Mr. Hwang sent the link of the editorial to nationwide media and a lot of law firms in Memphis, TN through their website platform yesterday on November 26, 20254, Tuesday, (11/26/2024).
Written by Mr. Hwang
Published: November 27, 2024, Wednesday, at 5:34PM(pm), (11/27/2024).
Month: November 2024
Mr. Hwang just visited a law firm today on November 27, 2024
Mr. Hwang just visited a law firm today on November 27, 2024, Wednesday, (11/27/2024).
The name of the law firm was Gatti, Keltner, Bienvenu & Montesi, PLC.
Mr. Hwang visited the firm today because they called him yesterday.
It seemed that they wanted to know what kind of case Mr. Hwang had or has.
They didn’t take Mr. Hwang’s case because it already became too much complicated.
Mr. Hwang thinks that they at this law firm were kind and nice.
They at this firm were much kinder and nicer than those at Morgan & Morgan.
Morgan & Morgan is really a bad law firm.
They at Morgan & Morgan are really bad.
Written by Mr. Hwang
Published: November 27, 2024, at 4:21PM(pm), Wednesday, (11/27/2024).
[Hwang] AFFIDAVIT OF COMPLAINT (CRIMINAL COMPLAINT) (November 22, 2024).
1. Affiant Hwang just sent the AFFIDAVIT OF COMPLAINT (CRIMINAL COMPLAINT) today on November 22, 2024, Friday (11/22/2024), at on or about 1:30AM(am).
2. The file will be attached to this post, too.
Written by Hwang.
Published: November 22, 2024, Friday (11/22/2024), at 1:35AM(am).
[Hwang] PLAINTIFF-APPELLANT‘S MOTION TO CONFESS OR/AND INFORM (November 21, 2024)
Plaintiff-Appellant Hwang just filed the PLAINTIFF-APPELLANT‘S MOTION TO CONFESS OR/AND INFORM today on November 21, 2024, Thursday (11/21/2024).
The file will be attached to this post, too.
Written by Mr. Hwang
Published: November 21, 2024, Thursday (11/21/2024) at 11:21PM(pm).
[Hwang] RESPONSE IN OPPOSITION TO AMENDED MOTION… (November 20, 2024)
[Link] [Hwang] RESPONSE IN OPPOSITION TO AMENDED MOTION… (November 20, 2024).
Plaintiff-Appellant Hwang just filed the RESPONSE IN OPPOSITION TO AMENDED MOTION… today on November 20, 2024, Wednesday (11/20/2024).
The file is attached to this post, too.
Written by Mr. Hwang
Published: November 20, 2024, Wednesday (11/20/2024) at 11:04PM.
[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).
[Hwang] RESPONSE IN OPPOSITION TO MOTION… (November 13, 2024)
[Link] [Hwang] RESPONSE IN OPPOSITION TO MOTION… (November 13, 2024).
Plaintiff-Appellant Hwang just filed the RESPONSE IN OPPOSITION TO MOTION… today on November 13, 2024, Wednesday (11/13/2024).
The file is attached to this post, too.
Written by Mr. Hwang
Published: November 13, 2024, Wednesday (11/13/2024) at 6:40PM.
About the efiling system & the allegation of crime
The is the efiling system of Shelby County circuit court.
https://efile.shelbycountytn.gov
Mr. Hwang’s account was blocked intentionally nearly a year since last year.
Mr. Hwang tried to check his account in that system today on November 13, 2024, Wednesday because his case was remanded from the Court of Appeals of Tennessee at Jackson to the Circuit Court for/of Shelby County of Tennessee at Memphis.
Mr. Hwang was surprised right now because his account was active again.
His account became normal.
His account became normal even though Mr. Hwang did NOT do anything for that.
This is a surprising thing if you remember what Mr. Hwang said about his account last year.
That’s why there are criminal allegations about crime in the case.
There are great possibility that there are criminals or suspect from/on/in the court, court clerk office, or judicial system.
Mr. Hwang just made copies of the screen shots of the front and second pages of the website. For collecting evidence.
Written by Mr. Hwang
Published: November 13, 2024, Wednesday, at 4:19PM.
Mr. Hwang found five(5) letters in his P.O.Box on Nov. 13, 2024
Mr. Hwang visited his P.O.Box today on November 13, 2024, Wednesday.
Hwang found five(5) letters in his mail box.
(1) from the Court of Appeals of Tennessee at Jackson.
(2) from the Court of Appeals of Tennessee at Jackson.
(3) from a law firm where attorney Vincent works.
(4) from IRS (signature issues, but Mr. Hwang signed on the document. It was IRS’ misunderstanding.)
(5) a receipt of the certified mail to IRS.
Written by Mr. Hwang
Published: November 13, 2024, Wednesday, at 4:09PM.
[Hwang] Plaintiff-Appellant Hwang is NOT available (November 12, 2024).
To attorney Scott Vincent, and/or the opposing counsels/parties/witnesses,
<Case Information & Numbers>
The Circuit Court for/of Shelby County of Tennessee for the Thirtieth Judicial District at Memphis, Docket Case No: CT-4094-20.
The Court of Appeals of Tennessee at Jackson, Docket Case No. W2023-01703-COA-R3-CV.
1. Plaintiff-Appellant Hwang is NOT available.
2. Plaintiff-Appellant is not available for the hearing.
3. Plaintiff-Appellant is not available for the hearing which (you said) has been set on Friday, November 15, 2024 (11/15/2024) at 9:00 a.m.
4. Please, let him see and check the calendar, his (personal) calendar, and his extraordinary situations and circumstances, which were originated, directly and indirectly, from the extreme level of the consequences of such car accident(s), and their related crime and interferences, including, but not limited to heinous litigation crime, sly(cunning) litigation interferences, indescribable ordeal, and unprecedented saga.
5. You can/may/should strike/recant/retract the hearing, voluntarily, or/and file such motion to strike the hearing, with the agreement of all parties, and/or with the agreement of Plaintiff-Appellant, because you did not comply with the Local Rules, and because Plaintiff-Appellant is not available for the scheduled hearing on that day.
(6. Plaintiff-Appellant Hwang agrees to strike/recant/retract the hearing.)
Hwang
(Sent on November 12, 2024, Tuesday (11/12/2024), on or about at 1:10PM.)