Sunday, September 6, 2026

Wherefore (Plaintiffs) require (Defendants) Amber Evans et al file an answer to the “Amend Complaint” and further file an answer to the “Original Complaint CV-0095978. 8. Wherefore (Plaintiffs) Hamilton is Granted Notice and Motion for (ASAP) Emergency Hearing for Temporary housing as previously requested in Motion to Freeze Assets of Defendants DND Texas Investments. 9. *Notice (Defendants) Amber Evans et al,. Attorneys Robert I. Siegel and Natalie R. Galerne at “Laborde Siegl LLC, “The RICO Involvement of Defendant DND Texas Investments (Defendants) Mr. and Mrs. Horn engaging in (a) Perjury, (b) False Statements, (c) witness tampering, (d) Destroying Evidence and related RICO actions of precise role in concert as described in CV-95978, CV-00956, (Plaintiff) Hamilton Notice to Strike 26-EV02-0693, and (all) other evidence filed into 26-EV03-0227 (Thump Drive) I support of all claims with direct involvement of (Defendant) Donald John Trump Sr. since 2020 – 2026 September herein (Defendants) Galveston County, (Defendants) City of Galveston Texas which will not be disclosed at this time-frame has subject 10. (Defendant) Amber Evans and (Defendants) St. Vincent’s *take notice further legal actions pending (ASAP) time frame (VIP) within the District Court County of Texas, and very very time frame (ASAP) soon (2026) in Many Countries outside of the (Defendants) United States of America et al Jurisdictions you where giving legal Notice.

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