Wednesday, December 22, 2021

Chief Prosecutor International Criminal Court United States Navy et al, The Office of Naval Intelligence (ONI) “affidavit of probable cause" (Defendants) Cyrus Roberts Vance Jr. acting under color of law 36th District Attorney of (Defendant) New York County on or about the dates January 1st of 2010 throughout December 31st of 2021 Gross negligence, criminal negligence, breach of fiduciary duty acting under color of law regarding (all) criminal matters within the jurisdiction of 721 Fifth Avenue Manhattan, New York , (Defendant) Trump et al 18 US Code § 951 - Agents of foreign governments of “Russia Federation” and predecessor (USSR) on or about the dates of September 6th 1994 throughout December 31st 2021 (Conspiracy to Commit an offense against United States Department of Defense, United States Navy et al, the Office of Naval Intelligence ONI) eo12331 under the authority of the undersigned ("Petitioner") “Pro Se Plaintiff Estate of Louis Charles Hamilton II in his both person(s) ™Cmdr. Bluefin USN (MSS) (HQ) The National Security Agency (NSA) NSA/CSS Fort Meade, MD 20755-6248

                                                    LETTER OF INTENT TO SUE

December 22nd 2021

USPS Signature tracking No. 9410811202537564239309

 

Manhattan District Attorney

Cyrus Roberts Vance Jr.

Manhattan District Attorney's Office

One Hogan Place New York, NY 10013

                        Introduction

                                    1

(Defendants) Born Cyrus Roberts Vance Jr. on or about the dates of June 14, 1954 (age 67) New York City, New York, U.S. Simultaneously Defendants) Confederate State of Mississippi GOP government et al 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 June 14th of 1954 throughout February 6th 2013

                                                            2

(Defendants) Cyrus Roberts Vance Jr. on or about the dates attended the (Defendants) Private Independent Buckley School K-9 day school for boys located on the Upper East Side of Manhattan, New York City, Simultaneously (Defendants) Confederate State of Mississippi GOP government et al 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 during (Defendants) Cyrus Roberts Vance Jr. attended the Private Independent Buckley School (K-9 day school for boys) located on the Upper East Side of Manhattan, New York City, throughout February 6th 2013

                                                            3

(Defendants) Cyrus Roberts Vance Jr. on or about the dates attended (Defendants) Groton School Established 1884 Simultaneously (Defendants) Confederate State of Mississippi GOP government et al 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 1884 submitting false slavery data at one of the most selective private college-preparatory boarding schools, located in Groton, Massachusetts

                                                            4

(Defendants) Cyrus Roberts Vance Jr. on or about the dates went on to graduate from (Defendants) Yale University Established October 9, 1701; 320 years ago, concealing false slavery data (Defendants) Confederate State of Mississippi GOP government et al 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 thereafter April 15th 1865 throughout 6th of February 2013

                                                            5

(Defendants) Cyrus Roberts Vance Jr. on or about the dates He earned his Juris Doctor from (Defendants) Georgetown University Law Center in 1982 Simultaneously (Defendants) Confederate State of Mississippi GOP government et al 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 1982 notwithstanding

(Defendants) Georgetown University Law Center Established 1870 Simultaneously (Defendants) Confederate State of Mississippi GOP government et al 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 1870

                                                            6.

Accordingly, United States Navy et al, The Office of Naval Intelligence (ONI) Findings of Fact and Conclusions of Law— conclusions from factual allegations (Defendants) Born Cyrus Roberts Vance Jr. physical date of birth to be on or about the dates of June 14, 1954 in view of facts paragraph (1) above to be true found by the “court” Accordingly, United States Navy et al, The Office of Naval Intelligence (ONI) Findings of Fact and Conclusions of Law— conclusions from factual allegations

(Defendants) Confederate State of Mississippi GOP government et al 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 (Defendants) Born Cyrus Roberts Vance Jr. physical date of birth to be on or about the dates of June 14, 1954

                                                            7

Accordingly, United States Navy et al, The Office of Naval Intelligence (ONI) Findings of Fact and Conclusions of Law— conclusions from factual allegations (Defendants) Cyrus Roberts Vance Jr. under (RICO) enterprise scheme of things (Defendants) Private Independent Buckley and the same on or about the dates (Defendants) Cyrus Roberts Vance Jr. in (RICO) enterprise attended (Defendants) Groton School overt acts teaching “international false slavery data wire fraud scheme of things” upon (Defendants) Cyrus Roberts Vance Jr. “unknowing, unwilling and quite unsuspecting further (illegally) as a

“Targeted Cyrus Roberts Vance Jr. minor white child” illegal himself unknowing, unwilling and unsuspecting undergoing crimes against children in the criminal educational manipulation overt acts of (Defendant) GOP political “white supremacy imposed absolute confusion” in (Defendants) Cyrus Roberts Vance Jr. youth educations of false slavery data under each childhood rendering the recital of the Pledge allegiance to the flag of the

                                                            8.

 (Defendant) confederate state of Mississippi government illegal existences not a part of the (Plaintiffs) United States of America Union government cause of actions upon crimes against each unsuspecting child being subjected to the same as (Defendants) Cyrus Roberts Vance Jr.

 "I pledge allegiance to the flag of the United States of America, and to the republic for which it stands, one nation under God, indivisible, with liberty and justice for all." on or about the dates (Defendants) Cyrus Roberts Vance Jr. in attended the (Defendants) Private Independent Buckley School K-9- school for boys located on the Upper East Side of Manhattan, New York City Simultaneously

                                                            9.

 (Defendants) Confederate State of Mississippi GOP government et al 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 (Defendants) Cyrus Roberts Vance Jr. rendering the child schoolhouse recital of the Pledge allegiance to “white only confederate government conversion scheme (18 U.S.C. 1001) (Conspiracy to Commit an offense against Plaintiffs the Trans-Atlantic Slave Trade Database, cover-up

(Defendants) Confederate State of Mississippi (RICO) enterprise overt acts of white supremacy (persons) over the age of (18) maintain “SECERTLY TO NEVER JOINING THE” (Plaintiffs) United States of America Union government on or about the 15th day of April 1865 throughout February 6th  of 2013 “interstate and international wire fraud false slavery data” (Conspiracy to Commit an offense involving Plaintiffs Negro slaves) are being LOUIS CHARLES HAMILTON, II, Plaintiff UNITED STATES OF AMERICA, § PRESIDENT ANDREW JOHNSON, § and PRESIDENT RUTHERFORD B. § HAYES, Defendants CIVIL ACTION NO. 1:10-CV-808

                                                            10.

Accordingly, United States Navy et al, The Office of Naval Intelligence (ONI) Findings of Fact and Conclusions of Law— conclusions from factual allegations (Defendants) Cyrus Roberts Vance Jr. on or about the dates under false slavery data scheme of things He earned his Juris Doctor from (Defendants) Georgetown University Law Center in 1982 Simultaneously (Defendants) Confederate State of Mississippi GOP government et al 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 1982 notwithstanding

(Defendants) Georgetown University Law Center Established 1870 Simultaneously (Defendants) Confederate State of Mississippi GOP government et al 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 1870 this will not legally occurred until the future dates of February 7th, 2013                       

                                                            11.

Accordingly, United States Navy et al, The Office of Naval Intelligence (ONI) Findings of Fact and Conclusions of Law— conclusions from factual allegations unknowing, unwilling and unsuspecting swearing a false oath or falsifying an affirmation 5 US Code § 3331 - Oath of office overt acts by (Defendants) Cyrus Roberts Vance Jr. on or about the dates January 1st of 2010 Assumed office 36th District Attorney of (Defendant) New York County throughout February 6th of 2013

Accordingly, conclusions from factual allegations (Defendants) Cyrus Roberts Vance Jr. on or about the dates January 1st of 2010 throughout February 6th of 2013 unknowing, unwilling and unsuspecting swearing a false oath or falsifying an affirmation further overt acts acting under color of law New York County District Attorney

(18 U.S.C. § 1961(1) conspirers concealing & prevent from being known or noticed (RICO) scheme of things - Laundering of monetary instruments, (An estimated $75 Trillion US Dollars) used and/or profited from “plaintiffs negro entire populations captives slaves labor against "Plaintiffs International Trans-Atlantic Slave Trade Database (18 U.S.C. 1001) on or about the dates January 1st of 2010 throughout February 6th of 2013 conspirers concealing & prevent from being known or noticed (RICO) scheme of things - Laundering of monetary instruments, (An estimated $75 Trillion US Dollars) used and/or profited

                                                            12.

Accordingly, conclusions from factual allegations (Defendants) Cyrus Roberts Vance Jr. acting under color of on or about the dates January 1st of 2010 Assumed office 36th District Attorney of (Defendant) New York County throughout December 31st 2021 cause of actions Findings of Fact and Conclusions of Law— conclusions from factual allegations breach of fiduciary duty as acting New York County District Attorney fails to act responsibly in the best interests of Plaintiffs Negro slaves) are being LOUIS CHARLES HAMILTON, II, Plaintiff UNITED STATES OF AMERICA, § PRESIDENT ANDREW JOHNSON, § and PRESIDENT RUTHERFORD B. § HAYES, Defendants CIVIL ACTION NO. 1:10-CV-808

Simultaneously (Defendants) Cyrus Roberts Vance Jr. acting under color of on or about the dates January 1st of 2010 Assumed office 36th District Attorney of (Defendant) New York County (Conspiracy to Commit an offense against Plaintiffs Negro Captive Slaves entire population) on or about the dates January 1st of 2010 throughout December 31st, 2021, Gross negligence, criminal negligence, breach of fiduciary duty acting under color of law regarding (all) criminal matters within the jurisdiction of

 721 Fifth Avenue Manhattan, New York (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 criminal violations 18 US Code § 2385 - Advocating overthrow of Government (Plaintiffs) United States of America union government et al included but not limited to:

                                                            13.

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 (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”

                                                            14.

(Defendants) Cyrus Roberts Vance Jr. acting under color of on or about the dates January 1st of 2010 Assumed office 36th District Attorney of (Defendant) New York County demonstrates reckless disregard for the safety or lives of Plaintiffs Negro Captive Slaves entire population acting under color of law New York County District Attorney with the long-running criminal investigation by the (Defendants) Manhattan district attorney has focused on an array of potential financial crimes as described

 (Conspiracy to Commit an offense against United States Department of Defense, United States Navy et al, the Office of Naval Intelligence ONI) eo12331 under the authority of the undersigned ("Petitioner") “Pro Se Plaintiff Estate of Louis Charles Hamilton II in his both person(s) ™Cmdr. Bluefin USN (MSS) (HQ) The National Security Agency (NSA) NSA/CSS Fort Meade, MD 20755-6248

Honorable Ms Fatou Bensouda ("Respondent") Donald John Trump, Sr, current acting under color of law on or about the dates of January 20th of 2017 – January 20th of 2021 as 45th President of United States of America Union Government (Conspiracy to Commit an offense against 34, 658,190 million Captive Negro Slaves, as described by undersigned council of record 1:2010-CV-00808 Hamilton vs. United States of America "as of dates continue" 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)

                                                            15.

Hamilton brought this suit on behalf of, inter alia, approximately fifty black celebrities (living and dead), 42.7 million Negro slaves, the British Empire, and thirty-seven allied countries

("Petitioner") proceeding “Pro Se Plaintiff Estates of Louis Charles Hamilton II in his both person Secret Intelligence Service (SIS), commonly MI6 MI5 ™Cmdr. Bluefin Citing:

 TOP SECRET STRAP SIGINT UK EYES ONLY Dated 17th of November 2016 GCHQ Reference: A/7238/6547/12 (US National Security) {Project FULSOME} {Request of the US President} “Intelligence gathering into (Trump) “Renewal 15th of September 2016” (Conspiracy to Commit an offense against Plaintiffs “Henry Charles Albert David” (Prince Harry) and “William Arthur Philip Louis”

                                                            16.

(Prince Williams) of The United Kingdom of Great Britain and Northern Ireland, (Conspiracy to Commit an offense against Plaintiffs Estate of Louis Charles Hamilton II in his both person(s) ™Cmdr. Bluefin USN (MSS) (HQ) The National Security Agency (NSA) NSA/CSS Fort Meade, MD 20755-6248 on or about the dates of November of 1982 – present (2021)

Citing: 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 Filed: June 15, 2020

(a)        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

(b) Hamilton v. Trump USDC No. 4:2016-mc01633

      Hamilton vs. Trump USDC No. 3:16-mc-16

      Hamilton vs. Trump USDC No. 3:17_MC_003,

      Hamilton vs. Trump (5th Cir.) 17-40804

      Writ of Mandamus No.17 – 40280 USDC No. 3: 16-MC-16

                                                            17.

The (Defendant) (Trump et al) 45th President of the United States In office January 20, 2017 – January 20, 2021 Accused being in direct violation:                                                        

10 U.S. Code § 924 - Art. 124. Frauds against the United States

The Steele dossier, also known as the Trump–Russia dossier

Report On The Investigation Into Russian Interference In The 2016 Presidential Election

The report – “No 32-04 \ vd” “special part” of document No 32-04 \ vd.

10 U.S. Code § 899 - Art. 99. Misbehavior before the enemy

The Steele dossier, also known as the Trump–Russia dossier Report On The Investigation Into Russian Interference In The 2016 Presidential Election

(RICO) Tampering with Government Records of Court Corruption that “VLADIMIR VLADIMIRVICH PUTIN” is list as an official Defendants – Appellees before the “Fifth Circuit Court of Appeal No. 16 – 20559 (Civil Case) No. A. H-16-1354 Signed by (Defendant) Judge Melinda Harmon,

 “Cyber-spying [PL-413132] "phishing site found "operational" and targeting United States Navy et al, The Office of Naval Intelligence (ONI) Cmdr. Bluefin US Navy MSS (HMS) undersign council of record Estate of Louis Charles Hamilton II 10 U.S. Code § 903 - Art. 103. Spies

                                                            18.

(Defendants) Cyrus Roberts Vance Jr. acting under color of New York County District Attorney on or about the dates January 1st of 2010 Assumed office 36th  District Attorney of (Defendant) New York County throughout December 31st 2021 intentional act of swearing a false oath of office New York County District Attorney gross negligence, breach of fiduciary duty, criminal negligence conspirers concealing & prevent from being known or noticed ("Defendant") Julian Assange WikiLeaks publishes criminal violations NY Penal Law § 130.20: Sexual Misconduct specific Offenses

("Defendant") First Lady of the United States Melania Trump (born Melanija Knavs) Pornography Zoophilia bestiality porn engages in doggy-style “sexual intercourse with dog ("exhibits") filed into (Defendant) 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) criminal violations NY Penal Law § 130.20: Sexual Misconduct specific Offenses to having criminally occurred within the jurisdiction of  New York County (Manhattan), New York

(a)

This letter of intent to sue shall serve as a formal notice of ongoing Filing 2020-2021 before 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 The (Defendant) (Trump et al) 45th President of the United States In office January 20, 2017 – January 20, 2021

US Code § 1343 - Fraud by wire, radio, or television (Conspiracy to Commit an offense against (Hamilton) Most notable (Conspiracy to Commit an offense against Plaintiffs Estate of Chandra D. Hamilton, Plaintiffs Estate of Natasha C. Hamilton)

The (Defendant) (Trump et al) 45th President of the United States In office January 20, 2017 – January 20, 2021 “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 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)

The (Defendant) (Trump et al) 45th President of the United States In office January 20, 2017 – January 20, 2021 18 US Code § 1343 - Fraud by wire, radio, or television (Conspiracy to Commit an offense against (Hamilton) Most notable (Conspiracy to Commit an offense against Plaintiffs Estate of Rachel Ann Hamilton II) “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”.

(b)

This letter of intent to sue shall serve as a formal notice

                                                            (c)

This Letter of Intent 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)

                                                            (d)

This Letter of Intent 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

                                                            (e)

This Letter of Intent shall be governed under the laws of In the United States District Court, For the District of Columbia 

                                                            (f)

This letter of intent to sue shall serve as also formal “Litigation Hold Letter” and “Litigation Hold Notice” of all false international slavery data (Defendant) Richard Riker (September 9, 1773 – September 26, 1842) was an American lawyer and politician from (Defendant) New York, who served as the first district attorney of what is now (Defendant) New York County, and as recorder of New York City Described above herein Recorder of New York City 1815 throughout February 6th 2013

                                                            (g)

This letter of intent to sue shall serve as also formal “Litigation Hold Letter” and “Litigation Hold Notice” (Defendants) Cyrus Roberts Vance Jr. acting under color of New York County District Attorney regarding (all) criminal matters within the jurisdiction of 721 Fifth Avenue Manhattan, New York (Defendant) (Trump et al) on or about the dates January 1st of 2010 throughout December 31st 2021

 New York County District Attorney Gross negligence, criminal negligence, breach of fiduciary duty acting under color of law regarding (all) criminal matters within the jurisdiction of 721 Fifth Avenue Manhattan, New York (Defendant) (Trump et al)

                                                            (h)

This offer to cure and/or settle this matter outside of both “international criminal court” and additionally civil court complaint under the laws of In the United States District Court, For the District of Columbia, “international civil complaint Queen court under the laws of the United Kingdom, et al, herein notice (Defendants) Cyrus Roberts Vance Jr. further herein avoid a lawsuit is valid for (30) days from the Effective Date you received this letter of intent to sue, and or is valid for upon your officially filing of criminal charges as described in paragraph 1- 18 (above) before officially retiring acting under color of New York County District Attorney on or about December 31st 2021 regarding (all) criminal matters within the jurisdiction of 721 Fifth Avenue Manhattan, New York (Defendant) (Trump et al) on or before December 31st 2021

                                                            (i)

With further formal notice This letter of intent to sue in (30) days on or about the dates of 25th of January 2022 regarding (all) criminal matters within the jurisdiction of 721 Fifth Avenue Manhattan, New York (Defendant) (Trump et al) on or about the dates January 1st of 2010 throughout December 31st 2021 New York County District Attorney cause of actions Gross negligence, criminal negligence, breach of fiduciary duty herein namely (Defendants) Cyrus Roberts Vance Jr. acting under color of New York County District Attorney

 

  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 

#Sherlock #Holmes #Caseof #The #Crooked #Dead #President #LouisCharlesHamiltonII #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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Emma Watson
#Slavery #ObstructionofJustice #Fraud #CrimesagainstHumanity #Falseslaverydata #Humanrights

 

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