Request
Number 84.
Admit
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein fully
legally intent continual in the usage of the “United States Postal System” in a
“Mail and Wire Fraud” scheme of things defense against “The United States
District Court For The Eastern Division of Texas, Beaumont Division” in
December 3rd 2014 and all defense derive thereafter December 3rd
2014 Before the
Honorable
U.S. Magistrate Judge Zack Hawthorn U.S. Docket No. 1:14-CV-00592 against the
Pro Se Plaintiff Louis Charles Hamilton II herein in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009
Namely
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein “Subscribed
and Sworn” legal documented “Verification” dated the 11th day of
September 2009 to be statements under oath to be true and correct
All
said fraudulent, false material facts, as described by Pro Se Plaintiff in
document # 3 attached herein Chief Defendant Antoine L.
Freeman J. D. “Attorney
at Law”, herein “Response to Motion for sanctions”
Namely
the official date your falsely claiming of such “firsthand knowledge” of any of
the Pro Se Plaintiff herein required discovery request for copies of deeds,
property deeds or any other such physical document in Co-Defendants’
possession, custody or control that shows actual ownership of the property of
the dwelling located at 448 DeQueen Blvd., Port Arthur, Texas.
And
Co-Defendant(s) Joyce M. Guy and Edward McCray herein through counsel of record
namely Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein shall
produce copies of any and all construction estimates for repairs in Defendants’
possession, custody or control in relationship to the damage caused by
Hurricanes
Rita, Umberto and Ike to the property located at 448 DeQueen Blvd. in Port
Arthur, Texas to be that on or about April 2nd 2008 and April 11,
2008, your falsely claiming of such “firsthand knowledge” of any of the Pro Se
Plaintiff herein required discovery request to be material factual, 100% the
truth against Federal Penalty of perjury in comparison to Pro Se Plaintiff
attached Document # 11
“The
Official 58th Judicial District Court of Jefferson County Texas”,
Case Ledger showing said discovery of Pro Se Plaintiff Louis Charles Hamilton
II herein Discovery request for Production of Documents and Request for
Disclosure in accordance with the
Texas Rules of Civil Procedures to Cause No.
A-180805 in a civil suit in the 58th Judicial District Court of
Jefferson County Texas was in your Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein legal possession Custody and Control since March 14th
2008 and not the dates of April 2nd 2008 and April 11, 2008 as
you’re falsely claiming with fully legally intent continual in the usage of the
“United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense herein in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009
Request
Number 85.
Admit
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein fully
legally intent continual in the usage of the “United States Postal System” in a
“Mail and Wire Fraud” scheme of things defense against “The United States
District Court For The Eastern Division of Texas, Beaumont Division”
Before
the Honorable U.S. Judge Marcia A. Crone and Honorable U.S. Magistrate Keith F.
Giblin, in 2010 (April) 30th to be exact said Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, acting attorney of record and all defense derive thereafter in 2010
(April) 30th for the legal behalf of Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, and the Co-Defendant(s) Defendant “Joyce M. Guy and Edward McCray”
collectively herein
U.S.
Docket No. 1:10-CV-00055 against the Pro Se Plaintiff Louis Charles Hamilton II
herein in the continual usage of Co-Defendant(s) “Joyce M. Guy” “Subscribed and
Sworn”, fraudulent, fictitious Affidavit in Support of Motion for Sanctions
against “You” Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein as described
in Pro Se Plaintiff attached Document # 15 “Affidavit of Joyce M. Guy” dated
September 11th 2009
Namely
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein “Subscribed
and Sworn” legal documented “Verification” dated the 11th day of
September 2009 to be statements under oath to be true and correct
All
said fraudulent, false material facts, as described by Pro Se Plaintiff in
document # 3 attached herein Chief Defendant Antoine L.
Freeman J. D. “Attorney
at Law”, herein “Response to Motion for sanctions”
Namely
the official date your falsely claiming of such “firsthand knowledge” of any of
the Pro Se Plaintiff herein required discovery request for copies of deeds,
property deeds or any other such physical document in Co-Defendants’
possession, custody or control that shows actual ownership of the property of
the dwelling located at 448 DeQueen Blvd., Port Arthur, Texas.
And
Co-Defendant(s) Joyce M. Guy and Edward McCray herein through counsel of record
namely Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein shall
produce copies of any and all construction estimates for repairs in Defendants’
possession, custody or control in relationship to the damage caused by
Hurricanes
Rita, Humberto and Ike to the property located at 448 DeQueen Blvd. in Port
Arthur, Texas to be that on or about April 2nd 2008 and April 11,
2008, your falsely claiming of such “firsthand knowledge” of any of the Pro Se
Plaintiff herein required discovery request to be material factual, 100% the
truth against Federal Penalty of perjury in comparison to Pro Se Plaintiff
attached Document # 11
“The
Official 58th Judicial District Court of Jefferson County Texas”,
Case Ledger showing said discovery of Pro Se Plaintiff Louis Charles Hamilton
II herein Discovery request for Production of Documents and Request for
Disclosure in accordance with the
Texas Rules of Civil Procedures to Cause No.
A-180805 in a civil suit in the 58th Judicial District Court of
Jefferson County Texas was in your Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein legal possession Custody and Control since March 14th
2008 and not the dates of April 2nd 2008 and April 11, 2008 as
you’re falsely claiming with fully legally intent continual in the usage of the
“United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense herein in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009.
Request
Number 86.
Admit
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein fully
legally engage in the usage of the “United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense against “The 58th Judicial
District Court of Jefferson County Texas Before the Honorable Bob Wortham” on
September 11th 2009 to be exact said Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as acting attorney of record and all defense derive thereafter
from the exact dates of December 18th 2007 throughout September 11th 2009 for the legal
behalf of Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, and the
Co-Defendant(s) Defendant “Joyce M. Guy and Edward McCray” collectively herein in
withholding same “subject matter” of the production of said Co-Defendant(s) Joyce
M. Guy and Edward McCray herein collective “Property Deeds” ” in a continual
time frame dates of now in the year of 2015 March 30th to be exact a
continual
“Mail
and Wire Fraud” scheme of things defense against “The 58th Judicial
District Court of Jefferson County Texas Before now appearing before the
Honorable W. Kent Walston, Presiding in the year of 2015 to continual
concealed, obstructed, kept secret, tuck away, hidden, scuttle for the legal
behalf of the Co-Defendant(s) “Joyce M. Guy and Edward McCray” collectively
herein produced copies of said required “property deeds” for Lots Numbered One
and Two (1&2) in Block Number One Hundred Seventy Two (172) of City of Port
Arthur in Jefferson County, Texas
Namely
the property located at 448 DeQueen Blvd. in Port Arthur Texas 77640 as
described in Pro Se Plaintiff attached document # 14 “General Warranty Deed” of
the Co-Defendant(s) “Joyce M. Guy and Edward McCray” collectively herein
Well
beyond things to continual concealed, obstructed, kept secret, tuck away,
hidden, scuttle for the legal behalf of the Co-Defendant(s) “Joyce M. Guy and
Edward McCray” collectively herein into future dates of June 30th of
2015 in this U.S. Docket No. 1:14-CV-00592 ” in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009
Namely
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein “Subscribed
and Sworn” legal documented “Verification” dated the 11th day of
September 2009 to be statements under oath to be true and correct
All
said fraudulent, false material facts, as described by Pro Se Plaintiff in
document # 3 attached herein Chief Defendant Antoine L.
Freeman J. D. “Attorney
at Law”, herein “Response to Motion for sanctions”
Namely
the official date your falsely claiming of such “firsthand knowledge” of any of
the Pro Se Plaintiff herein required discovery request for copies of deeds,
property deeds or any other such physical document in Co-Defendants’ possession,
custody or control that shows actual ownership of the property of the dwelling
located at 448 DeQueen Blvd., Port Arthur, Texas.
And
Co-Defendant(s) Joyce M. Guy and Edward McCray herein through counsel of record
namely Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein shall
produce copies of any and all construction estimates for repairs in Defendants’
possession, custody or control in relationship to the damage caused by
Hurricanes
Rita, Humberto and Ike to the property located at 448 DeQueen Blvd. in Port
Arthur, Texas to be that on or about April 2nd 2008 and April 11,
2008, your falsely claiming of such “firsthand knowledge” of any of the Pro Se
Plaintiff herein required discovery request to be material factual, 100% the
truth against Federal Penalty of perjury in comparison to Pro Se Plaintiff
attached Document # 11
“The
Official 58th Judicial District Court of Jefferson County Texas”,
Case Ledger showing said discovery of Pro Se Plaintiff Louis Charles Hamilton
II herein Discovery request for Production of Documents and Request for
Disclosure in accordance with the
Texas Rules of Civil Procedures to Cause No.
A-180805 in a civil suit in the 58th Judicial District Court of
Jefferson County Texas was in your Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein legal possession Custody and Control since March 14th
2008 1:48 pm hour and not the dates of April 2nd 2008 and April 11,
2008 as you’re falsely claiming with fully legally intent continual in the
usage of the
“United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense herein in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009.
Request
Number 87.
Admit
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein fully
legally engage in the usage of the “United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense against “The 58th Judicial
District Court of Jefferson County Texas Before the Honorable Bob Wortham” on
September 11th 2009 to be exact said Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as
Acting
attorney of record and all defense derive thereafter from the exact dates of
December 18th 2007 throughout September 11th 2009 for the legal
behalf of Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, and the
Co-Defendant(s) Defendant “Joyce M. Guy and Edward McCray” collectively herein in
withholding same “subject matter” of the production of said Co-Defendant(s) Joyce
M. Guy and Edward McCray herein collective “Property Deeds” ” in a continual
time frame dates of now in the year of 2015 March 30th to be exact a
continual
“Mail
and Wire Fraud” scheme of things defense against “The 58th Judicial
District Court of Jefferson County Texas Before now appearing before the
Honorable W. Kent Walston, Presiding in the year of 2015 in this continual
(RICO) enterprise “Mail and Wire Fraud” scheme of things defense against the
Pro Se Plaintiff personal property namely Construction Company Tools Listed as
follows:
a. Brand New Hitachi Air Compressor
#2700009 $680.00
b. Bosch Drill M# Brute S# NV $345.00
c. “Portacable Skill saw $137.00
d. Dewalt Sawall $97
e. “Hitachi Nail Gun (Framing) $327.00
f. “Hitachi Roofing Nailer $315.00
g. Gas Power Generator $300.00
h. Extension ladder $127.00
i. 100 ft. of air hose $95.
j. 50ft. of air hose $42.
k. 100ft. electric cord $70
l. 50ft. electric cord $38
m. (4) Framing hammers $37. (each)
n. “Pro Se Plaintiff “Personal Hammer”
$48.
o. “Leather tool belt” $50.
p. Kobalt Razor Knife $17.
q. Swanson pencil set & refills $22.
r. “Black tool box & Respiratory
$138.00
s. “Extreme Safety Face Shield” $30
t. Ear plugs (2) pack $16.
u. (4) Normal face respirators with strap
$12.
v. Small assortment pliers set $35.
w. (2) Tuck pointers $24.
x. (1) Square mouth shovels $18.
y. (1) set of blueprints $1200.00
z. Gas container 15.
aa. Masonry trowel $18.
bb.
“Fatmax
35ft. tape measure $30.
cc. Catspaw nail puller $12.
dd.
Speed
square $8.
ee.
Contractor Calculator $34.
ff. Crowbar $17.
gg. Utility knife (3) $9. (Each)
hh.
Nail
Punch $8.
ii. Maxx Gloves $34.
jj. Canvas Tarp 95ft. X 180ft. $100.00
kk. Roofing shovels (2) $48. (Each)
ll. Saw blades with drill bits $24.
mm. (2) Speed square (Plastic) $5. (Each)
nn.
25ft.
“Fatmaxx tape measure $19.00
oo.
3-way
air hose fitting set $38.
pp.
Case
of Gatorade $12.
qq.
Residential
framing book $21.
rr. (2) Paint brushes $14. (Each)
ss. (1) Paint scraper $14.
tt. (1) Paint scraper wire handle $10.
Request
Number 88.
Admit
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein fully
legally intent continual in the usage of the “United States Postal System” in a
“Mail and Wire Fraud” scheme of things defense against “The United States
District Court For The Eastern Division of Texas, Beaumont Division”
Before
the Honorable U.S. Judge Marcia A. Crone and Honorable U.S. Magistrate Keith F.
Giblin, in 2010 (April) 30th to be exact said Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, acting attorney of record and all defense derive thereafter in 2010
(April) 30th for the legal behalf of Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, and the Co-Defendant(s) Defendant “Joyce M. Guy and Edward McCray”
collectively herein
U.S.
Docket No. 1:10-CV-00055 against the Pro Se Plaintiff Louis Charles Hamilton II
herein in the continual usage of Co-Defendant(s) “Joyce M. Guy” “Subscribed and
Sworn”, fraudulent, fictitious Affidavit in Support of Motion for Sanctions
against “You” Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein as described
in Pro Se Plaintiff attached Document # 15 “Affidavit of Joyce M. Guy” dated
September 11th 2009
Namely
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein “Subscribed
and Sworn” legal documented “Verification” dated the 11th day of
September 2009 to be statements under oath to be true and correct
All
said fraudulent, false material facts, as described by Pro Se Plaintiff in
document # 3 attached herein Chief Defendant Antoine L.
Freeman J. D. “Attorney
at Law”, herein “Response to Motion for sanctions”
Namely
the official date your falsely claiming of such “firsthand knowledge” of any of
the Pro Se Plaintiff herein required discovery request for copies of deeds,
property deeds or any other such physical document in Co-Defendants’
possession, custody or control that shows actual ownership of the property of
the dwelling located at 448 DeQueen Blvd., Port Arthur, Texas.
And
Co-Defendant(s) Joyce M. Guy and Edward McCray herein through counsel of record
namely Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein shall
produce copies of any and all construction estimates for repairs in Defendants’
possession, custody or control in relationship to the damage caused by
Hurricanes
Rita, Humberto and Ike to the property located at 448 DeQueen Blvd. in Port
Arthur, Texas to be that on or about April 2nd 2008 and April 11,
2008, your falsely claiming of such “firsthand knowledge” of any of the Pro Se
Plaintiff herein required discovery request to be material factual, 100% the
truth against Federal Penalty of perjury in comparison to Pro Se Plaintiff
attached Document # 11
“The
Official 58th Judicial District Court of Jefferson County Texas”,
Case Ledger showing said discovery of Pro Se Plaintiff Louis Charles Hamilton
II herein Discovery request for Production of Documents and Request for
Disclosure in accordance with the
Texas Rules of Civil Procedures to Cause No.
A-180805 in a civil suit in the 58th Judicial District Court of
Jefferson County Texas was in your Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein legal possession Custody and Control since March 14th
2008 and not the dates of April 2nd 2008 and April 11, 2008 as
you’re falsely claiming with fully legally intent continual in the usage of the
“United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense herein in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009 in a continual
time frame dates of now in the year of 2015 March 30th to be exact
in a continual
“Mail
and Wire Fraud” scheme of things defense against “The United States District
Court For The Eastern Division of Texas, Beaumont Division”
Before
the Honorable U.S. Judge Marcia A. Crone and Honorable U.S. Magistrate Keith F.
Giblin, in 2010 (April) 30th in this continual (RICO) enterprise
“Mail and Wire Fraud” scheme of things defense against the Pro Se Plaintiff
personal property namely Construction Company Tools Listed as follows:
uu.
Brand
New Hitachi Air Compressor #2700009 $680.00
vv. Bosch Drill M# Brute S# NV $345.00
ww.
“Portacable
Skill saw $137.00
xx. Dewalt Sawall $97
yy. “Hitachi Nail Gun (Framing) $327.00
zz. “Hitachi Roofing Nailer $315.00
aaa.
Gas
Power Generator $300.00
bbb. Extension ladder $127.00
ccc.
100
ft. of air hose $95.
ddd. 50ft. of air hose $42.
eee. 100ft. electric cord $70
fff. 50ft. electric cord $38
ggg.
(4)
Framing hammers $37. (each)
hhh. “Pro Se Plaintiff “Personal Hammer”
$48.
iii. “Leather tool belt” $50.
jjj. Kobalt Razor Knife $17.
kkk.
Swanson
pencil set & refills $22.
lll. “Black tool box & Respiratory
$138.00
mmm.
“Extreme
Safety Face Shield” $30
nnn. Ear plugs (2) pack $16.
ooo. (4) Normal face respirators with strap
$12.
ppp. Small assortment pliers set $35.
qqq. (2) Tuck pointers $24.
rrr.
(1)
Square mouth shovels $18.
sss.
(1)
set of blueprints $1200.00
ttt.
Gas
container 15.
uuu. Masonry trowel $18.
vvv.
“Fatmax
35ft. tape measure $30.
www. Catspaw nail puller $12.
xxx.
Speed
square $8.
yyy.
Contractor Calculator $34.
zzz.
Crowbar
$17.
aaaa. Utility knife (3) $9. (Each)
bbbb. Nail Punch $8.
cccc. Maxx Gloves $34.
dddd. Canvas Tarp 95ft. X 180ft. $100.00
eeee. Roofing shovels (2) $48. (Each)
ffff.
Saw
blades with drill bits $24.
gggg. (2) Speed square (Plastic) $5. (Each)
hhhh. 25ft. “Fatmaxx tape measure $19.00
iiii.
3-way
air hose fitting set $38.
jjjj.
Case
of Gatorade $12.
kkkk. Residential framing book $21.
llll.
(2)
Paint brushes $14. (Each)
mmmm.
(1)
Paint scraper $14.
nnnn. (1) Paint scraper wire handle $10.
Request
Number 89.
Admit
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein fully
legally intent continual in the usage of the “United States Postal System” in a
“Mail and Wire Fraud” scheme of things defense against “The United States
District Court For The Eastern Division of Texas, Beaumont Division”
Before
the Honorable U.S. Magistrate Judge Zack Hawthorn U.S. Docket No. 1:14-CV-00592
Fully
from the time frame dates of December 3rd 2014 to be exact said Chief
Defendant Antoine L. Freeman J. D. “Attorney at Law”, acting attorney of
record and all defense derive thereafter in the future year of 2015 for the
legal behalf of Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, and the
Co-Defendant(s) Defendant “Joyce M. Guy and Edward McCray” collectively herein against
the Pro Se Plaintiff Louis Charles Hamilton II herein in the continual “Mail
and Wire Fraud” scheme of things defense usage of Co-Defendant(s) “Joyce M.
Guy” “Subscribed and Sworn”, fraudulent, fictitious Affidavit in Support of
Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009
Namely
Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein “Subscribed
and Sworn” legal documented “Verification” dated the 11th day of
September 2009 to be statements under oath to be true and correct
All
said fraudulent, false material facts, as described by Pro Se Plaintiff in
document # 3 attached herein Chief Defendant Antoine L.
Freeman J. D. “Attorney
at Law”, herein “Response to Motion for sanctions”
Namely
the official date your falsely claiming of such “firsthand knowledge” of any of
the Pro Se Plaintiff herein required discovery request for copies of deeds,
property deeds or any other such physical document in Co-Defendants’
possession, custody or control that shows actual ownership of the property of
the dwelling located at 448 DeQueen Blvd., Port Arthur, Texas.
And
Co-Defendant(s) Joyce M. Guy and Edward McCray herein through counsel of record
namely Chief Defendant Antoine L. Freeman J. D. “Attorney at Law”, herein shall
produce copies of any and all construction estimates for repairs in Defendants’
possession, custody or control in relationship to the damage caused by
Hurricanes
Rita, Humberto and Ike to the property located at 448 DeQueen Blvd. in Port
Arthur, Texas to be that on or about April 2nd 2008 and April 11,
2008, your falsely claiming of such “firsthand knowledge” of any of the Pro Se
Plaintiff herein required discovery request to be material factual, 100% the
truth against Federal Penalty of perjury in comparison to Pro Se Plaintiff
attached Document # 11
“The
Official 58th Judicial District Court of Jefferson County Texas”,
Case Ledger showing said discovery of Pro Se Plaintiff Louis Charles Hamilton
II herein Discovery request for Production of Documents and Request for
Disclosure in accordance with the
Texas Rules of Civil Procedures to Cause No.
A-180805 in a civil suit in the 58th Judicial District Court of
Jefferson County Texas was in your Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein legal possession Custody and Control since March 14th
2008 and not the dates of April 2nd 2008 and April 11, 2008 as
you’re falsely claiming with fully legally intent continual in the usage of the
“United States Postal System” in a “Mail and
Wire Fraud” scheme of things defense herein in the continual usage of
Co-Defendant(s) “Joyce M. Guy” “Subscribed and Sworn”, fraudulent, fictitious
Affidavit in Support of Motion for Sanctions against “You” Chief Defendant Antoine
L. Freeman J. D. “Attorney
at Law”, herein as described in Pro Se Plaintiff attached Document # 15
“Affidavit of Joyce M. Guy” dated September 11th 2009 in a continual
time frame dates of now in the year of 2015 March 30th to be exact
in a continual
“Mail
and Wire Fraud” scheme of things defense against “The United States District
Court For The Eastern Division of Texas, Beaumont Division”
Before
the Honorable U.S. Judge Marcia A. Crone and Honorable U.S. Magistrate Keith F.
Giblin, in 2010 (April) 30th in this continual (RICO) enterprise
“Mail and Wire Fraud” scheme of things defense against the Pro Se Plaintiff
personal property namely Construction Company Tools Listed as follows:
oooo. Brand New Hitachi Air Compressor
#2700009 $680.00
pppp. Bosch Drill M# Brute S# NV $345.00
qqqq. “Portacable Skill saw $137.00
rrrr.
Dewalt
Sawall $97
ssss. “Hitachi Nail Gun (Framing) $327.00
tttt.
“Hitachi
Roofing Nailer $315.00
uuuu. Gas Power Generator $300.00
vvvv. Extension ladder $127.00
wwww.
100
ft. of air hose $95.
xxxx. 50ft. of air hose $42.
yyyy. 100ft. electric cord $70
zzzz. 50ft. electric cord $38
aaaaa.
(4)
Framing hammers $37. (each)
bbbbb.
“Pro
Se Plaintiff “Personal Hammer” $48.
ccccc. “Leather tool belt” $50.
ddddd.
Kobalt
Razor Knife $17.
eeeee.
Swanson
pencil set & refills $22.
fffff. “Black tool box & Respiratory
$138.00
ggggg.
“Extreme
Safety Face Shield” $30
hhhhh.
Ear
plugs (2) pack $16.
iiiii.
(4)
Normal face respirators with strap $12.
jjjjj.
Small
assortment pliers set $35.
kkkkk.
(2)
Tuck pointers $24.
lllll.
(1)
Square mouth shovels $18.
mmmmm.
(1)
set of blueprints $1200.00
nnnnn.
Gas
container 15.
ooooo.
Masonry
trowel $18.
ppppp.
“Fatmax
35ft. tape measure $30.
qqqqq.
Catspaw
nail puller $12.
rrrrr. Speed square $8.
sssss. Contractor Calculator $34.
ttttt. Crowbar $17.
uuuuu.
Utility
knife (3) $9. (Each)
vvvvv.
Nail
Punch $8.
wwwww.
Maxx
Gloves $34.
xxxxx.
Canvas
Tarp 95ft. X 180ft. $100.00
yyyyy.
Roofing
shovels (2) $48. (Each)
zzzzz. Saw blades with drill bits $24.
aaaaaa.
(2)
Speed square (Plastic) $5. (Each)
bbbbbb.
25ft.
“Fatmaxx tape measure $19.00
cccccc.
3-way
air hose fitting set $38.
dddddd.
Case
of Gatorade $12.
eeeeee.
Residential
framing book $21.
ffffff. (2) Paint brushes $14. (Each)
gggggg.
(1)
Paint scraper $14.
hhhhhh.
(1)
Paint scraper wire handle $10.
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