Sunday, September 6, 2026

Wherefore (Plaintiff) Hamilton requesting before the “Honorable Court” having Court issue expedited temporary housing relief, hotel voucher, (ect) as described in (Plaintiff) Hamilton Motion to Freeze Assets of the (Defendant) DND Texas Investments et al, requesting housing relief, 9. Wherefore (Plaintiff) Louis Charles Hamilton II having the “Court order” enjoying expedited temporary housing relief from the (Defendants) City of Galveston Texas and or (Defendants) St. Vincent’s in the amount $3800.00 paid to the (Plaintiffs) Law office of Ron D. Harris to obtain all Temporary Housing Relief due to no (ID) within the (Defendants) City of Galveston Texas, while (Defendants) City of Galveston et al, has Civil Action pending surround Housing… among other issues 10. Wherefore (Plaintiffs) Louis Charles Hamilton II enjoying an Expedited Hearing on this “emergency temporary housing relief applications” and all other “Just temporary housing relief the Judge Jack Ewing Deems Fit on Behalf of Pro Se Plaintiff Louis Charles Hamilton II 11. “I Louis Charles Hamilton II declare under penalty of perjury under the laws of the United States of America that the foregoing Motion “emergency applications for temporary housing relief” is True and Correct”.

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