Yarid V Brennan Et Al Vaedce-16-00756 0113.0

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Case 3:16-cv-00756-JAG Document 113 Filed 10/19/18 Page 1 of 5 PageID# 811

UNITED STATES DISTRICT COURT L


EASTERN DISTRICT COURT OF VIRGINIA
\zJ
RICHMOND DIVISION
CLERK. U.S. DISTRICT COURT
RICHMOND, VA

YARID

V CIVIL ACTION 3:16CV-756-JAG

BRENNAN

ETAL

MOTION FOR OPPOSITION ON SEAL PLACED ON ITEM 111# Opposition to


112#

1 Recently allegedly defendant Shon Brennan sent a document to the court asking for a
seal on a letter wrote to the courts. I have some concerns pertaining to this on several fronts.
Foremost for the obvious reason of it not being valid nor possibly not even the defendant filing
the documents. I simply question out ofrespect to the judges order, the reasoning of putting a
seal on a document withholding information pertaining to the case.
2. This defendant had over a year to respond and didn't so and filing of number 108# should be
honored since there wasn't any response throughout that period oftime.
3.1 also question whether if Shon Brennan in fact responded or somebody in relations to the
other defendant Will Markland responded for the defendant Shon Brennan.
4.1 also have concerns ofthe validity of any excuse in fact if Brerman did write this letter giving
reasons in why he didn't respond.
5.1 also bring out the possibility ofidentity theft and the constant manipulation in relations to the
other defendant Will Markland has portrayed to taint and use scare tactics to get this case
dropped. I feel things in relations to this letter that is being sealed is not on the up and up. Also
major conflict of interest of not knowing whether this was a legitimate filing on the defendant's
part.

FACTS ON THE CASE

6. I question whether one Michael Saunders is filing on behalf of Shon Brennan and
pretending to be him. Saunders was the original formatter I used in the beginning and he started
formatted and actually writing defendant Marklands documents pertaining to this case. Also
Case 3:16-cv-00756-JAG Document 113 Filed 10/19/18 Page 2 of 5 PageID# 812

interfering and giving the opposition information pertaining to my personal situation involving
this case and the case against my mortgage company. He admitted as such oftaking pictures of
my home and giving them to the defendant to harass and intimidate me. Also trying to attack
repetitively my cohost on my show Kristen Ariel Connor. Although some ofthese facts might be
unrelated to their said case it sets the wheels in motion for the chain of events ofthe tactics this
individual and the defendants have done pertaining to this case 3:16cv 756.

7. Again the behavior of and antics ofthe defendants and people related to their side go and hand
hand, with the copyright infringement and the previous defamation case that was originally filed
in relations to 3:16 cv 756.

8. So again I question the legitimacy ofthis sealed letter and question it's truthfulness and the
true identity ofthe person who compose it to the courts.

MORE FACTS PERTAINING TO THE CASE

9.1 randomly had a email that I didn't think much ofsaying that something to the sort that
Brennan had been hospitalized for a health issue in which I can show as an exhibit in my next
document if the courts care to view. I personally will not share that unless the courts cared to
view it. There were other comments saying the defendant was homeless in which I didn't really
pay any mind to. All that being said whether that was true or not the defendant surely followed
this court case and wouldn't be an excuse of him not responding to something ofthis importance
for this amount oftime. I also question the validity ofthese emails to have these defendants to
sabotage this case and make up falsehoods to manipulate the outcome.
10. I feel strongly that whatever the letter says whether its about an health condition or him
being homeless would not be a valid excuse since for one I don't believe it's legitimate ,nor
make any reasonable sense ,since it's been over certain amount oftime. That's why I question if
it even came from the defendant in the first place. One said Shon Brennan. I respectfully
question the legitimacy in who filed it with the nature ofthis case with previously falsehoods
and action fi-om the defendants throughout this case .

CONCLUSION

11.1 respectfully request the removal ofthe seal on document number 111. I also respectfully
request since the time lapsing, that the original Default Judgement request filed by the clerk of
the court to be honored in this case as the final judgement in this case pertaining to Shon
Brennan. I also request an investigation in who actually wrote that letter and if it was in fact the
defendant, proof and documents proving his current situation to prove whatever the letter read
Case 3:16-cv-00756-JAG Document 113 Filed 10/19/18 Page 3 of 5 PageID# 813

and said. I respectfully conclude in my request for this to be followed and the accuracy
pertaining to this defendant can be proven on it's legitimacy and facts.

CURRENT INFORMATION

My current address so there's no discrepancy is po.box 29091 richmond Virginia 232342. All
letters can be mailed to my PO. Box.

Respectfully Yours George Yarid

'c Ithi
Case 3:16-cv-00756-JAG Document 113 Filed 10/19/18 Page 4 of 5 PageID# 814

UNITED STATES DISTRICT COURT


EASTERN DISTRICT OF VIRIGINIA
DIVISION

Plaintiff(s),

V.

Civil Action Number:

Defendant(s).

LOCAL RULE 83.1(M) CERTIFICATION

I declare under penalty of perjury that:

No attorney has prepared, or assisted in the preparation of_ ON


(Title of Document)

^7
Executed on: JC) /9 M _(Date)
OR

The following attorney(s) prepared or assisted me in preparation of


(Title of Document)

(Name of Attorney)

(Address of Attorney)

(Telephone Number of Attorney)


Prepared, or assisted in the preparation of/this/dx cument

(Name ofPro Se Party (Priiu or Type)

Signature ofPro Se Party

Executed on: (Date)


Case 3:16-cv-00756-JAG Document 113 Filed 10/19/18 Page 5 of 5 PageID# 815

CERTIFICATE OF SERVICE

The undersigned hereby certifies that a true copy of the foregoing.


h-e. mjil M

was hand-delivered or served by first class mail on the day of


4^'^/ _2oJl_ to the following:

Address:

Telephone:

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