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) Judge Michael J.
Truncale Defendant Judge George C. Hanks, Jr., Defendant Judge Kenneth Michael
Hoyt, acting under color of law" of the (Plaintiffs) United States of
America Union government (among others) against
“Unknowing,
unsuspecting unwilling Plaintiff Attorney at law Jon Greenbaum, D.C. Bar No.
489887 Prior to joining the (Lawyers' Committee in 2003) Criminal
cause of action continuance false slavery data judicial decree (Defendants)
Confederate State of Mississippi government et al simultaneously white
supremacy agents he/she over the age of (18) was not in the
(Plaintiffs) United
States of America Union Government on or about the dates of 2003 pursuant to “fraudulent Artifacts” The Enforcement Act of
1871 (17 Stat. 13), also known as the Ku Klux Klan Act, Third Enforcement Act,
Third Ku Klux Klan Act, Civil Rights Act of 1871 imposed by the elusive
defendant 13th confederate states of America RICO false slavery data
propaganda schooling of higher education including against
“Unknowing,
unsuspecting unwilling Plaintiff Attorney Jon Greenbaum, D.C. Bar No. 489887 while
served as an adjunct professor at (Defendant) Georgetown University Law Center (Defendants) Confederate State of Mississippi government et
al simultaneously agents he/she was not in the (Plaintiffs) United States of
America Union Government on or about the dates of Plaintiff Attorney at law
Jon Greenbaum, D.C. Bar No. 489887 teaching false slavery data pursuant to
“fraudulent Artifacts”
The Enforcement Act of 1871 (17 Stat. 13),
also known as the Ku Klux Klan Act, Third Enforcement Act, Third Ku Klux Klan
Act, Civil Rights Act of 1871 imposed by the elusive defendant 13th confederate
states of America RICO false slavery data propaganda schooling of higher
education at (Defendant) Georgetown University Law Center The Georgetown
University Law Center, often known as Georgetown Law, Established on or about
the dates 1870; 151 years ago concealing (Defendants) Confederate State of
Mississippi government et al simultaneously agents he/she was not in the
(Plaintiffs) United States of America Union Government on or about the dates of
1870 throughout February 6th 2013 being continuance “false slavery
data wire fraud involving directly
“Unknowing, unsuspecting
unwilling Plaintiff Attorney Jon Greenbaum, D.C. Bar No. 489887 while served as
senior trial attorney under a fraudulent oath of office of attorney overt acts
under (RICO) mail and wire fraud false statements did so illegally submitting “Interstate
false slavery data” and “International false slavery data” in the Voting
Section of the Civil Rights Division at the U.S. Department of Justice on or
about the dates of 1997-2003 (Defendants) Confederate
State of Mississippi government et al simultaneously agents he/she was not in
the (Plaintiffs) United States of America Union Government on or about the
dates of 1997 throughout 2003 to
included but not limited to
“Unknowing, unsuspecting
unwilling Plaintiff Attorney at law Jon Greenbaum, D.C. Bar No. 489887 From
1993-1996 was a litigation associate in the Los Angeles office of Dewey
Ballantine LLP. (Defendants) Confederate
State of Mississippi government et al simultaneously agents he/she was not in
the
(Plaintiffs) United
States of America Union Government on or about the dates of 1993 throughout
1996 “Unknowing, unsuspecting unwilling Plaintiff
Attorney at law Jon Greenbaum, D.C. Bar No. 489887 received his law degree under
false slavery data from the (Defendant) University of California at Los Angeles
in 1993 and his undergraduate degree false slavery data from the (Defendant) University
of California at Berkeley in 1989. (Defendants) Confederate State of Mississippi
government et al simultaneously agents he/she was not in the (Plaintiffs)
United States of America Union Government on or about the dates of 1993
throughout 1989
(Plaintiffs) collective realleges and
incorporates fully set forth all facts Direct cause of actions false slavery
data judicial decree “Unknowing, unsuspecting unwilling Plaintiff Attorney at
law Jon Greenbaum, D.C. Bar No. 489887 submitting false slavery data “Unknowing,
unsuspecting unwilling Plaintiff Attorney Jon Greenbaum, D.C. Bar No. 489887 Notable cases in which he
has played a major role in submitting false slavery data include in citing Shelby
County v. Holder (defense of the constitutionality of the Voting Rights Act),
In April
2010, Shelby County, Alabama filed suit asking a federal court in
Washington, DC to declare Section 5 of the Voting Rights Act unconstitutional.
Section 5 is a key part of the Voting Rights Act, requiring certain
jurisdictions with a history of discrimination to submit any proposed changes
in voting procedures to the U.S. Department of Justice or a federal district
court in D.C. – before it goes into effect – to ensure the change would not
harm minority voters
(Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she
was not in the (Plaintiffs) United States of America Union Government on or
about the dates of April 2010, In September
2011, the U.S. District Court for the District of Columbia upheld the
constitutionality of Section 5 of the Voting Rights Act, (Defendants) Confederate State of Mississippi
government et al simultaneously agents he/she was not in the
(Plaintiffs)
United States of America Union Government on or about the dates of September
2011, and in May 2012, the U.S. Court of Appeals for
the District of Columbia Circuit agreed with the district court that Section 5
was constitutional (Defendants) Confederate State of
Mississippi government et al simultaneously agents he/she was not in the
(Plaintiffs) United States of America Union Government on or about the dates of May
2012
Shelby County appealed
the ruling to the Supreme Court, and the Supreme Court agreed to take the case
in November 2012 (Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she was not in the (Plaintiffs)
United States of America Union Government on or about the dates of November
2012 this event (Defendants) Confederate State of Mississippi government et al
simultaneously joining Plaintiff United States of America Union government legally
occurred until next year 7th day of February 2013 citing Hamilton
vs. Trump USDC No. 3:16-mc-16
B.
(Plaintiffs)
collective realleges and incorporates fully set forth all facts Direct cause of
actions “Unknowing, unsuspecting unwilling Plaintiff Attorney at law Jon
Greenbaum, D.C.
Bar No. 489887 submitting false slavery
data Civil No. CCB–06–2773 the Coalition for
Equity and Excellence in Maryland Higher Education, Inc., et al v. Maryland
Higher Education Commission et al
This action arises under
Title VI of the Civil Rights Act of 1964 and the Equal Protection Clause of the
Fourteenth Amendment (Defendants) Confederate State of Mississippi government
et al simultaneously agents he/she was not in the (Plaintiffs) United States of
America Union Government on or about the dates of 1964
Plaintiffs The Coalition
for Equity and Excellence in Maryland Higher Education and named individuals
associated with the organization (collectively, “the Coalition”) allege that
defendants State of Maryland, the Maryland Higher Education Commission
(“MHEC”), and its officers in their official capacities (collectively, “the
State”) have failed to desegregate Maryland's system of higher education as
required by federal law under the framework articulated in
United States v. Fordice,
505 U.S. 717, 112 S.Ct. 2727, 120 L.Ed.2d 575 (1992) (desegregation
challenge to Maryland's higher education system); (Defendants) Confederate
State of Mississippi government et al simultaneously agents he/she was not in
the (Plaintiffs) United States of America Union Government on or about the
dates of 1992 The parties presented evidence during a six-week bench trial in
January 2012 (Defendants) Confederate State of Mississippi government et al
simultaneously agents he/she was not in the
(Plaintiffs) United
States of America Union Government on or about the dates of January 2012 and
subsequently submitted proposed findings and conclusions. The court held oral
argument in October 2012. Under Fed.R.Civ.P. 52(a), the court makes the following
findings of fact and conclusions of law
Meanwhile the elusive
(Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she
was not in the (Plaintiffs) United States of America Union Government on or
about the dates of October 2012 this event (Defendants) Confederate State of
Mississippi government et al simultaneously joining Plaintiff United States of
America Union government legally occurred until next year 7th day of February
2013 citing Hamilton vs. Trump USDC No. 3:16-mc-16
(Plaintiffs) collective
realleges and incorporates fully set forth all facts Direct cause of actions
false slavery data judicial decree “Unknowing, unsuspecting unwilling Plaintiff
Attorney Jon Greenbaum, D.C. Bar No. 489887 submitting false slavery data Arizona
v. Inter Tribal Council of Arizona, Inc. (challenge to Arizona's documentation
of citizenship requirement for voter registration applicants);
Facts of the case On November 2, 2004, Arizona passed Proposition 200, which
required voters to provide proof of citizenship when registering to vote or
casting a ballot (Defendants) Confederate State of
Mississippi government et al simultaneously agents he/she was not in the
(Plaintiffs) United States of America Union Government on or about the dates of November
2, 2004,
Shortly after the
Proposition passed, a group of plaintiffs, including the Inter Tribal Council
of Arizona sued the state They argued
that Proposition 200 violated the Voting Rights Act of 1965, is
unconstitutional under the Fourteenth and Twenty-fourth Amendments, and is
inconsistent with the National Voter Registration Act of 1993 (NVRA) (Defendants) Confederate State of Mississippi
government et al simultaneously agents he/she was not in the (Plaintiffs)
United States of America Union Government on or about the dates of 1993
The district court denied a preliminary
injunction, and the plaintiffs appealed. The U. S. Court of Appeals for the
Ninth Circuit granted an emergency injunction to allow the case to proceed
without allowing Proposition 200 to affect the 2006 election (Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she
was not in the (Plaintiffs) United States of America Union Government on or
about the dates of 2006
The Supreme Court vacated
the emergency injunction and remanded the case for consideration on the merits.
The Court of Appeals affirmed the district court's denial of the preliminary
injunction and held that the Proposition was not an unconstitutional poll tax
and did not violate the NVRA. On remand, the district court granted summary
judgment for Arizona. The U.S. Court of Appeals for the Ninth Circuit affirmed
in part and reversed in part by holding that the Proposition was not an
unconstitutional poll tax and did not violate the NVRA, but that the NVRA
preempts the Proposition's requirements
C.
(Plaintiffs) collective
realleges and incorporates fully set forth all facts Direct cause of actions
false slavery data judicial decree “Unknowing, unsuspecting unwilling Plaintiff
Attorney Jon Greenbaum, D.C. Bar No. 489887 submitting false slavery data League
of Women Voters v. Brunner (constitutional challenge to Ohio's administration
of elections)
League of
Women Voters v. Brunner
In July 2005, (Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she
was not in the (Plaintiffs) United States of America Union Government on or
about the dates of July 2005 a case was filed addressing the large-scale
problems encountered by voters in Ohio in the 2004 election and preceding
elections. (Defendants) Confederate State of Mississippi
government et al simultaneously agents he/she was not in the (Plaintiffs)
United States of America Union Government on or about the dates of 2004
The Ohio League of Women
Voters, the Toledo League of Women Voters, and twelve Ohio voters alleged that
the Governor and Secretary of State of Ohio are overseeing an election system
that is grossly unequal and unfair to Ohio voters. After the plaintiffs brought the case, the
state moved to dismiss. The District Court denied the motion on equal
protection and due process claims. The defendants then appealed to the Sixth
Circuit Court of Appeals.
For more than a year, the
Sixth Circuit had stayed the defendant Ohio Secretary of State’s appeal while
they explored settlement. The lack of
progress in settlement discussions led the plaintiffs to request that the stay
be lifted and the appeal denying the defendants’ motion to
dismiss be resolved On November
26, 2008, a unanimous panel of the 6th Circuit Court of Appeals affirmed
the district’s court denial of defendants’ motions to dismiss with respect to
plaintiffs’ equal protection and substantive due process causes of action and
also affirmed the denial of the defendants’ motion to dismiss on sovereign
immunity grounds.
However, the court reversed the district
court and dismissed the plaintiffs’ procedural due process claim. This case sets an important circuit court
precedent holding that state election officials can be held liable on constitutional
grounds for large-scale failures in election administration
(Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she
was not in the (Plaintiffs) United States of America Union Government on or
about the dates of November
26, 2008 With respect to the equal protection claim, the court held that the
standard was “whether the amended complaint pleads facts, if proven, sufficient
to establish that defendants arbitrarily deny Ohioans the right based on where
they live”, and found that plaintiffs’ complaint satisfied that standard
Regarding substantive due process, the court
held plaintiffs’ allegations, “if true, could support a troubling picture of a
system so devoid of standards and procedures as to violate substantive due
process.” The court rejected the
procedural due process claim because “the League has not alleged a
constitutionally protected interest.”
The case was remanded to
the district court for discovery, and the outstanding claims were settled on June 19, 2009. (Defendants) Confederate State of
Mississippi government et al simultaneously agents he/she was not in the
(Plaintiffs) United States of America Union Government on or about the dates of
June
19, 2009
D.
Plaintiffs) collective
realleges and incorporates fully set forth all facts Direct cause of actions
“Unknowing, unsuspecting unwilling Plaintiff Attorney Jon Greenbaum, D.C. Bar
No. 489887 simultaneously submitting false slavery data Case
1:21-cv-02265 (Conspirer to commit an offense against Plaintiffs CONRAD SMITH
DANNY MCELROY BYRON EVANS GOVERNOR LATSON MELISSA MARSHALL MICHAEL FORTUNE and
JASON DEROCHE Co-Counsel for Plaintiffs Case 1:21-cv-02265)
simultaneously submitting
false slavery data against (Plaintiffs) (a) (b) (c) and (d) simultaneously (Conspiracy
to Commit an offense against Plaintiffs United States Department of Defense,
Plaintiffs United States Navy et al, Plaintiffs the Office of Naval
Intelligence ONI) collective realleges and incorporates fully set forth all
facts "Notice of Motion to strike| plaintiffs’ paragraph (2) Defendants’
actions violated the federal Ku Klux Klan Act, the D.C. Bias-Related Crimes
Act, and other laws Case 1:21-cv-02265 (Conspirer to
commit an offense against
Plaintiffs
CONRAD SMITH DANNY MCELROY BYRON EVANS GOVERNOR LATSON MELISSA MARSHALL MICHAEL
FORTUNE and JASON DEROCHE Co-Counsel for Plaintiffs Case 1:21-cv-02265)
under this fraudulent “Artifacts” The Enforcement Act of 1871 (17 Stat. 13),
also known as the Ku Klux Klan Act, Third Enforcement Act, Third Ku Klux Klan
Act, Civil Rights Act of 1871(Defendants) Confederate State of Mississippi
government et al simultaneously agents he/she was not in the (Plaintiffs)
United States of America Union Government on or about the dates of 1871
(Plaintiffs) collective
realleges and incorporates fully set forth all facts Direct cause of actions simultaneously
Plaintiff Attorney Jon Greenbaum, D.C. Bar No. 489887 false slavery data oath of office attorney against Plaintiff
Attorney at law Jon Greenbaum, D.C. Bar No. 489887 when received his law degree
from the (Defendant) University of California at Los Angeles in 1993 and his
undergraduate degree from the (Defendant) University of California at Berkeley
in 1989
(Defendants)
Confederate State of Mississippi government et al simultaneously agents he/she
was not in the (Plaintiffs) United States of America Union Government on or about the dates of 1989 throughout 1993 against
the proper slavery data public education teaching Plaintiff Attorney Jon
Greenbaum, D.C. Bar No. 489887 did so illegally received on or about the dates
of 1989 throughout 1993 subsequently Plaintiff Attorney at law Jon Greenbaum,
D.C. Bar No. 489887 sworn fraudulent voided oath (herein) to the
(Defendant) State of Washington
(oath of office attorney) under the (RICO) enterprise occupation of (Defendant)
13th Confederate States (Defendants) Confederate State of
Mississippi illegal existences through false slavery data scheme against “Unknowing,
unsuspecting unwilling Plaintiff Attorney Jon Greenbaum, D.C. Bar No. 489887
I, _______________, do
solemnly declare:
1. I am fully subject to
the laws of the State of Washington and the laws of the United States and
will abide by the same.
2. I will support the
Constitution of the State of Washington and the Constitution of the United
States.
3. I will abide by the
Rules of Professional Conduct approved by the Supreme Court of the State of
Washington.
4. I will maintain the
respect due to the courts of justice and judicial officers.
5. I will not counsel or
maintain any suit or proceeding which shall appear to me to be unjust, or
any defense except as I
believe to be honestly debatable under the law, unless it is in defense of a
person charged with a
public offense. I will employ, for the purpose of maintaining the causes
confided to me, only
those means consistent with truth and honor. I will never seek to mislead
the judge or jury by any
artifice or false statement.
6. I will maintain the
confidence and preserve inviolate the secrets of my client and will accept no
compensation in
connection with the business of my client, unless this compensation is from or
with the knowledge and
approval of the client or with the approval of the court.
7. I will abstain from
all offensive personalities and advance no fact prejudicial to the honor or
reputation of a party or
witness unless required by the justice of the cause with which I am
charged.
8. I will never reject,
from any consideration personal to myself, the cause of the defenseless or
oppressed, or delay
unjustly the cause of any person.
_________________________
Public Notary
Respectfully ________________________________________
Estate of Louis Charles Hamilton II Cmdr. US Navy MSS (Pro Se Plaintiff) 2724 61st Street, Suite 1-B17, Galveston, TX 77551
CC: 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), Prime Minister Boris Johnson The British Consulate 1301 Fannin Street #2400 Houston Texas 77002-7014
CC: Joseph Robinette Biden Jr. 46th and current “President of the United States 1600 Pennsylvania Avenue NW, Washington, DC 20500
CC: International Criminal Court “Honorable Mrs. Fatou Bensouda
CC: DONALD J. TRUMP solely in his personal capacity Mar-A-Lago1100 S. Ocean Boulevard Palm Beach, FL 33480,
DONALD J. TRUMP FOR PRESIDENT, INC. c/o Bradley T. Crate (Treasurer) 725 Fifth Avenue New York, NY 10022,
STOP THE STEAL L.L.C. c/o George B. Coleman 3 South Jackson Street Montgomery, AL 36104,
ALI ALEXANDER, a/k/a Ali Abdul Razaq Akbar, a/k/a Ali Abdul Akbar 5125 Pinellas Avenue
Fort Worth, TX 76244,
BRANDON J. STRAKA 1105 Harney Street, Apt 502 Omaha, NE 68102,
ROGER J. STONE, JR. 447 Coral Way Fort Lauderdale, FL 33301,
PROUD BOYS an unincorporated association c/o Enrique Tarrio 5730 NW 2nd Street
Miami, FL 33126,
PROUD BOYS INTERNATIONAL, L.L.C. c/o Jason L. Van Dyke 108 Durango Drive Crossroads, TX 76227
ENRIQUE TARRIO 5730 NW 2nd Street Miami, FL 33126,
ETHAN NORDEAN 31930 169th Avenue S.E. Auburn, WA 98092,
JOSEPH R. BIGGS 114 Camino Circle Ormond Beach, FL 32174,
ZACHARY REHL 3058 Almond Street Philadelphia, PA 19134,
CHARLES DONOHOE 205 Chrisfield Court
Winston-Salem, NC 27104,
DOMINIC J. PEZZOLA 4039 Lake Avenue Rochester, NY 14609,
OATH KEEPERS c/o Christopher R. Grobl, Esq. 4625 West Nevso Drive Suites 2 & 3 Las Vegas, NV 89103,
STEWART RHODES 9012 Sawgrass Court Granbury, TX 76049,
THOMAS E. CALDWELL 274 Wadesville Road Berryville, VA 22611,
JESSICA WATKINS 4868 Stoneybrook Boulevard Hilliard, OH 43026,
KELLY MEGGS 14100 SW 101st Lane Dunnellon, FL 34432
CONRAD SMITH c/o Lawyers’ Committee for Civil Rights Under Law 1500 K Street N.W., Suite 900 Washington, D.C. 20005,
DANNY MCELROY c/o Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, D.C. 20005,
BYRON EVANS c/o Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, D.C. 20005,
GOVERNOR LATSON c/o Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, D.C. 20005,
MELISSA MARSHALL c/o Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, D.C. 20005,
MICHAEL FORTUNE c/o Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, D.C. 20005,
and JASON DEROCHE c/o Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, D.C. 20005,
Damon Hewitt*
Jon Greenbaum, D.C. Bar No. 489887
Edward G. Caspar, D.C. Bar No. 1644168
David Brody, D.C. Bar No. 1021476
Arusha Gordon, D.C. Bar No. 1035129
Noah Baron, D.C. Bar No. 1048319
Adonne Washington* Lawyers’ Committee for Civil Rights Under Law1500 K Street N.W., Suite 900 Washington, DC 20005 Tel: (202) 662-8300
jgreenbaum@lawyerscommittee.org
dhewitt@lawyerscommittee.org
ecaspar@lawyerscommittee.org
dbrody@lawyerscommittee.org
agordon@lawyerscommittee.org
nbaron@lawyerscommittee.org
awashington@lawyerscommittee.org
Subscribed and sworn before Public Notary Public on this _____ day of __________ 2021
Estate of Louis Charles Hamilton II Cmdr. US Navy MSS (Pro Se Plaintiff) 2724 61st Street, Suite 1-B17, Galveston, TX 77551
CC: 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), Prime Minister Boris Johnson The British Consulate 1301 Fannin Street #2400 Houston Texas 77002-7014
CC: Director of the Federal Bureau of Investigation Christopher A. Wray, FBI Headquarters 935 Pennsylvania Avenue, NW Washington, D.C. 20535-0001
CC: United Nations Secretary-General António Guterres United Nations Headquarters 405 East 42nd Street, New York, NY, 10017
CC: Joseph Robinette Biden Jr. 46th and current “President of the United States 1600 Pennsylvania Avenue NW, Washington, DC 20500
CC: International Criminal Court “Honorable Mrs. Fatou Bensouda
#ICC #Honorable #Ms #Fatou #Bensouda #pursuant #to #Nuremberg #Nazi #Criminals #Trials #™Cmdr. #Bluefin
Tina Fey
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Megyn Kelly
Cara Delevingne
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President Barack Obama
United States Navy Seals
Will Ferrell
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Sen. Ted Cruz
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