Monday, May 14, 2018

Defendant (Judge) George C. Hanks, Jr. on the dates of January 5th 2017 - July 19th 2017 engaging (RICO) Fraud Against #BlackLivesMatter vs. Donald John Trump Sr. “Civil Docket” No. 317-MC-00003 assessor after the fact, fraudulent artifact Judicial Decree against ORDER NO. 3915-2017 APPOINTMENT OF SPECIAL COUNSEL TO INVESTIGATE RUSSIAN INTERFERENCE WITH THE 2016 PRESIDENTIAL ELECTION AND RELATED MATTERS dated May 17th 2017 (a) Robert S. Mueller III


Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Defendant (Judge) George C. Hanks, Jr. on the dates of July 19th 2017 complicity, colusion International COMMON DESIGN RICO CONSPIRACY, under fraudulent “Published Judicial Decree”  all material facts present before the (Utah) Federal Court system, (ICC) International Criminal Court “Office of the Prosecutor” in defendant (USA) Judicial government records set forth introduced defendant (Judge) George C. Hanks, Jr.
“knowing, willfully, consciously committed Obstruction of (Secret Naval Service) Investigations by Destruction of Evidence in two federal files (he) presiding over on behalf of defendant (Trump Sr.) against statue (18 U.S.C. 1519) defendant (Judge) George C. Hanks, Jr. RICO conspire while acting under color of law, assessor after the facts, and party to “Violence and Threats” Against the undersigned pro se (plaintiff) Federal Official on Account of the Performance of Their Duties
Plaintiff  Slave Negro “Louis Charles Hamilton II in his both person being (Cmdr. USN) Secret Service #2712 DOB Nov. 8th 1961 official “Office of Commander in Chief” of “United States of America et al” Department of Defense Naval Bluefin Inc., since appointment 1982 – present on “Official discretion of RONALD REAGAN The White House, October 20, 1981. [Filed with the Office of the Federal Register; 3:31 p.m., October 20, 1981] pursuant to
Executive Order 12331—President's Foreign Intelligence Advisory Board October 20, 1981 defendant (Judge) George C. Hanks, Jr. committed 1562. Obstruction Of The Secret Service -- 18 U.S.C. § 3056(d) in the “execution of Affidavit of Probable Cause in support of Issuance for securing Federal Arrest Warrant for defendant  Donald John Trump Sr. 45th President of the United States of America et al  ROA. 17- 40068.1102 – 17 – 40068.1115
                                                  371.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Further Defendant (Judge) George C. Hanks, Jr. “knowing committed Obstruction of Justice by submitting False Statements (18 U.S.C. 1001) against (Plaintiffs) being “enslaved” by a “Gang of Political whites persons” including Defendant (Judge) George C. Hanks, Jr. “knowing “Concealing (all) Money laundering (activities), of Defendant (Trump Sr.), as described in U.S. Case 3:17-MC-0003, and U.S. Case 3:16-MC-00016
                                                  372.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Defendant (Judge) George C. Hanks, Jr. on the dates of July 19th 2017 Subornation of Perjury (18 U.S.C. 1622), of Defendant (Trump Sr.), by False Statements made in concert of concealing a long criminal (history) for the behalf defendant (Trump Sr.) 1998 – 2017 (December)  process of making illegally-gained proceeds (i.e., "dirty money") appear legal (i.e., "clean").
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Defendant (Judge) George C. Hanks, Jr. on the dates of July 19th 2017 Obstruction of Investigations by Destruction of Evidence (18 U.S.C. 1519) in supporting obstruction of pending federal court proceedings before Defendant (Judge) George C. Hanks, Jr. on the dates of July 19th 2017
                                                  373.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton in professional capacity acting under color of law to direct statue violation (18 U.S.C. 1512(d)), Obstruction of Investigations of undersigned council of record by defendant (Judge) George C. Hanks, Jr. “further defendant (Judge) herein involved directly in Bribery with defendant (Trump Sr.), pursuant to statue (18 U.S.C. 1510(a))
                                                  374.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton in professional capacity acting under color of law Conspire 1562. Obstruction Of The Secret Service -- 18 U.S.C. § 3056(d)
                                                  375.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton in professional capacity acting under color of law obstruction of pending federal court proceedings(18 U.S.C. 1512(d)),
                                                  376.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton in professional capacity acting under color of law Conspire Subornation of Perjury (18 U.S.C. 1622), of Defendant (Trump Sr.), by False Statements made in concert of concealing a long criminal (history) for the behalf defendant (Trump Sr.) 1998 – 2017 (December)  process of making illegally-gained proceeds (i.e., "dirty money") appear legal (i.e., "clean").
                                                  377.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton in professional capacity acting under color of law after assessor after facts presented of many "wrongful use of actual threatened force, violence,  fear," having been directed at the “undersigned council of record” pro se (Hamilton) well being
                                                  378.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Conspire involved directly in Bribery with defendant (Trump Sr.), pursuant to statue (18 U.S.C. 1510(a)) to achieved a Favorable “wrongful RICO dismissal” hereby committed continuance Conspire Obstruction by Intimidation, Threats, Persuasion, or Deception (18 U.S.C. 1512(b) against the undersigned council of record, the (facts, evidence, exhibits) fully knowing Conspire collective with (Defendants) in Obstruction by “Direct Destruction of Evidence pursuant to statue (18 U.S.C. 1512(c)) in Direct Destruction of Evidence in U.S. Case 3:17-MC-0003, U.S. Case 3:16-MC-00016, “Writ of Mandamus” US Case 17-40280 USDC No. 3:16-MC-16, US Case (5th Cir.) Appeal No.16-20559, US Case (5th Cir.) Appeal No. 17- 20321 USDC No. 4:16-CV-994
                                                  379.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton Conspire Obstruction by Harassment of the undersigned council of record (Hamilton) in his both person, in such fraudulent Judicial Hostile decree on Behalf of defendant (Trump Sr.), premeditated motives, cover-up, concealing, aid and abetting, false statements, intimidation, harassment, defamation, RICO conspire, assessor after the facts…  
                                                            380.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence defendant (Judge) George C. Hanks, Jr. committed knowing, wanton on behalf of defendant (Trump Sr.) Conspire (obstruction of pending federal court proceedings), (18 U.S.C. 115) in the Matter #BlackLivesMatter vs. Donald John Trump Sr. 45th President of the United States of America Southern District of Texas “Civil Docket” No. 317-MC-00003
                                                  381.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Defendant (Judge) George C. Hanks, Jr. on the dates of January 5th 2017 - July 19th 2017 engaging with defendant (Trump Sr.) against the (Federal Complaints) did knowingly “Submitted” false statements, omissions, destruction, obscuring in mutable artifact of 2 Judicial Decree on the date of January 5th 2017 and July 19th 2017 introduced his own mutable false statements fraudulent artifact of
Judicial Decree document itself, fully in deceit, falsehood, and other fraudulent means, promoted in conjunction with “maintaining” cover-up, evade arrest on behalf of defendant (Trump Sr.) own “master-mind” premeditated court Conspire collusion common RICO design to committed past, present and future (obstruction of pending FBI criminal federal court proceedings)
                                                  382.
Plaintiff realleges and incorporates fully set forth all facts, supporting exhibits, evidence Defendant (Judge) George C. Hanks, Jr. “Submitted” false statements, omissions, destruction, obscuring in mutable artifact of 2 Judicial Decree on the date of January 5th 2017 and July 19th 2017 securing fraud on behalf of defendant (Trump Sr.) against APPOINTMENT OF SPECIAL COUNSEL TO INVESTIGATE RUSSIAN INTERFERENCE WITH THE 2016 PRESIDENTIAL ELECTION AND RELATED MATTERS dated May 17th 2017
(a) Robert S. Mueller III is appointed to serve as Special Counsel for the United States Department of Justice. (b) The Special Counsel is authorized to conduct the investigation confined by then-FBI Director James B. Comey in testimony before the House Permanent Select Committee on Intelligence on March 20, 2017, including:
(i) Any links and/or coordination between the Russian government and individuals associated with the campaign of President Donald Trump; and
(ii) Any matters that arose or may arise directly from the investigation; and
(iii) Any other matters within the scope of 28 C.F.R. § 600.4(a). (c) If the Special Counsel believes it is necessary and appropriate, the Special Counsel is authorized to prosecute federal crimes arising from the investigation of these matters. (d) Sections 600.4 through 600. l 0 of Title 28 of the Code of Federal Regulations are applicable to the Special Counsel.



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