U.S. Court in Florida receives Federal Question Notice   

Timothy Charles Holmseth provided sworn statements to federal court regarding evidence of murder, kidnapping, child pornography, blackmail, extortion, and public corruption connected to HaLeigh Cummings and Casey Anthony trial contained on audio mailed to Holmseth

by Timothy Charles Holmseth on September 9, 2017, 1:29 P.M. CST

 

IN THE UNITED STATES DISTIRCT COURT
FOR THE NORTHERN DISTRICT OF FLORIDA

- - - - -  - - - - -  - - - - -           

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Petitioner 

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CASE NO:

 

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NOTICE OF REMOVAL OF ACTION UNDER 28 U.S.C. 1441 b

FEDERAL QUESTION

v.

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Timothy Charles Holmseth

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Defendant

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INTRODUCTION

PETITIONER - - - - -  - - - - -  - - - - -  is conspiring with - - - - -  - - - - -  - - - - -  to obtain an ‘injunction against stalking’ against TIMOTHY CHARLES HOLMSETH. - - - - -  is requesting the Florida state court to force- remove articles from the Web that were legally published two years ago by HOLMSETH. - - - - -  and - - - - -  want the articles removed because they contain evidence - - - - - , - - - - - , and others, including employees of - - - - -  - - - - -  LAW OFFICE P.A., violated multiple federal laws. The federal laws are serious and include kidnapping, child pornography, impersonation of a federal agent, and extortion.

OVERVIEW

  1. On July 24, 2017 DEFENDANT TIMOTHY CHARLES HOLMSETH (hereby HOLMSETH) filed a Motion to Vacate in the Minnesota 9th District Court – Family Division – Case Number 60-FA-13-468. The Minnesota court scheduled a hearing for September 13, 2017 at the Polk County Justice Center in Crookston, Minnesota.
  1. The Minnesota motion was filed based upon ‘new evidence that was not available at the time of trial’ and contains explosive exhibitive evidence showing rampant criminal activity by specific members of an organized group that began conspiring against HOLMSETH in 2009 after HOLMSETH, a former award-winning news reporter, journalist, and author, assisted the FBI with evidence and information during their investigation into the disappearance of HaLeigh Ann-Marie Cummings, 5, Satsuma, Florida. 
  1. The INTRODUCTION of the Minnesota case reads:

PETITIONER brings this MOTION TO VACATE because NEW EVIDENCE that was not available at the time of trial shows adverse parties within Minnesota law enforcement and the larger interstate judicial community, criminally and civilly conspired with agents of a private corporation that received support from the U.S. Military to strategically create life-threatening conflict in the life of Parties’ minor child Hoff U. Holmseth; conflict that would be used to justify court actions against Plaintiff’s constitutional rights for the illegal purpose of protecting a criminal enterprise of child sex trafficking and child pornography. 

  1. In HOLMSETH’S Minnesota court filing he included a list of names of individuals he believes are operatives involved in an interstate organized crime syndicate targeting his family which reads verbatim:
  1. Facts and circumstances show that HOLMSETH’S motion to the Minnesota state court, which was filed based upon violations of HOLMSETH’S Constitutional rights, has now been met with yet even more strategic attacks upon HOLMSETH’S rights by the same conspirators.
  1. HOLMSETH’S Motion to Vacate in the Minnesota court is supported by a Statement/Affidavit that specifically names and incriminates - - - - -  and his lawyer - - - - -  - - - - -  - - - - -  (hereby - - - - - ).  
  1. On a date that came after HOLMSETH filed the Minnesota motion, TINA CHURCH (hereby CHURCH), president, Specialized Investigative Consultants, Inc., Mishawka, Indiana, who is also named in the list, telephoned HOLMSETH (call recorded by HOLMSETH) and advised HOLMSETH that she has advised everybody HOLMSETH named in his court filing to seek restraining orders against him in violation of 18 U.S. Code § 241 - Conspiracy against rights
  1. CHURCH told HOLMSETH she does contract work for state and federal judges and is paid by the government.
  1. In 2017, CHURCH called HOLMSETH (recorded by HOLMSETH) and said she telephoned Minnesota State District Judge Tamara Yon and privately talked to her about HOLMSETH’S court filings and said the Judge wasn’t very impressed. CHURCH repeatedly told HOLMSETH she was giving HOLMSETH the ‘opportunity’ to withdraw his Motion.
  1. In 2016, CHURCH called HOLMSETH (recorded by HOLMSETH) and stated that a police report filed to the East Grand Forks Police Department in 2011 by “Tina Church” an “investigator from Indiana” was not made by her (CHURCH). The caller reported that “Timothy Holmseth” claimed to her over the phone that he had a kidnapped child named “HaLeigh Cummings” in his home. CHURCH told HOLMSETH in 2016 that the false police report was actually made by - - - - -  - - - - -  - - - - - , Florida, and LEVI H. PAGE, Tennessee. CHURCH later reverted back to admitting she made the police report. CHURCH also told HOLMSETH the police had called her and talked about HOLMSETH’S “obsession” with the missing child HaLeigh Cummings. According to the Records Clerk at the East Grand Forks Police Department there is no record of any call from the police to CHURCH.
  1. In 2017, CHURCH telephoned HOLMSETH (recorded by HOLMSETH) and said she called RONALD GALSTAD, Galstad, Jensen, and McCann, the attorney that contracts for the CITY OF EAST GRAND FORKS, MINNESOTA. CHURCH said she put the CITY OF EGF on “notice” that if the CITY OF EGF does not involuntarily commit HOLMSETH into a psychiatric ward she is going to file a lawsuit against the CITY OF EGF through her attorney in “Chicago”.
  1. HOLMSETH possesses a recording from 2011 of CHURCH leaving a message on the answering machine of a private investigator from Florida named WILLIAM STUABS. STAUBS was the private investigator employed by - - - - -  during the national profile search for the missing child HaLeigh Cummings. - - - - -  (civil divorce attorney licensed in Florida only) - - - - -  the missing child’s mother Crystal Sheffield.  On the answering machine message, CHURCH threatens STAUBS. CHURCH warned STAUBS that her son is a ‘Lt. Colonel in the United States Air Force’. At the end of the message, multiple voices are captured that reveal CHURCH had several others on conference call lines while she telephoned and threatened STAUBS. The answering machine captures the voices of - - - - - , PAGE, and a voice HOLMSETH believes is - - - - - .
  1. HOLMSETH’S Minnesota motion filed on July 24, 2017 pre-dates - - - - - ’S petition to the Florida State Court requesting an injunction against HOLMSETH for stalking.
  1. On August 17, 2017, HOLMSETH sent a letter to the United States District Court – District of Minnesota and requested the Court allow HOLMSETH to re-open HOLMSETH v. CITY OF EAST GRAND FORKS ET AL.
  1. On August 26, 2017, HOLMSETH received a letter from Federal Judge Donavan Frank referring HOLMSETH to the Federal Pro Se project for a lawyer regarding HOLMSETH v. CITY OF EAST GRAND FORKS ET AL. and/or HOLMSETH’S burgeoning problems.
  1. On August 28, 2017 HOLMSETH contacted Tiffany Sanders, project coordinator for the Federal Pro Se Project and expressed his interest in participating in the Pro Se project and provided work product from this filing.

BACKGROUND OF - - - - -  V. HOLMSETH

  1. This case was originally filed by - - - - -  in the SANTA ROSA COUNTY FIRST JUDICIAL CIRCUIT COURT on August 14, 2017 pertaining to an article published some two years ago, on August 17, 2015, by HOLMSETH on .www.writeintoaction.com and www.haleighcummingsdotme.wordpress.com.
  1. HOLMSETH, a resident of Polk County, Minnesota, was served the Temporary Injunction on August 18, 2017 by the local Sheriff. HOLMSETH filed a response via U.S. Mail. On August 23, 2017 the Florida State Judge ordered a continuance and set a new hearing date for September 6, 2017. HOLMSETH was served the continuance on August 23, 2017 by Polk County Sheriff’s.
  1. - - - - -  claims under Florida 784.048 that he is being cyberstalked by HOLMSETH.
  1. Florida 784.048 describes cyberstalking as follows: (d) “Cyberstalk” means to engage in a course of conduct to communicate, or to cause to be communicated, words, images, or language by or through the use of electronic mail or electronic communication, directed at a specific person, causing substantial emotional distress to that person and serving no legitimate purpose.
  1. In - - - - - ’S Petition, - - - - -  does not allege HOLMSETH had/made/initiated/caused “communication” that was directed ‘at’ or ‘to’ - - - - - .
  1. - - - - - ’S Petition does not set forth any pattern or “course of conduct” directed at a “specific person”.
  1. - - - - - ’S Petition did not contain even one specific claim against HOLMSETH that actually met an element of “Stalking” as defined by the Florida statute.
  1. - - - - - ’S Petition simply refers to one legally published article published by HOLMSETH two years ago on August 17, 2015 entitled “Anonymous Video Producer Identified as Felony Defendant - - - - -  - - - - -  - - - - -  – Reported To State Attorney in Florida’
  1. - - - - -  - - - - -  - - - - -  is presently a Defendant in a federal lawsuit filed by Deric James Lostutter in the U.S. District Court for the Middle District of North Carolina (1:16-cv-1098). In a Memorandum, Opinion, and Order dated August 24, 2017, Honorable Thomas D. Schroeder stated, “Lostutter claims that Defendants, who reside in various States, have engaged in a scheme to defame him. Defendant - - - - -  is a resident of Escambia County, Florida, and a member of the internet “hacking activist group, ‘Anonymous.’”
  1. HOLMSETH’S accuracy in reporting regarding - - - - - , and the creation of ‘Anonymous’ videos, is supported by the North Carolina Federal Judge’s Order.
  1. The August 17, 2015 article was published online; served a “legitimate purpose”; and was not sent to - - - - - .
  1. - - - - - ’S Petition asserts HOLMSETH is a “conspiracy theorist” that writes about child crime victims “HaLeigh Cummings” “JonBenet Ramsey” and “Dylan Redwine”.
  1. - - - - -  stated in his Petition, “He (HOLMSETH) is always suing the City of East Grand Forks, Minnesota because he believes there is a grand conspiracy against him”.
  1. - - - - -  stated that HOLMSETH previously “stalked and defamed” his (- - - - - ’S) attorney - - - - - , who - - - - -  described as a “high profile attorney” from South Florida. - - - - -  states - - - - -  obtained an “injunction” against HOLMSETH, which HOLMSETH violated and was prosecuted for.
  1. - - - - -  requests the Florida Court force HOLMSETH “to remove all mention of me online dating back to August, 2015”. Aside from the one article HOLMSETH published on August 17, 2015, - - - - -  did not provide any further exhibitive evidence for anything that made “mention” of - - - - -  “online”.
  1. Although - - - - -  did not name, provide, or direct the Court’s attention to any further “mention” made of - - - - -  “online” by HOLMSETH during the time window - - - - -  provided, - - - - - ’S request to have articles retroactively removed from the Web applies to the following articles legally published by HOLMSETH:
  1. Both articles include information about very serious criminal activity and/or judicial misconduct by - - - - - ’S attorney - - - - - .
  1. Santa Rosa County blackmail scheme linked to HaLeigh Cummings kidnapping - Evidence turned over to FDLE attorney James Martin contained a You Tube video that contains actual audio of - - - - -  LAW OFFICE employees JEREMIAH REGAN and WILLIAM STAUBS, attaching a concealed wire/microphone to JEREMIAH REGAN, whereupon JEREMIAH REGAN seeks a written statement from a female about the kidnapping of HaLeigh Cummings, and tells the female he has been authorized by law enforcement to offer “immunity” to witnesses in exchange for a written statement against a girl named Misty Croslin.
  1. Santa Rosa County blackmail scheme linked to HaLeigh Cummings kidnapping - Evidence turned over to FDLE attorney James Martin contains evidence and information regarding child rape pornography of the missing and endangered child HaLeigh Ann-Marie Cummings, which was in the possession of - - - - -  and members of her law office staff in 2009 in violation of 18 U.S.C. § 2251- Sexual Exploitation of Children (Production of child pornography) and 18 U.S.C. § 2252- Certain activities relating to material involving the sexual exploitation of minors (Possession, distribution and receipt of child pornography).
  1. Santa Rosa County blackmail scheme linked to HaLeigh Cummings kidnapping - Evidence turned over to FDLE attorney James Martin contains information about JOHN REGAN (the father of JEREMIAH REGAN), a man that dressed as a pastor and told searchers and multiple others he was an FBI and/or CIA agent in violation of 18 U.S. Code § 912 - Officer or employee of the United States. The article reports JOHN REGAN told WAYNANNE KRUGER the FBI already found HaLeigh but wanted to keep it quiet.
  1. Santa Rosa County blackmail scheme linked to HaLeigh Cummings kidnapping - Evidence turned over to FDLE attorney James Martin reports HOLMSETH received a threat to either remove his websites or have his unborn grandchild taken against the will of her mother in violation of 18 U.S. Code § 875 - Interstate communications
  1. Judicial blackmail scheme against Santa Rosa County, Florida exposed – Extortion plot details turned over to FDLE attorney James Martin contains content HOLMSETH re-published, which was originally published by - - - - -  on www.radionewz.net after he was arrested on multiple felony charges in Florida. - - - - -  announced a lawsuit that was coming against the County of Santa Rosa pertaining to police brutality.  The following was published by - - - - - :

- - - - -  later published.
“This is an update on my case. One that I’m sure everyone will be happy with (except Murt of course).
Had a meeting with my lawyer this morning to get an update on what was going on. The prosecutor HAS accepted the deal put forth by my lawyer and the assistant prosecutor. This is the first time I will be able to go into full detail on what my deal entails. The prosecutor also stated that this WILL be settled before my next court date, which means no more court for me. Keep in mind, - - - - -  was HUGE in securing me this deal. Call it a personal favor for her from the State Attorney for my circuit.
The deal is this. Deferred Prosecution. This is kind of like probation but not really. It’s extremely rare in my county that this sort of deal is offered or even considered. Basically if I keep my nose clean (no arrests, piss tests once a month, complete community service, etc…) then at the end of the time frame of the deferred prosecution (in this case it’s 1 year) ALL charges against me will be dismissed and my record will remain clean.
Pity, some thought that I was finally going to be put in jail or have something done to me by the legal system. Well, think again haters. I’m free and will remain free. And I’ll remain on the internet and remain out of jail to make sure I’m here to continue putting fuckers in check”.

  1. No lawsuit was ever filed against Santa Rosa County for prisoner abuse – the blackmail and extortion scheme had succeeded.

THIS NOTICE OF REMOVAL IS TIMELY FILED

  1. This case was originally filed by - - - - -  in the SANTA ROSA COUNTY FIRST JUDICIAL CIRCUIT COURT on August 14, 2017.
  1. HOLMSETH received a copy of the document entitled TEMPORARY INJUNCTION FOR PROTECTION AGAINST STALKING on August 18, 2017 by the Polk County Sheriff, Minnesota.
  1. The removal of this action to this court is timely under 28 U.S.C. § 1446(b) because it is being filed within 30 days after August 14, 2017.

THIS COURT HAS FEDERAL QUESTION JURISDICTION

  1. The U.S. District Court has Federal Question Jurisdiction under 28 U.S. Code § 1331 because - - - - - ’S Petition to the Florida State Court includes a request for the State of Florida to force HOLMSETH, a Minnesota resident, to remove legally published content protected by the 1st Amendment from his online publication(s) that contains evidence of federal crimes by - - - - - ’S attorney, - - - - - , and shows multiple members of her law office staff, possessed child rape pornography of a kidnapped child in violation of 18 U.S.C. § 2251- Sexual Exploitation of Children (Production of child pornography) and 18 U.S.C. § 2252- Certain activities relating to material involving the sexual exploitation of minors (Possession, distribution and receipt of child pornography).
  1. The U.S. District Court has Federal Question Jurisdiction under 28 U.S. Code § 1331 because - - - - - ’S Petition to the Florida State Court includes a request for the State of Florida to force HOLMSETH, a Minnesota resident, to remove legally published content protected by the 1st Amendment from his online publication(s) that contains evidence and/or information about a federal crime committed by JOHN REGAN, a convicted sex offender, who was the father of a - - - - -  law office employee, JEREMIAH REGAN, and who claimed to be both an FBI and CIA agent during the search for HaLeigh Cummings in violation of 18 U.S. Code § 912 - Officer or employee of the United States.
  1. The U.S. Court has Supplemental Jurisdiction under 28 U.S. Code § 1367 because - - - - - ’S Petition to the Florida State Court includes a request for the Court situated in Santa Rosa County, Florida, to force HOLMSETH to remove legally published content about the abuse of prisoners in Santa Rosa County; abuse that was alleged online by - - - - -  and - - - - -  to advance a blackmail scheme against the County of Santa Rosa, Florida, which was successful – leaving the alleged prisoner abuse violations of the 8th Amendment to the U.S. Constitution un-investigated.
  1. The U.S. Court has Supplemental Jurisdiction under 28 U.S. Code § 1367 because Prima Facie evidence shows - - - - -  and - - - - -  successfully blackmailed/extorted somebody within the Santa Rosa County legal system; and could do it again. HOLMSETH’S cannot be guaranteed a fair hearing in the Florida State court.
  1. The U.S. Court has Federal Question Jurisdiction under 28 U.S. Code § 1331 because - - - - - ’S Petition to the Florida State Court includes a direct reference to, and relies upon the credibility of, a domestic violence protection order obtained by - - - - -  against HOLMSETH in the Divorce Division (DVCE) of the Broward County, Florida courts, which HOLMSETH maintains and asserts was fraudulently obtained by - - - - -  in violation of 18 U.S. Code § 241 - Conspiracy against rights.
  1. The U.S. Court has Federal Question Jurisdiction under 28 U.S. Code § 1331 because TINA CHURCH, an associate of - - - - -  and other conspirator named in the Minnesota court case, telephoned HOLMSETH and warned him she advised everybody HOLMSETH named in his Minnesota case Affidavit to file retraining orders against HOLMSETH in violation of  18 U.S. Code § 241 - Conspiracy against rights.
  1. The U.S. District Court has Federal Question Jurisdiction under 28 U.S. Code § 1331 because HOLMSETH has evidence - - - - - ’S attorney - - - - -  is conspiring with - - - - - , and others associated with SPECIALIZED INVESTIGATIVE CONSULTANTS INC (hereby collectively referred to as THE GROUP), against HOLMSETH, in violation of 18 U.S. Code § 241 - Conspiracy against rights; in effort to violate HOLMSETH’S 1st Amendment protections.
  1. The conspiracy against rights violations against HOLMSETH have been perpetually occurring since 2009 after HOLMSETH, a journalist, and subsequently an FBI witness, learned information about the kidnapping of HaLeigh Ann-Marie Cummings, 5, Satsuma Florida.
  1. HaLeigh Cummings, 5, was reported missing from her Satsuma, Florida home on February 10, 2009. An Amber Alert was issued for HaLeigh. The Federal Bureau of Investigation is presently seeking information from the public regarding the whereabouts of HaLeigh.
  1.  HOLMSETH’S 1st Amendment protections are being unlawfully targeted and violated by THE GROUP because HOLMSETH acquired secret details about on-goings within THE GROUP that unlawfully caused HaLeigh Cummings to be sexually exploited, disappear, and be transported across state lines.
  1. HOLMSETH’s rights are being violated because he acquired and possesses evidence HaLeigh Cummings was transported across state lines by TINA CHURCH and others in THE GROUP, in violation of 18 U.S. Code § 1201 – Kidnapping; CHURCH not a being a relative to HaLeigh Cummings as defined in Section G of same.
  1. HOLMSETH’S rights are being violated because he acquired and possesses evidence TINA CHURCH, in conspiracy and careful forethought with others in THE GROUP, violated 18 U.S. Code § 1512 - Tampering with a witness, victim, or an informant, because HaLeigh Cummings was a witness to a murder that occurred at 202 Green Lane, Satsuma, Florida.
  1. The rights violations under 18 U.S. Code § 241 - Conspiracy against rights include violations against HOLMSETH by the CITY OF EAST GRAND FORKS, MINNESOTA and the EAST GRAND FORKS POLICE DEPARTMENT who conspired with THE GROUP against HOLMSETH’S 1st, 2nd, and 4th Amendment protections.
  1. HOLMSETH is receiving very serious threats from someone calling from telephone numbers and speaking into a voice changer and demanding HOLMSETH remove his websites from publication. The threats are made from numbers of PRESIDENT DONALD J. TRUMP (the President’s resorts and Trump Organization), CLINTON GLOBAL, STATE OF FLORIDA ATTORNEY GENERAL PAM BONDI, FLORIDA GOVERNOR RICK SCOTT, CNN, REPUBLICAN PARTY, NEW JERSEY GOVERNOR CHRIS CHRISTIE, TEXAS EQUUSEARCH, warning HOLMSETH to remove his websites or very bad things will happen to HOLMSETH and his family including a threat to kidnap HOLMSETH’S grand child in violation of 18 U.S. Code § 875 - Interstate communications
  1. HOLMSETH’S rights are being violated by THE GROUP because HOLMSETH obtained testimonial evidence from an employee of - - - - -  - - - - -  LAW OFFICE P.A. that child rape pornography had been created of HaLeigh Cummings and was in the possession of - - - - -  - - - - -  LAW OFFICE P.A. in violation of 18 U.S. Code § 2251 - Sexual exploitation of children
  1. HOLMSETH learned - - - - -  - - - - -  LAW OFFICE P.A. gave a CD containing explicit photos of HaLeigh’s Cummings’ damaged vagina to a Florida DCF social worker named BONNIE WARNER during an undocumented exchange in a gas station parking lot after hours. WARNER discussed the HaLeigh Cummings case with - - - - - ’S private investigator, WILLIAM STAUBS on the telephone from her home after business hours. HOLMSETH captured WARNER on recording admitting/confirming receipt of the CD that contained the explicit photos of HaLeigh Cummings, and stating she never gave it to her supervisor in violation of 18 U.S. Code § 2251 - Sexual exploitation of children.
  1. HOLMSETH was told by WAYANNE KRUGER, who was the official advocate of CRYSTAL SHEFFIELD (the mother of HaLeigh Cummings, 5) that HaLeigh witnessed her father, RONALD CUMMINGS, murder a man in their trailer home at 202 Green Lane, Satsuma, Florida, shortly before HaLeigh Cummings vanished. KRUGER said RONALD CUMMINGS beat the man’s head in with a pistol. KRUGER said HaLeigh watched her father drag the man’s dead body into the woods.
  1. HOLMSETH was told by WAYANNE KRUGER that during the time of the aforementioned murder, there was an argument that involved several adults. During the argument JOHN MARCUS SHEFFIELD who is HaLeigh’s maternal grandfather, yelled ‘he’s letting people fuck my grand daughter!”
  1. - - - - -  is conspiring against HOLMSETH’S rights because in 2011, - - - - - ’S private investigator, WILLIAM STAUBS, through his attorney Doug Roberts, advised - - - - -  that he purged his (STAUB’S) computer and file system off all files that - - - - -  was seeking from STAUBS via a subpoena; and that he sent the files to HOLMSETH.
  1. The audio files HOLMSETH received un-solicited from STAUBS contain audio recordings that contain voices that include - - - - -  - - - - - , WILLIAM STAUBS, JEREMIAH REGAN, MATTHEW STAUBS, - - - - -  - - - - - , and PAULA ANDREWS.
  1. The un-solicited audio files HOLMSETH received have placed HOLMSETH in danger because the content of the files implicates multiple persons in criminal activity. The content is also very embarrassing to many. 
  1. - - - - -  - - - - -  was engaged in an ongoing sexual relationship with JEREMIAH REGAN, an unknown drifter that appeared from nowhere to work for - - - - -  LAW OFFICE P.A. and become the co-administrator of a facility called the HaLeigh Bug Center which was set up by - - - - -  - - - - -  and her convicted felon (federal fraud) husband - - - - -  - - - - -  to obtain investigative tips (even though they are not law enforcement) and accept cash donations.
  1. - - - - -  - - - - -  accused JEREMIAH REGAN of ‘rubbing all over her’.
  1. JEREMIAH REGAN and WILLIAM STAUBS laugh and giggle as WILLIAM STAUBS asks JEREMIAH REGAN ‘did you nut?’ (ejaculate) (when he had sex with - - - - -  - - - - - ) and they break out in laughter when JEREMIAH REGAN indicates he ejaculated three times.
  1. JEREMIAH REGAN provided graphic details to others about - - - - -  - - - - - ’S body and feminine hygiene and called - - - - -  - - - - - and - - - - -.
  1. JERMEMIAH REGAN threatened to sue - - - - -  - - - - -  for sexual harassment because he was working for - - - - - law office when they had sex.
  1. JEREMIAH REGAN telephoned - - - - -  - - - - -  and confessed ‘I fucked your wife’.
  1. - - - - -  - - - - -  later told HOLMSETH during an interview that WILLIAM STAUBS shoved a gun in JEREMIAH REGAN’S mouth and forced JEREMIAH REGAN to call - - - - -  - - - - -  and falsely confess to having sex with his wife - - - - -  - - - - - .
  1. - - - - -  - - - - -  told JEREMIAH REGAN she secured a $231 Million biofuel contract for a company called Alterative Biofuels Technologies Inc. (ABT) through (former) Florida Governor Charlie Christ. - - - - -  - - - - -  told JEREMIAH REGAN he could have an executive position at ABT if he kept his mouth shut.
  1. - - - - -  - - - - -  telephoned HOLMSETH and said he gave JEREMIAH REGAN a job at his biofuel company ABT.
  1. ABT was seized by the FBI during the federal RICO investigation against now convicted Ponzi schemer SCOTT W. ROTHSTEIN.
  1. SCOTT ROTHSTEIN’S Ponzi scheme involved matters connected to convicted sex offender JEFFREY EPSTEIN who is notorious for allegedly flying wealthy businessmen and political leaders to ‘Pedophile Island’ on the ‘Lolita Express’ to commit atrocities against children. 
  1. - - - - -  - - - - -  forwarded internal work-product law office emails to HOLMSETH pertaining to the search for the missing child HaLeigh Cummings which came from her law office - - - - -  L. - - - - -  P.A. The emails were also sent to ROTHSTEIN, ROSENFELDT, and ADLER.
  1. - - - - -  - - - - -  advised HOLMSETH her lawyer was Pedro Dijols Rothstein, Rosenfeldt, Adler. Attorney Dijols confirmed to HOLMSETH he was - - - - - ’S attorney.
  1. JEREMIAH REGAN confided very sensitive sexual information to - - - - -  - - - - -  about his childhood and father, JOHN REGAN, which - - - - -  - - - - -  did not hold secure and told others.
  1. WILLIAM STAUBS told HOLMSETH that JOHN REGAN molested his own son, JEREMIAH REGAN.
  1. - - - - -  - - - - -  told PAULA ANDREWS that JEREMIAH REGAN was abused as a child, was a nut case, and disappeared for nine months without telling his family his whereabouts. 
  1. JOHN REGAN is a convicted child molester that dressed as a pastor and told multiple persons during the search for the missing child HaLeigh Cummings that he was working undercover for the FBI as a pedophile. JOHN REGAN also told multiple persons he was a CIA agent.
  1. WAYANNE KRUGER told HOLMSETH that JOHN REGAN told her the FBI had HaLeigh in their possession but wanted to keep it quiet.
  1. WAYANNE KRUGER told HOLMSETH that JOHN REGAN was part of an infant sales operation in Florida that involved - - - - -  - - - - -  and - - - - -  - - - - - . KRUGER described the operation that involved accessing babies from young unwed expecting mothers and/or exploitable illegal aliens fearing deportation. KRUGER said the operation had operatives inside Florida DCF. KRUGER said the human child trafficking involved forged medical documents and dossiers to move children under two years old through the United States Embassy and onto international flights to purchasers including purchasers in Belgium in violation of 18 U.S. Code § 2251 - Sexual exploitation of children.

NOTICE OF REMOVAL TO SANTA ROSA COUNTY FIRST JUDICIAL CIRCUIT COURT, FLORIDA

  1. Concurrently with this Notice of Removal, Defendant will file a copy of this Notice with the Clerk of Courts for the Santa Rosa County First Judicial Circuit, Florida.
  1. At present both - - - - -  and his attorney - - - - -  have injunctions against HOLMSETTH in the Florida court. - - - - - ’S injunction reads in part, “Unless otherwise provided herein, Respondent shall have no contact with Petitioner. Respondent shall not directly or indirectly contact Petitioner in person, by mail, email, fax, telephone, through another person, or in any other manner, including any electronic means or use of social media.”
  1. Pursuant to the Florida injunction(s) HOLMSETH will not serve papers directly to - - - - -  and/or - - - - -  until further directed by the Court.

CONCLUSION

For the foregoing reasons, HOLMSETH respectfully request that this civil action be, and is hereby, removed to the United State District Court for the Northern District of Florida, that this Court assume jurisdiction of this civil action, and that this Court enter such other and further orders as may be necessary to accomplish the requested removal and promote the ends of justice.

This 1st day of September, 2017.

Timothy Charles Holmseth
320 17th Street N.W.
Unit # 17
East Grand Forks, MN            
56721
218.230.1597 (cell)
218.773.1299 (home)
timothy.holmseth@writeintoaction.com
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