[Hwang] About a motion to confess or/and inform (November 15, 2024)

To attorney Scott Vincent/the Appellees/the opposing counsels/the parties/the witnesses/the judges,

1. Plaintiff-Appellant Hwang is considering to file a motion (or motions) to confess or/and inform.

2. Such motion(s) will be about requesting appellees/parties/counsels/judges/witnesses in this matter/action to confess or/and inform any types/kinds of crime/criminal activities/criminally suspected activities, or/and such allegations/issues/possibilities of crime/criminal activities/criminally suspected activities, including, but not limited to litigation crime, litigation interferences, judicial crime, judicial misconducts, white-collar crime, hybrid crime, and so on. 

3. These is/are the list/names for the appellees/parties/counsels/judges/witnesses whom Hwang would like to request to confess or/and inform. 

Attorney KIP ELLIOT WHITTEMORE, 
judge(attorney) Felicia Corbin-Johnson, 
other attorneys/counsels in this matter/action, or/and its/their related cases/matters/actions, 
and/or any known and/or unknown suspects/parties/counsels/witnesses as of November 15, 2024, Friday (11/15/2024), 
and so on. 

4. Pursuant to the Local Rule, the Local Rule Five(5). the Local Rule Five(5)(B), and/or the Local Rule Five(5)(H), Plaintiff-Appellant Hwang attempts to contact Appellees (including the opposing counsels/the judges/the parties/the witnesses) via email today on November 15, 2024, Friday (11/15/2024) as to whether Appellees (including the opposing counsels/the judges/the parties/the witnesses) consent or object to the relief sought. 

5. Appellees (including the opposing counsels/the judges/the parties/the witnesses) can make/give their comments/opinions/responses to Plaintiff-Appellant Hwang in terms of those matters/issues/motions. 

6. Those motion(s) will/can/may be, directly or/and indirectly, based on, or/and originated from more than several factors/elements/reasons including, but not limited to these reasons hereinafter or as below. 

(a) Allegations/possibilities/issues of judicial crime, or/and misconducts, and so on. 
(b) Allegations/possibilities/issues of litigation crime, or/and litigation interferences, and so on. 
(c) Allegations/possibilities/issues of white-collar crime or/and hybrid crime, and so on. 
(d) Other extraordinary circumstances/allegations/possibilities/issues which were, directly or/and indirectly, originated from those factors/elements/reasons above. 

7. Please, let Plaintiff-Appellant Hwang know as soon as possible if you/they can. 

8. Or/and Plaintiff-Appellant Hwang expects Appellees (including the opposing counsels/the judges/the parties/the witnesses) to respond to this email correspondence until 7 PM(pm) on November 19, 2024, Tuesday (11/19/2024) if you/they can. 

9. Plaintiff-Appellant Hwang intends to file such motion(s) to confess or/and inform, sooner or later, or/and on a day in/within/during/after November, 2024. 

10. Plaintiff-Appellant Hwang will/can note Appellees‘ (including the opposing counsels’/the judges’/the parties’/the witnesses’) positions in the motion(s) if/when Plaintiff-Appellant Hwang has heard from Appellees (including the opposing counsels/the judges/the parties/the witnesses) by that time. 

11. Reference: Legal Grounds. 

The Local Rule. 
The Local Rule Five(5). 
The Local Rule Five(5)(B). 
The Local Rule Five(5)(H). 

Local Rules of Practice. 
https://www.shelbycountytn.gov/DocumentCenter/View/413/rules_of_the_court?bidId

Hwang 

(Sent on November 15, 2024, Friday (11/15/2024), on or about at 12:30PM).