Case 2:16-cr-00046-GMN-PAL Document 3042 Filed 12/20/17 Page 1 – 18

DEFENDANT CLIVEN D. BUNDY’S EMERGENCY MOTION REGARDING CLIVEN D. BUNDY’S DETENTION AND FOR RELEASE ON HIS OWN RECOGNIZANCE EXPEDIATED HEARING REQUESTED

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Disclosure and Complaint Narrative in Regard to BLM Law Enforcement Supervisory Misconduct and Associated Cover-ups as well as Potential Unethical Actions, Malfeasance and Misfeasance by United States Attorney’s

Disclosure and Complaint Narrative in Regard to Bureau of Land Management Law Enforcement Supervisory Misconduct and Associated Cover-ups as well as Potential Unethical Actions, Malfeasance and Misfeasance by United States Attorney’s Office Prosecutors from the District of Nevada, (Las Vegas) in Reference to the Cliven Bundy Investigation Reference: DI-17-2830, MA-17-2863, LM14015035, District of Nevada Case 2: 16-cr- 00046-GMN-PAL (United States of America v. Cliven Bundy, et al)

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Case 2:16-cr-00046-GMN-PAL Document 2999-2 Filed 12/13/17 Page 1 – 14

UNITED STATES DISTRICT COURT  DISTRICT OF NEVADA UNITED STATES OF AMERICA, Plaintiff, vs. CLIVEN D. BUNDY, et al., Defendants. Case No. : 2:16-cr-00046-GMN-PAL INTERVENOR’S MOTION TO UNSEAL COURT DOCUMENTS 

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Case 2:16-cr-00046-GMN-PAL Document 2994 Filed 12/12/17 Page 1 – 4

IT IS HEREBY ORDERED that the below named Defendant’s are free to assemble and to speak with one another without restraint, enjoying the rights and freedoms protected to them by the Constitution for the united States of America and the Amendments to it. Ammon Bundy, Joseph O’Shaughnessy, Ryan Payne, Ryan Bundy, Peter Santili, Dave Bundy, Mel Bundy, Eric Parker, Micah McGuire, Jason Woods, Todd Engle, 0. Scott Drexler, Gerald Delemus, Brian Cavalier, Cliven Bundy, Gregory Burleson.

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Gov. Response : Case 1:17-cv-02429-RC Document 13 Filed 12/07/17 Page 1 of 2

DEFENDANTS’ MOTION TO DISMISS COMPLAINT FOR EMERGENCY WRIT OF MANDAMUS AND OPPOSITION TO PLAINTIFF’S MOTION FOR TEMPORARY RESTRAINING ORDER AND PRELIMINARY INJUNCTION Defendants Jeff B. Sessions, in his official capacity as Attorney General of the United States; Robin C. Ashton, in her official capacity as Counsel, Office of Professional Responsibility, U.S. Department of Justice (“DOJ”); Michael E. Horowitz, in his official capacity as DOJ Inspector General; and Christopher A. Wray, in his official capacity as Director of the Federal Bureau of Investigation (“FBI”), hereby move to dismiss this action pursuant to Federal Rules of Civil Procedure 12(b)(1) and 12(b)(6) and […]

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Revised – Final Report Summary of Findings of the Review of Designations Under the Antiquities Act

  Gold Butte • The Gold Butte National Monument (GBNM) was established by Presidential Proclamation No. 9559 on December 28, 2016, and consists of 296,937 acres managed by BLM and the Bureau of Reclamation in Clark County, Nevada. • The resources identified in the Proclamation include the biologic, archaeologic, and areas of spiritual significance to American Indian tribes. • There have been multiple legislative attempts to designate this area under protective land designations, beginning in 2008 and concluding in 2015, which were unsuccessful. • Lands within GBNM are managed with some level of a protective designation, either under the existing […]

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Case 2:16-cr-00046-GMN-PAL Document 2880 Filed 11/19/17 Page 1 – 5

2:16-CR-0046-GMN-PAL Renewed Motion to Exclude Irrelevant Evidence If Bundy is permitted to introduce evidence of water rights, the government would need to introduce case law regarding res judicata and water rights. This will slow down the trial even further. To this end, Cliven Bundy has submitted a notice of expert on water rights. Dkt. 2826. His testimony should not be permitted, nor should the Court allow any other evidence of water rights, fencing laws, open range laws, and so on. Steven W. Myhre Acting United States Attorney

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