Professional Documents
Culture Documents
)
MOHAN A. HARIHAR, )
)
Appellant )
) Case No. 17-1381
v. )
)
US BANK NA, et al )
)
Defendants/Appellees )
)
Disclosure Statement of the Appellant - The Appellant, Mohan A. Harihar who has been
The gravity of serious legal issues addressed within in this Appeal, its lower Court Docket, and
in the RELATED litigation against THE UNITED STATES,1 include (but are not limited to)
Economic Espionage pursuant to 18 U.S.C. 1832 and are believed to impact matters of
National Security. Therefore, copies of this filed MOTION are sent via email, social media
1
The related Appeal references HARIHAR v. THE UNITED STATES, Appeal No. 17-2074,
(Also, lower court Docket No. 17-cv-11109).
Case: 17-1381 Document: 00117221187 Page: 2 Date Filed: 11/14/2017 Entry ID: 6131625
and/or certified mail to: The Executive Office of the President (EOP), the US Inspector
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
evidenced acts of misconduct (alleged). Parties are additionally informed for documentation
purposes, and out of the Appellants continued concerns for personal safety/security.
COMES NOW the Appellant, who necessarily files this Motion to find unnecessary judicial
delay after his EMERGENCY MOTION filed on October 1, 2017 has yet to even be
addressed SIX WEEKS LATER. The emergency motion called for an injunction to address the
2.) Transportation, 3.) Properly exercising judicial discretion by finally assisting with the
appointment of counsel and 4.) The reimbursement of accruing legal fees. No corrective action
has been taken by the Court, and as of November 1, 2017, Mr. Harihar - who this Court has
recognized as indigent, was unnecessarily forced to enter into a third (3rd) 12-month lease on a
UNACCEPTABLE. By continuing to delay corrective action here, the Court has added to the
evidenced arguments supporting continued acts made in BAD FAITH against this Appellant.
The resulting impact of these BAD FAITH acts (at minimum): 1.) Causes increased hardship
2
The Appellant references his ILLEGALLY FORECLOSED residential property, as identified
by the Department of Justice AND Appellees Martha Coakley and Commonwealth of
Massachusetts, located at 168 Parkview Ave, Lowell, MA 01852.
Case: 17-1381 Document: 00117221187 Page: 3 Date Filed: 11/14/2017 Entry ID: 6131625
Intellectual Property/Trade Secret; and 3.) Continues still to damage the intended (and
substantial) economic benefit to the United States.3 The referenced bad faith actions and counts
of judicial misconduct are well documented in this Appeal, in the related lower court Docket No.
15-cv-11880, and in the related litigation HARIHAR v. THE UNITED STATES, Appeal
Per 28 U.S. Code 2412 (c)(2) - Any judgment against the United States or any agency and any
official of the United States acting in his or her official capacity for fees and expenses of
attorneys pursuant to subsection (b) shall be paid as provided in sections 2414 and 2517 of this
title, except that if the basis for the award is a finding that the United States acted in bad faith,
then the award shall be paid by any agency found to have acted in bad faith and shall be in
The Appellant respectfully reminds the Court that JURISDICTION here 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
ARTICLE III. Already, evidenced claims of TREASON (one (1) count each) have been
brought to the attention of the President against Judge Kayatta and Chief Justice Howard.
3
The referenced Economic benefit to the United States is tied to the Appellants Intellectual
Property/Trade Secret protected under the Economic Espionage Act, known as the
HARIHAR FCS Model.
Case: 17-1381 Document: 00117221187 Page: 4 Date Filed: 11/14/2017 Entry ID: 6131625
SHOULD this Court finally initiate corrective action with regard to the requested relief, it will
CONCLUSION
The Appellant respectfully re-states to this Court the following: Before any decision here is
rendered, jurisdiction must first be re-established. Upon doing so, based on the reasons stated
within and consistently throughout the record, the Appellant stands by his DEMAND for this
Court to finally:
1. Correct prior erred judgements by granting the injunctive relief that re-establishes
there will STILL remain a gap as it pertains to housing that will need to be
1915;
3. Grant the Reimbursement of Legal Fees as stated. The updated accrual of Total
4. Assess Treble damages for acts shown to have been made in Bad Faith, bringing
the total due to the Appellant - $16,742,193.80 (If received on or before November
18, 2017).
For documentation purposes, after sending a copy of this document to the President, the email
from The White House confirming receipt is attached (See Attachment A) with the filed Court
copy. If there is a question regarding ANY portion of this Motion, the Appellant is happy to
provide additional supporting information upon request, in a separate hearing and with the
Mohan A. Harihar
Appellant
7124 Avalon Drive
Acton, MA 01720
Mo.harihar@gmail.com
Case: 17-1381 Document: 00117221187 Page: 6 Date Filed: 11/14/2017 Entry ID: 6131625
Attachment A
Case: 17-1381 Document: 00117221187 Page: 7 Date Filed: 11/14/2017 Entry ID: 6131625
Case: 17-1381 Document: 00117221187 Page: 8 Date Filed: 11/14/2017 Entry ID: 6131625
CERTIFICATE OF SERVICE
I hereby certify that on November 14, 2017 I electronically filed the foregoing with the Clerk of
Court using the CM/ECF System, which will send notice of such filing to the following
registered CM/ECF users:
Jeffrey B. Loeb
David Glod
David E. Fialkow
Kevin Patrick Polansky
Matthew T. Murphy
Kurt R. McHugh
Jesse M. Boodoo
Mohan A. Harihar
Appellant
7124 Avalon Drive
Acton, MA 01720
Mo.harihar@gmail.com