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IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF ARIZONA
Plaintiff's respectfully request the Clerk of this Honorable Court for redaction
of docket entry #30 by means of extraction of superfluous duplication of pages
presented therein.
Whereas, Plaintiff filed with the Clerk of this Court, a reply, which is
presented as docket entry #30 in this case file, on July 24, 2009 at, or about
3:45pm, and upon which the Clerk in receipt of that filing applied a Court filing
stamp reflecting the date to be July 23, 2009. Plaintiff, upon discovery of that error,
contacted the Clerk's counter at 2:17pm onJuly 27,2009 by Phone. Plaintiff was
assured that the date was corrected and that action would have no affect on
Plaintiff's filing. Plaintiff requested to speak with a supervisor and was told there
was no need.
Plaintiff reviewed the docket #30 through Pacer on the morning of July 28,
(1)
JUL 2 9 2009
PfLED .. LODGED
_ RECEIVED _. COpy
CLERK U;; DISTRICT COURT
BISTR1eT ...
,J • • . I!: t3
REQUEST OF THE CLERK OF
THIS HONORABLE COURT FOR
REDACTION OF DOCKET #30
Case No. CV 09-00410-PHX-ROS
before the Honorable Roslyn O. Silver
vs.
Barack Obama; John S. McCain,
Defendants.
Clark Hamblin,
Plaintiff,
In Propria Persona
Clark Hamblin
12406 N. 130th Lane
El Mirage, Arizona 85335
Phone: 623-972-5213
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2009 and saw that the date stamp had been altered by pen to reflect the date of July
24 but with no initialing to present who had effected that change. Plaintiff then called
by phone to the Clerk's counter for this Court again on July 28, 2009 and asked to
speak to a supervisor and was transferred to that number, received no answer and left
a voice message as instructed. Plaintiff waited and received no call back, so Plaintiff
went in person to the Clerk's counter within this Courthouse at or about 3:45pm and
proceeded to the Pacer access in that office to review docket # 30, and at that time
discovered superfluous pages presented therein. Plaintiff became extremely
distraught, and expressed same to the Clerk supervisor.
After deep reflection on this matter, to Plaintiff's frustration, he can not offer
to this Honorable Court any explanation, . Plaintiff can however assure this
Honorable Court and the Clerk of same, that there was on the part of Plaintiff, no
willful or malicious intent for the appearance of the said superfluous pages.
Whereby,Plaintiff, now humbly asks for the extraction of said pages,
specifically the four duplicated pages Titled "Attachments to Plaintiff's reply to
Barack Obama's opposition to Plaintiff's second motion for default judgment" (cover),
and the four duplicated pages Titled "List of attachments", (2).
As for docket #30 being Plaintiff's filing, Plaintiff must, and does, accept
liability for the error and is understanding of the financial charges to be assessed for
the requested extraction of the pages at issue, as is required by the FRCiv.P. Plaintiff
humbly asks that this issue be handled with voidness of intent of malicious conduct on
plaintiff's behalf.
Respectfully submitted to this
onorable Court
Date: of July, 2009
Clark Hamblin, Plaintiff
12406 N. 130th Lane
EI Mirage, Arizona 85335
(2) Phone: 623-972-5213

CERTIFICATE OF SERVICE
In Propria Persona
Andrew D. Silverman, Trial Att., Torts
Branch, Civ.Div.
United States Department of Justice
P.O. Box 7146
Ben Franklin Station
Washington, D.C. 20044
for, Defendant Barack Obama
EI Mirage, Arizona 85335
Phone: 623-972-5213 (3)
Steptoe and Johnson, llc
Notify; David J. Bodney
Arron J. Lockwood
Collier Center
201 East Washington Street
Suit 1600
Phoenix, Arizona85004-2382
Attorneys for Defendant, John S.McMcCain
Date: of July, 2009
I, Clark Hamblin, Plaintiff, in Propria Persona, do certify that I have filed with
the Honorable Court in this matter, the original and one copy of the attached
documents by personally delivering same to the Clerk of said Court on the

of July, 2009. I further certify that I have personally mailed copies of the same afore
mentioned documents, by 1st class mail through the U.S.P.S. on of July,
2009, mailed to:
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