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 MOTION AND EXHIBIT
(W)
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” on January 28th 2015 at 12:15 pm Co-Defendant “Joyce M. Guy”
was personally by “Jami Peppo” personally served at location 448 DeQueen Blvd
in Port Arthur Texas
Pro
Se Plaintiff Motion, for Sanctions, Amend to “Actual Damages”, Affidavit of
Lewis Garza”, Notice of Motion for Contempt of Court and Order to show cause, Motion
for Writ of Execution,
Motion
for Property Lien, Motion for Writ of Garnishment, and Motion for Summary
Judgment in “Civil Suit” in Common Law Docket No. A-180805 to include to personally
appear on February 19th 2015 before the 58th Judicial
District Court in Jefferson County Texas before the “Honorable Presiding Judge
W. Kent Walston. As described in Pro Se Plaintiff attached exhibit (W)
“Affidavit of Service” of
“Jami Peppo” filed in
District Court of Jefferson County Texas February 5th 2015 at 8:40
am
(2)
Pro Se Plaintiff being further set forth Declares, Affirm, and State further before the “Honorable U.S.
Justice” Co-Defendant “Joyce M. Guy” being legally in refusal to personally appear
on February 19th 2015 before the 58th Judicial District Court
in Jefferson County Texas.
(3)
Pro Se Plaintiff being further set
forth
Declares,
Affirm, and State further before the “Honorable U.S. Justice” Co-Defendant “Joyce
M. Guy” being legally in continual “obstruction of Justice” in combine
(RICO) enterprise with Co-Defendant “Edward
McCray” and Chief Defendant Antoine L.
Freeman J. D. “Attorney at Law”, continual corrupted conspire
refusal to
“Produce among other things said “Property
Deeds” for property located at 448 DeQueen Blvd. Lots Numbered One and Two
(1&2) in Block Number One Hundred Seventy Two (172) of City of Port Arthur
in Jefferson County, Texas between the time frame of March 14th 2008
throughout
February 19th 2015 required hearing
before the 58th Judicial District Court in Jefferson County Texas.
(4)
Pro Se Plaintiff being further set
forth
Declares,
Affirm, and State further before the “Honorable U.S. Justice” Co-Defendant(s)
Joyce M. Guy and Edward McCray on May 8th 2013 having legal divorce filed
with the Family Court of Jefferson County Texas as Co-Defendant “Edward McCray”
from time of filing of said Divorce from Co-Defendant “Joyce M. Guy” herein
2013 throughout the time frame now of February 19th 2015 being a required
hearing in that Co-Defendant “Edward McCray” Appearance also being required before
the 58th Judicial District Court in Jefferson County Texas.
Co-Defendant “Edward McCray” Is unable to be personally served Pro
Se Plaintiff Motion, for Sanctions, Amend to “Actual Damages”, Affidavit of
Lewis Garza”, Notice of Motion for Contempt of Court and Order to show cause,
Writ of Execution,
Motion
for Property Lien, Writ of Garnishment, and Motion for Summary Judgment in
“Civil Suit” in Common Law Docket No. A-180805
to personally appear on February 19th 2015 before the 58th
Judicial District Court in Jefferson County Texas as a direct hostile “obstruction
of Justice” result in Chief Defendant Antoine L.
Freeman J. D. “Attorney
at Law”, leadership, direction, conspire skilled attorney at law
(RICO)
enterprise corruption in “among other things” a well designed displacement of interference,
cover up,
Obscure and 100% direct hostile hindrance in “Obstruction of Justice”
of all subject matter and material facts, destruction of evidence civil suit in
common law Docket No. A-180805 from the time frame of March 14th
2008 throughout November 13th 2009
In
which Pro Se Plaintiff rights to The United States of America Amendment (Seven)
where the value in controversy shall exceed twenty dollars, the right of trial
by jury shall be preserved fully destroyed and Pro Se Plaintiff rights under “Constitution
of the State of Texas under
Article
16: "General Provisions"
Section
37 provides for the constitutional protection of the mechanic's lien. And Section
50 provides for protection of a homestead against forced sale to pay debts,
except for foreclosure on debts related to the homestead (mortgage, taxes,
mechanic's liens, and home equity loans) against
Co-Defendant “Joyce M. Guy” and “Edward
McCray” being violate, defile, degrade, dishonor, and desecrated continual
collectively being legally in such combine (RICO) enterprise refusal to personally
appear on
February 19th 2015 before the 58th
Judicial District Court in Jefferson County Texas his Honorable Judge W. Kent
Walston to respond to a Civil Suit in Common Law filed since November 26th
2007.
(5)
Pro Se Plaintiff Louis Charles Hamilton II herein being further
set forth
Declares, Affirm,
and State further before the “Honorable U.S. Justice”
All
records, property deeds, Hurricane Ike, Humberto, and Rita storm records, Construction
contractor records,
Construction invoice, banking records, private homeowner insurance
records, and any and all said required discovery in this subject matter in the
civil suit in common law Docket No.
A-180805
in
Jefferson County Texas 58th Judicial District Court of
Jefferson County Texas is forever “On the lam”, “On the run”, Intimidated,
Obstructed, Demolish, liquidate, and fully eliminated by (RICO) designed leader
in Chief Defendant Antoine L. Freeman J. D. “Attorney at Law” in full continual of
the same conspire, plot, scheme, plan, intrigue, machinate, connive,
collaborate with
Co-Defendant(s) “Joyce M. Guy and Edward McCray” et al well beyond February 19th 2015 as
described in Pro Se Plaintiff attached exhibit (W) herein “Affidavit of Service”
of
“Jami Peppo” filed in
District Court of Jefferson County Texas February 5th 2015 at 8:40
am
(6)
Wherefore Pro Se Plaintiff Louis Charles Hamilton II herein being
further set forth
Declares, Affirm,
State, Respectfully further before the “Honorable U.S. Justice” that Pro Se
Plaintiff Louis Charles Hamilton II
Request application (TRO) in the U.S.
Court Justice before the Honorable United States Magistrate Judge Zack Hawthorn protection of all “subject
matter” documents, records, property deeds, assets, banking records, private homeowner
insurances records, Hurricane Ike, Humberto, and Rita records from the continual
destruction, obscured, hidden, cover up, scuttled, destroyed, and complete elimination
thereof is fully with
Merit in “Law and Equity” and should
be granted before the In the United States District Court, For the Eastern
Division of Texas, Beaumont Division Cause No. 1:14-CV-592.
Dated this ______ day of
_______________, 2015
By, _______________________________
Louis Charles Hamilton II
Pro Se Plaintiff
P.O. Box 17524
Sugar Land Texas 77496
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