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Mohan A.

Harihar
7124 Avalon Drive
Acton, MA 01720
617.921.2526 (Mobile)

January 17, 2018

United States District Court


Attn: Clerk’s Office
Suite 2300
1 Courthouse Way
Boston, MA 02210

RE: DEMAND FOR THE COURT TO RULE ON 10/1/17 EMERGENCY MOTION


FOR INJUNCTION, Appeal No. 17-1381

Dear Clerk of the Court:

The Appellant, Mohan A. Harihar respectfully prefaces this letter with the following
Disclosure:

The gravity of serious legal issues addressed in the Civil Complaint – HARIHAR v. US
BANK et al (Docket No. 15-cv-11880), the associated Appeal No. 17-1381, and in the
RELATED Appeal,1 include (but are not limited to) evidenced allegations of
TREASON under ARTICLE III, Section 3 of the Constitution, Economic Espionage
pursuant to 18 U.S.C. § 1832 and are believed to impact matters of National Security.
Therefore, copies of this filed letter are sent via email, social media and/or certified mail
to: The Executive Office of the President (EOP), the US Inspector General - Michael
Horowitz, US Attorney General - Jeff Sessions, members of the US Senate and
House of Representatives, the House Judiciary Committee, House Oversight
Committee and to the Federal Bureau of Investigation (FBI). A copy will also be
made available to the Public. THEREFORE, ALL AMERICANS serve here as
WITNESS. Parties are additionally informed for documentation purposes, and out of the
Appellant’s continued concerns for personal safety/security.

1
The related Appeal references HARIHAR v. THE UNITED STATES, Appeal No.
17-cv-2074 (Also, lower court Docket No. 17-cv-11109).
 Page 2 January 17, 2018

On October 1, 2017, the Appellant necessarily filed an EMERGENCY MOTION with


the Court requesting an injunction to ADDRESS AND CORRECT the CLEAR,
IMBALANCE of HARDSHIPS weighing heavily in his favor. Consistent with prior
requests for injunctive relief, the Appellant (recognized as indigent by the Court)
merely sought to re-establish a balance of hardships as it pertains to: 1.) Housing, 2.)
Transportation, and additionally 3.) the Re-imbursement of Legal Fees which
continue to accrue daily.

Since filing the EMERGENCY MOTION, opposition was filed by the Appellees on
10/11/17, and a REPLY to the opposition was filed by the Appellant on 10/17/17. On
NOVEMBER 14, 2017, the Clerk’s Office AMENDED the motion, classifying it
AGAIN with EMERGENCY STATUS. As of today, January 17, 2018, nearly FOUR
(4) MONTHS later, NO RULING has been issued by this court. The cause for this
UNNECESSARY JUDICIAL DELAY is unclear, and has brought increased hardship
to Mr. Harihar.

On January 16, 2018, The Appellant placed a call to the clerk’s office to express his
concerns. Later that afternoon, Mr. Harihar received a call back from the Case Manager
Supervisor – Dennis O’Leary, who suggested writing this letter to the Clerk’s attention.
Therefore, the Appellant directs this letter to the Clerk of the Appeals Court, respectfully
DEMANDING that the Court rule on the referenced motion.

The Clerk’s office is respectfully reminded that JURISDICTION still remains an


issue. Circuit Judges - Torruella, Kayatta, Barron, Thompson, and Chief Justice
Howard are considered to have lost jurisdiction and are no longer allowed to rule in
this litigation. Any attempt to do so will be interpreted by the Appellant as an
incremental act(s) of Treason under ARTICLE III. Furthermore, parties believed to
have witnessed acts of treason will be identified, including (but not limited to) the Clerk
of the Court.

For documentation purposes, after sending a copy of this letter to the President,

confirmation of its receipt is attached (See Attachment A) with the filed Court copy. If
 Page 3 January 17, 2018

there is a question regarding ANY portion of this letter, the Appellant is happy to provide

additional supporting information upon request, in a separate hearing and with the

presence of an independent court reporter.

Thank you for your attention to this very serious matter.

Sincerely,

Mohan A. Harihar
 Page 4 January 17, 2018

Attachment A