Wednesday, December 24, 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

“Cmdr. Bluefin “United States Navy” Big Christmas Peel Back the Scank Thong Rat Puss Face (Attorney at Law) Blue Light” Hostile Takeover Party Sale…….”

To: My Favorite “Commander in Chief” (Barack Obama) 

To: Antoine L. Freeman, J. D. (Attorney at Law) Texas Bar No. 24058299

First (Barack Obama) 

Wow, MIA “Internet Asian P-o-r-n” @ “North Korea” …..Omg…..

“That’s Just So Plain

“Old School Fu-king Lime Green Puppy Doggy Crap

Kicker Ass Negro Cowboy Type Hostile Takeover S.H.I.T…..

ha, ha

Them “North Korean” Ho’s so very fu-king Lucky old “Cmdr. Bluefin” did not go USA Naval Ninja (MIA) again 

Cuz (I) personally into “secretly dropping” from the future approximately eighteen (18) (American) “FUJI shipping containers”

completely full of USDA Naval Military “used up old toilet parts”

From a High altitude USDA “Naval Drone C-4 Plane” about 48,900 ft. of free fall terminal velocity (Fg)

“Force of gravity” smack dead down on “North Korean”, “Air Space” Targeting into the “axel of evil” head dumb nuts ass holes

“Presidential Compound” bunker while they getting their “heroin-n- green tea” groovy drank on 

Now dumb “North Korean”,

no having “Internet P-o-r-n Bitches”dry (D-ick in his hands)

Tap Lights Smooth The “ Out” did ya pay ya fu-king internet p-o-r-n bills Da” ha ha

What kind of Internet “power grid” you slooooow “North Korean”,

Ho’s hooked the fu-k up to (anyway) 1963…..?

Bunch of “dizzy bitches”

Anyway..!

Pretty Smooth (Obama) Presidential Statesmen on Santa “Merry Christmas”, to the (Mexicans, and Hispanics) community……xoxooxox!

Cool on the kiss my Extra Proud (Obama) Black Ass with this “Executive Order”…

being officially a legal “Hostile Takeover” on the “Immigration Legacy Issue”…ha ha Da 

Omg…(Obama) ya done went and clock the fu-k out ya a 4 eye red neck paper chasing greedy corrupted wanting all the corn bread

CROOKED cracker “completely “F.U.C.K” over” them silly “Congress Ass 1916

“Back Woods Men Red Neck Crackers” on that move to the point (I) was like hell No (I) can’t touch that …….”

No needing a “Cmdr. Bluefin” comments at the present moment, on Immigration……xoxoxoxoxo!

Cuz……Can ya smell what the “Rock Got Cooking”

Knee deep fun in a “Hostile Cmdr. Bluefin Takeover Party Sales” of my very own mad man making XXX

“Sherlock Holmes Style too busy to join in on the (Obama) immigration bloodshed,

you got cooking on the grill over there in Washington Corrupted D.C. ha ha

American Melting pot Citizenship Job well done …..xoxoxox


Ya getting a Cmdr. Bluefin 4 stars, special smile, and a fine Naval Crab Dinner party

I am planning solo tonight just in honor to wishing you (Obama) the very 100% best for That”….xoxoxoxox!

And to kick off in the Christmas Spirit….xoxoxoox 

Excuse Me & Sorry Mr. President Sir”………xxoxoxo

Merry Christmas to you and your family, but

I have a Scank Thong Rat Puss Face (Attorney at Law)

Extra Sloooow “Bitch” holding pattern to holler at on the “Wire” 

And shout out (Bitch) ……

Who do you really fu-king Love …….BRR (Be Right Back),

“Commander in Chief” (Barack Obama)  and Happy 2015


To: Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 a/k/a “Scank Thong Rat Puss Face”

1. You challenged me, before a Honorable Court of Law and (RICO) Suave ya way throughout and cheated

& taunt me in private in the bath room

wish I could have pulled out a shovel from my legal brief in 2008

and beat the crap out of you then

and you super engaged in robbery of me all my construction company possession,

and future since 2007..! Well outstandingly done

As showing all of the Construction 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.


2. * Take good Notice You’re an extra Crooked “Attorney at Law” leaning on being extra slooooow the two don’t add up……………………..”

3. (I) won in 2008 long before you committed to robbery of the State of Texas

and The United States of America for $76,000.00 U.S. Dollars Housing Grant

for Mr. E. Pimp & Mrs. J. Vampire collectively

4. You Just Let that Mean Old USDA Federal Magistrate Judge “Green Light” your

“Scank” “Thong” “Rat” “Puss” “Face” (RICO) Stealing Corrupted Ass

being status green for Go” “Cmdr. Bluefin” Trial date set……..xoxoxooxx!

5. And (I) am smooth stiff kicking the “Legal Motherfu-king Crap” out of your “kickstand” neck

rouge (RICO) Suave “Attorney at Law” stupid corrupted ass until your “legally” leaning over gasping for “fresh air” on record.

6. Your being introduce to a real Naval Ninja “JAG Officer” “Video Deposition” 

“infamously” “You can’t handle the truth, ha ha (I) am going to simply (Tom Cruise) your (RICO) Suave Goofy green pool table

7. Front Porch S-L-A-V-E….. N-I-G-G-E-R CHICKEN THEIVERY ….ASS

8. Remember @ The Cook Out “Video Deposition” 

9. Wear a Man Size Diaper on your “Scank” “Thong” “Rat” “Puss” “Face” Attorney at Law Crooked Corrupted Ass……

10. .”Cuz” Ya “Tummy”, “Heart”, and “Rectum” going to “Twist”, “Turn”, “Growl” and “Tingling” with a “Butt Load” of “S.H.I.T.”

11. Massive pulsing self induced “inner head trauma” sweating nuts-n-balls fraudulent answering under direct Oath of a “Video Deposition”

 (I) don’t have any “direct relationship” in all of the “fraudulent documents”

namely Pro Se Plaintiff exhibit(s) A, B, C,

and D possibly exhibit(s) E, F, and G also containing my Attorney at Law signatures

and Bar No. standing presently before me in my Life..! ha, ha 

12. And (I) past, presently and future times never had any fu-king “sexual relationship” with that Die Hard bullet head Female “Vampire”..!

FYI: Antoine L. Freeman, J. D. (Attorney at Law) Texas Bar No. 24058299

Start the liquidating process on fu-king “everything” enemy at the gates ha, ha 

(ASAP) once again fraudulently start the wheels of obstruction,

Destruction, concealment, alteration of all book keeping records, court documents, banking records, computer records,

Insurance records, Business records, correspondence, notes, communications, personal banking records,

Scuttle all Staff records, (IRS), & tax records, computer records,

Home owner Insurance Records, FEMA records, Contractor Construction records,

And all Hurricane recovery repair records. Properties deeds,

business assets (any) and all interests in all entities owned,

in whole or in part, or controlled by, related to, or associated or affiliated with your Dumb Rogue Loser Attorney at Law Ass

And (I) hoping you got the golden Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 (RICO)

“Brass Useless Balls” once again to represent the Co-Defendant(s)

Mr. E. Pimp & Mrs. J. Vampire home address @ (RICO) Enterprise USA

And see what happen next to your extra sloooow stupid corrupted (RICO) Lawyer Dumb Greasy Squeaky Ass, ha ha 

Actually your being in “direct physical needs” of a real relent supreme “Attorney at Law”

skilled (RICO) “expert” better than (Your) being acquired an extra sloooow self imposed stupid cockroach self,

For your very own VIP needed “legal professional” consulting “Attorney at Law”

well salted & registry on the “Federal Venue sitting “first chair” representation” 4 eye type

standing before “Justice” Next to aid in saving

You corrupted (RICO) Stupid “Scank” “Thong” “Rat” “Puss” “Face”

Attorney at Law Dumb Ass Wasted Chicken Thievery “Dizzy Slooow Negro Bitch J. D.”……………………………………”

Cuz (I) shall enjoy greatly in 2015 flushing your (RICO) Ass...”

P.S.

And a Very Fu-king Fu-ked Up “Merry Christmas” to your family too

(YOU) Sloooooow “Crooked Ass RICO Suave Bastard”

See ya USDA “Federal Subject Matter Jurisdiction” Style in 2015

Cmdr. Bluefin “Going” off “Hot Wire Line”……..(Dial Tones)……” 

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

(158)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice” The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein on November 13th 2009 filed a

“Motion to withdrawal as counsel for the Co-Defendant(s) “Joyce M. Guy and Edward McCray” collectively herein as he (Attorney at Law) herein “undertook” this Civil Action” exactly

December 18th 2007 as being described in Pro Se Plaintiff attached exhibit (E) herein “The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805

When The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein being (Rouge) retain “counsel of law” to commit to all complex (RICO) scheme of things well into 2015

As all described (RICO) “acts, events and circumstances” having an actual complete physical package of a long lasting

“obstruction of justice” and fraud upon the court effect within the

State of Texas “civil suit” cause No. A-180805 against the civil rights, peace and dignity of the Pro Se Plaintiff herein.

(159)

Pro Se Plaintiff declares, affirm, and state further before the “Honorable Justice” Defendant (Attorney at law)

100% concealment, containment, obstruction, destruction of all material “facts and circumstances” as described herein

Did indeed having a direct “legal effect” against the Pro Se Plaintiff proper pursuit of Justice” against the “Texas Rules of Civil Procedures”

as Pro Se Plaintiff attachment exhibit (E) herein

“The Jefferson County Texas 58th Judicial District Court “Case Ledger” A-180805 showing the “Honorable Justice” on November 17th 2014 Pro Se Plaintiff finally filing a motion for a

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

(160)

Notwithstanding Pro Se Plaintiff having made such an actual “legal attempt” to secure the old dwelling located at 448 DeQueen Blvd. in Port Arthur Texas

(Block 172 Lot 1-2) and have all knowledge thereof the property deeds “clearly” back on the time frame of

March 14th 2008 – March 14th 2009 as Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 herein

Absolutely in his 100% (Rouge) hostile (RICO) retain “Attorney at Law” skilled in “foolishly refusal” to even simply “reply” or

“respond” or make motion for “withdrawal”, or disengage as acting “Attorney of Record” in this time frame of Co-Defendant(s) execution of all

past, present and future (RICO) enterprise acts, actions and events

(161)

While Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 herein providing ”retain for hire” 100% “Obstruction of Justice” and 100% “retain for hire”

Fraud of the 58th Judicial District Court of Jefferson County Texas, as

“Attorney at Law” (RICO) assistances herein being in favor thereof, and beneficial civil disorder for the Co-Defendant “Joyce M. Guy and Edward McCray” herein

behalf to not only” aid and abetting” to defeat the Civil Complaint of the Pro Se Plaintiff in November 26th of 2007 (A-180805)

(162)

But to include but not limited to in this complex (RICO) enterprising “scheme of things” also gain a

“New”(RICO) enterprise $76,000.00 U.S. Dollars gain of a “New Home” located at the “old dwelling”

located at 448 DeQueen Blvd. in Port Arthur Texas (Block 172 Lot 1-2)

In this continuances “civil disorder” ongoing into 2015 (RICO) enterprise of fraudulent collusion, conspiring, concert,

Outlandish crooked mutable task of underhanded corrupted “scheming of things” between the Defendant and Co-Defendant(s) collectively ..!

(163)

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

having the direct “skilled in among other things “Fraud Litigation” “Attorney at Law” abilities to with intent “continue to commit” to

Furtherance’s skilled (RICO) “acts and actions” in providing 100% further “obstruction of justice, fraud upon a court of law,

actual direct acts and actions in destroying, concealment, alter, hide, screen, obscure, mask, disguise,

demolish, liquidate, erase, and eliminating all “material evidences”

Supporting all subject matter as described by the Pro Se Plaintiff Louis Charles Hamilton II herein

Being “Material Evidences” contain by both Defendant and Co-Defendant(s) collectively in

All “Attorney at Law” book keeping records, court documents, banking records, personal banking records, computer records,

Insurance records, Business records, construction estimates, FEMA records, Property lien records, property deeds records, property records,

and all factual material records in relationship to the exact time frame said home damages caused by

(164)

Hurricanes “Rita”, “Humberto” and “Ike” to the property located at 448 DeQueen Blvd. in Port Arthur, Texas

in this ongoing (RICO) enterprise “cover up scheme of things”

commenced in the relationship between the Defendant (Attorney at Law) and Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein if the “Honorable Justice”

Dose not issuances a “Direct Court Order” in Favor of the Pro Se Plaintiff herein requiring

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

fully being “prohibited”, “banned” and “forbidden” from furtherance’s acts and actions in

Destroying, conceal, alter, hide, screen, obscure, mask, disguise, demolish, liquidate, erase,

and eliminating all material evidences supporting all subject matter herein contain in

(165)

All of Defendant and Co-Defendant(s) collective book keeping records, court documents, banking records, personal banking records, computer records,

Insurance records, Business records, construction estimates,

FEMA records, financing statements, Texas Department of housing & community affairs records,

Property lien records, property deeds records

and all material records in relationship to the exact time frame home damages caused by

Hurricanes “Rita”, “Humberto” and “Ike” to the property located at 448 DeQueen Blvd. in Port Arthur, Texas

in this ongoing (RICO) enterprise cover up scheme of things relationship between the Co-Defendant(s) “Joyce M. Guy and Edward McCray” herein.

(166)

In which “Chief” Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 herein from the past dates of

March 14th 2008 throughout 2015 fully did in all facts, events, and circumstances committed to,

engage and executed his (Attorney at Law) skills in

Destroying, concealment, alter, hide, screen, obscure, mask, disguise, demolish, liquidate, erase,

and eliminating all material evidences supporting all subject matter herein.

And the complete disappearance act of “physical evidence” in a civil suit in common law Docket No. A-180805

Namely an entire dwelling, residences’, and or structural home located at 448 DeQueen Blvd. in Port Arthur Texas (Block 172 Lot 1-2).

Said dwelling being a party to Cause No. A-180805 in the 58th Judicial District Court of Jefferson County Texas

Since November 17th 2007 being “actual date of all injuries acquired and occurred against the Pro Se Plaintiff civil rights, peace, dignity, physical well beings,

earning capacities, and personal property, within the jurisdiction of this United States District Court.

(167)

Final Conclusion

Pro Se Plaintiff officially smiling at this time frame as being declares, affirm, and state furtherance before the “Honorable Justice”

Pro Se Plaintiff having “little” Knowledge that (RICO) is a “criminal act” and all material evidence contain in the attached exhibit(s)

A,B,C,D,E,F,G,H,I,J,K,L, M And N attached herein support a factual, events, and circumstances legal finding concerning the federal subject matter as presented before the “Honorable Justice”

That Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299 and Co Defendant(s) “Joyce M. Guy and Edward McCray herein

Collectively did in all factual civil unjust circumstances 100% willfully engage in a criminal enterprise (RICO)

acts and actions beyond meeting the required “reasonable doubt” standards as legally required in criminal law.

(168)

Pro Se Plaintiff declares, affirm, and state furtherance before the “Honorable Justice” having “little” Knowledge that (RICO) is a criminal act

and all material evidence contain in the attached exhibit(s) A,B,C,D,E,F,G,H,I,J,K,L, M And N attached herein

Support a factual, events, and circumstances concerning the subject matter as presented before the “Honorable 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 herein did in all factual civil unjust circumstances

willfully engage in a criminal enterprise (RICO) acts and actions by a

Preponderance of all “material evidences” contain in the attached exhibit(s) A,B,C,D,E,F,G,H,I,J,K,L, M And N attached herein

As legally required under the standards in civil law, and warranting a Protective (TRO) order as prescribed by the United States Laws.

(169)

Wherefore Pro Se Plaintiff declares, affirms, state, and moves furtherance before the “Honorable Justice”

For issue of a (TRO) and absolutely acts of “Justice” of his “Honorable Justice” in 100% freezing protection in all described collective asset

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

And Co Defendant(s) “Joyce M. Guy and Edward McCray collectively.

(170)

Pro Se Plaintiff declares, affirm, and state furtherance before the “Honorable Justice” his “Honorable Justice” not only dealing with a well skilled, crafty Fraud prevention (RICO) rogue

“Attorney at Law” among other wasteful skilled being executed against the Pro Se Plaintiff Louis Charles Hamilton II as described directly herein

(172)

His “Honorable Justice” having now “official direct dealing” with the Elusive Sinister described Co-Defendant “Edward McCray” herein

fully being in the never ending status of “Once a Dog Ass Pimp “

Always a “Dog Ass Pimp” backwoods “Ugly Chicken Thievery Negro” mentality of Co-Defendant “Edward McCray”.

(173)

And His “Honorable Justice” now officially involved and having “direct dealing” with the describe Co-Defendant “Joyce M. Guy” herein and

“Actual factual circumstances” surrounding the “Old Spooky Story Book Mystery Tales that “Live bullets” do not kill “Vampires”.

(174)

This is a 100% well over due official, final and legal conclusion, just before “Justice” elementary complete “Pro Se investigation”

Ending to all events, acts, actions, and circumstances surround “direct actual damages of injuries occurred in the past dates of November 17th 2007

Well ongoing into 2015 to the described Plaintiff herein.

(175)

All (Legal Parties) described herein their “official capacities” being also a party to “Cmdr. Bluefin” (USN

) “Sherlock Holmes” mystery writer case of:

“The Dead Man Who Paid Taxes”

before his “Honorable Justice”

(176)

Dedications to my Sweet Darling “Pinky Rose De Chavez”

Dedications of “The Original Hit Song Version” by: “Judy Collins”

“Send in the Clowns”

Before his “Honorable Justice Zack Hawthorn”

United States Magistrate Judge.



Execution on this Dated 24th day of December 2014





By, __________________________________

Louis Charles Hamilton II  :)
Pro Se Plaintiff
U.S. Docket No 1:2014-CV-592
P.O. Box 17524,
Sugar Land Texas, 77496

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

(157)

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

The Defendant Antoine L. Freeman J. D. (Attorney at Law) herein at this point done

“Cut His Very On Crooked Dump Truck Attorney at Law Break Lines”

and continue on with further “forward (RICO) progress in a complete cover up “Rouge” Attorney at Law fraudulent “scheme of things”

as being described herein above

To include but not limited to Defendant Antoine L. Freeman J. D. (Attorney at Law) herein with Co-Defendants “Joyce M Guy” and “Edward McCray”

numerous (RICO) enterprise as being described herein

Defendant (Attorney at Law) was fully “functional and knowledgeable”,

execution in his trained skilled capacities as a “retain for hire” State of Texas “Attorney at Law”

committing to his (RICO) scheme of thing throughout the future

Hearing September 11th 2009 AM houras described in Pro Se Plaintiff attached exhibit (D) 58th Judicial District Court “Docket Report”

Appearance before the Honorable 58th Judicial District Court of Jefferson County Texas

after already securing for the Co-Defendant(s) legal behalf in a civil suit in common law (A-180805);

a. Complete Physical Destruction of material evidence in a civil suit in common law “Namely” the old dwelling located at 448 DeQueen Blvd. in Port Arthur Texas (Block 172 Lot 1-2)

b. $76,000.000 U.S. Dollars Housing for the legal interest of the Co-Defendant(s) “Joyce M. Guy” and “Edward McCray” herein.

c. A $3800.00 + U.S. Dollars collection in construction tools for the Co-Defendant(s) and lost of Pro Se Plaintiff herein “Professional Contractor earning capacity

since date of injury November 17th 2007 well into 2015

d. Absolutely 100% containment & concealment of the “property deeds” for the old dwelling located at 448 DeQueen Blvd. in Port Arthur Texas

(Block 172 Lot 1-2) from the 58th Judicial District Court of Jefferson County Texas from August 12th 2009 well into 2015

e. A gain of a $10,800.00 Construction Contract involving the Pro Se Plaintiff and the Co-Defendant(s) “Joyce M. Guy” and “Edward McCray” herein.

f. Absolutely providing false Instrument namely “Affidavits, and Interrogatories. Filed as exhibit (s) attached herein to furtherance (RICO)

g. Complete “Obstruction of Justice” and Fraud of The 58th Judicial District Court of Jefferson County Texas,

all of its records and file thereof by this retain “Attorney at Law” skill additional package (RICO) retain dealings in cover up

all of the Co-Defendant(s) collective numerous fraudulent business enterprises,

and past fraudulent (RICO) activities enterprises involving

Hurricanes “Rita”, Humberto and “Ike’ not only to the old dwelling located at 448 DeQueen Blvd. in Port Arthur Texas (Block 172 Lot 1-2)

but also every property within Co-Defendant(s) possession, custody and legal “Power of Attorney” control as described herein.

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

(138)

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

continue on with forward progress in a “Rouge” Attorney at Law fraudulent “scheme of things” while Co-Defendants

“Joyce M. Guy and Edward McCray herein prosperity (RICO)” enterprise of monetary scheme of things” continue actual $76,000.00 U.S. Dollars dividends increase

with the Pro Se Plaintiff being a unwilling party to “actual theft of his “personal property” Namely Pro Se Plaintiff herein “Construction Company Entire Tools”,

Now being a party of the Co-Defendants “Joyce M. Guy and Edward McCray collection of (RICO) enterprise monetary increase “scheme of things” since 1997

The Co-Defendants “Joyce M. Guy and Edward McCray (RICO) mutable business “past, present, to include but not limited to all current criminal fraudulent doings in a ongoing “civil suit” no less to

Acquiring actual in excess of $76,000.00 U.S. Dollars as being described in Pro Se Plaintiff attached exhibit (C) herein “Jefferson County Texas Search Index”

As Pro Se Plaintiff furtherance support this proof before the “Honorable Justice” with Attached exhibit (N) herein namely

* Discovery Request Document of Pro Se Plaintiff request respond to Interrogatories Question at:

No. 10

Where is the funding coming from the new home?

Answer: Federal Grant

No. 11

What are the term and conditions of any contract in regards to the new home?

Answer: Federal Government built home free of charge Co-Defendant must remain in home for at least 3 years.

No. 12

What is the entire cost of the construction for the new home?

Answer: $76,000

No. 13 How is the City of Port Arthur Involved?

Answer: Not involved

No. 14

How is the state of Texas Involved?

Answer: Not involved

No. 15

How is the federal government involved?

Answer: Federal Grant

No. 16How much money did the Co-defendants actually paid for in the new home construction

Answer: No money paid by Co-defendants (Joyce M. Guy & Edward McCray)

(139)

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

Pro Se Plaintiff attached exhibit (N) herein Defendant(s) and Co-Defendant(s) collective respond to the

“First Set of Interrogatories” of Pro Se Plaintiff Louis Charles Hamilton II herein provides a

“sound (RICO) proof” of a past present and future fraudulent intent “scheme of things” before the “Honorable Justice” for a monetary value.

To include but not limited to Defendant Antoine L. Freeman J. D. (Attorney at Law) Texas Bar No. 24058299

(RICO) Intent at further fraudulent instrument namely said exhibit (N) herein Namely

* Discovery Request Document of Pro Se Plaintiff requesting respond to Interrogatories Question(s).

(140)

Pro Se Plaintiff Quite Elementary “Logically”, affirming, and state further before the “Honorable Justice”

sound proof in Pro Se Plaintiff attach exhibit (C) herein “Jefferson County Texas” search index physically identifying among other things “Transfer of dwelling

(141)

(Block 172 Lot 1-2) that is a party of the State Court civil action (A-180805) transfer to the

“Texas Department of Housing & Community affairs” on June 18th 2009 Instrument # 2009022762

(142)

With Instrument # 2009022763 being a “Fraudulent” financing statement also filed June 18th 2009 with

“Texas Department of Housing & Community affairs”

(143)

With Instrument # 2013023794 being a (release) being with

“Texas Department of Housing & Community affairs” on July 22nd 2013

(144)


With Instrument # 2013023857 being a (termination) being with

“Texas Department of Housing & Community affairs” on July 22nd 2013

(145)


Defendant and Co Defendant(s) collective (RICO) accomplishment “scheme of things” being legally in the future of the civil suit of (2007)

fully secure in the free and clear property “Deed” to the Co-Defendant(s) Joyce M. Guy and Edward McCray herein from the

“Texas Department of Housing & Community affairs” being about a future (RICO) executed “scheme of things”

on April 22nd 2014 as described in Instrument # 2014012455

(146)

As this civil suit (A-180805) for a “Breach of Construction Contract”, “theft of personal Property” namely

said entire “Construction Company tools”.

Commenced in November 26th 2007 as being “legally” described before the “Honorable Justice”

in Pro Se Plaintiff attached exhibit (E) herein

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

(147)

Defendant and Co-Defendant(s) collectively (RICO) Providing false and misleading “statements,

events and factual circumstances surround the actual proper disposition of

$76,000 “U.S. Government Grant” and the conflicting real interest with the “State of Texas”

(148)

Just whom being (RICO) pilferage out of the $76,000.000 U.S. Dollars Housing Grant..?

By the Defendant (Attorney at Law) and Co-Defendant(s) collectively herein

(149)

Is it the “States of Texas vs. “United States of America” $76,000.000 U.S. Dollars Housing Grant ..?

“Your “Honorable Justice”..?

(150)

As Pro Se Plaintiff Louis Charles Hamilton II smartly presenting attached exhibit (C)

being “Jefferson County Texas search Index

Describing among other things a $76,000.000 U.S. Dollars Housing Grant

and its involving of the dwelling (448 DeQueen Jefferson County Texas) with the financial involvement with the “States of Texas” quite (clearly)

(151)

But quite scary conflicting concealment bogus facts is (clearly) contained in Pro Se Plaintiff attached exhibit (N) herein

Namely * Discovery Request Document of Pro Se Plaintiff request respond to Interrogatories Question

at number: 10, 11, 12, 13, 14 15, and 16 being quite contradicting conflicting fraudulent response describing a Interrogatories Question at:

No. 10

Where is the funding coming from the new home?

Answer: Federal Grant

No. 11

What are the term and conditions of any contract in regards to the new home?

Answer: Federal Government built home free of charge Co-Defendant must remain in home for at least 3 years.

No. 12

What is the entire cost of the construction for the new home?

Answer: $76,000

No. 13 How is the City of Port Arthur Involved?

Answer: Not involved

No. 14

How is the state of Texas Involved?

Answer: Not involved

No. 15

How is the federal government involved?

Answer: Federal Grant

(152)

In comparison to Pro Se Plaintiff attached exhibit (C) describing in “confusing details” now that can it be the $76,000 U.S. Dollars Home Grant funding belongs too?

(153)

Meanwhile factually (Block 172 Lot 1-2) the dwelling that is a party of the State Court civil action (A-180805) since November 26th 2007

was “indeed legally transfer” to the “Texas Department of Housing & Community affairs”

on June 18th 2009 Instrument # 2009022762 standing as sound proof of that

(154)

With Instrument # 2009022763 being a “Fraudulent” financing statement also filed June 18th 2009 with

“Texas Department of Housing & Community affairs” standing as sound proof of that

(155)

With Instrument # 2013023794 being a (release) being with “Texas Department of Housing & Community affairs”

on July 22nd 2013 standing as sound proof of that

(156)

With Instrument # 2013023857 being a (termination) being with “Texas Department of Housing & Community affairs”

on July 22nd 2013 standing as sound proof of that

and the 58th Judicial District Civil Court of Jefferson County Texas ongoing affairs surround the dwelling located at

(Block 172 Lot 1-2) 448 DeQueen Blvd. in Port Arthur Texas being a Party to a past, present and future (RICO) enterprise.

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.

Monday, December 22, 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

(125)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein entire assets as being described in Pro Se Plaintiff attached exhibit (C)

“Jefferson County Texas” search Index herein all such person and person(s) to include but not limited to

As identified having (any) interests in all entities owned, in whole or in part, or controlled by, related to,

or associated or affiliated with Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

“Namely” “Willie Jones, Dorothy Cooley, Norma Guy, U Guy Sr., Joyce Johnson Guy, Sarah D. West, Gladys Carpenter,

Janet L. Hart, Edward E. McCray, Edward McCray, Edward Eugene McCray Sr., Horse Grant, Allen Guy, Joyce Johnson Guy.

(126)

Freezing all Assets” of Co-Defendant “Joyce M. Guy and Edward McCray” “collectively” herein there after providing a

“verified written described accounting” and “personal financial statement” of Co-Defendant “Joyce M. Guy and Edward McCray”,

“collectively” ,herein as•set plural noun: assets:

“Deeds”, Banking accounts presently held, Property, Stock, Bonds, (IRA),

Commercial Real estate, Companies, Investments, estates, livestock, cattle, horses,

Rental Property(s), landholding, chattel,

Valuable Art collection, investment banking, (money) to use, by purchase or expenditure,

in something offering potential profitable returns, as interest, income, gold investment.

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

(109)

Freezing all records during “Hurricane “Rita”, “Ike” and “Humberto ”

related Construction storm damages to the property located at 448 Dequeen Blvd in Port Arthur Texas

Business records”, banking records, personal banking records, Home owner Insurance Records,

FEMA records, Contractor Construction records, recovery repair records.


(110)

Freezing all records during “Hurricane “Rita”, “Ike” and “Humberto ”

related Construction storm damages to the property located at 5050 east 7th street in Port Arthur Texas

Business records”, banking records, personal banking records, Home Owner Insurance Records,

FEMA records, Contractor Construction records, recovery repair records.
,.


(111)

Freezing all records during “Hurricane “Rita”, “Ike” and “Humberto ”

related Construction storm damages to the property located at SBD “Lakeview”, Block 4 Lot 10 Jefferson County Texas

Business records”, banking records, personal banking records, Home Owner Insurance Records,

FEMA records Contractor Construction records, recovery repair records.

(112)

Freezing “Assets” enforced against Defendant Co-Defendant(s) Joyce M. Guy and Edward McCray herein as Follows:

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein entire assets in

G and G Service Company P.O. Box 515, 416 DeQueen Blvd. in Port Arthur“77640

(113)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein entire assets in

J Can Company 1807 East 7th Street Port Arthur Texas (Office) located at 448 DeQueen Blvd. in Port Arthur Texas 77640 “

(114

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein entire assets in

E and J Collectibles located at 448 DeQueen Blvd. in Port Arthur Texas 77640

(115)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein entire assets in

“Paragon Business Inc.” Lot 10 Block 18 (Jefferson) Chaison ADD

(116)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein entire assets in “Cars and Pieces”

Office located in Beaumont Texas and office located at 448 DeQueen Blvd. in Port Arthur Texas 77640

(117)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at 5050 east 7th street in Port Arthur Texas

(118)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at SBD “Lakeview”, Block 4 Lot 10 Jefferson County Texas

(119)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at 1807 east 7th street Port Arthur Jefferson County Texas

(120)


Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located SBD Port Arthur City Block 210, Lot 8 Jefferson County Texas

(121)


Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at SBD Port Arthur City Block 94, Lot 11 Jefferson County Texas

(122)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at 416 DeQueen Blvd. Port Arthur Jefferson County Texas

(123)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at 448 DeQueen Blvd. Block 172 Lot 1-2 in Port Arthur Jefferson County Texas

(124)

Freezing all of Co- Defendant Joyce M. Guy and Edward McCray “collectively” herein

entire assets in the property located at Rev Ransom Howard Street in Port Arthur Jefferson County Texas Property ID #89824 (Commercial Vacant Lot)