Said “Chief Defendant: CVS/Caremark Corporation, UPS ,
Plaintiff: Louis Charles Hamilton, II
Cause Of Action: Racketeering
(RICO) Act, Court: Fifth Circuit › Texas › Texas Eastern District Court , Type:
Other Statutes › Racketeer Influenced and Corrupt Organizations,
(Negro African American) Docket
No. 1:2011 CV-OO240 “Slave Trade Corporation CVS/Caremark
Corporation, UPS , being held to all (RICO)
past and present compensation and awards as described in Amend Complaint,
Proof
“Slave Hamilton herein having no Negro Race Legal standing in law and equity before
a Federal Court of Law vs. Slave Trade Corporations and their Ruling Henchmen
White Only Courthouse, as always “Pro Se Plaintiff cause of Just actions being
abducted by grand racial bias for “white rich only” 1000% control by
United
States of America engaging 24/7 Hostile Judicial Fraud directed at Pro Se
Plaintiff Louis Charles Hamilton II herein being a
Negro without citizenship as described in this complaint
as prior past being the same Negro Slave Plaintiffs et al having no Just legal cause ever because “Slaves Have no legal rights” just foolish property of the “Whiteman” as described by a (Negro African American) U.S. Docket No. 1:2011 CV-OO240
as prior past being the same Negro Slave Plaintiffs et al having no Just legal cause ever because “Slaves Have no legal rights” just foolish property of the “Whiteman” as described by a (Negro African American) U.S. Docket No. 1:2011 CV-OO240
Pro Se Slave Negro Louis Charles
Hamilton II United States Navy Veteran officially declare all Just
compensation/intentional infliction of emotional distress-anguish/exemplary awards
being awarded to
Pro Se Plaintiff Slave Negro Louis
Charles Hamilton II herein as described with interest incurred since date of
injury as already legally and officially filed in
(Negro African American) Docket No. 1:2011
CV-OO240
Page 1 of 15
In The
United States District Court For the
Eastern District of Texas Beaumont Division Louis Charles Hamilton II (Negro
African American) Docket No. 1:2011 CV-OO240 Plaintiff AMEND COMPLAINT
Vs. JURY
DEMAND
United
States of America United States Attorney, “Eric H. Holder Jr.” United States
Attorney, “John M. Bales” Assistant United States Attorney, “Andrea Parker” (Defendants)
And UPS (United Parcel Services et al) CVS/Caremark Corporation et al
Are
(actually physically), Confederate-Co- Defendant(s) Herein.
Page 2 of 15
Amend
Complaint and Jury Demand
1.
Comes now
the Plaintiff herein “Louis Charles Hamilton II”, appearing Pro Se (again) …
Files an
Amend Complaint with the above Honorable United States Federal Court and for
Just cause Plaintiff Louis Charles Hamilton II will show The Honorable Justice at
the Eastern District of Texas “Beaumont Division” as
follows:
I.
Parties Pro
Se Plaintiff
Louis
Charles Hamilton II, African American Male, Currently Homeless U.S. Navy
Veteran, Permanently Disable Citizen protected under: (ADA) American with Disability
Act; And also minorities persons cover under Title VII of the Civil Rights Act
of 1964; Domiciliary State of Texas, P.O. Box 20126 Houston, Texas 77225
II
United
States of America United States Attorney “Eric H. Holder Jr.”
Page 3 of 15
United States
Attorney “John M. Bales” Assistant United States Attorney “Andrea Parker” Are
all above-Attorney(s) at Law in and for the United
States of
America Defendant (s)
III
UPS (United
Parcel Services et al) Founded in 1907 as a messenger company in the United States,
UPS has grown into a multi-billion- dollar corporation The world's
largest package delivery company and a leading global provider of specialized
transportation and logistics services.
55 Glenlake
Parkway NE Atlanta, GA 30328
Co-Defendant(s)
IV
CVS/Caremark
Corporation et al CVS Caremark Corporation (NYSE: CVS) headquartered in Woonsocket,
Rhode Island, where its pharmacy business is also headquartered. CVS/pharmacy
is one of the nation's largest retail pharmacy chains, with over 7,000
stores across 41 states.
Page 4 of 15
Co-Defendant(s)
V.
Jurisdiction
Jurisdiction
is very proper before the Honorable Eastern District of Texas U.S. District
Court in that the Plaintiff (Hamilton II) is a Permanent Resident of Jefferson County
Texas; (City of Port Arthur) and the Defendants are the United States
Attorney(s) Offices in and for the
United
States of America Co-Defendant(s) herein UPS (United Parcel Services et al) hereafter
(UPS et al) with there Main Headquarters is 55 Glenlake Parkway NE Atlanta, GA
30328 With the Co-Defendant(s) CVS/Caremark Corporation et al hereafter
(CVS/Caremark et al) Headquartered in Woonsocket, Rhode Island,
During
all of the time all “episode”, “unpleasant incident”, Phenomenon of high United
States of America administrational civil/criminal Attorneys acts and actions with
all co-confederates, acting agents, driving force and instruments being
committed against the Pro Se Plaintiff herein “Louis Charles Hamilton II”
American Peace,
Page 5 of 15
Civil
Rights, Confidence, Reliance, Faith, Trust, Will, and Dignity, Plaintiff
(Hamilton II) having place confidence in the Defendant (UPS et al) and
Co-Defendant(s) (CVS/Caremark) Entrust, assign, protection, custody, charge, responsibility
of the Plaintiff Daughters
“Chandra D. and Natasha C. Hamilton” 1994 Home
Movie Video that been in a “Vault” since 1994 Afterwards then placed into said
Defendant(s) herein (UPS et al) and Co-Defendant(s) (CVS/Caremark) custody,
possession dependence, control, rely on for filming Production of the Home Move
of said Plaintiff Daughter(s) For the Plaintiff and “Entire Personal (Negro)
Family of the Plaintiff Access”
To include but not limited to factual
evidences Plaintiff Daughters are involved in Civil Action already described before
this Federal Court of Law in Matter of: United States District Court Eastern
District of Texas Beaumont Division (Negro) Louis Charles Hamilton II
African
American Plaintiff and All (Negros) Plaintiff(s) Black African American
Complaint Jury Demand vs.
Page 6 of 15
United
States of America President Andrew Johnson, And President Rutherford B. Hayes
Docket No. CV-00808 Involving (Among other things) Plaintiff herein Louis Charles
Hamilton II (2) (MIA) Minor Daughter(s) “Chandra D. Hamilton” and “Natasha C.
Hamilton”
“Forever”
within the “State of Utah” and Possession, custody, control, of “The Church of
Latter Day Saints” Mormon practices against the Plaintiff natural father rights
” since 1994 Already being complained about in regards to (Among other things)
The
said “minor missing children” of the Natural Father and Plaintiff (Hamilton II)
herein as stated above. " Now The Plaintiff herein Louis Charles
Hamilton II Home Movie of his two Daughters "itself" Is now
forever " Missing in Action "
“However” Now Amend Complaint factual
circumstances and actual events now lead to the real Defendant(s) The United
States Attorney “Eric H. Holder Jr.”, United States Attorney “John M. Bales”,
and Assistant United States Attorney “Andrea Parker” violated USA PATRIOT Act
(H. R. 3162)
To
wrongfully control, deal with, direct, handle, supervise and “fully” attempting
to civilly train wreck manage” the Pro Se (Negro) Plaintiff (Hamilton II) and
All
Page 7 of 15
(Negros)
Plaintiff(s) Black African Americans and descendants “Civil Negro Class Action”
by:
(1). Theft
of Plaintiff personal property & “Civil Federal Evidence for filing”
Namely a 1994 (Home Video) of Plaintiff (Hamilton II) two missing since 1994
minor daughters,
(2) Theft of
the United States Mail, Namely (1) Civil Complaint & Summons for the
Defendant The United States of America, Co-Defendant President Andrew Johnson
and Co-Defendant President Rutherford B. Hayes Docket No 00808 fully past post
date and “Indeed mail to Washington D.C.
All
Defendant(s) herein being The United States Attorney “Eric H. Holder Jr.”,
United States Attorney “John M. Bales”, and Assistant United States Attorney
“Andrea Parker” “MAD ASS SERIOUS LEGALLY FLIPPING CRAZY” in the full
premeditated commitments to conspire in ALL criminal (RICO) violations acts and
actions against
THE RIGHTS,
WILL AND DIGNITY OF (ALL) NEGROS BLACK AFRICAN AMERICANS PLAINTIFFs AND THERE DESCENDANTS
IN AND FOR THE UNITED SATES OF AMERICA in docket No. 00808
Page 8 of 15
“Shocking
enough said U.S. Attorney(s) at Law described defendant(s) above for the United
States Attorney Office did all of this to cope legally and for civil tort
survival” against said Pro Se Plaintiff (Hamilton II) Civil (Negro) Tort”
docket No. 00808 against the Defendant (The United States of America)
Said
United States Attorney(s) at Law defendant(s) administer & supervise
hostile (RICO) acts and actions in the real theft and misusage of all follow
tactics “singularly on in combination” of all “USA PATRIOT ACT”:
TITLE II—ENHANCED
SURVEILLANCE PROCEDURES
Sec. 201.
Authority to intercept wire, oral, and electronic communications relating to
terrorism
Sec. 202.
Authority to intercept wire, oral, and electronic communications relating to
computer fraud and abuse offenses.
Sec. 203.
Authority to share criminal investigative information.
Sec. 204
Clarification of intelligence exceptions from limitations on interception and
disclosure of wire, oral and electronic communications.
Page
9 of 15To include Defendant(s) and Co-defendant(s) collectively in concert in
Violations of Title 18 U.S.C. § 1346 Honest Services Fraud (The Federal Mail
Fraud and Wire Statue) Title 18, United States Code, Section 1014,
To
include Defendant(s) and Co-Defendant(s) collectively in concert in violations
of Title 18 U.S.C. § 1341, 1343 and 1349 “Mail and Wire Fraud Committed by all
described above United States
Attorney(s)
et al Defendant(s), and in full collusion, conspiracy and compliances by each
Co-Defendants described herein all being fully in knowledge criminal collusion
for the criminal aid with Co-Defendant (UPS et al), And Co-Defendant(s)
(CVS/Caremark et al)
Pro
Se Plaintiff Louis Charles Hamilton II, Respectfully, moves and assert strongly
before the “Honorable Court” “True Strong Diversity of Jurisdiction” exists
Between
all of the Parties being brought in full interest in serious civil question(s)
in this Civil Action As fully described herein all Defendants and Co- defendants
being brought for acceptability, validity, honesty, fair dealing, evenhandedness,
accountability, answerability and liabilityBefore the “Honorable Justice”
entertain herein
Page 10 of
15
Facts. 1.
Plaintiff took his old “Home Video” of his 2 daughters to be made into a DVD
for usage in family and civil matters.
2. Plaintiff
obtain the video from a safe and went to the CVS/Pharmacy #8364 in Downtown
Houston Texas several days before Easter Holidays of 2011 and made arrangement
with CVS staff….and there computer to design a wedding theme of my daughters
Chandra and Natasha Hamilton ages 3 and 4 in the “Video”.
3. The Video
was film by me and recorded at a wedding I attended in respect of Mr. and Mrs.
Mary Ann and Dan Olsen in Salt Lake City Utah (Botanical Gardens) for their
Son.
4. With a
second “Movie film on to be made by CVS/Pharmacy depicting “Mothers Day” 1994
in which I was in fact my daughters (Mr. Mom). (We three live alone then)
5. That year
few month later there “Mother and My Wife” was Dead in 1994.
6. Plaintiff
took great concern in asking the clerk at the CVS store in making sure nothing
was going happen to the Movie Video…and its safety.
7. The
Plaintiff had to spend over 10 minutes design the future DVD Movie Video, with
the CVS
Page 11 of
15
Clerk….and
Name the Movie Cmdr. Bluefin (Mr. Mom).
8. Place the
trust, protection, responsibility, care, count on and be sure about into
CVS/Pharmacy in assuming the “New DVD Home Movie of my Special Missing Daughters
would be return safe and this is not the case….
Plaintiff
will show the Honorable Court within under (72) Hours of Plaintiff “daily
posting” on Backpage.com the following attachment in concern for (Among Other
Things)
my missing
(2) daughter(s) and the current Federal Civil Action being involved.
Plaintiff
home video movie was taking and the Plaintiff was informed on Good Friday
morning at around 10:30 am before Easter Sunday of 2011.
04-20- 2011,
10:19 AM #38
Pro
Se Slave Negro Veteran Plaintiff and all 44.5 Million plus Negro DNA Slave Plaintiffs
collectively herein requesting all other relief being fair, just and fully
before the
“Honorable Court deems proper and present at a
Trial by Jury in “Law and equity”.
Subscribed
before a Public Notary, On this ____ Day of ______________ 2016
____________________________________
Public Notary
________________________________________
Pro Se Slave
Negro Louis Charles Hamilton II (USN),
2724 61st
street Ste. I-B
Galveston,
Texas. 77551
bluefinlch2@gmail.com
832-894-9465
832-344-7134
louishamilton2015@gmail.com
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