Friday, December 23, 2016

U.S. District Judge George C Hanks, Jr.U.S. Docket No. 3:16-MC-00016 (Slaves) “Plaintiff British Royal Queen II”, “Plaintiffs British Empire immigrants DNA Negro, Slaves” Negro Sherlock Holmes Case of: “The Donald John Trump Sr. Russian Trojan Horse” vs. "United States of America et al, GOP Republican Party, 45th President Donald John KGB Trump Sr. Federal Reserve Bank et al.

                                                      In The United States District Court
                                                    For The Southern District of Texas
                                   Issuance of an ARREST WARRANT AND
                             AFFIDAVITS IN SUPPORT OF ARREST WARRANT

Slave Negro Pro Se Plaintiff Louis Charles Hamilton II USN SS # 2712
President Negro Slave Barack Hussein (Water-Head) Obama II
Negro Slave Michelle LaVaughn Robinson Obama
Negro Slave Natasha Obama,
Negro Slave Malia Ann Obama                              U.S. Docket No. 3:16-MC-00016                                             
Plaintiff Rachel Ann Hamilton (Wife)
Negro Slave Chandra D. Hamilton (Daughter)
Negro Slave Natasha Hamilton (Daughter)
Negro Slave Aaron Michael Halvorsen (Hamilton II) (Son)          
Negro Slave Craig Robinson
Negro Slave Marian Shields Robinson
Negro Slave Rachel Meghan Markle
President Abe Lincoln
President John Fitzgerald "Jack" Kennedy
Robert Francis "Bobby" Kennedy
Negro Slave Dred Scott
Negro Slave Harriet Tubman
Negro Slave Rev. Doctor Martin Luther King Jr.
Negro Slave Deadria Farmer-Paellmann
Negro Slave Plaintiff LeBron Raymone James
Negro Slave Colin Rand Kaepernick
Negro Slave Plaintiff Petty Officer 2nd Class Janaye Ervin,
Negro Slave Officer CPL. MONTRELL Jackson, 32, Baton Rouge Police Department,
Negro Slave Gavin Eugene Long
Negro Slave Micah Xavier Johnson
Negro Slave Plaintiff Philando Castile
Negro Slave Alton Sterling
Negro Slave Carnell Snell Jr.
Negro Slave Korryn Gaines
Negro Slave Keith Lamar Scott
Negro Slave Terence Crutcher
Negro Slave MarShawn M. McCarrel II
Negro Slave Philando Castile
Negro Slave Alton Sterling
Negro Slave Michael Brown
Negro Slave Malcolm X born Malcolm Little
Negro Slave Medgar Wiley Evers
Negro Slave Andrew Jackson Young, Jr.
Negro Slave Eric Marlon Bishop, “Jamie Foxx” (“Django”)
Negro Slave Samuel L. Jackson
Negro Slave Oprah Gail Winfrey
Negro Slave Plaintiff Denzel Hayes Washington Jr.
Negro Slave Caryn Elaine Johnson Whoopi Goldberg
Negro Slave Wesley Snipes
Negro Slave Marion Hugh "Suge" Knight Jr
Negro Slave Eric Garner,
Negro Slave Michael Brown,
Negro Slave Tamir Rice,
Negro Slave Walter Scott,
Negro Slave Freddie Gray
Negro Slave Laquan McDonald.”
Negro Slave Veteran Jeffery Tavery
Negro Slave Veteran Robert Vaughan
Negro Slave Veteran Keno Miller
Plaintiff Negro Slave Veteran Avery Brown
“Plaintiff 1865 “Freeman Bureau”
“Plaintiff “Black Lives Matter”
Plaintiff Slave Negro US Veteran Exactly 1.8 (Million)
Plaintiff Negro Slaves 42.7 Million
Plaintiff British Empire et al
Plaintiff Negro DNA Slave British Empire Immigrants 
Vs.
45th President Donald John Trump Sr.
The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022
The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022,
      Before The United States District Court “Honorable Justices George C Hanks, Jr.
Slave Negro Louis Charles Hamilton II USN SS # 2712 and all (Plaintiffs) listed herein require issuance of an ARREST WARRANT AND AFFIDAVITS IN SUPPORT OF ARREST WARRANT Order
On “Emergency Application” of “PLAINTIFFS” collectively Ex-parte Motion “order” for                                          A Military Protective Order for Protection of Office of Commander in Chief of Defendant “United States of America Armed Forces” from Defendant 45th President Donald John Trump Sr. with Co-Defendant(s) Ivana Zelníčková, Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump collectively Herein having both Public and (RICO) “Hidden” “Monetary Foreign Holdings, Assets, properties, Corporations, Business, Companies, Retails, shops, import, export, stores, homes, cars, chattel, Armory Collections ...
 Primary Weapon Auto Rifles, Pulse Rifles, Scout Rifles and Hand Cannons Special to include military missile weapons, and support thereof ect… based in foreign government Russian Federation, Syria RICO Monetary not paying taxes total of
$916 million in one year x 18 years = 16,488,000,000,.00 16.4 Billion Minimum of supporting his Chief Defendant” Donald John Trump Sr., The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022 Co-Defendant The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022, with Co-Defendant(s) Ivana Zelníčková, Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump collectively Herein, being a “direct/indirect party to “International War Crimes” siege and bombardment of eastern Aleppo Syria "crimes of historic proportions"
 Chief Defendant Donald John Trump Sr. in the “capacity of a civilian violating international humanitarian law in Syria, being a direct (American) party to supply, material aid to the enemy,as Chief Defendant 45th President Donald John Trump Sr. and each Co-Defendant(s) Co-Defendant(s) Ivana Zelníčková, Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022 collectively in direct violation of pursuant News Rome Statue of The International Criminal Court, Article 8
War crimes
1.         The Court shall have jurisdiction in respect of war crimes in particular when committed as part of a plan or policy or as part of a large-scale commission of such crimes.
2.         For the purpose of this Statute, "war crimes" means:
(a)     Grave breaches of the Geneva Conventions of 12 August 1949, namely, any of the following acts against persons or property protected under the provisions of the relevant Geneva Convention:
(i)     Willful killing;
(ii)     Torture or inhuman treatment, including biological experiments;
(iii)     Willfully causing great suffering, or serious injury to body or health;
(iv)     Extensive destruction and appropriation of property, not justified by military necessity and carried out unlawfully and wantonly;
(v)     Compelling a prisoner of war or other protected person to serve in the forces of a hostile Power;
(vi)     Willfully depriving a prisoner of war or other protected person of the rights of fair and regular trial;
(vii)     Unlawful deportation or transfer or unlawful confinement;
(viii)     Taking of hostages.
(b)     Other serious violations of the laws and customs applicable in international armed conflict, within the established framework of international law, namely, any of the following acts:
(i)     Intentionally directing attacks against the civilian population as such or against individual civilians not taking direct part in hostilities;
(ii)     Intentionally directing attacks against civilian objects, that is, objects which are not military objectives;
(iii)     Intentionally directing attacks against personnel, installations, material, units or vehicles involved in a humanitarian assistance or peacekeeping mission in accordance with the Charter of the United Nations, as long as they are entitled to the protection given to civilians or civilian objects under the international law of armed conflict;
(iv)     Intentionally launching an attack in the knowledge that such attack will cause incidental loss of life or injury to civilians or damage to civilian objects or widespread, long-term and severe damage to the natural environment which would be clearly excessive in relation to the concrete and direct overall military advantage anticipated;
(v)     Attacking or bombarding, by whatever means, towns, villages, dwellings or buildings which are undefended and which are not military objectives;
(vi)     Killing or wounding a combatant who, having laid down his arms or having no longer means of defence, has surrendered at discretion;
(vii)     Making improper use of a flag of truce, of the flag or of the military insignia and uniform of the enemy or of the United Nations, as well as of the distinctive emblems of the Geneva Conventions, resulting in death or serious personal injury;
(viii)     The transfer, directly or indirectly, by the Occupying Power of parts of its own civilian population into the territory it occupies, or the deportation or transfer of all or parts of the population of the occupied territory within or outside this territory;
(ix)     Intentionally directing attacks against buildings dedicated to religion, education, art, science or charitable purposes, historic monuments, hospitals and places where the sick and wounded are collected, provided they are not military objectives;
(x)     Subjecting persons who are in the power of an adverse party to physical mutilation or to medical or scientific experiments of any kind which are neither justified by the medical, dental or hospital treatment of the person concerned nor carried out in his or her interest, and which cause death to or seriously endanger the health of such person or persons;
(xi)     Killing or wounding treacherously individuals belonging to the hostile nation or army;
(xii)     Declaring that no quarter will be given;
(xiii)     Destroying or seizing the enemy's property unless such destruction or seizure be imperatively demanded by the necessities of war;
(xiv)     Declaring abolished, suspended or inadmissible in a court of law the rights and actions of the nationals of the hostile party;
(xv)     Compelling the nationals of the hostile party to take part in the operations of war directed against their own country, even if they were in the belligerent's service before the commencement of the war;
(xvi)     Pillaging a town or place, even when taken by assault;
(xvii)     Employing poison or poisoned weapons;
(xviii)     Employing asphyxiating, poisonous or other gases, and all analogous liquids, materials or devices;
(xix)     Employing bullets which expand or flatten easily in the human body, such as bullets with a hard envelope which does not entirely cover the core or is pierced with incisions;
(xx)     Employing weapons, projectiles and material and methods of warfare which are of a nature to cause superfluous injury or unnecessary suffering or which are inherently indiscriminate in violation of the international law of armed conflict, provided that such weapons, projectiles and material and methods of warfare are the subject of a comprehensive prohibition and are included in an annex to this Statute, by an amendment in accordance with the relevant provisions set forth in articles 121 and 123;
(xxi)     Committing outrages upon personal dignity, in particular humiliating and degrading treatment;
(xxii)     Committing rape, sexual slavery, enforced prostitution, forced pregnancy, as defined in article 7, paragraph 2 (f), enforced sterilization, or any other form of sexual violence also constituting a grave breach of the Geneva Conventions;
(xxiii)     Utilizing the presence of a civilian or other protected person to render certain points, areas or military forces immune from military operations;
(xxiv)     Intentionally directing attacks against buildings, material, medical units and transport, and personnel using the distinctive emblems of the Geneva Conventions in conformity with international law;
(xxv)     Intentionally using starvation of civilians as a method of warfare by depriving them of objects indispensable to their survival, including wilfully impeding relief supplies as provided for under the Geneva Conventions;
(xxvi)     Conscripting or enlisting children under the age of fifteen years into the national armed forces or using them to participate actively in hostilities.
Chief Defendant 45th President Donald John Trump Sr. and each Co-Defendant(s) Co-Defendant(s) Ivana Zelníčková, Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022
The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022,collectively in direct violation of in direct violations of defendant (USA) own rules of governing laws Pursuant to 18 U.S. Code § 2101 – Riots in a nature involving continual (RICO) enterprise from the proceeds of Terrorist financing
Chief Defendant 45th President Donald John Trump Sr. and each Co-Defendant(s) Co-Defendant(s) Ivana Zelníčková, Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022
The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022, collectively in direct violation of in direct violations of defendant (USA) own rules of governing laws Pursuant to 18 U.S. Code § 2339C - Prohibitions against the financing of terrorism, USA PATRIOT Act and codified in title 18 of the United States Code, sections 2339A and 2339B as defined
Chief Defendant 45th President Donald John Trump Sr. and each Co-Defendant(s) Ivana Zelníčková, Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022
The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022,collectively in direct violation of
18 U.S. Code § 2339A - Providing material support to terrorists
(a)Offense.—
Whoever provides material support or resources or conceals or disguises the nature, location, source, or ownership of material support or resources, knowing or intending that they are to be used in preparation for, or in carrying out, a violation of section 32, 37, 81, 175, 229, 351, 831, 842(m) or (n), 844(f) or (i), 930(c), 956, 1091, 1114, 1116, 1203, 1361, 1362, 1363, 1366, 1751, 1992, 2155, 2156, 2280, 2281, 2332, 2332a, 2332b, 2332f, 2340A, or 2442 of this title, section 236 of the Atomic Energy Act of 1954 (42 U.S.C. 2284), section 46502 or 60123(b) of title 49, or any offense listed in section 2332b(g)(5)(B) (except for sections 2339A and 2339B) or in preparation for, or in carrying out,
the concealment of an escape from the commission of any such violation, or attempts or conspires to do such an act, shall be fined under this title, imprisoned not more than 15 years, or both, and, if the death of any person results, shall be imprisoned for any term of years or for life. A violation of this section may be prosecuted in any Federal judicial district in which the underlying offense was committed, or in any other Federal judicial district as provided by law.
(b)Definitions.—As used in this section—
(1)the term “material support or resources” means any property, tangible or intangible, or service, including currency or monetary instruments or financial securities, financial services, lodging, training, expert advice or assistance, safehouses, false documentation or identification, communications equipment, facilities, weapons, lethal substances, explosives, personnel (1 or more individuals who may be or include oneself), and transportation, except medicine or religious materials;
(2)the term “training” means instruction or teaching designed to impart a specific skill, as opposed to general knowledge; and
(3)the term “expert advice or assistance” means advice or assistance derived from scientific, technical or other specialized knowledge.
(Added Pub. L. 103–322, title XII, § 120005(a), Sept. 13, 1994, 108 Stat. 2022; amended Pub. L. 104–132, title III, § 323, Apr. 24, 1996, 110 Stat. 1255; Pub. L. 104–294, title VI, §§ 601(b)(2), (s)(2), (3), 604(b)(5), Oct. 11, 1996, 110 Stat. 3498, 3502, 3506; Pub. L. 107–56, title VIII, §§ 805(a), 810(c), 811(f), Oct. 26, 2001, 115 Stat. 377, 380, 381; Pub. L. 107–197, title III, § 301(c), June 25, 2002, 116 Stat. 728; Pub. L. 107–273, div. B, title IV, § 4002(a)(7), (c)(1), (e)(11), Nov. 2, 2002, 116 Stat. 1807, 1808, 1811; Pub. L. 108–458, title VI, § 6603(a)(2), (b), Dec. 17, 2004, 118 Stat. 3762; Pub. L. 109–177, title I, § 110(b)(3)(B), Mar. 9, 2006, 120 Stat. 208; Pub. L. 111–122, § 3(d), Dec. 22, 2009, 123 Stat. 3481.)
“Emergency Ex-Parte application requiring Chief Defendant “Donald John Trump Sr.” to release all taxes as stated in this complaint, 1.     Notice of Motion to Strike the Foreign Assistance Act of 1961, Chief defendant “Donald John Trump Sr. and Defendant “Donald John Trump Jr. continue violation of the Foreign Assistance Act of 1961, since 1998 well into 2017 (Decembers)
2.     Notice of Motion to Strike Cuban Assets Control Regulations of 1963, Chief defendant “Donald John Trump Sr. and Defendant “Donald John Trump Jr. continue violation of the Cuban Assets Control Regulations of 1963, since 1998 well into (December) 2017
3.     Notice of Motion to Strike Cuban Democracy Act of 1992, Chief Defendant “Donald John Trump Sr. and Defendant “Donald John Trump Jr. continue violation of the Cuban Democracy Act of 1992, since 1998 well into (December) 2017
4.     Notice of Motion to Strike the Helms–Burton Act 1996, Chief defendant “Donald John Trump Sr. and Defendant “Donald John Trump Jr. continue violation of  the Helms–Burton Act 1996 since 1998 well into (December) 2017
5.     Notice of Motion to Strike the Trade Sanctions Reform and Export Enhancement Act of 2000 “Chief defendant “Donald John Trump Sr. and Defendant “Donald John Trump Jr. continue violation of the Trade Sanctions Reform and Export Enhancement Act of 2000“since 1998 well into (December) 2017



Chief Defendant “Donald John Trump Sr., The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022 involving the criminal acts of commit Violation of
Violation of UCMJ Article 104 --Aiding the enemy
Article 99 --Misbehavior before the enemy
Article 94 --Mutiny and sedition
Article 116 --Riot or breach of peace
Article 121 --Larceny and wrongful appropriation
Article 81 -Conspiracy
Article 122 --Robbery
Article 123 --Forgery
Article 133 Conduct unbecoming an officer and a gentleman
18 U.S. Code § 1031 –“Fraud against the United States”, “The Racketeer Influenced and Corrupt Organizations Act,”
“Honest Services Fraud 18 U.S.C. § 1346”, conspiracy to commit wire fraud, and major fraud against the United States, its US Department of Veterans Affairs, bogus Veterans fundraisers to support “International Terrorism”. also in violation of defendant (USA) all “allies” The Trading with the Enemy Act 1914, Espionage Act of 1917.in violated US and “Plaintiff United Kingdom, The Trading with the Enemy Act 1914
The Trading with the Enemy Amendment Act 1914 (5 & 6 Geo 5 c 12)
The Trading with the Enemy Amendment Act 1915 (5 & 6 Geo 5 c 79)
The Trading with the Enemy (Extension of Powers) Act 1915 (5 & 6 Geo 5 c 98)
The Trading with the Enemy Amendment Act 1916 (5 & 6 Geo 5 c 105)
The Trading with the Enemy (Copyright) Act 1916 (6 & 7 Geo 5 c 32)
The Trading with the Enemy and Export of Prohibited Goods Act 1916 (6 & 7 Geo 5 c 52)
The Trading with the Enemy (Amendment) Act 1918 (8 & 9 Geo 5 c 31)
The Trading with the Enemy Act 1939 (2 & 3 Geo 6 c 89)
All crimes under (RICO) enterprise conspire committed and already achieved to defraud “United States” as a whole which Defendant Donald John Trump declared a $916 million loss on his newly uncovered 1995 tax returns — a loss that would allow him to avoid paying federal income tax for up to 18 years“, added to his 16.4 Billion Minimum Collectively here in January 1st 2000 – 2016 engaging in supporting “Global Financing of Terrorism” of The “Knight of The Klu Klux Klan”, and foreign government(s) enemies Cuba, Venezuela, the Balkan region, some North and Central African states, Gambia, Oman, the Caucus states, India and SE Asia. Definitive enemies: Somalia, Syria, Iraq, ISIL, Yemen, Nigeria, Algeria, Iran, Afghanistan, Pakistan, Russia, North Korea, and China. of defendant in financing “International  Terrorism within the “United States of America”, past, present and future being in defendant Donald John Trump Sr. illegally conducted business in Communist Cuba in violation of Defendant American trade bans in the late 1990s knowingly operated in violation of the law
*Note U.S. District Judge George C Hanks Jr. the moment herein Defendant 45th President “Elected” Donald John Trump Sr. is officially order to release his taxes,
 As described, being “Published” in the “Washington Post”, 1301 K Street NW, Washington DC 20071 and Defendant 45th President “Elected” Donald John Trump Sr. entire, full, and not deleted, destroyed, obstructed, or missing, in complete order as from the start date of 1995 – 2016 there will be more then “Enough” probable cause for the “Issuance of said warrant” and Nation State hostile to
“Plaintiffs British Empire”, Queen Elizabeth II, Princess Elizabeth Alexandra Mary, Prince William, Duke of Cambridge, KG, KT, PC, ADC (William Arthur Philip Louis),Prince Henry of Wales, KCVO, (Henry Charles Albert David) and Prime Minister Theresa Mary May et al and “Hostile” to defendant “United States of America et al (Namely)
The Islamic State of Iraq and the Levant, also known as the Islamic State of Iraq and Syria, Islamic State, and by its Arabic language acronym Daesh, will have been (Defeated) as Chief Defendant “Donald John Trump Sr.” is the (ownership) and direct leadership of not only “Knights of The Klu Klux Klansmen but also directly involved with
the Islamic State of Iraq and Syria, Islamic State, and by its Arabic language acronym Daesh, and Cyber attack by a Nation State hostile at Pro Se Plaintiff in his both persons Pro Se Plaintiff “Louis Charles Hamilton II "Cmdr. Bluefin [PL-413132] "phishing site found "Operational" and Targeting evidence attached herein plaintiffs Exhibit (A) and (B) and (C) “Cmdr. Bluefin” USN filed in support thereof
Wherefore (PLANTIFFS) assert, declare and affirm Chief Defendant Donald John Trump Sr. illegally already conducted business in Communist Cuba in violation of Defendant American trade bans in the late 1990s knowingly operated in violation of the law operated in violation of the law “A company controlled by defendant Donald John Trump Sr. . . . Secretly conducted business in communist Cuba during Fidel Castro’s presidency despite strict defendant American trade bans that made such undertakings illegal, internal company records and court filings,” actually “Documents show that the
Chief defendant Donald John Trump Sr. Documents show that the Chief Defendant Donald John Trump Sr. Company spent a minimum of $68,000 for its 1998 foray into Cuba at a time when the corporate expenditure of even a penny in the Caribbean country was prohibited without defendant U.S. government approval. But the company did not spend the money directly. Instead, with Chief defendant Donald John Trump Sr. knowledge, executives funneled the cash for the Cuba trip through an American consulting firm called Seven Arrows Investment and Development Corp. Once the business consultants traveled to the island and incurred the expenses for the venture, Seven Arrows instructed senior officers with Trump’s company—then called Trump Hotels & Casino Resorts—how to make it appear legal by linking it after the fact to a charitable effort.
As further Chief Defendant Donald John Trump Sr. utter from his own “loser lips” of missing the good old days of actually never physically being a direct party to the monetary tax system, of defendant “United States of America et al” as such RICO Monetary not paying taxes total of $916 million in one year x 18 years = 16,488,000,000,.00 16.4 Billion Minimum of supporting his Chief Defendant” Donald John Trump Sr., The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022 Co-Defendant The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022, with Co-Defendant(s) Ivana Zelníčková,
Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump collectively Herein having both Public and (RICO) “Hidden” “Monetary Foreign Holdings, Assets, properties, Corporations, Business, Companies, Retails, shops, import, export, stores, homes, cars, chattel, Armory Collections ... Primary Weapon Auto Rifles, Pulse Rifles, Scout Rifles and Hand Cannons Special to include military missile weapons, and support thereof ect… based in foreign government Russian Federation, Syria, Iraq and Iran in that for each (RICO) conspire committed and achieved to defraud “United States” as a whole in the financing of terrorism,
Once said Tax records are released (Plaintiffs) assert collectively defendant Chief Defendant Donald John Trump Sr. will have accumulated easy in excess double 32. 8 Billion US dollars All crimes under (RICO) enterprise conspire committed and already achieved to defraud “United States” as a whole in direct violations of defendant (USA) own rules of governing laws Pursuant to 18 U.S. Code § 2339C - Prohibitions against the financing of terrorism, USA PATRIOT Act and codified in title 18 of the United States Code, sections 2339A and 2339B as defined
Further Pro Se Plaintiff (Hamilton) in his both persons Once said Tax records are released (Plaintiffs) assert collectively defendant Chief Defendant Donald John Trump Sr. The Trump Organization Trump Tower 725 Fifth Avenue New York, NY 10022 Co-Defendant The Eric Trump Foundation (ETF) The Eric Trump Foundation, 725 Fifth Avenue, 16th Floor, New York, NY 10022, with Co-Defendant(s) Ivana Zelníčková,
Donald Trump Jr., Ivanka Trump, Eric Trump, Tiffany Trump, Melania Knauss Trump, and Barron Trump collectively Herein having further “Probable Cause” for the issue of said ARREST WARRANT     
Before The United States District Court “Honorable Justices George C Hanks, Jr.

Before Justice, 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

USPS First Class Mail 9400 1118 9922 3911 5466 36
         The British Consulate 1301 Fannin Street Houston Texas 77002-7014

CC:  Queen Elizabeth II, Princess Elizabeth Alexandra Mary,
Cc: Prince William, Duke of Cambridge, KG, KT, PC, ADC (William Arthur Philip Louis)
Cc: Prince Henry of Wales, KCVO, (Henry Charles Albert David)
Cc: Prime Minister Theresa Mary May

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