www.unitedstatesproselaw.com
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Department of Justice/Judicial Branch Press Shield
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INTRODUCTION: The main purpose of this web site is to expose the damage done to the Judicial System of the United States by a multi million dollar buy out of a 212-page OCCA/RICO indictment of Arthur Coia and his 18 U.S.C. 1961(4) Enterprise operating within Laborers International Union of North America; engineered by the former General Counsel for the Department of Justice, Robert D. Luskin, causing contamination of all branches of government. See the 28 U.S.C. 351 Complaints on this web site exposing some of the judges involved. Judge Alan Nevas 05-8539, Judge John M. Walker 05-8537, Judge Janet C. Hall 05-8540 plus 03-8535 two additional complaints for Judge Hall under 28 U.S.C. 455(a) Application for Disqualification, and Judge Eginton 05-8541. After reading the complaints and pleadings on the web site, the reader will see clearly that the “Operating Agreement” between the D.O.J. and LIUNA was from its conception a conspiracy against the Lawful Functions of the United States. The reader will also see that an OCCA/RICO Enterprise criminally influenced Federal Judges and in so doing, corrupted the entire Judicial System, all of these serious Judicial criminal acts hidden by a D.O.J. Press Shield after being facilitated by Chief Judge Robert Chatigny and Congressman Larson of Connecticut. Please read the Injunction first then the RICO Standing Order and then the complaints.
JANUARY 26, 2010 - PLAINTIFF'S RED FLAG F.R.C.P. 65(a)(2) BIVENS INJUNCTION
NOVEMBER 23, 2009 - PLAINTIFFS RESPONSE TO DEFENDANTS “OPPOSITION TO MOTION FOR DEFAULT JUDGEMENT AND REQUEST FOR EXTENSION OF TIME
NOVEMBER 11, 2009 PLAINTIFFS REQUEST FOR A JUDGMENT BY DEFAULT AGAINST DEFENDANT SOTOMAYOR AND DEFENDANT HALL
SEPTEMBER 28, 2009 PLAINTIFF’S RESPONSE TO GENERAL COUNSEL HOUSE OF REP. MOTION TO DISMISS RE: DEFENDANT LARSON PLUS SERVICE UPDATE DEFENDANT SOTOMAYOR AND DEFENDANT HALL
SEPTEMBER 8, 2009 CASE NO. 03:09cv1066(DJS)
AUGUST 14, 2009 PLAINTIFF'S OPPOSITION TO DEFENDANTS' 12(b)(1) 12(b)(6) MOTION CLAIMING "SOVEREIGN IMMUNITY"
JULY
22, 2009 RESPONSE TO ANOTHER JUDICIAL SCHEME MEANT TO OBSTRUCT & USURP
DUE PROCESS RIGHTS TRANSFER ORDER
JULY
14, 2009 MOTION TO STOP THE TRANSFER OF CIVIL RIGHTS ACT COMPLAINT TO
DOJ CORRUPTION CONTROLLED BRIDGEPORT DIVISION WITH ATTACHED LETTER TO
CHIEF ROBERTS REGARDING USURPATION AND OBSTRUCTION OF RIGHTS COMMITTED
BY JUDGE SONIA SOTOMAYOR
July
6, 2009 CIVIL RIGHTS ACT COMPLAINT
June 4,
2009 11(b)(3) Notice/Inquiry
- 1/20/04 OCCA/RICO Complaint (6
pages) and Standing Order (104 pages) - January
20, 2004 Dist. Case No. 3:04-CV91(WWE) - 2nd Circuit Case Number 06-2810CV
RICO Defendant Robert Luskin pages 3-17 Standing Order, Wrongdoer No.
One Arthur Coia pages 62 to 70 Standing Order, Wrongdoer No. 7 &
8 Department of Justice, U. S. Attorneys Office Northern District of
Illinois pages 75-78 Standing Order.
APPEAL PLEADINGS 06-2810 CV
UPDATE 10/1/07
LMRDA
COMPLAINT IMPORTANT PLEADINGS 06-1264 CV
- JUDICIAL SUBMISSION DOCUMENTS ATTACHED TO EMERGENCY MOTION
- 7/24/07
- DEPARTMENT OF JUSTICE - 7/24/07
- CONGRESSIONAL SUBMISSION DOCUMENTS - 7/24/07
The next two motions were filed with the emergency motion - 7/24/07
CHIEF JUDGE JACOBS OBSTRUCTION OF 28 USC 455 DISQUALIFICATION
APPLICATIONS FOR RELATED JUDICIAL FRAUDS AND OBSTRUCTIONS OF 28 USC 351
COMPLAINTS FIRST 28 USC 455 DISQUALIFICATION APPLICATION AGAINST JUDGE
JACOBS - 1/23/07
FIRST 28 USC 455 APPLICATION
FILED AGAINST JUDGE JACOBS
2nd CIRCUIT ATTEMPTED FRAUDULENT CONCEALMENT
2nd
28 USC 455 DISQUALIFICATION APPLICATION AGAINST JUDGE JACOBS - 9/24/2007
END
OF 9/24/2007 FILING UPDATE
28 USC 351 COMPLAINTS
- FILING DOCUMENTS and CONDUCT COMPLAINTS FRAUDULENTLY CONCEALED
FROM “PUBLIC VISIBILITY” by Judicial Fraud in the 2nd Circuit.
- Second Circuit Judicial Council Petition for Review dated
10/10/05
- Letter to Circuit Executive Second Circuit Karen Grove Milton
RE 8(a) Ballot Fraud Request dated 11/30/05
- Submission Request to Chambers Chairperson Honorable Justice
Breyer Judicial Council Rule 8(a) Disclosure Investigation Request,
requesting investigation of (5) 351 Complaints 05-8537 Walker, 05-8538
Mukasey, 05-8539 Nevas, 05-8540 Hall, 05-8541 Eginton dated 2/3/06
with two attachments
- 2005 28 U.S.C. 351 Complaint 05-8537 Chief Judge Second
Circuit John M. Walker, N.Y.
- 2005 28 U.S.C. 351 COMPLAINT 05-8538 CHIEF JUDGE MICHAEL
MUKASEY, S.D.N.Y.
- 2005 28 U.S.C. 351 Complaint 05-8539 Senior District Judge Alan
Nevas, Bridgeport, CT.
- 2005 28 U.S.C. 351 Complaint 05-8540 District Judge Janet C.
Hall, Bridgeport, CT.
- 2005 28 U.S.C. 351 Complaint 05-8541 Senior Judge Warren
Eginton, Bridgeport, CT.
- 2003 28 U.S.C. 351/372 Complaint 03-8534, Circuit Judge
Chester Straub
- 2003 28 U.S.C. 351/372 Complaint 03-8535 District Judge
Janet C. Hall
- 28 U.S.C. 455(a) Application for Disqualification of Judge
Janet C. Hall plus 455 Affidavit of Gary R. Wall dated April 30,
2003
- PETITIONER’S F.R.A.P. 21(a)(1) WRIT OF MANDAMUS FOR JUDICIAL
VIOLATION OF 28 U.S.C. 455(a)/JURISDICTION 28 U.S.C. 1651
- Extra Ordinary Writ of Mandamus Supreme Court 04-1079 Appeal
of 28 U.S.C. 455(a) Application Dist. obstructed Walker, Mukasey
2d Cir. 03-3117
ALL DOCUMENTS IN THIS WEBSITE HAVE BEEN FILED IN THE
U. S. COURTS, DISTRICT, SECOND CIRCUIT OR SUPREME COURT. (Relevant background
filings will also be posted shortly)
If you would
like to contact Gary Wall then you may email him at: garyrwall@aol.com
Note: This web site will be updated periodically. Please
check back often to see the latest documents.
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