P. 1
TRO Steele #5 Obstruction of a rule 60(b) motion by federal judge

TRO Steele #5 Obstruction of a rule 60(b) motion by federal judge

|Views: 36|Likes:
Published by Sheriff_Joe_Arpaio
more corruption in the federal courts
more corruption in the federal courts

More info:

Published by: Sheriff_Joe_Arpaio on Apr 21, 2014
Copyright:Traditional Copyright: All rights reserved

Availability:

Read on Scribd mobile: iPhone, iPad and Android.
download as PDF, TXT or read online from Scribd
See more
See less

05/04/2014

pdf

text

original

In The

United States District Court (Fort Myers)
SCOTT HUMINSKI, for himself and Those similarly situated, PLAINTIFF v. HON. JOHN E. STEELE, ET AL., DEFENDANTS. ) ) ) ) ) ) DOCKET NO. 2:13-CV-692-FTM-29DNF CIVIL ACTION

MOTION FOR TEMPORARY RESTRAINING ORDER AGAINST NAMED DEFENDANTS RE:OBSTRUCTION OF RULE 60(b)
NOW COMES, Scott Huminski (“Huminski”), and moves for himself and others similarly situated for an order to restrain the judicial and clerk defendants from conduct and conspiracies concocted to prevent a filing by Huminski (or other litigants in federal court) of a Rule 60(b) motion in collateral case Huminski v. Vermont, 2:13-CV-685-FTM-29DNF and other district court cases. The 11th Circuit has found that Huminski v. Vermont is not ripe for appeal, thus, a Rule 60(b) motion is similarly not proper and premature, nor is any other filing in the dismissed and closed case. The named defendants have succeeded in completely obstructing the appeal and further litigation of the claims in Huminsk v. Vermont. A judicially created DEAD END to civil rights claims. The defendants scheme to obstruct the lawful filing of a Rule 60 (b) motion is criminal obstruction of justice and Title 18 federal civil rights crimes violative of due process. Redress of grievances under the First Amendment has been flushed down the judicial toilet with this act of judicial tyranny. This plot by defendants included; (1) obstruction of lawful entry of judgment in Huminski v. Vermont in violation of Rule 53, (2) fraud by claiming collateral pleadings to be duplicates, and (3) the notorious sua sponte summary dismissal 4 business days after the filing of the 500 page pleading. Although the Court can and will get away with the crimes related to the aforementioned conduct, Huminski and others need to be protected from these judicial crimes and obstruction of justice immediately, which, will continue to occur in the Middle District of Florida without this intervention. When federal judges choose to violate the highest laws in this country, the U.S. Constitution, results such as this are the product – a federal civil rights lawsuit affecting 10 million residents of Arizona and Connecticut that was dismissed, closed and yet somehow is not

appealable as a result of a judicial scheme to obstruct justice. Yes, this Court obstructed the 11 th Circuit appeal in Huminski v. Vermont , entry of judgment and Huminski’s proposed, but prohibited, Rule 60(b) motion (under authority set forth in the 11 th circuit appeal, a Rule 60(b) motion is premature concerning 2:13-CV-685-FTM-29DNF). Dated at Bonita Springs, Florida this 21 st day of April, 2014.

__________________________________
Scott Huminski, pro se 24544 Kingfish St. Bonita Springs, FL 34134 (239) 300-6656 s_huminski@live.com

In The

United States District Court (Fort Myers)
SCOTT HUMINSKI, for himself and Those similarly situated, PLAINTIFF v. HON. JOHN E. STEELE, ET AL., DEFENDANTS. ) ) ) ) ) ) DOCKET NO. 2:13-CV-692-FTM-29DNF CIVIL ACTION

MOTION TO ISSUE SUMMONS
NOW COMES, Scott Huminski (“Huminski”), and moves that the Court send Huminski summons in the above-captioned matter for service. Notwithstanding, the filings of the

defendant Judges after they were listed as defendants constituting an appearance and waiver of formal service. As Huminski is pro se, summons must originate from the Court. Time is of the essence. Dated at Bonita Springs, Florida this 21st day of April, 2014.

__________________________________
Scott Huminski, pro se 24544 Kingfish St. Bonita Springs, FL 34134 (239) 300-6656 s_huminski@live.com

You're Reading a Free Preview

Download
scribd
/*********** DO NOT ALTER ANYTHING BELOW THIS LINE ! ************/ var s_code=s.t();if(s_code)document.write(s_code)//-->