Tuesday, December 23, 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

(127)

Conclusion

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice” the Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299

Was fully “retain” of Legal “Attorney at Law” services, committed, engaged, skilled instrumental, lead legal advisor,

and primary conductor from the exact time frame of December 17th 2007 citation was issued by the

“Clerk of Court”, to Co-Defendant(s) Joyce M. Guy and Edward McCray “collectively” herein as described in Pro Se Plaintiff attached exhibit (E) herein legally showing factual evidence

Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299

answered and replying on December 28, 2007 on behalf of Co-Defendant Joyce M. Guy and Edward McCray “collectively” herein

and notwithstanding forward such a reply in fact in the United States Mail

to the Pro Se Plaintiff “Louis Charles Hamilton II correct mailing address

which at that point in time Pro Se Plaintiff was under the impression the Co-Defendant Joyce M. Guy and Edward McCray “collectively” herein

under proper “legal representation” as prescribed with the “Texas Rule of Civil Procedure”

(128)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice”

However from that exact time frame on the exact day of March 14th 2008 as being described in Pro Se Plaintiff exhibit (E)

“Jefferson County Texas” 58th Judicial District Court “Case Ledger” A-180805

And precisely there after Defendant (Attorney at Law) enter into the criminal acts of “among other things”

completely committed to with full legal intent “Obstruction of Justice” & “Fraud upon the 58th Judicial District Court of Jefferson County Texas”

and all court records, civil discovery derive thereof to actually execute actual

(RICO) “Obstruction of Justice”, Fraud upon a Court of Law”, scheming among other things” being in full conspire concert,

collusion with Co-Defendant(s) Joyce M. Guy and Edward McCray “collectively” herein

To forcibly unjustly fraudulently making the Pro Se Plaintiff herein civil suit in common law “simply stall out, flat line and disappear”,

and all of the acquired damaging (RICO) enterprise “Discovery evidence, proper court records derive thereof,

To include but not limited to the absolutely amazing disappearances of “physical evidence” Namely an entire dwelling, home, structural habitation, residence, abode,

All “Hostile Representation” of the Defendant (Attorney at Law) herein being in skill design to

“legally denying” in all factual “events and circumstances” the Pro Se Plaintiff Louis Charles Hamilton II herein “proper due process of Law, in and for the State of Texas”

As described in Pro Se Plaintiff attached exhibit (E) herein “The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805

(129)


On March 14th 2008 as being described in Pro Se Plaintiff exhibit (E) Pro Se Plaintiff filed

“All Discovery request with Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 for the following

Pro Se Plaintiff Discovery request for Interrogatories, Request of Admission, and Request for Disclosure in

accordance with the Texas Rules of Civil Procedures 194.2, 197, and 198, to Cause No. A-180805 in a civil suit in the 58th Judicial District Court of Jefferson County Texas

(130)

Defendant Antoine L. Freeman J. D. (Attorney at Law) herein made official court documented “legal claims” that he had no knowledge of Pro Se Plaintiff “discovery request”

until on or about April 2nd 2008 and on or about April 11, 2008

As Defendant (Attorney at Law) herein so did state before an “open court” hearing with his attached

“Affidavit” in support not to have proper Texas Rule 193.1 sanction “levy” against him as showing in Pro Se Plaintiff attached exhibit (G) response for sanctions and attached exhibit (H) herein

Affidavit of Co-Defendant Joyce M. Guy” collaborating the same April 2nd 2008, and April 11, 2008 date of having knowledgeable legal custody,

control and possession of said “discovery request as being described in paragraph (130) above

(131)

Defendant Antoine L. Freeman J. D. (Attorney at Law) herein not only did he received from the Pro Se Plaintiff On August 12th 2009

as described in Pro Se Plaintiff attached exhibit (E) herein “The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805

A motion for Production of documents for primary copies of the Co-Defendant(s) “Joyce M. Guy” and Edward McCray custody, possession, and control over

“Property” located @ 448 DeQueen Blvd. in Port Arthur Texas actual land deeds,

and Production of documents all related evidence derive thereof for Hurricane “Rita”, Humberto, Ike storm damages

to said dwelling requiring the Services of The Pro Se Plaintiff in a $10.800.00 U.S. dollar contract.

(132)

Defendant Antoine L. Freeman J. D. (Attorney at Law) herein in addition to what is being described in paragraph (131) above

in fact received from the Pro Se Plaintiff two (Motion to show Cause) Injunction, application for (Temp Restraining Order) and (TRO).

(133)

“Yet” Defendant Antoine L. Freeman J. D. (Attorney at Law) herein furtherance’s (RICO) “Obstruction of Justice”,

“Fraud upon the Court the 58th Judicial District Court of Jefferson County Texas being described herein was to fraudulently assistances in the

“illegal Transfer” of “Property” located @ 448 DeQueen Blvd. in Port Arthur Texas to the “Texas Department of Housing & Community affairs for a $76,000.00 U.S Federal Housing Grant

Keeping said property well legally in a state of “concealment limbo”

in a ongoing civil suit in common law to be “free”, and 100% clear of any chances of the “Pro Se Plaintiff herein filing a legal binding

“Mechanics Lien” being enforced by the 58th Judicial District Court as being sought for on august 12th 2008 in Pro Se Plaintiff

“motion for Production of documents of the property deeds.

(134)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice” Defendant Antoine L. Freeman J. D. (Attorney at Law) herein

directly assistance in (RICO) “Obstruction of Justice” to further provide a scheme of things

in covering up the monetary fraud scheme of things involving Hurricanes “Rita, Humberto, and Ike of the Co-Defendant(s) against the Pro Se Plaintiff complaint in civil cause No. A-180805

The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein directly assistance in (RICO) scheme of things of his very own doing

to further provide a scheme of things in “covering up” the actual acquired a $76,000.00

U.S Federal Housing Grant for Defendant (Attorney at Law) additional attachment to (all) monetary enterprise Fraudulently activities behalf

of Co-Defendant(s) “Joyce M. Guy” and “Edward McCray” herein collectively continuously (RICO) “pillaging and plundering.

(135)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice”

The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein on August 14th 2009 received directly from the 58th Judicial District Court of Jefferson County Texas

two notice “CITATION” in this ‘civil suit’ No. A-180805, on behalf of the Co-Defendant(s) Collectively

Regarding “among other things” the Pro Se Plaintiff required to be heard before the “Honorable Court” two (Motion to show Cause) Injunction,

application for (Temp Restraining Order) and (TRO) and The Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299

Made himself no escape clause,

no legal honest effort to discharge himself from any further representation of the Co-Defendant(s) “Joyce M. Guy” and Edward McCray herein

and file a required Texas Rules of Civil Procedure”

“Motion for withdrawal” as Defendant (Attorney at Law) herein

making additional (Lie) and false claims his “Only Duties” was to file a general denial” in December 18th 2007

(135)

As such (Lie) and false claims of Defendant (Attorney at Law) showing in Pro Se Plaintiff attached exhibit (G)

Response to Pro Se Plaintiff Motion for Sanctions against Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299

(136)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice”

The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein in additional to acts of “Obstruction of Justice” of the 58th Judicial District Court of Jefferson County Texas

in concealment of all of the

Pro Se Plaintiff discovery request Defendant “he” so having in his legal possession, custody and control,

from the exact date of March 14th 2007 as described in Pro Se Plaintiff attached exhibit (E) herein “The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805

Defendant Antoine L. Freeman J. D. (Attorney at Law) herein knowingly furtherance

the acquired continuously (RICO) “pillaging and plundering “Texas Department of Housing & Community affairs for a $76,000.00 U.S Federal Housing Grant.

Which this scheme was well

“Hatch out plotted”, “maneuver”, “calculated out” and “game plan”

in advance of June 18th 2009 being the actual day the (RICO) enterprise legal transfer of said property “events and circumstances” physically took place.

(137)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice”

The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein “Affidavit” dated 11th day of September 2009 is a "fraudulent instrument"

attached herein to Pro Se Plaintiff exhibit (G)

Providing standing 100% proof before the “Honorable Justice” in comparison to Pro Se Plaintiff exhibit (E) herein

“The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805

stating by Defendant Antoine L. Freeman J. D. (Attorney at Law) herein is in possession of said discovery request

on or about April 2nd 2008 and on or about April 11, 2008

in comparison to the truthful factual date of March 14th 2008

as described in Pro Se Plaintiff attached exhibit (E) herein

“The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805.

Supporting Pro Se Plaintiff Louis Charles Hamilton II herein 100% sound facts

of Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299

(RICO) Intent with “Obstruction of Justice”, and Fraud upon the 58th Judicial District Court of Jefferson County Texas in this particular Defendant (Attorney at Law)

Capabilities in processing numerous

“fraudulent instruments” and legal court documents being in the acquired capacity as a

“Skilled Attorney of Law” in and for the State of Texas in a civil suit in common law.

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