Wednesday, December 17, 2014

MOTION TO FREEZE DOCUMENTS, ASSETS, OF DEFENDANT ANTOINE L. FREEMAN J.D., "Attorney at Law" et al U.S. CAUSE No.1:14-CV-592

In The United States District Court

For The Eastern Division of Texas

Beaumont Division

Cause No. 1:14-CV-592

Louis Charles Hamilton II
Pro Se Plaintiff

Vs.

Antoine L. Freeman J. D.
Defendant

Joyce M. Guy
Edward McCray
Co-Defendant(s)

PLAINTIFF'S MOTION TO FREEZE DOCUMENTS, RECORDS, AND ASSETS OF DEFENDANT ANTOINE L. FREEMAN J.D. ATTORNEY AT LAW

AND CO-DEFENDANT(S) JOYCE M. GUY AND EDWARD McCRAY

Comes Now the Pro Se Plaintiff Louis Charles Hamilton II herein, files the above entitled motion, with attached brief and exhibit(s) in support of Plaintiff Order

DEFENDANT ANTOINE L. FREEMAN J.D. ATTORNEY AT LAW AND CO-DEFENDANT(S) JOYCE M. GUY AND EDWARD McCRAY,

To show cause why Pro Se Plaintiff Louis Charles Hamilton II herein enjoy a “Temporary Restraining Order”, freezing the destruction or alter of all records, and documents set forth herein,

And to secure all of the DEFENDANT ANTOINE L. FREEMAN J.D. ATTORNEY AT LAW HEREIN AND CO-DEFENDANT(S) JOYCE M. GUY AND EDWARD McCRAY HEREIN,

Collective Assets.

And for just cause the Pro Se Plaintiff Louis Charles Hamilton II will show as follows:

(1)

On the Emergency application of the Plaintiff (The “Applicant”) for and Order Defendant Antoine L. Freeman J. D. (Attorney at Law)

and all Co-Defendant(s) listed as: “Joyce M. Guy and Edward McCray” collectively defendant(s) to an Order”,

Directing Defendant Antoine L. Freeman J. D. (Attorney at Law) and all Co-Defendant(s) “Joyce M. Guy and Edward McCray”

to show why an order should not be entered, pending a final disposition of this civil action U.S. Cause No. 1:14-CV-592 Preliminary enjoining

Defendant Antoine L. Freeman J. D. (Attorney at Law) and all Co-Defendant(s) “Joyce M. Guy and Edward McCray”

from further violating the United States Chapter 96 of Title 18, United State Code: (RICO) Racketeering Influences Corruption Organization,

1341 (relating to mail fraud), section 1343 (relating to wire fraud), section 1503 (relating to obstruction of Justice),

with other Federal and State charges being levy in connection thereof.

(2)

With further Honorable Court requirement(s) directing Defendant Antoine L. Freeman J. D. (Attorney at Law) herein

and all Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein to provide a verified accounting immediately, including, but not limited to,

A verified written accounting of Defendant Antoine L. Freeman J. D. (Attorney at Law) herein and all Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein

interests in all entities owned, in whole or in part, or controlled by, related to, or associated or affiliated with Defendant Antoine L. Freeman J. D. (Attorney at Law) herein

and all Co-Defendant(s) “Joyce M. Guy and Edward McCray” in the United States of America.

(3)

Freezing all of Defendant Antoine L. Freeman J. D. (Attorney at Law) herein and all Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein

business records, banking records, personal banking records, property deeds, and all assets for all of the above listed Defendant(s) collectively

in the United States of America which is necessary to protect this Honorable United States District Court for the Eastern District of Texas

Ability to decide from the preponderances in deciding the weight of factual evidence,

with furtherance allowances in the Honorable United States District Court for the Eastern District of Texas

ability in fully applying just awards and compensation for “actual damages” of all equitable relief

Within all assets, moneys and properties held directly or indirectly by the Defendant Antoine L. Freeman J. D. (Attorney at Law) herein

And all Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein for all of the Pro Se Plaintiff “Louis Charles Hamilton II” Direct Actual damages, emotional pain and suffrage

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