Sunday, September 6, 2026
LABORDE SIEGEL LLC Plaintiffs Hamilton Pro Se Reply to Defendants Amend Special Exceptions and Subject there to Original Answer 1.(Plaintiffs) assert (Defendants) Amber Evans et al has been properly stated in the Original Answer CV-0095677 paragraph (30,31,32,48,51) with (Plaintiffs) Exhibit F attached to the Original Complaint Letter June 16th 2026 26-EV03-0227 to the Honorable Billy A. Williams describing (Defendants) Amber Evans, which including in the Amend Complaint, further CV-00956 Original Complaint further describing (Defendants) Amber Evans et al 2. (Plaintiffs) subject to the Jurisdiction of the above-entitled Court, on certain issues and Due to all International Parties involving with this “Special (Defendants) Donald John Trump Sr., and His Direct “Plagiarism made against 26-EV03-0227” involving (Defendants) DND Texas Investments et al as described in (Exhibit F) and the massive surveillance (2020-2026) of all 3. (Defendants) herein Galveston County, City of Galveston Texas, which including the RICO Scheme in “Theft of Mail” directed at the (Plaintiffs) “evidence already filed into the above entitled court (Exhibit A) “Thump Drive” surrounding among other “Thefts of an entire Federal Civil Complaint” on June 1st 2020 by (Defendants) Trump et al and direct Plagiarism from this said “theft of a Federal Civil Complaint”…? before this additional Plagiarism of the “Fraudulent 21st Century Road to Housing Act (H.R. 6644) involving (Defendant) Amber Evans et al, and (Defendants) City of Galveston Texas et al which all information provided thereof was “Stolen” and (Defendants) Amber Evans et al, (Defendants) Galveston Police et al, (Defendants) City of Galveston Texas all are “Unknowing and Unwilling Defendants at the Hands of (Defendants) Donald John Trump Sr. RICO scheme involving also (Defendants) Amber Evans et al,.
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