy”
and “Edward McCray” numerous corruption activities with the usage of the “United
States Mailing System” to further long this fraudulent “scheme of things” before
a “Honorable Court of Law” within the State of Texas and further long this “civil
scheme” against the Pro Se Plaintiff as being described herein this complaint.
56.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice”
Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein “facilitate” all of the Co-Defendant(s) “Joyce M. Guy” and “Edward McCray”
described corruption(s) and fraudulent activities with the usage of the “United
States Mailing System” to further long this fraudulent “scheme of things”
before a “Honorable Court of Law” within the State of Texas and further long
this “civil scheme” against the Pro Se Plaintiff as being described herein this
complaint.
57.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice”
Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein “facilitate” all of his own “Fraudulent Activities” and that he further conspire
to and did in all facts and circumstances “facilitate” provide concealment,
evade Justice for all of the Co-Defendant(s) “Joyce M. Guy” and “Edward McCray”
described corruption(s) and “fraudulent activities” with the usage of the
Jefferson County “Clerk of Court” Office Computer System, electronic records,
and filing system thereof to further long this fraudulent “scheme of things”
Before an “Honorable Court of Law” within the
State of Texas and further long this “civil scheme” against the Pro Se
Plaintiff as being described herein this complaint.
58.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice”
Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein “facilitate” and engage further in the usage of Extrinsic Fraud and
tactics in the position as opposition counsel for the legal interest of
Co-Defendant(s) “Edward McCray and Joyce M. Guy” to stop, conceal and
hinder Pro Se Plaintiff from rightfully
being involved in said discovery request, so Pro Se Plaintiff not being able to
obtaining favorable evidence to use as a advantage to prosecute civilly against
the Co-Defendant(s) “Joyce M. Guy” and “Edward McCray” in the civil suit in
State Court.
59.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice” Co
–Defendant(s) “Joyce M. Guy and Edward McCray” committed to defamation of the
Pro Se Plaintiff as being a dishonest, unskilled, substandard Construction
Contractor and Pro Se Plaintiff is the reasoning for the older home located at
448 DeQueen Blvd. in Port Arthur Texas being demolished for providing faulty
contractor structural work and repairs being unskillfully provided by Pro Se
Plaintiff herein.
60.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice” Co
–Defendant(s) “Joyce M. Guy and Edward McCray” used the defamation of the Pro
Se Plaintiff substandard construction performance tactics with their previously
Home Owner Insurance Company to satisfied any suspicion concerning the
$10,800.00 dollars already wrongfully squander by said Co-Defendant(s) herein.
To include Co
–Defendant(s) “Joyce M. Guy and Edward McCray” herein used the same defamation
of the Pro Se Plaintiff character against the “Texas Department of Housing
& Community Affairs” claiming further Pro Se Plaintiff being a substandard
contractor in construction performance by providing faulty contractor
structural work and repairs skills to the dwelling of 448 DeQueen and Pro se
Plaintiff being directly responsible for the need of destruction of the old
dwelling thereof in Port Arthur Texas
in order through this same wrongful scheme of
defamation of the Pro Se Plaintiff contractor skills to obtain further a New
Home with this scheme of things through the “Texas Department of Housing &
Community Affairs” other than the Co-Defendant(s) own numerous actual
fraudulent activities in engaging in squandering all of the funds paid out for actual
repairs as a result of Hurricane “Rita”, “Ike” and “Humberto” being done to
said home.
61.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice”
Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein “facilitate” the same defamation of the Pro Se Plaintiff as being a
dishonest, unskilled, substandard Construction Contractor and Pro Se Plaintiff
is the reasoning for the older home located at 448 DeQueen Blvd. in Port Arthur
Texas being torn down and a new one being built. As described in paragraph (59 and 60) above.
62.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice” Co
–Defendant(s) “Joyce M. Guy and Edward McCray” on or about the dates of April 2nd
2008 and or April 11th 2008 Co-Defendant(s) admitted collectively of
the involvement to “Entice”, “Induce”, “Allure”, and “Ensnare” Defendant Antoine
L. Freeman J. D. Attorney at Law Texas Bar No. 24058299 herein in his “Legal
Capacities” as a “Attorney at Law”
To commit to “Actual Fraud” of the 58th
Judicial Court” of Jefferson County Texas For the (RICO) purpose of “delays”,
“concealment”, “omitting” and “hindering” all material facts, accounts, material
circumstances both being past and present of the Co-Defendant(s) “corrupted
enterprise activates”
The Pro Se Plaintiff herein made numerous
complaints thereof in Court filing records “Docket No. A-180805 and Before the
State of Texas Investigation Services into the elderly
As well as all “discovery
investigations” Pro Se Plaintiff was pursuing presently during said State Court
Civil Complaint involving Co –Defendant(s) “Joyce M. Guy and Edward McCray”
herein
In which further on or
about April 2nd 2008 and or April 11th 2008 Co
–Defendant(s) “Joyce M. Guy and Edward McCray” herein
Fully Conspire,
maneuver, pilot, manipulated, scheme and monetary paid and financially secure
Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein in his “Legal Capacities” as a “Attorney at Law” throughout the dates of
November 13th 2009 of his “paid in full legal services” for a total
of (19) months to absolutely Violate Rule 193.1 Texas Civil Procedure in
replying to the Pro Se Plaintiff Discovery request
In order to fully engage in the covering up
(RICO) collective scheme of things of Co-Defendant(s) “Joyce M. Guy and Edward
McCray” having committed against The Pro Se Plaintiff,
58th
Judicial District Court, Insurances Companies, State of Texas, and The United
States of America’, in a long criminal corrupted enterprise of “Fraud for
Monetary Gain” of said Co-Defendant(s) collectively “rip off” activities being
described herein now Before The above entitled “Honorable” United State Federal
Court having subject jurisdiction matter over the” Defendant and
Co-Defendant(s)”.
63.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice” Co
–Defendant(s) “Joyce M. Guy and Edward McCray” on or about the dates of April 2nd
2008 and or April 11th 2008 throughout the present date of this U.S.
Civil Complaint being made in the year of 2014 (November)
Said Co-Defendant(s)
Collectively Promoted, Pilot, Scheme, Induce, Engaged, and fully
Conspire with Defendant Antoine L. Freeman J. D.
Attorney at Law Texas Bar No. 24058299 herein to obtain in his “Legal
Capacities” as a “Attorney at Law” in concert
Violations of Chapter 96 of Title 18, United
State Code: (RICO) Racketeering Influences Corruption Organization, Section 1341 (relating to mail fraud), section 1343 (relating to wire
fraud), section 1028(relating to fraud and related activity in connection with
identification documents), Section 1503(relating
to obstruction of justice),
Falsification of “Material facts”,
Fraud upon the 58th
Judicial District Jefferson County Court, Fraud on The State of Texas, and The
United States of America in such “Monetary Conspiracies involving the Pro Se
Plaintiff herein, and Hurricane “Rita”, Humberto” and “Ike” related storm
damages with the usage of such numerous corrupted Fraudulent tooling maneuvers,
and manipulated complex activities involving among other things
All Jefferson County
Clerk of Office records, 58th Judicial Court documents, electronic court
filing transmission, court transcripts, and The United States Mailing System to
promote, secure, and continue maintaining such (RICO) activities against the
Pro Se Plaintiff Louis Charles Hamilton II herein
With
Co-Defendant(s) collectively Racketeering
Influences Corruption Organization activities being described
both past and present now in a further racketeering scheme of things involving a
“Rouge Attorney” activities through Co-Defendant(s) “Joyce M. Guy and Edward
McCray” paid for hire “legal expert services”
of Defendant Antoine L. Freeman J. D. Attorney at Law Texas Bar No. 24058299
herein.
64.
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice” Co
–Defendant(s) “Joyce M. Guy and Edward McCray” promoted, conspire and secure (RICO)
“Obstruction of Justice” activities of Defendant Antoine L. Freeman J. D.
Attorney at Law Texas Bar No. 24058299 herein against 58th Judicial
District Court complaint made thereof
For a Period of (19)
months between on or about April 2nd 2008 and or April 11th
2008 throughout November 13th 2009 to continue well into 2015 such
(RICO) activities having continual legal affects as being described herein this
U.S. Civil Complaint against the Pro Se Plaintiff civil rights, peace, and
dignity.
65.
Cause of Actions
Pro Se Plaintiff herein
“States”, “Affirm” and “Declare” further before the “Honorable Justice” a Cause
of Actions exist against Defendant Antoine L. Freeman J. D. Attorney at Law
Texas Bar No. 24058299 And Co-Defendant(s) “Joyce M. Guy and Edward McCray”
Collectively for each Violations
of Chapter 96 of Title 18, United State Code: (RICO) Racketeering Influences
Corruption Organization, Section 1341 (relating to mail
fraud), section 1343 (relating to wire fraud), section 1028(relating to fraud
and related activity in connection with identification documents),
Section 1503(relating to obstruction of
justice),
(RICO) activities upon
the 58th Judicial District Court of Jefferson County Texas, and all court
records, court documents electronic transmission, court transcripts, to include
but not limited to “(RICO)” activities committed against “The Honorable Bob
Wortham” himself being presiding Judge of Docket No. A-180805 filed in
Jefferson County Texas,
(RICO) against
Insurances Companies, State of Texas, and the United States of America FEMA and
Federal Housing Grant agencies
To include but not
limited to (RICO) activities disguised in a Attorney/Client Privileges, work doctrine,
and all communications derived thereof
All (RICO) involvements
being wrongfully committed against the civil rights, peace, and dignity of the
Pro Se Plaintiff Louis Charles Hamilton II herein before a civil suit in common
law within the State of Texas.
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