Sunday, September 6, 2026

Wherefore (Plaintiff) Hamilton requesting before the “Honorable Court” having Court issue expedited temporary housing relief, hotel voucher, (ect) as described in (Plaintiff) Hamilton Motion to Freeze Assets of the (Defendant) DND Texas Investments et al, requesting housing relief, 9. Wherefore (Plaintiff) Louis Charles Hamilton II having the “Court order” enjoying expedited temporary housing relief from the (Defendants) City of Galveston Texas and or (Defendants) St. Vincent’s in the amount $3800.00 paid to the (Plaintiffs) Law office of Ron D. Harris to obtain all Temporary Housing Relief due to no (ID) within the (Defendants) City of Galveston Texas, while (Defendants) City of Galveston et al, has Civil Action pending surround Housing… among other issues 10. Wherefore (Plaintiffs) Louis Charles Hamilton II enjoying an Expedited Hearing on this “emergency temporary housing relief applications” and all other “Just temporary housing relief the Judge Jack Ewing Deems Fit on Behalf of Pro Se Plaintiff Louis Charles Hamilton II 11. “I Louis Charles Hamilton II declare under penalty of perjury under the laws of the United States of America that the foregoing Motion “emergency applications for temporary housing relief” is True and Correct”.

Wherefore (Plaintiffs) require (Defendants) Amber Evans et al file an answer to the “Amend Complaint” and further file an answer to the “Original Complaint CV-0095978. 8. Wherefore (Plaintiffs) Hamilton is Granted Notice and Motion for (ASAP) Emergency Hearing for Temporary housing as previously requested in Motion to Freeze Assets of Defendants DND Texas Investments. 9. *Notice (Defendants) Amber Evans et al,. Attorneys Robert I. Siegel and Natalie R. Galerne at “Laborde Siegl LLC, “The RICO Involvement of Defendant DND Texas Investments (Defendants) Mr. and Mrs. Horn engaging in (a) Perjury, (b) False Statements, (c) witness tampering, (d) Destroying Evidence and related RICO actions of precise role in concert as described in CV-95978, CV-00956, (Plaintiff) Hamilton Notice to Strike 26-EV02-0693, and (all) other evidence filed into 26-EV03-0227 (Thump Drive) I support of all claims with direct involvement of (Defendant) Donald John Trump Sr. since 2020 – 2026 September herein (Defendants) Galveston County, (Defendants) City of Galveston Texas which will not be disclosed at this time-frame has subject 10. (Defendant) Amber Evans and (Defendants) St. Vincent’s *take notice further legal actions pending (ASAP) time frame (VIP) within the District Court County of Texas, and very very time frame (ASAP) soon (2026) in Many Countries outside of the (Defendants) United States of America et al Jurisdictions you where giving legal Notice.

Notwithstanding the “Police Videos” evidence (Plaintiffs) requesting in Discovery from the (Defendant) Galveston Police et el (Defendants) City of Galveston et al (Attorney for the Defendants) CV-0095978, and CV-95677 officially having in there possession, custody and control with CV-0095978 described (Defendants) Amber Evans”, as Stated by (Defendant) Mr. Andre Horn with the (Defendants) Galveston Police et al 6. (Plaintiffs) Hamilton assert (Defendants) Donald John Trump Sr. “reached an agreement” with anyone to obstruction justice, break the law, due to the secretive nature (Defendant) Mr. Horn, Mrs. Horn DND Texas Investments concert of actions among other co-defendants, unity of purpose and common design “which” (Defendant) Mr. Andre Horn very first words to the “Honorable Billy A. Williams” Mr. Hamilton “Told Me he is Busy with Donald Trump”….? Which including (Defendant) Mr. Horn did this same with (Defendants) Galveston Police et al on their Police Videos…? while further involving (Defendants) Amber Evans, and some crazy lies made against “Honorable Billy A. Williams” to further this fraudulent RICO scheme since 2020 – 2026 September

With (Defendants) DND Texas Investments, Mr. and Mrs. Horn having additional Legal issues surround all this mail theft, and other issues being claimed within the Jurisdiction for the “District Court” while ongoing “International Arrest Warrants” are being involved, upon this “Court” CV-0095677 has the “need to know nothing” at this moment, while (Defendant) Mrs Horn has a Default Judgment pending, “conspire in mail fraud and theft” against (Plaintiffs) and as of the undersigned date “Still Has Not even attempted to reply to the “Amend Complaint” Pro Se and or with an Attorney while already having a Default Judgment. 5. (Defendants) Amber Evans forced overt acts and hostile actions also has (Plaintiff) Hamilton status of “Homeless Veterans” on September 9th 2026 throughout October 1st 2016 Court hearing dates due to her own fraudulent acts, with the assistance of the (Defendants) DND Texas Investments and (Defendants) City of Galveston Texas as described in CV-0095978, CV-95677 while (Defendants) DND Texas Investments has the (Defendants) Galveston Police involved in (Defendants) Amber Evans “Hostile Overt Acts”…? While (Plaintiffs) forced to being Homeless, under massive fraud at the “hands of the Defendants” DND Texas Investments living in conditions already uninhabitable all evidence already filed into the Court, which including a “Fire Hazard” since 2020- 2026 September, Notwithstanding the “Police Videos” evidence (Plaintiffs) requesting in Discovery from the (Defendant) Galveston Police et el (Defendants) City of Galveston et al (Attorney for the Defendants) CV-0095978, and CV-95677 officially having in there possession, custody and control with CV-0095978 described (Defendants) Amber Evans”, as Stated by (Defendant) Mr. Andre Horn with the (Defendants) Galveston Police et al

LABORDE SIEGEL LLC Plaintiffs Hamilton Pro Se Reply to Defendants Amend Special Exceptions and Subject there to Original Answer 1.(Plaintiffs) assert (Defendants) Amber Evans et al has been properly stated in the Original Answer CV-0095677 paragraph (30,31,32,48,51) with (Plaintiffs) Exhibit F attached to the Original Complaint Letter June 16th 2026 26-EV03-0227 to the Honorable Billy A. Williams describing (Defendants) Amber Evans, which including in the Amend Complaint, further CV-00956 Original Complaint further describing (Defendants) Amber Evans et al 2. (Plaintiffs) subject to the Jurisdiction of the above-entitled Court, on certain issues and Due to all International Parties involving with this “Special (Defendants) Donald John Trump Sr., and His Direct “Plagiarism made against 26-EV03-0227” involving (Defendants) DND Texas Investments et al as described in (Exhibit F) and the massive surveillance (2020-2026) of all 3. (Defendants) herein Galveston County, City of Galveston Texas, which including the RICO Scheme in “Theft of Mail” directed at the (Plaintiffs) “evidence already filed into the above entitled court (Exhibit A) “Thump Drive” surrounding among other “Thefts of an entire Federal Civil Complaint” on June 1st 2020 by (Defendants) Trump et al and direct Plagiarism from this said “theft of a Federal Civil Complaint”…? before this additional Plagiarism of the “Fraudulent 21st Century Road to Housing Act (H.R. 6644) involving (Defendant) Amber Evans et al, and (Defendants) City of Galveston Texas et al which all information provided thereof was “Stolen” and (Defendants) Amber Evans et al, (Defendants) Galveston Police et al, (Defendants) City of Galveston Texas all are “Unknowing and Unwilling Defendants at the Hands of (Defendants) Donald John Trump Sr. RICO scheme involving also (Defendants) Amber Evans et al,.

Wednesday, September 2, 2026

Wherefore All (Plaintiffs) assert “Respectfully before the Honorable Judge Jack Ewing” that all (Defendants) Mr. Andre Horn, (Defendant) Mrs. Andre Horn, and (Defendant) DND Texas Investments by and through their (Attorneys) and or (Pro Se) being legally required to appear before the above entitled “Honorable Court” And (defend) against all (Plaintiffs) collective Motion to Freeze All Assets of the (Defendants) each has been identified in paragraph (2) herein all being (Defendants) in both Civil Actions CV-0095677 and CV-0095978. 3. Wherefore (Plaintiff) Hamilton enjoy “temporary emergency housing and food voucher” awards and expedited cost provided for and from each and all (Defendants) City of Galveston Texas et al, (Defendant) Galveston Police Department et al, (Defendant) Amber Evans, and (Defendants) St. Vincent’s House et al, (Defendant) Mr. Horn, (Defendant) Mrs. Ander Horn and (Defendant) DND Texas Investments “Court Cost” in excess of $4200.00 as described in the Notice for Default Judgment against (Defendant) Mrs. Andre Horn in paragraph (8) being pay to the order of (Plaintiffs) Law Office of Ron D. Harris for such “temporarily housing needs” 4. Wherefore (Plaintiffs) is awared all court cost, attorneys fees and others “Just Awards” this Honorable Court Deems fits on behalf of all (Plaintiffs)

(Motion to Freezing Assets) Against (Defendant) Mrs Ander Horn 11001 Wallisville Rd. Houston Texas77013 and (Defendants) Mr. Andre Horn 11001Wallisville Rd. Houston Texas 77013 and (Defendants) DND Texas Investments 11001 Wallisville Rd. Houston Texas 77013 1. (Plaintiffs) collectively assert respectfully before the above entitled court Honorable Jack Ewing presiding against all (Defendants) in the above Court Case CV-0095677 the following: (a). On the 1st day of September 2026 2:32 pm (Defendant) Mrs. Andre Horn refused to file an answer to the “Court” and on July 20th 2026 2:32 PM when the original of the citation, together with return receipt duly received by County Clerk Office Julie Hairgrove. (b). Plaintiffs filed Motion for Default Judgment on the 1st day of September 2026 2:32 pm against (Defendant) Mrs. Andre Horn. (c). (Defendant) Mrs. Andre Horn Default on approximately $171,700.00 which including (Court Cost). (d). (Defendant) Mrs. Andre Horn as of undersigned dates has not reply to the (New) Original Complaint, CV-0095978 filed on August 31st 9:45 AM this being addition to the Civil Action CV-00956677 (Defendant) Mrs. Andre Horn having legally been filed as a Default Judgments by all (Plaintiffs) on approximately $171,700.00 including (Court Cost) (e). (Defendant) Mr. Andre Horn has a Judgment pending before a Jury Trial approximately $171,700.00 all (Plaintiffs) Seeking collectively in awards and (Court Cost) sames as Default Judgment in paragraph (d) above. (f). (Defendants) DND Texas Investments has a Judgment pending before a Jury Trial approximately $171,700.00 all (Plaintiffs) Seeking collectively in awards and (Court Cost) same as Default Judgment in paragraph (d) above. (g). (Defendants) Mr. Horn, Mrs. Horn, DND Texas Investments has an additional Judgment pending before a Jury Trial as described in CV-0095978. (h) all (Plaintiffs) in CV-0095978 Seeking collectively in awards and (Court Cost) approximately $1,885,850.00