Professional Documents
Culture Documents
IT COURT FOR
GO
R CO
MARYLAND
BRETT KJMBERL
Plaintiff Case o. 3392 -4
Aka
CYBER STALKER,
Defendant.
WALKER
RO 'ORTB
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come Plaintiff Brett Kimberlin and mo es thi Court to unseal the do uments onday. January 9 20 L. In uppon ofthi m tion.. PlaintitT tates the
aron
' ...ho
alk r then
appeared in Court on Jaunary 9 th and made an mergen . oral motion to eal both
his motion and Plaintiffs r sponse \ hich the Court granted. However, Mr. alker has posted his Motion to Quash and all its exhibits on hi peT onal blog call d ~~~~=~~=~==m. Exhibit A. and h them e en after Plaintiff requ ted that he do
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refused to remove
T_
aJker
rt a pri\acy right and then post hundreds of page of the \-ery . Moreo er, it - ping Plaintiff
information he wants ealed on hi blog for all the -oTld to \ 'ould be u.ofaiT for him to post hi pleadin respons sealed. Clearly, Mr. on his blog hil
exhibit constitutes a \Vai er of his motion to seal the do uments. 2. Second Mr. alker's contention that he \! ould be in danger if the documents
ere not sealed i no longer a valid reason for sealing in light of the fact that his identit)
~
as }.po don T\ 'tt r on January 14, _012 as follo\ 's: "ronbryn Ron
Brynaert @ @AaronWorthing AKA Aaron Justin Walker exploits real names of 9/11 victims in his offensive novel pushed by RW blogs bit.ly/zPgBKr" This identification
of Mr. Walker, caused Mr. Walker on January 14 2012 to remo e hi other blog called m from public vi wing on the
Intern t Exhibit C. That anti- uslim blog ridicule and bJasph me th Prophet ohammed b urglng people to draw derogatory pictures of the Prophet. 3. Third, as Plaintiff and Mr. Walker \ ere exiting the courtroom on January 9 th Mr. alker began berating Plaintiff and then assaulted him in the " -aiting area outside the courtroom resulting in Plaintiff spending fi 'e hours in the Emerg n y Room at uburban Hospital. Plaintiff filed econd-degree assault barge against Mr. Walker and received a Peace Order prohibiting Mr. Walker from harming or haras ing Plaintiff Both of tho e matters are in the public court record in Mr. Walker- real name.
4. Fourth, report r asking about the January 9th actions ofMI-. contacted Plaintiff. Plaintiff has not yet talked \ ith th
al er ha"e
to be able to provide them with the ba k story on , hat led up to Mr. \ alker assaulting Plaintiff. To do that h 'ould have to provid tb m \ 'th copi of the
documents tbi Court ordered ealeci Clearly, \ ben an attorney as ault a party in the courthouse and publishe a blog attacking usJim and endangering
soldiers on the battlefield, the public has a right to kno\J' who that la, er is and to scrutinize his acti ities. 5. Fifth. Plaintiff has talked with the District of Columbia BarCounsers office about Mr. aJker" a awl, and '\-ould like to provide th taffthere with copies
of the eaJed do urnents as part of a bar complaint. Wherefore. for all the foregoing rea on this Court hould un eal the documents ordered ealed on January 9, 20L. An ORDER is atta hed. Respectfull submitt d.
Brett Kimberlin
Certificate Of Se ice I certify that I mailed a cop of this motion to Defendant eth Beth Kingsle thi 17mda of Janua _012. lien and nomey