LETTER OF INTENT TO SUE
November
10th 2021
Federal Emergency Management Agency
FEMA
HEADQUARTERS
Office of the Associate Director for Mitigation
500 C Street, SW. Washington, DC 20472
(202) 646-4622
S.1766 - Louisiana Katrina Reconstruction Act
(a)
This
letter of intent to sue shall serve as a formal notice Federal Emergency
Management Agency S.1766 - Louisiana Katrina Reconstruction Act Re: 11-40839 -
Louis Hamilton, II v. Willie Zanders, et al ("Respondent") United
States Court of Appeals for the Fifth Circuit Nature of Suit Civil (RICO) Party
Names Louis Charles Hamilton II, Appellant, Rosemary Dennis, Appellee, Walter
A. Dennis, Appellee, Willie M. Zanders, Appellee, ("Respondent")
Hon. Karen Wells Roby U.S. Magistrate Judge
(b)
This Letter of Intent to
sue shall be governed under United States Navy et al, The Office of Naval
Intelligence (ONI) (eo12331) simultaneously shall be governed under the laws of
the National Security Agency (NSA) at Fort Meade (HQ)
(c)
This
Letter of Intent to
sue shall be governed under the laws of the United
Kingdom, et al, shall be governed under the laws of the International Criminal
Court, et al and shall be governed under the laws of the International Court
Justice, et al
This
Letter of Intent to sue shall be governed under the
laws of In the United States District Court, For the District of Columbia
(e)
This letter of intent to
sue shall serve as also formal “Litigation Hold Letter”
and “Litigation Hold Notice” ongoing Civil (RICO) S.1766 - Louisiana Katrina
Reconstruction Act,
11-40839- Louis Hamilton,
II v. Willie Zanders, Rosemary Dennis, Walter A. Dennis et
al, ("Respondent") United States Court of Appeals for the Fifth
Circuit (5th Cir.) fraud of court(s) 18 U.S. Code § 666 - Theft and
bribery cover-up, “non-sufficient funds” (NSF), status of a checking account
that does not have enough money to cover FEMA transactions
in excess of $90,000.00
on or about the date’s continuances 28th
of March 2011 document No. 63 Case 2:09-CV-07029
("Respondent")
Hon.
Karen Wells Roby U.S. Magistrate Judge Texas Penal Code - PENAL § 31.04. Theft
of Service FEMA transactions in excess of $90,000.00 on or about
the date’s continuances 28th of March 2011 document No. 63 Case
2:09-CV-07029 with ("Respondent") United States Court of Appeals for
the Fifth Circuit (5th Cir.)
concerning “fraud of federal programs S.1766 -
Louisiana Katrina Reconstruction Act receiving Federal funds involving Rosemary
Dennis, Walter A. Dennis et al, theft of services committed to undersigned for non-payment
hurricane rebuilding thereof in excess of $90,000.00 Hurricane Katrina Response
Direct Relief's Mission:
Improve Health. Save
Lives. Helping Survivors of Poverty or Disaster Introduced in Senate
(09/22/2005) Louisiana Katrina Reconstruction Act - Makes emergency
supplemental appropriations for FY2005 related to Hurricane Katrina disaster
relief. Makes appropriations for interoperable communications. Provides for
reconstruction/repair of the New Orleans Regional VA Hospital.
Directs the Secretary of
the Navy to convey the Naval Support Activity to the City of New Orleans,
Louisiana, or the Port of New Orleans, Louisiana, to facilitate their
development and expansion. Amends the Robert T. Stafford Disaster Relief and
Emergency Assistance Act with respect to hazard mitigation measures in a major
disaster area.
Directs the Secretary of
Homeland Security, acting through the Director of the Federal Emergency
Management Agency (FEMA), to reimburse all costs associated with the
restoration of privately-owned utility infrastructure damaged or destroyed by
Hurricane Katrina.
Helping to House the
Victims of Hurricane Katrina Act - Amends the United States Housing Act of 1937
with respect to Hurricane Katrina Emergency Assistance Vouchers.
Prescribes requirements
under the Home Program for families displaced as a result of Hurricane Katrina.
Establishes in the Treasury the Home Business and Mortgage Protection Fund.
Amends the TANF Emergency
Response and Recovery Act of 2005 with respect to reimbursement of states for
benefits under title IV (Temporary Assistance for Needy Families) (TANF) part A
of the Social Security Act (SSA)) provided to assist families from other states
affected by Hurricane Katrina.
Requires a state to
provide medical assistance under SSA title XIX (Medicaid) to Disaster Relief
Medicaid (DRM)-eligible Katrina Survivors under a plan established during the
DRM coverage period.
Provides for 100% federal
matching payments for medical assistance provided in direct impact parishes. Establishes
in the Treasury the United States Disaster Relief Fund.
Amends the Internal Revenue
Code and the Workforce Investment Act of 1998 to make Katrina survivors
eligible for: (1) a refundable income tax credit for 100% of health insurance
costs; and (2) assistance with health insurance coverage under national
emergency grants.
Provides that an area in
which the President has declared that a major disaster exists shall be
designated as a health professional shortage area. Waives, during the disaster
relief period, certain quality reporting requirements under SSA title XVIII
(Medicare) for hospitals located in any parish affected by Hurricane Katrina.
Amends the federal
bankruptcy code with respect to debtors who are victims of a natural disaster. Amends
SSA title IX (Employment Security) to authorize the Secretary of the Treasury
to transfer from the federal unemployment account to a state's account in the
Unemployment Trust Fund an amount appropriate to ensure that the state account
is not insolvent.
Amends the Small Business
Investment Act of 1958 to authorize the Administrator of the Small Business
Administration to guarantee the timely payment of any debenture issued to a
qualified borrower for purposes of rebuilding or resuming operations in a
damaged area.
Amends the Small Business
Act with respect to Supplemental Emergency Loans after Hurricane Katrina.
Louisiana Hurricane
Katrina Agriculture Disaster Relief Act of 2005 - Prescribes requirements for
certain crop disaster assistance.
Privately Owned Utility
System Restoration Act of 2005 - Directs the President to compensate privately
owned utilities in Louisiana for losses incurred as a result of Hurricane
Katrina. Establishes a Protecting Essential Louisiana Infrastructure, Citizens,
and Nature Commission (Pelican Commission).
Directs the Secretary of
Commerce to establish a program of grants for activities relating to
transition, recovery, and relocation for federal and state agencies,
businesses, institutions of higher education, and public-private partnerships
in Louisiana that have been affected by Hurricane Katrina or a related
condition.
Amends the Communications
Act of 1934 to provide for emergency grants for construction of public
telecommunications facilities damaged or destroyed by Hurricane Katrina.
Provides relief for the
crawfish industry. Directs the Administrator of the National Oceanic and
Atmospheric Administration (NOAA) to report on the impacts of Hurricane Katrina
on fisheries in affected states.
Establishes an
entrepreneurship redevelopment program to be administered by the Economic
Development Administration to rebuild and diversify New Orleans and the ten
surrounding parishes.
Requires the Louisiana
Department of Transportation and Development to establish grant programs to:
(1) construct, maintain, and repair evacuation and energy supply routes; (2)
expand road and transit capacity in the community; (3) restore, protect, and
improve the infrastructure of the Port of New Orleans and other affected ports.
Authorizes appropriations
to the Federal Aviation Administration for reimbursements to the Louis
Armstrong New Orleans International Airport for anticipated revenue shortfalls.
AmeriCorps Disaster
Relief Corps Act of 2005 - Establishes an AmeriCorps Disaster Relief Corps to
carry out projects in a major disaster or emergency area that provide food,
clothing, shelter, and other humanitarian assistance for disaster victims.
Domestic Offshore Energy
Reinvestment Act of 2005 - Directs the Secretary of the Treasury to make
payments to coastal states from certain offshore energy-related amounts for
hurricane protection and protection of resources from natural disasters.
Offshore Fairness Act of
2005 - Extends the seaward boundaries of Gulf of Mexico states from three
geographical miles to three marine leagues if certain conditions are met.
Louisiana Restoration
Stamp Act of 2005 - Directs the Secretary of the Treasury to issue a Louisiana
Restoration Stamp and establish the Louisiana Restoration Stamp Fund to hold
sale proceeds for coastal and wetland restoration activities.
Amends the Federal Water
Pollution Control Act to authorize appropriations for the restoration of the
Lake Pontchartrain basin.
Amends the Internal
Revenue Code to prescribe or revise emergency tax relief measures for residents
of the Hurricane Katrina disaster area, including specified tax credits and
deductions from gross income. Provides for suspension of air transportation
excise taxes.
Special Inspector General
for Relief and Reconstruction Act of 2005 - Authorizes the Special Inspector
General for Iraq Reconstruction to continue to serve as the Special Inspector
General for Relief and Reconstruction in order to audit and investigate the use
of funds made available for Hurricane Katrina recovery.
Directs the Government
Accountability Office (GAO) to track and report to Congress quarterly on
spending of Hurricane Katrina emergency supplemental appropriations.
Amends the federal
criminal code to create a federal crime of interfering with federal disaster
relief efforts. Shields volunteers from lawsuits arising out of their rendering
of aid to victims of Hurricane Katrina.
(f).
This ("Respondent")
Hon. Karen Wells Roby U.S.
Magistrate Judge fraudulent report and recommendation having been criminally used
citing below federal case; (1-19) further ("Respondent") 109th
Congress on or about the dates of (2005-2006) (Conspiracy
to Commit an offense against Plaintiffs United States Union Government) AND
simultaneously
(Conspiracy to Commit an
offense against Plaintiffs United Kingdom) hereby usage “social media wire”
fraudulent under educational setting to concealing and cover-up continuance (Defendant)
Confederate State of Mississippi “white supremacy agents over the age of (18)
he/she was not legally ever within (Plaintiffs United States Union Government)
on or about the dates of (2005-2006) on or about the date’s continuances 28th
of March 2011 document No. 63 Case 2:09-CV-07029
("Respondent")
Hon. Karen Wells Roby U.S. Magistrate Judge Texas Penal Code - PENAL § 31.04.
Theft of Service FEMA transactions in excess of $90,000.00 on or about the
date’s continuances 28th of March 2011 document No. 63 Case
2:09-CV-07029 with ("Respondent") United States Court of Appeals for
the Fifth Circuit (5th Cir.)
concerning “fraud of federal programs S.1766 -
Louisiana Katrina Reconstruction Act receiving Federal funds involving Rosemary
Dennis, Walter A. Dennis et al, theft of services committed to undersigned for
non-payment hurricane rebuilding thereof in excess of $90,000.00 Hurricane
Katrina Response Direct Relief's Mission
conclusion
("Respondent")
Hon. Karen Wells Roby U.S. Magistrate Judge fraudulent report and
recommendation having been criminally used citing within each federal case;
(1-18) listed herein involving the undersigned
1.
RE: Notice of Intent to File Lawsuit (RE:)Estate of Louis Charles
Hamilton, II et al v. President Donald John Trump, Sr., et al Case Number:
1:2020-cv-00277 Filed: June 24, 2020,
(RE:)Estate of Louis
Charles Hamilton, II et al v. President Donald John Trump, Sr., et al Plaintiff:
Louis Charles Hamilton, II, Estate of Louis Charles Hamilton, II,
BlackLivesMatter, et al, United Kingdom, et al, International Criminal Court,
et al and International Court Justice, et al Defendant: President Donald John
Trump, Sr., et al Case Number: 1:2020cv00277 Filed: June 24, 2020
UNITED STATES DISTRICT
COURT SOUTHERN DISTRICT OF TEXAS GALVESTON DIVISION Jan 5, 2017 MISCELLANEOUS
ACTION NO. 3:16-MC-16 (S.D. Tex. Jan. 5, 2017) (Writ of Mandamus No. 17 – 40280
USDC No. 3: 16-MC-16)
Estate of Louis Charles
Hamilton II et al v. Trump et al Plaintiff: Louis Charles Hamilton, II, Emma
Watson, Henry Charles Albert David, Estate of Chandra D Hamilton, Alexandria
Ocasio-Cortez, Estate of Louis Charles Hamilton II, Aaron Michael Halvorsen,
Lalisa Manoban, Alexis Jemtrude, Bae Yoo-bin, Estate of Rachel Ann Hamilton II,
Estate of Natasha C Hamilton, Vladimir Vladimirvich Putin and William Arthur
Philip Louis Defendant: United States Congress, Donald John Trump, Sr, United
Nations and United States Supreme Court Case Number: 1:2020cv00266
The State of Texas V.
Louis Charles Hamilton State ID No.: TX03162396 in the matter Case No.
132156401010 Incident No.TRN: 91670285XA001 In The351 District Court, Harris
County, Texas ("Respondent") Judge Mary Lou Keel,
("Respondent") Marie Primm, Assistant Harris County DA,
("Respondent") Scott C. Pope, Assistant Public Defender,
("Respondent") James Richard "Rick" Perry 47th Governor of
Texas ("Respondent") Gregory Wayne Abbott Attorney General of Texas, simultaneously
RE: Notice of Intent to File Lawsuit National Security Agency (NSA) at Fort Meade (HQ) RE:
(eo12331) conducting continuance ongoing investigations, collect and process
forensic physical social media evidence (Plaintiffs) (United Kingdom) May 30th
2019 (104 pages) notice motion for United States District Court for District of
Columbia Preliminary Injunction (Defendant) Mark
Zuckerberg and (Defendant)
FaceBook (Defendant) Jack Patrick Dorsey (Defendant) Twitter “Protective
Orders” U.S. Docket No. 1:20-CV-00266
3.
RE: Notice of Intent
to File Lawsuit United States Navy et al, The
Office of Naval Intelligence (ONI) (eo12331) conducting
continuance ongoing investigations, collect and process forensic physical
social media evidence (Plaintiffs) (United Kingdom) May 30th 2019 (104 pages)
notice motion for United States District Court for District of Columbia
Preliminary Injunction (Defendant) Mark Zuckerberg and
(Defendant) FaceBook “Protective Orders” U.S. Docket No. 1:20-CV-00266
(Amend) (Defendant) Jack Patrick Dorsey (Defendant) Twitter
4.
RE: Notice of ongoing
Filing 2020-2021 Honorable Fatou Bom Bensouda Chief Prosecutor International
Criminal Court ("Petitioner") proceeding “Pro Se Plaintiff Estates of
Louis Charles Hamilton II realleges and incorporates fully set forth all facts,
criminal international referral cause of actions before (ICC) Office of the
International Prosecutor
("Respondent")
John Glover Roberts Jr. Chief Justice of the Supreme Court et al by and through
his ("Respondent") agents realleges and incorporates fully set forth
all facts on or about the dates of April 1st of 2020
In the
("Respondent") United States Court of Appeals (5th Cir.) hereby ("Respondent") Priscilla Richman Owen Chief
United States Circuit Judge Accessory after the facts, (RICO) mail, wire, TV,
radio fraud of all court proceeding, records, transcripts with ("Respondent")
Mark Zuckerberg and ("Respondent") FaceBook realleges
and incorporates fully set forth all facts, criminal international referral
cause of actions before (ICC) Office of the International Prosecutor Amend ("Respondent") Jack Patrick Dorsey
("Respondent") Twitter
5.
RE: Notice
of (Plaintiffs) (United Kingdom) May 30th 2019 (104 pages) notice motion for
United States District Court for District of Columbia Preliminary Injunction
(Defendant) Mark Zuckerberg and (Defendant) FaceBook “Protective Orders” U.S.
Docket No. 1:20-CV-00266
realleges
and incorporates fully set forth all facts, criminal international referral
cause of actions before (ICC) Office of the International Prosecutor Amend
("Respondent") Jack Patrick Dorsey ("Respondent") Twitter
RE:
Notice of Intent to File Lawsuit in the Jurisdiction of (Plaintiffs)
(United Kingdom) (RE:)Notice of
(Plaintiffs) (United Kingdom) May 30th of 2019 (104 pages) notice
motion for United States District Court for District of Columbia Preliminary
Injunction (Defendant) Mark Zuckerberg and (Defendant) FaceBook “Protective
Orders” U.S. Docket No. 1:20-CV-00266 realleges
and incorporates fully set forth all facts, criminal international referral
cause of actions before (ICC) Office of the International Prosecutor
Amend
("Respondent") Jack Patrick Dorsey ("Respondent") Twitter
7.
RE: Notice of Intent to
File Lawsuit in the Jurisdiction of (Plaintiffs) (NATO) (RE:)Notice of
(Plaintiffs) (United Kingdom) May 30th of 2019 (104 pages) notice
motion for United States District Court for District of Columbia Preliminary
Injunction (Defendant) Mark Zuckerberg and (Defendant)
FaceBook “Protective Orders” U.S. Docket No. 1:20-CV-00266 realleges and incorporates fully set forth all facts,
criminal international referral
cause of actions before
(ICC) Office of the International Prosecutor Amend
("Respondent") Jack Patrick Dorsey ("Respondent") Twitter
8.
Notice of Intent to File
Lawsuit realleges
and incorporates fully set forth all facts (Defendant) Mark Zuckerberg and
(Defendant) FaceBook, (Defendant) Jack Patrick Dorsey (Defendant)
Twitter on or about
the dates of June 16th of 2015 throughout January
9th of 2021, June 4th of 2021 acting under color of law (Defendant)
US President Donald Trump's Twitter account is "permanently suspended...
due to the risk of further incitement of violence",
Defendant) Jack Patrick
Dorsey (Defendant) Twitter further simultaneously “Social Media Platform aid, conspired,
concealing & prevent from being known or noticed ("Respondent")
(Trump et al) violations Foreign Agents Registration Act (22 U.S.C. §§611-621;
FARA) in criminal possession, custody and control (an estimated $3.1 billion)
in offshore monetary assets of Russia foreign government offshore wealth
(Defendant)
(Trump
et al) 18 U.S. Code § 1343 engaging in “International Fraud by wire, radio,
television radio, internet (Social Media) computer fraud to maintain ongoing
RICO enterprise Crimes included but not limited to:
a. (Defendant)acting
under color of law (Trump et al) Conspirer against (Plaintiffs) United States
of America Union government 18 U.S. Code § 951 – (Defendant) Trump et al Agents
of foreign governments of “Russia Federation” and predecessor (USSR) on or about
the dates of September 6th 1994 throughout September 5th, 2017 (Defendant)
(Trump et al) conspire against
b. (Plaintiffs) United
States of America Union government statue “The Trading with the Enemy Act
1914”, and “Espionage Act of 1917”, citing international (Plaintiffs) (UK) TOP
SECRET STRAP SIGINT UK EYES ONLY Dated 17th November 2016 GCHQ Reference:
A/7238/6547/12 (US National Security) {Project FULSOME} {Request of the US
President} “Intelligence gathering into (Trump) “Renewal 15th September 2016” as
described under (MSS) eo12331 (Hamilton vs. Trump) wrongful dismissal by
(Defendants) (5th Cir.) 17-40068 in favor of (Defendant) (Trump et al)
b. (Defendant)
(Trump et al) Conspirer against (Plaintiffs) United States of America Union
government “among RICO civil and criminal charges” being un-registries agent
“Russia Federation” and predecessor (USSR) occurring, direct money launderings
possession “offshore wealth” of (Plaintiff) “Russia Federation” and predecessor
(USSR) namely all assets thereof , 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. being “Offshore wealth proceeds”
c. (Defendant)
(Trump et al) Conspirer 18 U.S. Code § 1956 – “Laundering of monetary
instruments and Money laundering” in the process of making illegally-gained
proceeds (i.e., "dirty money") 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 appear legal (i.e., "clean") being
“Offshore wealth”
d. (Defendant)
(Trump et al) being in direct violation INTERNATIONAL MONEY LAUNDERING
ABATEMENT AND ANTI-TERRORIST FINANCING ACT OF 2001 on or about the dates of
2001 throughout 2020 ("December") “Laundering of monetary instruments
on behalf “Russia Federation” and predecessor (USSR) conspire in “International
Money laundering” in the process of making illegally-gained proceeds (i.e., "dirty
money") 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 appear legal (i.e., "clean")
e. (Defendant)
(Trump et al) being in direct violation INTERNATIONAL MONEY LAUNDERING
ABATEMENT AND ANTI-TERRORIST FINANCING ACT OF 2001 on or about the dates of
2015 throughout 2019 ("December") engaging in TERRORIST FINANCING
ACT’s on behalf of (Defendants) GOP Political party “Paramilitary Chaos”
9.
On
or about March
21, 2006; throughout February 6th 2013 (Defendant) Jack Patrick Dorsey
(Defendant) Twitter being accused “white supremacy persons”
(Conspiracy to Commit an offense against Plaintiffs United States Union
Government) AND simultaneously (Conspiracy to Commit an offense against
Plaintiffs United Kingdom) hereby usage “social media wire” fraudulent under
educational setting to concealing and cover-up continuance
(Defendant) Confederate
State of Mississippi “white supremacy agents over the age of (18) he/she was
not legally ever within (Plaintiffs United States Union Government) on or about
the dates of February 4th of 2004 throughout February 6th
of 2013 in this criminal
(Conspiracy to Commit an
offense against Plaintiffs Estate of Louis Charles Hamilton II, Plaintiffs
Slave Negro Louis Charles Hamilton II, Plaintiffs Estate of Rachel Ann Hamilton
II, Plaintiffs Estate of Chandra D. Hamilton, Plaintiffs Estate of Chandra D.
Hamilton, Plaintiffs Estate of Natasha C. Hamilton, Plaintiffs Aaron Michael
Halvorsen (Hamilton II) Son, Plaintiffs Alexis Jemtrude (Hamilton II) Daughter
civil ongoing cause of actions
(Defendant) Mark
Zuckerberg and (Defendant) FaceBook (Defendant) Jack Patrick Dorsey (Defendant)
Twitter being accused 18 US Code § 1343 – “Interstate and International Fraud’
by wire, radio, or television, 18 U.S. Code § 1349 - Attempt and conspiracy to
commit wire fraud, false social media slavery data (Conspiracy
to Commit an offense against Plaintiffs Estate of Louis
Charles Hamilton II, Plaintiffs
Slave Negro Louis Charles Hamilton II, Plaintiffs Estate of Rachel Ann Hamilton
II, Plaintiffs Estate of Chandra D. Hamilton, Plaintiffs
Estate of Chandra D. Hamilton,
Plaintiffs Estate of Natasha C. Hamilton, Plaintiffs Aaron Michael Halvorsen
(Hamilton II) Son, Plaintiffs Alexis Jemtrude (Hamilton II) Daughter civil
ongoing cause of actions
10.
*Note: (Defendant)
Jack Patrick Dorsey (Defendant) Twitter being (Not) accused unlike (Defendant)
Mark Zuckerberg and (Defendant) FaceBook in this
paragraph (10) (Conspiracy to Commit an offense against Plaintiffs
Estate of Chandra D. Hamilton, Plaintiffs Estate of Natasha C. Hamilton) “Social
Media Identity theft did so aid in hiding and concealing that person(s) under
while a criminal ongoing “party whom aid in refuses to give up the
missing children’s, from
the personal social media data whom (Plaintiffs Estate of
Chandra D. Hamilton, Plaintiffs Estate of Natasha C. Hamilton) are not dead but
are physically alive in this ongoing criminal (Conspiracy
to Commit an offense against Plaintiffs Estate of Chandra D. Hamilton,
Plaintiffs Estate of Natasha C. Hamilton)
11.
*Note:
(Defendant) Jack Patrick Dorsey (Defendant) Twitter being (Not) accused unlike
(Defendant) Mark Zuckerberg and (Defendant) FaceBook in this paragraph (11) (Defendant)
Mark Zuckerberg and (Defendant) FaceBook (Conspiracy to Commit an offense
against Plaintiffs
Estate of Rachel Ann Hamilton II) “Social Media Identity theft aid in hiding
and concealing that dead missing female white person(s) with correct person's
personal identifying information in this criminal
(Conspiracy to Commit an offense against Plaintiffs Estate of
Louis Charles Hamilton II) whom is physically “alive”.
12.
“Litigation
Hold Letter” and “Litigation Hold Notice” electronically-stored information
(“ESI”) Louis Charles Hamilton II, twitter
accounts
13.
“Litigation Hold Letter”
and “Litigation Hold Notice” electronically-stored information (“ESI”) On
or about March 21st of 2006; throughout February 6th of 2013 Defendant)
Jack Patrick Dorsey (Defendant) Twitter electronically-stored information
(“ESI”) published social media slavery data RE: BlackLivesMatter, Black
history, United States of América History, Slavery,
14.
“Litigation Hold Letter”
and “Litigation Hold Notice” electronically-stored information (“ESI”) On or
about February
6th of 2013 throughout December 31st of
2021 (Defendant) Jack Patrick Dorsey (Defendant) Twitter
electronically-stored information (“ESI”) published social media slavery
data RE: BlackLivesMatter, Black history, United States of América History,
Slavery false social media slavery data concealing “white supremacy persons” illegally
maintained property rights of
(Plaintiff) Negro Captive human slaves
indefinitely” 34, 658,190 million (Plaintiffs) Negro DNA captive POW slaves on
or about 03-07-2012 in the Federal Case of the undersigned Hamilton v. United
States CIVIL ACTION NO. 1:10-CV-808 LOUIS CHARLES HAMILTON, II, Plaintiff, v.
UNITED STATES OF AMERICA, PRESIDENT ANDREW JOHNSON, and PRESIDENT RUTHERFORD B.
HAYES
15.
“Litigation
Hold Letter” and “Litigation Hold Notice” electronically-stored information
(“ESI”) on
(Defendant) Donald John Trump et al June 16th of 2015 throughout dates of January
9th of 2021, June 4th of 2021 acting under color of law
(Defendant) US President Donald Trump's Twitter account is "permanently
suspended... due to the risk of further incitement of violence", with
further
“Litigation Hold Letter”
and “Litigation Hold Notice” electronically-stored information (“ESI”) on
(Defendant) Donald John Trump et al cyberbullying involves acting under color
of law as the acting (President of United States of America) June
29th of 2019, during G20 Summit: Donald Trump announces US-China
trade truce
While criminally engaging
in a written or verbal statement, Cyberstalking & Cyberbullying physical overt
unwanted acts on (Plaintiffs) (Hamilton) Twitter
accounts electronic communication in this “International Cyberstalking
& Cyberbullying” involves obscene or threatening harassment (Conspiracy to
Commit an offense against Plaintiffs Estate of Louis Charles Hamilton II)
throughout the dates (Defendant) Jack Patrick Dorsey (Defendant) Twitter
conspired in concealing, cover-up, and shut-down (Plaintiffs) (Hamilton)
Twitter accounts
16.
This offer to cure and/or
settle this matter outside of court and avoid a lawsuit is valid for (30) days
from the Effective Date you received this letter of intent to sue, with notice
of “Litigation Hold Letter” and “Litigation Hold Notice
(Defendant) Mark
Zuckerberg and (Defendant) FaceBook with (Defendant) Jack Patrick Dorsey
(Defendant) Twitter conspired with other “white slave traders, with each other
and other entities and institutions 18 U.S.C. § 3 assisting in the commission
of facilitate Fraudulently ongoing “Interstate false slavery data” and
“International false slavery data” within State Records
("Respondent") Confederate State of Mississippi government et al
including but not limited to (each) Federal Court fraudulent Judicial Decrees
records described (ABOVE)
17.
(Defendant)
Jack Patrick Dorsey (Defendant) Twitter on or about the dates of March 21st
of 2006 throughout February 6th of 2013 (Conspirer
to commit an offense against Plaintiffs Negro slaves’ entire population)
concealing ion social media (Defendant) Confederate State of Mississippi false
slavery data against “Living Negro Slaves” whom are being wrongfully
classifications as ancestor and descendants against
"International Trans-Atlantic Slave Trade
Database 18 U.S.C. 1001) (Defendant)
Jack Patrick Dorsey (Defendant) Twitter this is formal notice on or about the
dates of February 4th of 2004 throughout February 6th of 2013 18 U.S. Code § 2
- Principals accessory after the fact, 18 U.S. Code § 1956 - Laundering of
monetary instruments, (an estimated $75 Trillion US Dollars) against
"International Trans-Atlantic Slave Trade Database (18 U.S.C. 1001)18
U.S.C. § 3 assisting in the commission of facilitate Fraudulently ongoing “two
books GDP Confederate State of Mississippi government et al false statement
Conversion scheme”
18.
(Defendant) Jack Patrick Dorsey (Defendant)
Twitter this is formal notice being accused as a Principals
accessory after the fact, aid and abetting 18 U.S. Code § 1956 - Laundering of
monetary instruments, (an estimated $3.1 billion) in offshore monetary assets
of Russia foreign government offshore wealth (RICO) "international social
media scheme of things" on behalf of (Defendant) Trump et al in this
conspirer against Plaintiffs the United Kingdom, Plaintiffs England, Plaintiffs
Scotland, Plaintiffs Wales and Plaintiffs Northern Ireland (RICO) wire fraud money
laundering (an estimated $3.1 billion) being concealed in offshore monetary
assets of Russia foreign government offshore wealth "international scheme of things".
19.
(Defendant) Federal
Emergency Management Agency this is formal notice as a result of
your actions, surrounding continuance obstruction of justice (RICO) fraud of
federal court 28th of March 2011 document No. 63 Case
2:09-CV-07029 involving S.1766 - Louisiana Katrina Reconstruction Act
the Plaintiff(s) seeks both “monetary and declaratory public relief” as
described in paragraph A- F (above) with 6% interest incurred
This offer to cure and/or
settle this matter outside of court and avoid a lawsuit is valid for (30)
days from the Effective Date you received this letter of intent to sue, with
notice of “Litigation Hold Letter” and “Litigation Hold Notice
Subscribed and sworn
before Public Notary Public on this _____ day of __________ 2021
_________________________
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: International
Criminal Court “Honorable Mrs. Fatou Bensouda
#ICC #Honorable #Ms #Fatou #Bensouda #pursuant #to #Nuremberg #Nazi #Criminals #Trials #™Cmdr. #Bluefin
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