Wednesday, April 17, 2019

18 U.S. Code § 3144. ("Plaintiffs") moves Production of "Sherlock Holmes Case of The Prince Witch Voodoo Doctor (Doctor Samuel Benjamin Magnus-Lawson M.D.)

SUMMARY OF MSS EO 12331 BLUEFIN INC. INVESTIGATION

Prime Minister Theresa Mary May                                                        April 17th 2019
British Parliament
The British Consulate           
Prime Minister Theresa Mary May Please find attached herein original (“Plaintiffs”) Negro Immigrants, Civilian, and Military Slaves General Allegations (Volumes) page 1 –     (Characters 46,440)18 U.S. Code § 3144 NOTICE OF MOTION AND MOTION FOR Material Witness  “Rex Okusaga” A/K/A the actual “Prince Samuel Benjamin Magnus Lawson M.D. of Lagos Nigeria” Undersigned Council of Record Ex-Brother-In-LawMarried to (My Sister Johanna Ann Hamilton) "Sherlock Holmes Case of The Prince Witch Voodoo Doctor (Doctor Samuel Benjamin Magnus-Lawson M.D.) xoxox   :  )
                                               United States District Court
                                                 For District of Columbia
Louis Charles Hamilton II Cmdr. US Navy MSS
                       (EO 12331 Military Secret Service)
Estate of Louis Charles Hamilton II Cmdr. US Navy (MSS)
Estate of Rachel Ann Hamilton II
Estate of Chandra D. Hamilton
Estate of Natasha C. Hamilton
Aaron Michael Halvorsen (Hamilton II) (Son)                          18 U.S. Code § 3144
Alexis Jemtrude (Hamilton II) (Daughter)                            NOTICE OF MOTION AND 
                                                                                                        MOTION FOR
                        (Plaintiff)                                                                Material Witness
William Arthur Philip Louis                                                       
 Prince William, Duke of Cambridge, KG, KT, ADC
(Special Needs Son EO 12331) since Dec 1984
Henry Charles Albert David
Prince Harry, Duke of Sussex, KCVO, ADC
(Special Needs Son EO 12331) since Dec 1984
                  (Plaintiff)
Vs.
     ("Defendant") 45th President Donald John Trump Sr. (Defendant) Donald John Trump Sr. ("Defendant") Trump Foundation et al, Trump Plaza Associates, LLC Unknown, Trump Plaza Associates, LLC, Trump University, LLC Unknown, Trump University, LLC, Trump Organization, LLC CEO, Trump Organization, LLC, Trump Entertainment Resorts, Inc. Unknown, Trump Entertainment Resorts, Inc., Trump Taj Mahal Associates, LLC Unknown, Trump Taj Mahal Associates, LLC,
Trump Taj Mahal Associates, G.P. Unknown, Trump Taj Mahal Associates, G.P., Trump Model Management, LLC Unknown, Trump Model Management, LLC, Trump Organization, Inc. CEO, Trump Organization, Inc.(“Defendants”) Maryanne Trump Barry,
            (“Defendants”) Rafael Edward "Ted" Cruz (“Defendants”) James Richard "Rick" Perry (Defendant) Judge Carl E. Stewart, (Defendant) Judge Alfred H. Bennett, Defendant U.S. Slave Negro Judge Vanessa D. Gilmore, Defendant U.S. Judge Slave Negro George C. Hanks, Jr., Defendant Judge Kenneth Michael Hoyt, Defendant James Earl Graves Jr.,  Defendant David Hittner Defendant(s) Circuit Judges Davis, Defendant(s) Circuit Judges Prado, Defendant(s) Circuit Judges,  Costta (Defendants) Circuit Judges Reavley, Defendant(s) Circuit Judges Dennis, Defendant(s) Circuit Judges Higginson, Defendant(s) Addison Mitchell McConnell Jr., Defendant(s) FaceBook, Defendant(s) Wikileaks, Defendant(s) Roger Stone, Defendant(s) MICHAEL COHEN Defendant(s)W. Samuel Patten  Defendant(s) Konstantin Kilimnik,
            Defendant(s) PAUL MANAFORT Defendant(s) RICK GATES Defendant(s) Jefferson Beauregard Sessions III, Defendant(s) Alex van der Zwaan, Defendant(s) RICHARD PINEDO, Defendant(s) MICHAEL FLYNN, Defendant(s) GEORGE PAPADOPOULOS, Defendant(s) W. Samuel Patten, Defendant(s) Julian Assange, Defendant(s) Defendant(s) Defendant(s) Jerome Robert Corsi, Defendant(s) Stephen Kevin Bannon, Defendant(s) Newton Leroy Gingrich, Defendant(s) Cambridge Analytica, a political data firm hired by
            Defendant(s) President Trump's 2016 RICO crime spree party to collusion, conspire, interfere, and party to actual "cyber theft, cyberwarwafe  during actual 2016 election campaign platform, under control ("Defendants") The Russian Federation General Staff of the Armed Forces of the Russian Federation
            ("Defendants") GRU Defendant(s) INTERNET RESEARCH AGENCY LLC A/K/A MEDIASINTEZ LLC A/K/A, GLAVSET LLC A/K/A MIXINFO LLC A/K/A AZIMUT LLC A/K/A, NOVINFO LLC, CONCORD MANAGEMENT AND CONSULTING LLC, CONCORD CATERING, YEVGENIY VIKTOROVICH PRIGOZHIN, MIKHAIL IVANOVICH BYSTROV, MIKHAIL LEONIDOVICH BURCHIK A/K/A MIKHAIL ABRAMOV, ALEKSANDRA YURYEVNA KRYLOVA,
ANNA VLADISLAVOVNA, BOGACHEVA, SERGEY PAVLOVICH POLOZOV, MARIA ANATOLYEVNA BOVDA A/K/A MARIA ANATOLYEVNA BELYAEVA, ROBERT SERGEYEVICH BOVDA, DZHEYKHUN NASIMI OGLY ASLANOV A/K/A JAYHOON ASLANOV A/K/A JAY ASLANOV,
            VADIM VLADIMIROVICH PODKOPAEV, GLEB IGOREVICH VASILCHENKO, IRINA VIKTOROVNA KAVERZINA, and VLADIMIR VENKOV ("Defendants") VIKTOR BORISOVICH NETYKSHO, BORIS ALEKSEYEVICH ANTONOV,
DMITRIY SERGEYEVICH BADIN, IVAN SERGEYEVICH YERMAKOV, ALEKSEY VIKTOROVICH LUKASHEV, SERGEY ALEKSANDROVICH MORGACHEV, NIKOLAY YURYEVICH KOZACHEK, PAVEL VYACHESLAVOVICH YERSHOV, ARTEM ANDREYEVICH MALYSHEV, ALEKSANDR VLADIMIROVICH OSADCHUK, ALEKSEY ALEKSANDROVICH POTEMKJN, and ANATOLIY SERGEYEVICH KOVALEV
            IN THE MATTER undersigned council of record "Proceeding Pro Se" Louis Charles Hamilton II Cmdr. US Navy (Secret Service) Bluefin Inc. vs. Donald John Trump, Sr., 45th President of the United States ... Cause of action hereby undersigned council of record ("Pro Se") pursuant to ("Plaintiffs") United States of America Union Government EO12331 proceeding under military authority collectively (1) all (Defendant(s) and Co-Defendant(s) engaging in  further overt acts and actions of violations; Louis Charles Hamilton II Cmdr. US Navy MSS (collective)
("Plaintiffs") United States of America Union Government ("Plaintiffs") British Empire,  ("Plaintiffs") thirty-seven allied countries cause of actions", by undersigned council of record ("Pro Se") pursuant to ("Plaintiffs") United States of America Union Government EO 12331 hereby direct cause of action charges further overt acts and actions of violations;
Specifically of Title III of the. "USA Patriot Act" Spying against the ("Plaintiffs") Military, Civilian and Immigrant Captive Slaves and undersigned council of record in his both "Persons" ("Plaintiffs") United States of America Union Government ("Plaintiffs") British Empire,  ("Plaintiffs") thirty-seven allied countries In connection with an "attempted concealing ("Defendants") The Confederate States of America illegal operation International (RICO) ongoing "White Supremacy Klan Cartel scheme of things of 1865 - 2019 ("December")
Criminal overt acts includes violations of 18 U.S.C. § 1030(b) - Conspiracy To Commit Computer Fraud And Abuse; producing false statement judicial decrees, court transcripts fully, school books of high educations false slavery data under criminal RICO  "international published scheme of things with fraudulent mail and wire fraud acting under color of law "attempted" criminal knowing intent "usage of both national and international wire system in committed against the ("Plaintiffs") United States of America Union Government ("Plaintiffs") British Empire,  ("Plaintiffs") thirty-seven allied countries cause of actions", RICO crime spree engaging furtherance’s
Specifically, violations of “18 USC § 1343 RICO Wire Fraud”, and
Specifically, violations of RICO statute (18 U.S.C. § 1961(1) “Money laundering”
Specifically, violations of RICO statue “18 USC § 1341 “Mail Fraud”,
Specifically, violations of 18 U.S. Code § 1028A
Specifically, violations of 18 U.S. Code § 1001
Specifically, violations of“18 USC § 1956 (A) (1)
Specifically, violations of 18 U.S.C. 1028A - Aggravated identity theft
Specifically Computer Fraud and Abuse Act (CFAA) 18 U.S.C. § 1030
In conjunction committed to “Conspiracy” to commit offense or to defraud ("Plaintiffs") United States Union Government ”from further criminal enterprise, scheme ongoing slave trade, RICO violating the ("Plaintiffs") United States Union Government Chapter 96 of Title 18, United State Code: (RICO) Racketeering Influences Corruption Organization acting under color of law Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, singularly committed to  mail and wire frauds OF COURT RECORDS, OBSTRUCTION OF JUSTICE, AID AND ABETTING International RICO on behalf of
"Material Witness “Rex Okusaga” A/K/A the actual “Prince Samuel Benjamin Magnus Lawson M.D. of Lagos Nigeria” Undersigned Council of Record Ex-Brother-In-Law Married to (My Sister Johanna Ann Hamilton) "Sherlock Holmes Case of The Prince Witch Voodoo Doctor (Doctor Samuel Benjamin Magnus-Lawson M.D.)
A.
  Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree concealing large amount of “legal documents” showing the "Rex Okusaga” and  the “Doctor" A/K/A  “Prince Doctor Samuel Benjamin Magnus Lawson M.D.” in collusion, conspire, fraud medical records, false statements with “St. Joseph Medical Center” in Houston Texas operating under numerous fake names and Identities,  In conjunction committed to “Conspiracy” to commit offense or to defraud ("Plaintiffs") United States Union Government ”from further criminal enterprise,
B.
Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree concealing, false statements To include cover-up copies of several fake prescriptions records for the “Prince Doctor Samuel Benjamin Magnus Lawson M.D.” to received (STD) medicines for his treatment of “sexually transmitted diseases” “GONORRHEA AND CHLAMYDIA” (STD) in his “Pirate name of Rex Okusaga”
C.
Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree concealing, false statements To include cover-up Rex Okusaga” and  the “Doctor" A/K/A  “Prince Doctor Samuel Benjamin Magnus Lawson M.D.” using My Sister (Johanna Ann Hamilton) ” actual date of birth Nov 12th in covering an additional disguise in other actual bogus medical records at medical pharmacy, and other "Medical Fake History(s)  In conjunction committed to “Conspiracy” to commit offense or to defraud ("Plaintiffs") United States Union Government ”from further criminal enterprise,
D.
Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree concealing, false statements To include cover-up "Obstruction of Justice  of My Sister (Johanna Ann Hamilton)  recently filed divorce proceeding in Fort Bend County Courthouse, Texas on behalf of "Material Witness" Rex Okusaga” and  the “Doctor" A/K/A  “Prince Doctor Samuel Benjamin Magnus Lawson M.D.”  cover-up by the "Court" RICO conspire In conjunction committed to “Conspiracy” to commit offense or to defraud ("Plaintiffs") United States Union Government ”from further criminal enterprise,
Hereby same Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree concealing, false statements To include cover-up  by ("Defendants") (5th Cir Court Appeals) No. 15-20612 Hamilton v. Khare Filed: October 2, 2015 as 4:2015-cv-02884 "Obstruction of Justice" knowing committed
“Aggravated PERJURY AND OTHER FALSIFICATION, by "Black Nigger Vampire Bat Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree committed by Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, singularly committed to intent further being a “civil/criminal RICO “party” to Principle, Co-conspirators and accessories after the fact in “Obstruction of the Secret Service -- 18 U.S.C. § 3056(d) investigation of “Doctor Dinesh Chandra Khare” of 1600 River Pointe Dr. Apt. 812, Conroe, Texas 77304 for his role in direct violation of civil/criminal crimes as filed before Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") fraud of the court to conspire against the undersigned legal civil tort pursuant to statue "Obstruction of Justice" by other
"Judicial Judges" acting under color of law cover-up all material facts,in each Federal Court Cases  in this 2019 ("December") ongoing false statement slavery data ("Plaintiffs") DNA Negro whom still "Slave on or about the dates of July 30, 2010 when undersigned "Pro Se" Council of Record" hereby Louis Charles Hamilton II Cmdr. US Navy MSS (EO 12331 Military Secret Service) undersign ("Pro Se") Counsel of Record Office of "Commander in Chief” of (“Plaintiffs”) United States of America Union Governments 1982 - Present filed this RICO "Legal Matter" Hamilton vs. Prince Samuel Benjamin Magnus Lawson M.D. of Lagos Nigeria” now in 2019 ("December") wanted "Material Witness “Rex Okusaga” A/K/A the actual “ Samuel Benjamin Magnus Lawson M.D former borther-in-law
In conjunction Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") fraud of the court to conspire against the undersigned legal civil tort pursuant to statue "Obstruction of Justice" committed to “Conspiracy” to commit offense or to defraud ("Plaintiffs") United States Union Government ”from further criminal enterprise, (MSS) Bluefin Inc. as included investigation of now in 2019 "Material Witness" “Doctor Dinesh Chandra Khare” of 1600 River Pointe Dr. Apt. 812, Conroe, Texas 77304 as filed into court records (5th Cir Court Appeals) No. 15-20612 Hamilton v. Khare Filed: October 2, 2015 as 4:2015-cv-02884 "Obstruction of Justice" “Aggravated PERJURY AND OTHER FALSIFICATION, by "Black Nigger Vampire Bat Federal Judge" Chief Defendant U.S. Senior Slave Negro Judge Kenneth Michael Hoyt, throughout the dates listed 2010 - 2019 ("December") party to RICO False Judicial Decree
(56) - (64) affirm, state and fully declare all allegation, contention, disputes, disputation, argument, conflict and disharmony, fully cause of action as follows:       
56.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” in that Chief Defendant “Doctor Dinesh Chandra Khare”,
Co-Defendant Vipul Khare,Co-Defendant(s) “Vijay Khare”,and Co-Defendant(s) “Rishu Khare” herein are in fact collectively “Geeta International” et al, in a “whole” collectively a “International RICO Khare Cartel Racket” to Defraud “United States of America” as a Whole” in Violation of 18 U.S.C. § 371 between the exact date of incorporated in the year 1995 throughout December 31st 2015 in addition conspire collectively furtherance’s between the exact date of
June 19th 2015 back date to January 1st 2015 engaged in a (RICO) scheme of things with Co-Defendant(s) “Geeta Group LLC” in an unknown amount approximately  of shipments at in excess of (Millions) of Kilograms in a “wide range” of “Merchandise, goods, commodities, produce, products, raw materials, “to included but not limited to” Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare,Co-Defendant(s) “Vijay Khare”, and Co-Defendant(s) “Rishu Khare” herein pirating in valuable, diamonds, jewels, art, cars, illegal drugs, weapon’s,
 Simultaneously laundering in excess of (Millions upon Millions) of large amount of  the Co-Plaintiff “United States of America” U.S. Currency” back into the Co-Plaintiff “United States of America” Jurisdiction and Co-Defendant(s) “State of Texas” et al Jurisdiction namely from January 1st 2015 throughout June 19th 2015 when Co-Defendant
Namely “Vipul Khare herein of 1600 River Pointe Dr. apt. 812, Conroe Texas filed on said Friday with Co-Plaintiff “State of Texas” Co-Defendant(s) “Geeta Group LLC” Corporate type filing with Secretary of “State of Texas” as described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein exhibit (X)
     57.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” in that within Co-Plaintiff “United States of America” et al Jurisdiction Namely
California has adopted a new "doing business" standard beginning 1/1/2011 which will impact taxpayers, including corporations, pass-through entities and their owners.  Owners of pass-through entities that did not have nexus before, may have nexus starting in 2011.  Companies that are protected by P.L. 86-272, may be liable for the minimum tax.
For taxable years beginning on or after 1/1/2011, a taxpayer is doing business in California if it actively engages in any transaction for the purpose of financial or pecuniary gain or profit in California or if any of the following conditions are satisfied:
• The taxpayer is organized or commercially domiciled in California.
• Sales, as defined in subdivision (e) or (f) of R&TC 25120, of the taxpayer in California, including sales by the taxpayer’s agents and independent contractors, exceed the lesser of $500,000 or 25 percent of the taxpayer's total sales. For purposes of R&TC Section 23101, sales in this state shall be determined using the rules for assigning sales under R&TC 25135, R&TC 25136(b) and the regulations there under, as modified by regulations under Section 25137.
• Real and tangible personal property of the taxpayer in California exceed the lesser of $50,000 or 25 percent of the taxpayer's total real and tangible personal property.
• The amount paid in California by the taxpayer for compensation, as defined in subdivision (c) of R&TC 25120, exceeds the lesser of $50,000 or 25 percent of the total compensation paid by the taxpayer.
For the conditions above, the sales, property, and payroll of the taxpayer include the taxpayer's pro rata or distributive share of pass-through entities. "Pass-through entities" means a partnership, an LLC treated as a partnership, or an "S" corporation.
     58.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” in that
The new law affects out-of-state corporations and pass-through entities (partnerships, S corporations, LLCs treated as partnership) and their partners/shareholders/members that have property, payroll or sales in this state. Currently, they may not be considered to be doing business in this state, but may be considered doing business starting in tax year 2011 if they meet any of the thresholds listed above.
An out-of-state taxpayer that has less than the threshold amounts of property, payroll and sales in California may still be considered doing business in this state if the taxpayer actively engages in any transaction for the purpose of financial or pecuniary gain or profit in California.
In determining their property, payroll and sales in this state, the taxpayer must also include their pro rata share of amounts from partnerships, LLCs (treated as partnership) and S corporations. Partnerships and LLCs are considered doing business in this state if it has general partners or members in this state. Likewise, partners and members are considered doing business in this state if the partnership or LLC is doing business in this state.
     59.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” More companies, pass-through entities, and owners of pass-through entities will have nexus and filing obligations in California.
 Even if the taxpayer is protected by P.L. 86-272, the taxpayer may still owe California's minimum tax.  Also, owners of multiple pass-through entities will have to combine their prorata share of each pass-through entity's property, payroll and sales.  Therefore, more owners may exceed the filing threshold and have filing obligations.
     60.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” in that
Chief Defendant “Doctor Dinesh Chandra Khare”,Co-Defendant(s) “Geeta International” et al, Co-Defendant(s) “Geeta International Legal Division” et al, “Geeta International Co. Ltd.”, “Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant Vipul Khare,Co-Defendant(s) “Rishu Khare”, Co-Defendant(s) Plk LLC,And Co-Defendant(s) “Vijay Khare” Specifically, “International RICO Racket” to Defraud
 “United States of America” as a Whole” in Violation of 18 U.S.C. § 371  with all (Defendant(s) and Co-Defendant(s) committed to “Conspiracy to commit offense or to defraud United States” with conspirer against California from the exact time frame of 1/1/2011 Specifically, as described above in paragraph (57,58, and 59 above) direct (RICO) violations and Deceptive Trade Practices Acts, against California, to avoid taxes as required in paragraph (57,58, and 59 above)
     61.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” that Co-Defendant “Geeta International et al” and Co-Defendant “Geeta Export Co. Ltd” kept secret in there combine legal obligations to
“California” all legal tax obligation since 1/1/2011, to include Co-Defendant(s) Plk LLC took on more shipments and Kilograms than both Co-Defendant(s) “Geeta International et al” and Co-Defendant “Geeta Export Co. Ltd” from the time frame of 1/1/2011 throughout June 19th 2015 to avoid paying proper Corporation Federal and state taxes.
Co-Defendant(s) “Geeta International et al” and Co-Defendant “Geeta Export Co. Ltd” among other (Geeta) kept secret their physical exact location is in fact “Doctor Dinesh Chandra Khare” California driver records maintain an address as listed 616 Bourne Ct Danville CA 94506
Since 1998 in conspire with Co-Defendant Rishu Khare, Co-Defendant(s) Vijay Khare and Co-Defendant(s) Plk LLC, while Co-Defendant Rishu Khare, Co-Defendant(s) Vijay Khare herein further (RICO) Co-Defendant Plk LLC registration for “Domestic” in California, april 14th 2014 with My Perm, My Pinocchio Inc. while owning “Kiddie Academy, with (Company) Properties Plk LLC “Glendale AZ 85308
While Co-Defendant(s) “Geeta International et al” and Co-Defendant “Geeta Export Co. Ltd” with Cell-Ph. (936) 900-7650 herein (Secretly) operating address as listed 616 Bourne Ct Danville CA 94506 since 1998-August 25th 2015 notwithstanding factual
GEETA INTERNATIONAL INC. is a DOMESTIC BUSINESS CORPORATION in New York and its company number is 4200886. GEETA INTERNATIONAL INC. was registered on FEBRUARY 09, 2012.
The company's address is listed as 1975 WASHINGTON AVENUE, SEAFORD, NEW YORK, 11783 as described in Pro Se Plaintiff “Louis Charles Hamilton II” herein, Co- Plaintiff(s) “United States of America” et al and Co-Plaintiff(s) “State of Texas” et al attached exhibit (G)
1975 WASHINGTON AVENUE, SEAFORD, NEW YORK, 11783 has “Onboard Tour Inc.”, Geek-Technician, and Excellent Business Consultants Inc. all located at same 1975 WASHINGTON AVENUE, SEAFORD, NEW YORK, 11783
While “Pro Se Plaintiff” Further maintain Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare, and Co-Defendant(s) GEETA Group LLC et al, collectively herein was not even in official existence, a state of being a legal LLC with the Jurisdiction of the Co-Plaintiff(s) “State of Texas” et al
Between the exacts same date of from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction.” Specifically, “International RICO Racket” to Defraud “United States of America” as a Whole” in Violation of 18 U.S.C. § 371
62.
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” that Chief Defendant “Doctor Dinesh Chandra Khare”, did in fact issuance a personal “Citibank” check from the address of 616 Bourne Ct. Danville CA. 94506 on the 22nd day of August 2015,
Being the same address for Co-Defendant(s) Plk LLC, while Co-Defendant Rishu Khare, Co-Defendant(s) Vijay Khare herein further (RICO) Co-Defendant Plk LLC registration for “Domestic” in California, april 14th 2014 with My Perm, My Pinocchio Inc. while owning “Kiddie Academy”, with (Company)
 Properties Plk LLC “Glendale AZ 85308 while Chief Defendant “Doctor Dinesh Chandra Khare”, herein California Driver License # E2336392  Expire 01-31-2018 listing and maintain a home address at  616 Bourne Ct Danville CA 94506 from the time frame of Feburary 22 2008 throughout the time frame of the issuance of said “Citibank” check august 22nd 2015 as described in the original complaint before the Honorable Justice”
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” that Chief Defendant “Doctor Dinesh Chandra Khare”, herein “California Driver License” # E2336392  Expire 01-31-2018 listing and maintain a home address at  616 Bourne Ct Danville CA 94506 from the time frame of
 Feburary 22 2008 throughout the time frame of the issuance of said “Citibank” check August 22nd 2015, while Chief Defendant “Doctor Dinesh Chandra Khare”,herein maintain as business address listing ”Company” Geeta International., Ltd. Address for Dr. D.C. Khare 2194/48-50 Chareonkrung Bankkoholam Bangkoholam Bankkok 10120, Bangkok, Thailand
 As described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein attached exhibit (A-3)
     63.
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” that Chief Defendant “Doctor Dinesh Chandra Khare”, herein “California Driver License” # E2336392  Expire 01-31-2018 listing and maintain a home address at  616 Bourne Ct Danville CA 94506 from the time frame of
 Feburary 22 2008 throughout the time frame of the issuance of said “Citibank” check August 22nd 2015, issuance a second “Citbank Check in the amount of $1220.00 U.S. Dollars As described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein attached exhibit (A-4) to a additional home maintain address in the United States,
156 Coburn Road Pennington, NJ 08534 which this “Home” 156 Coburn Road Pennington, NJ 08534 under the possession custody and control of said Chief Defendant “Doctor Dinesh Chandra Khare”, herein which was sold for $365,000.00 U.S. Dollars on April 19th 2013…?
But Chief Defendant “Doctor Dinesh Chandra Khare”, herein “California Driver License” # E2336392  Expire 01-31-2018 listing and maintain a home address at  616 Bourne Ct Danville CA 94506,
While Chief Defendant “Doctor Dinesh Chandra Khare”,herein maintain as business address listing ”Company” Geeta International., Ltd. Address for Dr. D.C. Khare 2194/48-50 Chareonkrung Bankkoholam Bangkoholam Bankkok 10120, Bangkok, Thailand
While Co-Defendant GEETA INTERNATIONAL INC. is a DOMESTIC BUSINESS CORPORATION in New York and its company number is 4200886. GEETA INTERNATIONAL INC. was registered on FEBRUARY 09, 2012.
The company's address is listed as 1975 WASHINGTON AVENUE, SEAFORD, NEW YORK, 11783 as described in Pro Se Plaintiff “Louis Charles Hamilton II” herein, Co- Plaintiff(s) “United States of America” et al and Co-Plaintiff(s) “State of Texas” et al attached exhibit (G)
1975 WASHINGTON AVENUE, SEAFORD, NEW YORK, 11783 has “Onboard Tour Inc.”, Geek-Technician, and Excellent Business Consultants Inc. all located at same 1975 WASHINGTON AVENUE, SEAFORD, NEW YORK, 11783
While Chief Defendant “Doctor Dinesh Chandra Khare”, herein “California Driver License” # E2336392  involved with Co-Defendant(s) Vipul Khare and Co-Defendant(s) Geeta Group LLC of 1600 River Pointe Dr Apt 812, Conroe, Texas between the exact dates of June 19th 2015 to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s)
 “United States of America” et al when said Co-Defendant(s) “Geeta Group LLC” et al herein was not even in official existence, a state of being a legal LLC with the Jurisdiction of the Co-Plaintiff(s) “State of Texas” et al.
     64.
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” that Co-Defendant “Vipul Khare” maintain Co-Defendant Geeta Group LLC address that of 1600 River Pointe Dr Apt 812, Conroe, Texas, while Co-Defendant “Vipul Khare” maintain “Vice President Position at “Watchpoint Asset Management LLC, 237 Park Avenue, New York 10017 as described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein attached exhibit (Y),
While Co-Defendant “Vipul Khare” namely Realtor in the country of “India” selling mutable portieres as one such being described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein attached exhibit (A-5) in the
“Himagiri Meadows” posted: July 27th 2015 while Co-Defendant Vipul Khare, and Co-Defendant(s) GEETA Group LLC et al, herein was not even in official existence, a state of being a legal LLC with the Jurisdiction of the Co-Plaintiff(s) “State of Texas” et al
Between the exacts same date of from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction.
” Specifically, a “International RICO Racket” to Defraud “United States of America” as a Whole” in Violation of 18 U.S.C. § 371
    Conclusion
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” on behalf of Co-Plaintiff(s) “United States of America” et al, And Co-Plaintiff(s) “State of Texas” et al
Between the exacts same date of from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction.
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” on behalf of Co-Plaintiff(s) “United States of America” et al, And Co-Plaintiff(s) “State of Texas” et al
Combine Co-Defendant(s) “Geeta Group LLC” et al, Co-Defendant(s) Geeta Export Import Co. Ltd. And Co-Defendant Plk LLC collectively engaged in recycling smuggling, black-market, bootleg, under the counter, laundering pirate (RICO) “Loot” at
(74) shipments for a total of 523,478 Kilograms of smuggling, black-market, bootleg, under the counter, with intent whole sell committed conspirer in traffic of WMDD (Weapons of Mass Drug Deliver), “Armed Heavy Weapons”, “U.S. Currency”, and Unknown types of extreme harmful “Biological Chemicals”among other things being clear 100% ports access of the entire Co-Plaintiff “United States of America” et al “Jurisdiction.
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” on behalf of Co-Plaintiff(s) “United States of America” et al, And Co-Plaintiff(s) “State of Texas” et al
Chief Defendant “Doctor Dinesh Chandra Khare”,Co-Defendant(s) “Geeta International” et al, Co-Defendant(s) “Geeta International Legal Division” et al, Co-Defendant(s) “Geeta International Co. Ltd.”,
Co-Defendant  “Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant Vipul Khare,Co-Defendant(s) “Rishu Khare”, Co-Defendant(s) Plk LLC,And Co-Defendant(s) “Vijay Khare”
Having possession, custody and control over 2800 Phantoms LLC Companies “Worldwide” since 1978, with over 200-300 Phantoms Companies in The (USA) (alone) with this massive land grab worldwide.
Geeta Internation Incorporated in the year of the 90’s may be true “However” upon information and belief Chief Defendant “Doctor Dinesh Chandra Khare”, herein instituted a scheme of things as described herein and the original complaint since 1978, the address 616 Bourne Ct. Lot 6621 built 1998 Danville CA. 94506 always been the custody and control of Chief Defendant “Doctor Dinesh Chandra Khare”, herein since day it was built in 1998.
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” on behalf of Co-Plaintiff(s) “State of Texas” et al Chief Defendant “Doctor Dinesh Chandra Khare”,Co-Defendant(s) “Geeta Group LLC” address that of 1600 River Pointe Dr Apt 812, Conroe, Texas, while Co-Defendant “Vipul Khare” while maintain
“Vice President Position at “Watchpoint Asset Management LLC, 237 Park Avenue, New York 10017 as described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein attached exhibit (Y),
While committed collective to conspire as all being fully described herein and in original complaint in Montgomery County Texas Walden Sub-Division 3429 Nottingham Ln in Montgomery, Texas 77356 in connection with Co-Defendant(s)”Co-Defendant(s) “Greg Miller” of “Trillionaire Realty”, and “Trillionaire Assets” in connction with Dr. Khare “Geeta Group LLC”
Dr. Khare
GEETA Group LLC
E-mail: geetaint@loxinfo.co.th; dckhare@gmail.com
Tel: 9369007650
Pro Se Plaintiff, “Louis Charles Hamilton II”, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” on behalf of Co-Plaintiff(s) “United States of America” et al, And Co-Plaintiff(s) “State of Texas” et al too many LLC in the playing field, Chief Defendant “Doctor Dinesh Chandra Khare”,and Co-Defendant “Vipul Khare” can simply take the “President of the United States of America” of the Co-Plaintiff “United States of America” et al with the usage of the first letter “B” and last name “O  add  “LLC” and between the exact dates of June 19th 2015 back date to March 30th 2015 when approximately
 (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction.
 It was “BO LLC” whom done it…”
     1.
Wherefore Pro Se Plaintiff “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, And Co-Plaintiff(s) “State of Texas” et al moves collectively before the “Honorable Justice” as follows:
     2.
Wherefore Pro Se Plaintiff “Louis Charles Hamilton II”, on behalf of himself in (person) and on Behalf of Co-Plaintiff(s) “United States of America” et al, And Co-Plaintiff(s) “State of Texas” et al moves collectively before the “Honorable Justice” as follows:
Order: The U.S. Department of Treasury furtherance freeze the U.S held assets of”, Chief Defendant “Doctor Dinesh Chandra Khare”,Co-Defendant(s) “Geeta International” et al,
Co-Defendant(s) “Geeta International Co. Ltd.”, “Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant Vipul Khare,Co-Defendant(s) “Rishu Khare”,
Co-Defendant(s) Plk LLC, Co-Defendant(s) “Vijay Khare”Co-Defendant(s) “Greg Miller” of “Trillionaire Realty”, and “Trillionaire Assets”
Order to furtherance freeze all personal assets, private banking accounts, saving, retirement accounts and portfolio, checking accounts, web domains, web domains by Proxy, email accounts, cell phones records, property, business records, corporations, inventory, estates, holding, effects, valuables, belongings, land, buildings, ships, captain logs, planes, marine holdings, business computers, private lab-tops, companies records, employee records, manufactures, warehouses, Chattel, and all foreign banking accounts, assets holding “worldwide”.
Order: Furtherance freeze the “international passport” of Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare,Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare”
Order: Furtherance Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare, Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare” into the “Possession”, “Custody” and “Control” of The “United States Marshall Services” as “Material Government Witness” as all described in the original complaint, herein, with all supporting exhibit(s) A –A5 attached as proof herein.
Order: Furtherance The “United States Marshall Services” take back into the “Possession”, “Custody” and “Control” of The “United States Marshall Services”, from the exact dates of June 19th 2015 back date to March 30th 2015 when approximately
(28) shipments at 101,211 Kilograms by Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare, was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction, fully log, and placed into “evidence” of this “Civil Action”.
Order: Furtherance freeze of “Geeta International Private Limited” “New Dehi, Delhi, “Geeta International Market Co. Ltd.,”, FMCG Exports, “The Gita” Practical application for management, Wal-Marts Best Leadership Practices-Super group”, Act-Pos Point of Sale, Digital Signage & Mobility Group, “Geeta Exports India Ltd., “Geeta Exports”,
“Geeta International, Inc. in the State of  Illinois, “Geeta International-India Mart,  and “Geeta International (HK) Limited all personal assets, private banking accounts, saving, retirement accounts and portfolio, checking accounts, trust accounts, , trust account in children names, all globe off shore banking accounts, web domains, web domains by Proxy, email accounts, cell phones records, property, business records, corporations structure, inventory, machinery
Estates, holding, effects, valuables, belongings, land, buildings, ships, captain logs, planes, marine holdings, business computers, private lab-tops, companies records, employee records, manufactures, warehouses, Chattel, and all foreign banking accounts, assets holding “worldwide”..
Order: Furtherance The “United States Marshall Services”, United States Coast Guards, United States Navy, United States Marines, United States Customs, United States DEA, United States Treasury Department, and Department of Homeland Security
To secure  and freeze all personal assets, private banking accounts, saving, retirement accounts and portfolio, checking accounts, trust accounts, , trust account in children names, all globe off shore banking accounts, web domains, web domains by Proxy, email accounts, cell phones records, property, business records, corporations structure, inventory, machinery
Estates, holding, effects, valuables, belongings, land, buildings, ships, captain logs, planes, marine holdings, business computers, private lab-tops, companies records, employee records, manufactures, warehouses, schools, institutions, farm land, Chattel, and all foreign banking accounts, assets holding “worldwide” of
Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare, Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare”,Co-Defendant(s) “Geeta International” et al, Co-Defendant(s) “Geeta International Legal Division” et al, “Geeta International Co. Ltd.”,
“Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant(s) Plk LLC, And “Geeta International Private Limited” “New Dehi, Delhi , “Geeta International Market Co. Ltd.,”, FMCG Exports, “The Gita” Practical application for management, Wal-Marts Best Leadership Practices-Super group”, Act-Pos Point of Sale, Digital Signage & Mobility Group, “Geeta Exports India Ltd., “Geeta Exports”,
“Geeta International, Inc. in the State of Illinois, “Geeta International-IndiaMart, and “Geeta International (HK) Limited.
Order: Furtherance The “United States Marshall Services”, United States Coast Guards, United States Navy, United States Marines, to secure all shipment(s) in route to “United States of America”, from Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant Vipul Khare, Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare”, Co-Defendant(s) “Geeta International” et al, Co-Defendant(s) “Geeta International Legal Division” et al, Co-Defendant(s) “Geeta International Co. Ltd.”,
Co-Defendant(s)“Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant(s) Plk LLC,
And “Geeta International Private Limited” “New Dehi, Delhi , “Geeta International Market Co. Ltd.,”, FMCG Exports, “The Gita” Practical application for management, Wal-Marts Best Leadership Practices-Super group”, Act-Pos Point of Sale, Digital Signage & Mobility Group, “Geeta Exports India Ltd., “Geeta Exports”,
“Geeta International, Inc. within the “State of Illinois”, “Geeta International-IndiaMart, and “Geeta International (HK) Limited.
Order: Furtherance freeze of “Geeta Aluminium Company PVT. Ltd.” As described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-6) attached here.
Order: Furtherance freeze of “Geeta Monitors PVT. Ltd.” a/k/a “Geeta Electronics” As described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-7) attached herein.
“Geeta Aluminium Company PVT. Ltd.” described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-7) attached here.
Order: Furtherance freeze of “Geeta International, Inc. in the State of Illinois, described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-8) attached here with, Furtherance Order directing the “United States Marshall Services”, to locate, find, “registered Agent” and President
“Thotakura C Syam” freeze of all personal assets, private banking accounts, saving, retirement accounts and portfolio, checking accounts, web domains, web domains by Proxy, email accounts, cell phones records, property, business records, all person assets, banking Trust Accounts including trust accounts in his children’s names
Furtherance freeze of “Thotakura C Syam” international passports, and he physically be placed into the “Possession”, “Custody” and “Control” of The “United States Marshall Services” as “Material Government Witness” as all described in the original complaint, herein, with all supporting exhibit(s) A –A8 attached as proof herein.
Order: Furtherance freeze of “FMCG Export” described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-9) attached here Furtherance order The “United States Marshall Services”, United States Coast Guards, United States Navy, United States Marines, United States Customs, United States DEA, United States Treasury Department, and Department of Homeland Security
To secure  and freeze all personal assets, private banking accounts, saving, retirement accounts and portfolio, checking accounts, trust accounts, , trust account in children names, all globe off shore banking accounts, web domains, web domains by Proxy, email accounts, cell phones records, property, business records, corporations structure, inventory, machinery
Estates, holding, effects, valuables, belongings, land, buildings, ships, captain logs, planes, marine holdings, business computers, private lab-tops, companies records, employee records, manufactures, warehouses, Marine, ship docks, of “FMCG Export” including
Freeze all acting past and present “Officers”, Partners, agents, and shareholders personal assets, private banking accounts, saving, retirement accounts, and (IRA) portfolio, checking accounts, trust accounts,  rust account in children names, property place in servants names, all globe off shore banking accounts, email accounts, cell phones records, property, and any other private business records own by all acting past and present “Officers”, Partners, agents, and shareholders “FMCG Export”
Order: Furtherance freeze of “FMCG Companies” described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-10) attached here as follows:
• ADF Foods Ltd
• ANS Ltd
• AV Thomas International Ltd.
• AVT Natural Products Ltd
• Agro Dutch Inds. Ltd
• Agro Tech Foods Ltd
• Ajanta Soya Ltd
• Akhivi Tea Plantations & Agro Industries Ltd.
• Amar Remedies Ltd
• Amrit Corp. Ltd
• Anik Industries Ltd
• Apeejay Tea Ltd
• Arcuttipore Tea Company Ltd
• Asian Lakto Industries Ltd.
• Asian Vegpro Industries Ltd.
• Assambrook Ltd.
• B&A Ltd
• BCL Industries & Infrastructures LtD
• Bajaj Hindusthan Ltd.
• Bajaj Hindusthan Sugar & Inds. Ltd
• Balaji-Biotech Ltd.
• Balrampur Chini Mills Ltd.
• Bambino Agro Inds. Ltd
• Beeyu Overseas Ltd
• Belapur Industries Ltd
• Bio Whitegold Farms Ltd
• Britannia Industries Ltd
• Camson Bio Technologies Ltd
• Chaman Lal Setia Exports Ltd
• Chordia Food Products Ltd
• Coastal Corporation Ltd.
• Colgate-Palmolive (India) Ltd
• DCM Shriram Inds. Ltd
• DFM Foods Ltd
• DHP India Ltd.
• Dabur India Ltd
• Darshan Oils Ltd
• Dhampur Sugar Mills Ltd.
• Dharani Sugars & Chemicals Ltd
• Dhunseri Petrochem & Tea Ltd.
• Dhunseri Tea & Inds. Ltd
• Diana Tea Company Ltd
• Divya Jyoti Industries Ltd.
• Dollex Industries Ltd.
• EID-Parry (India) Ltd.
• Eastern Sugar & Inds. Ltd
• Eco Friendly Food Processing Park Ltd.
• Empee Distilleries Ltd
• Empee Sugars & Chemicals Ltd.
• Energy Products (India) Ltd.
• Esteem Bio Organic Food Processing Ltd.
• Flex Foods Ltd
• Foods & Inns Ltd
• Freshtrop Fruits Ltd
• Fuji India Ltd.
• GMR Industries Ltd
• GRM Overseas Ltd
• Gayatri Sugars Ltd
• Godfrey Phillips India Limited
• Godrej Consumer Products Limited
• Goga Foods Ltd.
• Gokul Refoils and Solvent Ltd
• Goodricke Group Ltd
• Graphic Charts Ltd.
• Gujarat Ambuja Exports Ltd
• Gujarat Aqua Inds. Ltd
• Harrisons Malayalam Ltd
• Hatsun Agro Products Ltd
• Henkel India Ltd
• Heritage Foods (India) Ltd.
• Highland Industries Ltd
• Hillock Agro Foods (India) Ltd
• Himalya International Ltd
• Hind Industries Ltd
• Hindustan Unilever Limited
• IB Infotech Enterprises Ltd
• IFM Impex Global Ltd.
• ITC Limited
• IVP Ltd
• Indage Restaurants and Leisure Ltd
• Indian Extractions Ltd
• Indian Sucrose Ltd
• Indo Biotech Foods Ltd
• Inland Printers Ltd.
• JK Sugar Ltd
• JVL Agro Industries Ltd
• Jagadhatri Foods Ltd.
• Jay Shree Tea & Inds. Ltd
• Jayant Agro-Organics Ltd
• Jeypore Sugar Company Ltd.
• Joonktollee Tea & Industries Ltd
• KLRF Ltd
• KMF Ltd.
• KRBL Ltd
• KSE Ltd
• Kamala Tea Company Ltd.
• Kashipur Sugar Mills Ltd.
• Kesar Enterprises Ltd
• Kohinoor Foods Ltd
• Kothari Fermentation & Biochem Ltd
• Kothari Products Ltd
• Kwality Dairy (India) Ltd
• Ledo Tea Company Ltd
• Longview Tea Company Ltd
• Lotte India Corpn. Ltd.
• Lotus Chocolate Company Ltd
• Lykis Ltd.
• Madhur Industries Ltd
• Madhusudan Industries Ltd
• Mahaan Foods Ltd
• Mapro Industries Ltd.
• Marico Ltd
• Mawana Sugars Ltd. [Merged]
• Meenakshi Tea Company Ltd.
• Methoni Tea Company Ltd.
• Milkfood Ltd
• Modern Dairies Ltd
• Mohan Meakin Ltd
• Mount Everest Mineral Water Ltd
• Muller & Phipps (India) Ltd.
• Murli Industries Limited
• NEPC Agro Foods Ltd
• Naga Dhunseri Group Ltd.
• Natraj Proteins Ltd
• Neelamalai Agro Inds. Ltd
• Nestle India Ltd
• Nijjer Agro Foods Ltd
• Nimbus Industries Ltd.
• Nirma Ltd
• Nova Chemie (India) Ltd.
• Oasis Tradelink Ltd.
• Orient Beverages Ltd
• Oudh Sugar Mills Ltd
• Ovobel Foods Ltd.
• Parry Agro Inds. Ltd
• Pepsi Foods Pvt Ltd.
• Piccadily Agro Inds. Ltd
• Piccadily Sugar & Allied Inds. Ltd
• Pincon Spirit Ltd.
• Pioneer Agro Extracts Ltd
• Ponni Sugars (Erode) Ltd
• Poona Dal & Oil Inds. Ltd
• Pretto Leather Industries Ltd.
• Prime Industries Ltd
• Prudential Sugar Corpn. Ltd
• RT Exports Ltd
• RTCL Ltd
• Radico Khaitan Limited
• Rajshree Sugars & Chemicals Ltd
• Rana Sugars Ltd
• Rasoi Ltd
• Rasoya Proteins Ltd.
• Rattan Vanaspati Ltd
• Ravalgaon Sugar Farm Ltd
• Rei Agro Ltd
• Riga Sugar Company Ltd
• Riverdale Foods Ltd
• Ruchi Infrastructure Ltd
• Ruchi Soya Inds. Ltd
• SBEC Sugar Ltd
• SKM Egg Products Export (India) Ltd
• SPS International Ltd.
• STEL Holdings Ltd.
• Saboo Sodium Chloro Ltd
• Sakthi Sugars Ltd
• Sampre Nutritions Ltd
• Sanwaria Agro Oils Ltd
• Sheel International Ltd.
• Shree Vaani Sugars & Inds. Ltd
• Shri Gang Industries & Allied Products Ltd.
• Simbhaoli Sugars Ltd
• Simran Farms Ltd
• Sir Shadi Lal Enterprises Ltd
• Sita Shree Food Products Ltd
• Spectrum Foods Ltd
• Sri Balasubramania Mills Ltd.
• Sri Sarvaraya Sugars Ltd.
• Srinivasa Hatcheries Ltd
• Sunil Agro Foods Ltd
• Super Bakers (India) Ltd
• T&I Global Ltd
• Tarai Foods Ltd
• Tasty Bite Eatables Ltd
• Tata Coffee Ltd
• Tata Tea Limited
• Tea Time Ltd.
• Temptation Foods Ltd
• Terai Tea Company Ltd
• Tezpore Tea Company Ltd
• Thiru Arooran Sugars Ltd
• Triveni Engineering & Inds. Ltd
• Tyroon Tea Company Ltd
• Udayagiri Rubber Company Ltd
• Ugar Sugar Works Ltd
• Umang Dairies Ltd
• Unique Agro Processors (India) Ltd.
• Unique Organics Ltd
• United Breweries Limited
• United Spirits Limited
• Vadilal Enterprises Ltd
• Venky'S (India) Ltd
• Venus Sugar Ltd
• Vijay Solvex Ltd
• Vimal Oil & Foods Ltd
• Vishnu Sugar Mills Ltd
• Volga Air Technics Ltd.
• Warren Tea Ltd
• Wellwin Industry Ltd.
• Zicom Electronic Security Systems Ltd.
• Zora Traders Ltd.
• Zydus Wellness Ltd
All companies records, employee records, manufactures records, warehouses records, Corporation banking records, inventory records, shipping records,
Freeze all acting past and present “Officers”, Partners, agents, and shareholders personal assets, private banking accounts, saving, retirement accounts, and (IRA) portfolio, checking accounts, trust accounts, trust account in children names, property place in servants names, all globe off shore banking accounts, email accounts, cell phones records, property, and any other private business records own by all acting past and present “Officers”, Partners, agents, and shareholders of all “FMCG Companies” Worlwide.
Order: Furtherance freeze of “Geeta Shipping and Clearing Services” described in Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, Exhibit (A-11) attached here All companies records, employee records, manufactures records, warehouses records, Corporation banking records, inventory records, shipping records, industry sector, air freight services, custom clearance, ocean freight services, all cargo, logistics, and all Geeta shipping and clearing services financial data,
Freeze all acting past and present “Officers”, Partners, agents, and shareholders personal assets, private banking accounts, saving, retirement accounts, and (IRA) portfolio, checking accounts, trust accounts, trust account in children names, property place in servants names, all globe off shore banking accounts, email accounts, cell phones records, property, and any other private business records own by all acting past and present “Officers”, Partners, agents, and shareholders of all “Geeta Shipping and Clearing Services” Worldwide.
Order: Furtherance The “United States Marshall Services”, United States Coast Guards, United States Navy, United States Marines, and (DEA) to secure, take in custody, possession and control all ship(s) of:
 “Geeta Shipping and Clearing Services”, all “Air Freight Planes” all ships of Geeta International, Geeta Export India Ltd., Plk LLC, Geeta Export, Geeta Export/Import Co. Ltd.,
Geeta Group LLC, Geeta International Group”, “Geeta International Co. Ltd.”, Geeta India-Mart, Geeta Minitors pvt. Ltd. And FMCG export.
Order: Furtherance The “United States Marshall Services”, secure, take in custody, possession and control of the following properties” namely:
237 Park Avenus New York, New York 10017, 616 Bourne  Ct. Danville CA. 94506, 156 Coburn Road Pennington, 2249 Nottingham Ln in Montgomery, Texas 77356, 1600 River Pointe Dr. Apt. 812, Conroe, Texas 77304, 1975 Washington Avenue, Seaford New Yor 11783.
And all other properties not listed in the custody, possession and control of Chief Defendant “Doctor Dinesh Chandra Khare”, Co-Defendant(s) “Geeta International” et al,
“Geeta International Co. Ltd.”, “Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant Vipul Khare, Co-Defendant(s) “Rishu Khare”, Co-Defendant(s) Plk LLC, And Co-Defendant(s) “Vijay Khare”
Further Freeze all acting past and present “Officers”, Partners, agents, and shareholders personal assets, private banking accounts, saving, retirement accounts, and (IRA) portfolio, checking accounts, trust accounts, trust account in children names, property place in servants names, all globe off shore banking accounts, email accounts, cell phones records, property, and any other private business records own by all acting past and present “Officers”, Partners, agents, and shareholders of Chief Defendant “Doctor Dinesh Chandra Khare”,Co-Defendant(s) “Geeta International” et al,
“Geeta International Co. Ltd.”, “Geeta International Inc.”, Co-Defendant(s) GEETA Group LLC et al, Co-Defendant Vipul Khare, Co-Defendant(s) “Rishu Khare”, Co-Defendant(s) Plk LLC, And Co-Defendant(s) “Vijay Khare”.
Order: Furtherance the “United States Marshall Services”, secure, takes in custody, possession and control over Chief Defendant “Doctor Dinesh Chandra Khare”, and Co-Defendant Vipul Khare, and place both into the custody, possession and control of “The United States Marines”.
      3.
Pro Se Plaintiff Louis Charles Hamilton II herein on behalf of Co-Plaintiff(s) “United States of America” et al Further maintain Both Chief Defendant “Doctor Dinesh Chandra Khare”, and Co-Defendant Vipul Khare, shall be in the “Amen Complaint” upon additional information and belief they shall be charged additional in violation of Co-Plaintiff(s) United States of America” Economic Espionage Act of 1996, and 18 U.S. Code § 2381 – Treason
 With both Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare” conspire to commit to the same.
      4.
Pro Se Plaintiff Louis Charles Hamilton II herein on behalf of Co-Plaintiff(s) “United States of America” et al Further maintain Both Chief Defendant “Doctor Dinesh Chandra Khare”, and Co-Defendant Vipul Khare, shall be in the “Amen Complaint” upon additional information and belief they shall be charged additional in violation of Co-Plaintiff(s) United States of America” Economic Espionage Act of 1996, and 18 U.S. Code § 2381 – Treason
 With both Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare” conspire to commit to the same.
     4.
Pro Se Plaintiff Louis Charles Hamilton II herein on behalf of Co-Plaintiff(s) “United States of America” et al further maintain in the “Amen Complaint” upon additional information and belief
Chief Defendant “Doctor Dinesh Chandra Khare”, and Co-Defendant Vipul Khare, shall be in the “Amen Complaint” bothbe charged additional in violation of Co-Plaintiff(s) “United States of America” et al violation of:
18 U.S. Code § 2339 (A), “providing material support to terrorists worldwide”, 18 U.S. Code § 2339 (B), providing material support to terrorists or resources to designated foreign terrorist organizations and 18 U.S. Code § 2339 and (C), prohibition against financing terrorism With both Co-Defendant(s) “Rishu Khare”, and Co-Defendant(s) “Vijay Khare” conspire to commit to the same as described in Pro Se Plaintiff Louis Charles Hamilton II (USN) herein attached brief herein.
     Brief II
Comes Now the Pro Se Plaintiff “Louis Charles Hamilton II” herein, on behalf of Co- Plaintiff(s) “United States of America” et al And Co-Plaintiff(s) “State of Texas”et al “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” as follows:
      1.
Cheif Defendant “Doctor Dinesh Chandra Khare”, herein and said Co-Defendant(s) “Geeta Group LLC” et al and Co-Defendant “Vipul Khare”, herein was not even in official existence, a state of being a legal LLC with the Jurisdiction of the Co-Plaintiff(s) “State of Texas” et al as described in Pro Se Plaintiff “Louis Charles Hamilton II”, Co- Plaintiff(s) “United States of America” et al And Co-Plaintiff(s) “State of Texas”et al exhibit (X) attached herein
Between the exacts same date of from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction by said Cheif Defendant “Doctor Dinesh Chandra Khare”, herein and said Co-Defendant(s) “Geeta Group LLC” et al and Co-Defendant “Vipul Khare”, herein
At the exact same time Cheif Defendant “Doctor Dinesh Chandra Khare”, and Co-Defendant “Vipul Khare” having possession, custody and control over, an additional (117) shipments at exactly (743,151) Kilograms of “Geeta International et al, Geeta Export/import Co. Ltd., Plk LLC, Geeta Export India Ltd., Geeta Exports, in recycle
Contraband shipping, smuggling, black-market, bootleg, under the counter, illegal, illicit, wide range of “merchandise, goods, commodities, produce, products, raw materials, to included but not limited to conspire further to pirating in valuable, diamonds, jewels, art, cars, illegal drugs, weapon’s, simultaneously laundering of large amount of the
Co-Plaintiff “United States of America” U.S. Currency back in to the Co-Plaintiff “United States of America” Jurisdiction from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction as described herein
     2.
Notwithstanding furtherance’s from the same exact time frame of June 19th 2015 back date to March 30th 2015 Cheif Defendant “Doctor Dinesh Chandra Khare”, herein simultaneously having possession control over, “FMGC EXPORT”, controlling over (40) countries worldwide including “Bulgara”, “Carbbean Islands”. “China”, Cyprus”, “Eqyypt”, “Estosia”, “Finland”, Greece”, “Korea”, Kuwait”, “Lebanon”, “Lithuania”, Malta”, “Repulbic of Ireland”,
“South Africa”, “UAE”, Uganda”, “Vietnam”, Mauritius”, “Romania”, “Slovakia”, “Solomom Islands” and with Chief Defendant “Doctor Dinesh Chandra Khare”, Control over “Geeta Shipping and “Air Freight Services” controlling “Middle East” among other worldwide countries
Namely “United Kingdom” and absolutely 100% established Beach Fornt “Pirate Ship”, hostile control over “Co-Plaintiff(s) “United States of America” et al within (USA) all “lot”, “stock”, “land” and “barrel”, while fully “greedy” living comfortable in (America) and avoiding paying proper “Federal and State” Taxes throughout  “Co-Plaintiff(s) “United States of America” et al… (RICO) International scheme in operating (secret) within “Co-Plaintiff(s) “United States of America” et al , furtherance’s providing investigating, stealing, copying, all corporate(s) assets, trades, equipment, designs, to industrialized not within “Co-Plaintiff(s) “United States of America” et al but among other countries and namely “India and Thailand” providing corporate assets, trades, equipment, designs and business advantages to competition among other countries and namely “India and Thailand”  against all Co-Plaintiff(s) “United States of America” et al “industrialized corporations”.
     3.
As of 2014, there are several United States embargoes and sanctions in force by the Co-Plaintiff “United States of America” et al against several countries and activities namely
• Cuba*
• Iran
• North Korea
• Sudan
• Syria
 Belarus Liberia
 Burma (Myanmar) Libya
 Congo, Democratic Republic of   Somalia
 Iraq  Zimbabwe
 Ivory Coast
Afghanistan Lebanon
Belarus Liberia
Burma (Myanmar) Libya
China North Korea
Congo, Democratic Republic of Somalia
Cuba Sri Lanka
Cyprus Sudan
Eritrea Syria
Fiji Venezuela
Haiti Vietnam
Iran Yemen
Iraq Zimbabwe
Ivory Coast
While Between the exacts same date of from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction by said Cheif Defendant “Doctor Dinesh Chandra Khare”, herein and said Co-Defendant(s) “Geeta Group LLC” et al and Co-Defendant “Vipul Khare”, herein
At the exact same time Cheif Defendant “Doctor Dinesh Chandra Khare”, and Co-Defendant “Vipul Khare” having possession, custody and control over, an additional (117) shipments at exactly (743,151) Kilograms of “Geeta International et al, Geeta Export/import Co. Ltd., Plk LLC, Geeta Export India Ltd., Geeta Exports, in recylcle
Contraband shipping, smuggling, black-market, bootleg, under the counter, illegal, illicit, wide range of “merchandise, goods, commodities, produce, products, raw materials, to included but not limited to conspire further to pirating in valuable, diamonds, jewels, art, cars, illegal drugs, weapon’s, simultaneously laundering of large amount of the
Co-Plaintiff “United States of America” U.S. Currency back in to the Co-Plaintiff “United States of America” Jurisdiction from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into the Co-Plaintiff(s) “United States of America” et al Jurisdiction as described herein
     4.
Notwithstanding furtherance’s from the same exact time frame of June 19th 2015 back date to March 30th 2015 Cheif Defendant “Doctor Dinesh Chandra Khare”, herein simultaneously having possession control over,
“FMGC EXPORT”, controlling over additional (40) countries worldwide including “Bulgara”, “Carbbean Islands”. “China”, Cyprus”, “Eqyypt”, “Estosia”, “Finland”, Greece”, “Korea”, Kuwait”, “Lebanon”, “Lithuania”, Malta”, “Repulbic of Ireland”,
“South Africa”, “UAE”, Uganda”, “Vietnam”, Mauritius”, “Romania”, “Slovakia”, “Solomom Islands” and with Cheif Defendant “Doctor Dinesh Chandra Khare”, Control over “Geeta Shipping and “Air Freight Services” controlling “Middle East” among other worldwide countries
Namely “United Kingdom” and absolutely 100% established “Pirate Ship”, Beach Fornt hostile control over “Co-Plaintiff(s) “United States of America” et al and no Co-Plaintiff(s) “United States of America” et al “embargoes and sanctions” against several countries and activities, including all
“State Sponsors of Terrorism” has no “meaning or direct legal substance” when from June 19th 2015 back date to March 30th 2015 when approximately (28) shipments at 101,211 Kilograms was being smuggling, black-market, bootleg, under the counter, shipped into among other countries namely the Co-Plaintiff(s) “United States of America” et al Jurisdiction as described herein as
Cheif Defendant “Doctor Dinesh Chandra Khare”, herein having absolute 100% unfetter controls of the entire “World” for profit, while continual engaging in “pirating the “entire global high seas” with acess to ships lager in population than or equale to” the entire USA Navy Assets “world wide” putting all of “Co-Plaintiff(s)” “United States of America” entire military Service personell” in continual harms death way during any “war conflict” since 1995.
     5.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice that procedural Temporary Restraining Order, Order Freezing Assets, and Other Relief other than a normal motion for
 “Asset freezes” in light of all extreme and outrageous acts and actions as described herein with supporting exhibit(s) (A- A11) on the “Extreme Necessary Emergency” application of the Plaintiff(s)
 (The “Applicants”)  Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and
 Co-Plaintiff “State of Texas” et al, as furtherance’s described in the original complaint of the Pro Se Plaintiff “Louis Charles Hamilton II” herein for an “Honorable Justice” Order as stated above.
     6.
Pro Se Plaintiff, “Louis Charles Hamilton II”, on behalf of Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al, herein “Declare”, State, and Affirm furtherance’s before the
“Honorable U.S. Justice” that a procedural normal request for application “Temporary Restraining Order”, has not been applied for because simple common factual hostile circumstance dictate
     7.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al are officially in 2015 “under siege” by a “International Bunch of Pirates” home based in “India and Thailand” and the leader operating in the “United States of America (secretively).
     8.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” pending final adjudication, arbitration, negotiation, mediation, settlement of this civil action before the “Honorable Justice” that this Order remain in full force by his “Honorable Justice”
     9.
Pro Se Plaintiff, “Louis Charles Hamilton II”, Co-Plaintiff(s) “United States of America” et al, and Co-Plaintiff “State of Texas” et al herein “Declare”, State, and Affirm furtherance’s before the “Honorable U.S. Justice” for further order for any person or person conspire again the Honorable United States Justice as so Order each and every person or person or entity be held in contempt of Court taking into custody, and all assets frozen as required fully above

Concluding

IN THE MATTER undersigned council of record "Proceeding Pro Se" Louis Charles Hamilton II Cmdr. US Navy (Secret Service) Bluefin Inc. vs. Donald John Trump, Sr., 45th President of the United States ... "Plaintiff herein reincorporates and State fully all of the above set forth facts herein pursuant to
            18 U.S. Code § 3144. ("Plaintiffs") moves order to show cause, Oral Arguments, ("Plaintiffs") United States of America Union Government EO 12331 by undersign council of record collective seeks for detention of a "Material Witness “Rex Okusaga” A/K/A the actual “Prince Samuel Benjamin Magnus Lawson M.D. of Lagos Nigeria” Undersigned Council of Record Ex-Brother-In-Law Married to (My Sister Johanna Ann Hamilton) "Sherlock Holmes Case of The Prince Witch Voodoo Doctor (Doctor Samuel Benjamin Magnus-Lawson M.D.)

A.
Production of “legal birth records documents” To include production of not cover-up several fake prescriptions records for the “Prince Doctor Samuel Benjamin Magnus Lawson M.D.” to received (STD) medicines for his treatment of “sexually transmitted diseases” “GONORRHEA AND CHLAMYDIA” (STD) in his “Pirate name of Rex Okusaga”

B.
Production of “legal birth records documents” showing the actual existences of "Rex Okusaga” and  the “Doctor" A/K/A  “Prince Doctor Samuel Benjamin Magnus Lawson M.D.” being two person not in collusion, conspire, fraud medical records, false statements with “St. Joseph Medical Center” in Houston Texas operating under numerous fake names and Identities,  In conjunction committed to “Conspiracy” to commit offense or to defraud ("Plaintiffs") United States Union Government ”from further criminal enterprise,

C.
Production of "Rex Okusaga” and  the “Doctor" A/K/A  “Prince Doctor Samuel Benjamin Magnus Lawson M.D.” Thereof or further detention of a "Material Witness Prince Doctor Samuel Benjamin Magnus Lawson M.D.” proceeding (Plaintiffs”) British Empire hereby Louis Charles Hamilton II Cmdr. US Navy MSS (EO 12331 Military Secret Service) undersign ("Pro Se") Counsel of Record Office of "Commander in Chief” of (“Plaintiffs”) United States of America Union Governments 1982 - Present

                                                       Respectfully

                          ________________________________________ 
("Plaintiffs") United States of America Union Government ("Plaintiffs") British Empire,  ("Plaintiffs") thirty-seven allied countries (“Plaintiffs”) Negro Slaves, Louis Charles Hamilton II Cmdr. US Navy MSS (EO 12331 Military Secret Service) (Pro Se Plaintiff) 2724 61st street Ste. I-B Galveston Texas. 77551 PH: 409-370-1907

                             "Sworn before me this ________ Day of ___________ 2019

                                                              _____________________
                                                                       Public Notary
* Further attach Described "Sworn on Oath" herein having been produce to said International Criminal Court Prosecutor of the International Criminal Court International Criminal Court Post Office Box 19519 2500 CM, The Hague The Netherlands

CC: Queen Elizabeth II, Princess Elizabeth Alexandra Mary, BRITISH QUEEN Cc: Prince William, Duke of Cambridge, KG, KT, PC, ADC (William Arthur Philip Louis) Prince Williams Cc: Prince Henry of Wales, KCVO, (Henry Charles Albert David) Prince Harry Cc: Prime Minister Theresa Mary May British Parliament British Parliament The British Consulate 1301 Fannin Street Houston Texas 77002-7014

#TrumpFraud #Scam #GOP #Russia #Election #Fraud #Republican #Corruption #FBI #Investigaton #RedHen #BlackLivesMatter #USSR #GRU #NSA #NCIS #NIS #Navy #USMC #SecretService #ABC #CBS #NBC #MSNBC #CNBC #BBCNews #CNN #Utah #Mormon #Racist USNavyseals #JAG #UnitedNations #Peace #Palace #ICC #ICJ #International #Courts #MLKjr #Obama #Hillary #NATO #PinkyRoseDeChavez #TinaFeyWifeSwap #Hashtagstupidniggers #France #Mexico #Canada #Popefrancis #Law #SupremeCourt #WhiteOnly #Slaves #Africa #Egypt #Syria #Iran #FoxNews #BritishQueen #PrinceWilliams #PrinceHarry #BritishRoyalFamily #PrimeMinsterMay #MI5 #MI6 #BCI #BCA #FargoND #Utah #Texas #Genocide #Slavery #Hatecrimes #Negro #Immigration #Crimesagainsthumanity #PortArthurTexas #Ninja #NASA #Space #Marines #FlyNavy #CmdrBluefin
+CNBC+FEDERAL BUREAU Investigation#Mueller #The #Shame :  )
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™Cmdr. Bluefin

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