Case 2-16-cr-00046-GMN-PAL Document 2350 Filed 09/11/17 Page 1 – 20

2:16-CR-00046-GMN-PAL GOVERNMENT’S NOTICE AND DISCLOSURES UNDER FEDERAL RULE OF CRIMINAL PROCEDURE 16(a)(1)(G) Special Agent Chad Simkins, Federal Bureau of Investigation Special Agent Michael Abercrombie Special Agent Joel P. Willis, Federal Bureau of Investigation Special Agent Mark Seyler, Federal Bureau of Investigation Mary Jo Rugwell or other Designated Witness Erich Smith Charles J. Key

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Case 3:16-cr-00051-BR Document 2257 Filed 09/07/17 Page 1 – 23

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Case: 16-30178, 07/21/2017, ID: 10516975, DktEntry: 64-2, Page 1 – 35

On Appeal from the United States District Court for the District of Montana, Helena Division _______________________________ BRIEF AMICUS CURIAE OF CHANTELL AND MICHAEL SACKETT, JOHN DUARTE, AND DUARTE NURSERY, INC. IN SUPPORT OF DEFENDANT-APPELLANT “The federal government does not have the power to regulate the use of every drop of water in the nation, but at times the federal government acts like it has that authority. That is what happened in Mr. Robertson’s case, as well as the Sackett and Duarte cases. Since the Sackett and Duarte cases are pending in district courts within the Ninth Circuit’s jurisdiction, the Ninth Circuit’s decision in Robertson may control the outcome in their […]

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Idaho Legislatures Pen Letter to President to Release the the Political Prisoners from Bundy Ranch

  Attorney General Jeff Sessions Department of Justice 950 Pennsylvania Avenue NW Washington, DC 20530 -0001 Dear Attorney General Jeff Sessions,   The undersigned members of the Idaho Legislature have a high respect for the rule of law. We are tasked with the responsibility to protect our citizens’ constitutional rights. We believe that the right to a speedy trial and the presumption of innocence are essential pillars to law, order, and a Republican form of government. We also believe that a trial by jury of one’s peers is the highest form of justice as set forth by our founders . […]

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RANCIS SCHAEFFER COX, Defendant-Appellant. No. 13-30000 D.C. No. 3:11-cr-00022-RJB-1

UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT FILED AUG 29 2017 MOLLY C. DWYER, CLERK U.S. COURT OF APPEALS UNITED STATES OF AMERICA, Plaintiff-Appellee, v. FRANCIS SCHAEFFER COX, Defendant-Appellant. No. 13-30000 D.C. No. 3:11-cr-00022-RJB-1 MEMORANDUM* Appeal from the United States District Court for the District of Alaska Robert J. Bryan, District Judge, Presiding Argued and Submitted August 16, 2017 Anchorage, Alaska Before: GRABER, CLIFTON, and M. SMITH, Circuit Judges.

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Case No. 2-16-cr-00046-GMN-PAL Transcript Las Vegas, Nevada August 22, 2017 2:20 p.m. Day 24

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Case No. 2-16-cr-00046-GMN-PAL Transcript Las Vegas, Nevada August 21, 2017 1:50 p.m. Day 23

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Complaint Against Attorney General Jeff Sessions And Staff And Acting U.S. Attorney For The District Of Nevada Steven Myhre And Staff And Request For Expedited Investigation Into Gross Prosecutorial Misconduct Of Prosecuting Attorneys Furthered By The Honorable Gloria Navarro In The Criminal Trial Of Cliven Bundy And His Co-Defendants

From: Larry Klayman, Esq, Counsel for Cliven Bundy To: Honorable Jeff B. Sessions Re: Request to Review Prosecution of Cliven Bundy in United States of America v. Bundy, 2:16-cr-000046 (D. Nev.) Defendant Cliven Bundy (“Bundy”) respectfully requests that the U.S. Department of Justice, under the auspices of the Honorable Jeff B. Sessions, review the prosecution of Bundy, whose trial is set for commence in approximately a month and a half. As Bundy was indicted by the former Obama administration, through its Justice Department, it is requested that the Attorney General’s staff conduct a de novo review to avoid manifest injustice […]

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