In The United States District Court
For The Eastern Division of Texas
Beaumont Division
Louis Charles Hamilton II
Pro Se Plaintiff
Vs.
Cause No. 1:14-CV-592
Antoine L. Freeman J. D.
Defendant
Joyce M. Guy
Edward McCray
Co-Defendant(s)
PRO SE PLAINTIFF'S AMENDMENT EXHIBIT(S) FOR
(TRO) 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
(1)
Pro Se Plaintiff being further set
forth
Declares, Affirm, and State further
before the “Honorable U.S. Justice” Defendant Antoine L. Freeman J. D.
(Attorney at Law) herein directly conspire, plotted and fully assistance Co-Defendant(s)
“Joyce M. Guy” and Edward McCray” in obtaining and covering up the additional (RICO)
monetary fraud scheme of things involving with
Hurricanes “Rita, Humberto, Wilma and Ike to
the “property located at 5050 east 7th street in Port Arthur Texas Jefferson
County “Lot number (10) in block number (4) of Lakeview addition for an additional amount of $54,839.31 U.S.
Dollars
(2)
Pro Se
Plaintiff being further set forth Declares,
Affirm, and State further before the “Honorable U.S. Justice” Defendant Antoine L.
Freeman J. D. (Attorney at Law) and Co-Defendant(s) “Joyce M. Guy” and Edward
McCray” having on the
28th day of August
2009 in a “live courtroom hearing before the 58th Judicial District
Court of Jefferson County Texas “defeated” Pro Se Plaintiff attempt to protect “Norma
Guy” legal Senior Citizen Rights” from her own fraudulent destructive daughter
pattern and practices in (RICO)
Namely
Co-Defendant “Joyce M. Guy” (RICO) enterprise scheme had commenced against another
said Hurricane damaged “property” located at 5050 east 7th street in
Port Arthur Texas.
Which
the Co-Defendant(s) “Joyce M. Guy” herein enjoying a “Power of Attorney”
relating to Real Property Transactions as Described in Pro Se Plaintiff
attached exhibit (O) herein “Specific Power of Attorney” executed on the 27th
day of May 2010
(3)
Pro Se Plaintiff being further set
forth Declares, Affirm, and State further before the
“Honorable U.S. Justice” the
Co-Defendant(s) “Joyce M. Guy” herein having already “squander” all of the entire
Hurricane repair funds for her own mother home as a direct result of Hurricane “Rita”
storm damages which
“Hurricane
“Rita” was the fourth-most intense Atlantic hurricane ever recorded and the
most intense tropical cyclone ever observed in the Gulf of Mexico, which on September
24th 2005 the inner core and eye wall of “Hurricane Rita slams into
Port Arthur, Texas
Which
the Pro Se Plaintiff will show the Honorable Court” factual evidence during the
Trial of this matter of being the direct “construction contractor” whom was
contacted to fix , provide estimates of repair cost for said damaged Home located
at 5050 east 7th street in Port Arthur Texas.
Thereafter
Pro Se Plaintiff returning to his home town of “Port Arthur Texas from working “construction
repairs” after massive storm damages in New Orleans LA as a result of Hurricane
“Katrina”
Especially
among other things fixing the (asap) needed roofing repairs of 5050 east 7th
street in Port Arthur Texas which Co-Defendant(s) “Joyce M. Guy” refusal to
comply with the terms and conditions of said
“Insurances repair Funds” to actually fix such
Hurricane damages other then Co-Defendant(s) “Joyce M. Guy” (RICO) scheming
plans to obtain said “Insurances repair Funds” for her own personal private gains.
(4)
Pro Se Plaintiff being further set
forth Declares, Affirm, and State further before the
“Honorable U.S. Justice” the
Co-Defendant(s) “Joyce M. Guy” herein after squandering all of the said “private
insurance” Hurricane repair funds designated for damaged “property” located at 5050
east 7th street in Port Arthur Texas.
“Lot number (10) in block
number (4) of Lakeview “she” next contacting Federal “FEMA” for needed roofing plastic covering to
stop the rain water, and never fixed the damaged roof at all ever.
(5)
Pro Se Plaintiff being further set
forth Declares, Affirm, and State further Before the
“Honorable U.S. Justice” Defendant Antoine L. Freeman J. D. (Attorney at
Law) Texas Bar No. 24058299 and Co-Defendant(s) “Joyce M. Guy” and Edward
McCray” collectively secretly make plans, and plotted to carry out a further
(RICO) scheme of things against first and
foremost the 58th Judicial District Court of Jefferson County Texas
in the scheme execution of covering up all of the Co-Defendant “Joyce M. Guy” monetary
scheme made against the Hurricane repair private insurance funds designated for
said damaged “property” located at 5050 east 7th street in Port
Arthur Texas. “Lot number (10) in block number (4) of Lakeview
(6)
Pro Se Plaintiff being further set
forth Declares, Affirm, and State further before the
“Honorable U.S. Justice” Defendant Antoine L. Freeman J. D. (Attorney at
Law) Texas Bar No. 24058299 and Co-Defendant(s) “Joyce M. Guy” and Edward
McCray” collectively secretly make plans, and plotted to secondly carry out a further
(RICO) fraudulent “scheme of things” against
“Texas
Department of Housing and Community affairs” Loan No. 5866 File No.
1219-2355082 CFDA 14.228 Community Development Block Grant Program (“CDBG”)
Hurricanes Katrina, Rita and Wilma in the Gulf of Mexico 2005
Federally Declared Disaster Funding under
Department of Defense Appropriations Act, 2006 CDBG Disaster Recovery Program
(Homeowner Assistance Program “HAP”)
Or
(Sabine Pass Restoration Program “SPRP”) Awarding Federal Agency: United States
Department of Housing and Urban Development TDHCA Federal Award Number:
B-06-DG-48-0002 Federal Award Year (Year of Award from HUD to TDHCA): 2006
TDHCA Award Year: 2007 to obtain on May 28th 2010 in excess of $54,839.31
U.S. Dollars “Construction Grant”
As
being described in Pro Se Plaintiff exhibit (P) attached herein namely a “Mechanic’s
Lien Contract” with DSW Homes 805 S. Hwy. 69, Memorial Fwy, Nederland, TX,
77267
To repair the home located at 5050 east 7th
street in Port Arthur Texas after Private Insurances Monies already being a
part of a continue (RICO) “pattern and practice squander scheme of things”
committed by Co-Defendant(s) “Joyce M. Guy and Edward McCray”
Involving
once again the Pro Se Plaintiff Louis Charles Hamilton II herein as the
Construction contractor with Chief Defendant Antoine L. Freeman J. D. (Attorney
at Law) Texas Bar No. 24058299 fully in fraudulent (RICO) legal denial of ever
being actually the physically acting “Attorney of record” in civil suit in
common law A-180805 as a part of this cover up scheme of things
While
all of this criminal half bake concoct (RICO) scheme of things being formed
against the Pro Se Plaintiff, private insurances companies, and among others parties
namely “The United States of America” for a monetary lost in excess of $54,839.31
U.S. Dollars.
(7)
To
add to Chief Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No.
24058299 and Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein combine (RICO)
further fraudulent “scheme of things” in obtaining the already total of $72,500.00
U.S Dollars from namely
“Texas
Department of Housing and Community affairs” Loan No. 2727 File No.
1219-2102152 CFDA 14.228 Community Development Block Grant Program (“CDBG”)
Hurricanes Katrina, Rita and Wilma in the Gulf of Mexico 2005
Federally
Declared Disaster Funding under Department of Defense Appropriations Act, 2006
CDBG Disaster Recovery Program (Homeowner Assistance Program “HAP”)
Or
(Sabine Pass Restoration Program “SPRP”) Awarding Federal Agency: United States
Department of Housing and Urban Development TDHCA Federal Award Number:
B-06-DG-48-0002 Federal Award Year (Year of Award from HUD to TDHCA): 2006
TDHCA Award Year: 2007
As
being described in Pro Se Plaintiff attached exhibit herein (Q) Namely “Mechanic’s
Lien Contract” SWMJ Construction Inc., 525 N. Sam Houston Pkwy East, Suite 600,
Houston, Texas 77060
For
Chief Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No.
24058299 and Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein
In
a total (RICO) combine pattern and practice “scheme of things” against the “United
States of America” in monetary excess gain of $127,339.31 U.S. Dollars
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