This is a reproduction of a motion filed by John Gregory Lambros requeting an order compeling the federal authorities to transport his legal documents with him to the re-sentencing hearing.



 

UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF MINNESOTA
FOURTH DIVISION


UNITED STATES OF AMERICA,



			Plaintiff,
vs . CASE/FILE NO. CR-4-89-82(05) JOHN GREGORY LAMBROS, Defendant.


MOTION FOR PRELIMINARY INJUNCTION

Comes now the Defendant, John Gregory Lambros, pursuant to Rule 65, F.R.C.P., and any other rules that would apply, and requests this Court to grant him a temporary restraining order and/or preliminary injunction directing the Plaintiff United States of America and its AGENTS to transport twelve (12) boxes in approximate size, 24" x 18" x 18" and weighing approximately 40 to 50 pounds each, which contain the defendant's legal papers and legal papers as to the current U.S. Senate Inquiry in the above-entitled case, during the Plaintiff's transportation of the Defendant Lambros to and from any and all court proceedings in the above captioned action, and directing the plaintiff to transport said boxes containing legal papers and exhibits WITH THE DEFENDANT DURING ANY TRANSPORTATION OF THE DEFENDANT to and from any court proceedings in the above-entitled case. In support of this motion the defendant states:

1. That the defendant would be severely prejudiced if he is denied access to legal material during any court proceedings or any possible evaluation or inquiry that may stem from the above captioned action.

2. That prisoner's property, including legal materials, is not normally transported with a prisoner during transfers, and often does not arrive at the prisoner's destination until weeks or even months after the prisoners arrival.

3. That the plaintiff will not be harmed or prejudiced in any manner if ordered to comply with this request; and that the plaintiff will not incur any undue burden if ordered to comply with this request.

4. Defendant Lambros has medical restrictions that have been placed on Defendant in the type of lifting and work that he may do, thus Plaintiff may have to assist Defendant Lambros in the lifting of boxes containing legal material.

5. Defendant Lambros has brain control implants that control his body functions and torture him daily.

6. U.S. Senator Jesse Helms has notified the U.S. Bureau of Prisons as to my torture and forced implantation. It is my understanding that a U.S. Senate inquiry/investigation is in progress regarding Defendant Lambros in this above-entitled legal case.

WHEREFORE, Defendant Lambros prays that this court grant Defendant's request to compel the Plaintiff to ensure that Defendant's legal papers and exhibits contained in twelve (12) boxes 18" x 24" x 18" and weighing approximately 40 to 50 pounds each, are transported WITH the Defendant to and from any and all court proceedings, evaluations, inquiries or any other matter that is related to the proceedings and investigation in this captioned action.

PURSUANT TO TITLE 28 U.S.C. §1746, I JOHN GREGORY LAMBROS SWEARS THAT THE ABOVE IS TRUE AND CORRECT.

DATED: JUNE 26, 1996

Respectfully submitted,

[signed]


John Gregory Lambros
Reg. No. 00436-124
USP Leavenworth
P.O. Box 1000
Leavenworth, Kansas 66048-1000
E-Mail:
BrazilByct@aol.com
Web site: http://members.aol/BrazilByct

 


CERTIFICATE OF SERVICE
CASE/FILE NO. CR-4-89-82(05)

I hereby certify that I caused a copy of the foregoing MOTION FOR PRELIMINARY INJUNCTION, dated June 26, 1996, to be served by first-class mail, postage prepaid, this 2nd day of July, 1996, on:

1. Clerk of the Court
District of Minnesota
U.S. Federal Courthouse
110 South Fourth Street
Minneapolis, Minnesota 55401-2295

One (1) original & One (1) copy

2. Douglas Ray Petersont Assistant U.S. Attorney
234 U.S. Courthouse
110 South Fourth Street
Minneapolis, Minnesota 55401

One (1) copy

3. Attorney Colia F. Ceisel
Suite 500, Minnesota Building
46 East 4th Street
St. Paul, Minnesota 55101

4. U.S. Senator Jesse Helms &
THE FOREIGN RELATIONS COMMITTEE
United States Senate
Dirksen Building, Room 403
Washington, D.C. 20510

5. Lambros family

6. Attorneys

7. Greek Church

[signed]


John Gregory Lambros
Reg. No. 00436-124
USP Leavenworth
P.O. Box 1000
Leavenworth, Kansas 66048-1000


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For more information write (snail mail) JOHN GREGORY LAMBROS directly at:

JOHN GREGORY LAMBROS
Prisoner No. 00436-124
U. S. Penitentiary Leavenworth
PO Box 1000
Leavenworth, KS 66048-1000
USA

THANK YOU FOR YOUR SUPPORT AND ASSISTANCE IN MY BOYCOTT OF BRAZILIAN PRODUCTS.