KMHQ 3-9-2021
"Petitioners/Plaintiff’s are confident that the record at bar here and with their encompassing cases, some at and some forthcoming to bar in this court will affirm beyond reasonable doubt tthat the Defendants to silence Petitioners/Plaintiff’s based on their own proessed omissions of willfully violating.18 U.S.C. § 1117 by conspiring to murder. Petitioners/Plaintiff’s are confident such acts are being committed by Defendants in part as personal individuals and also under color of law collectively in effort to prevent Petitioners/Plaintiff’s from shielding and protectively preserving “God’s flock” and the citizens and residents of STATES from coercion and into felonious criminal acts while committing and or aiding and abetting in acts 18 U.S.C. §1341 Frauds and Swindles; 21 U.S. Code § 848 so to Continue STATES criminal enterprise in turn leading to 18 U.S.C. §1956 – Laundering of monetary instruments in Defendants Racketeer Influenced and Corrupt Organizations as set forth in the act defined under 18 U.S. Code CHAPTER 96 a kingpin levels, and have excelled to the degree of threat level to Petitioners/Plaintiff’s et al of Defendants. including but not limited to RICO Prosecutions—18 U.S.C. §§ 1961-68 which puts this and encompassing cases subject jurisdiction to this bar.
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