UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA

Huddle, et. al.                   )
      Plaintiffs pro se           )      C.A. No. 88-3130
                                  )
          v.                      )      Judge Joyce Hens Green
                                  )
Reagan, et. al.                   )
      Defendants.                 )
__________________________________)

PLAINTIFFS' MOTION FOR JOINDER OF DEFENDANTS IN CONJUNCTION WITH THEIR MOTION TO RENEW AND AMEND THEIR MOTIONS FOR TEMPORARY RESTRAINING ORDER AND PRELIMINARY INJUNCTION IN LIGHT OF RECENT DEVELOPMENTS

In consideration of their participation in the recent events which have allegedly deprived plaintiffs of asserted rights, plaintiffs hereby move for joinder of the following individuals as defendants in the instant case.

George Walker Bush, who is President of the United States of America, is sued in his personal and official capacities.

The U.S. Park Police, which is the law enforcement agency of the Department of Interior and the National Park Service, sued in its official capacity.

Major Holmsburg who is a major with the United States Park Police, is sued in his official capacity.

Lt. Clipper who is a lieutenant with the United States Park Police, is sued in his personal and official capacities.

Sgt. McNally who is a sergeant with the United States Park Police, is sued in his official capacity.

Sgt. Rule who is a sergeant with the United States Park Police, is sued in his official capacity.

Officer Ferebee, who is a member of the "motor squad" of the United States Park Police, is sued in his personal and official capacities.

1

Unknown Identifiable Agents of the United States Park Police, include the agents who actually performed the incidents alleged in the complaint, and are sued in their official capacities.

Various known and unknown Agents and ex-agents of the United States Secret Service, United States Interior Department, and the National Capital Region, National Park Service include the agents and ex-agents of the various agencies who actually performed the acts alleged in plaintiffs' Motion to Renew the Motions for Temporary Restraining Order and Preliminary Injunction and supported by the various declarations in support of that Motion to further the alleged conspiracy, and are sued in their official capacities.

Respectfully submitted this __th day of February, 1991,

_______________________
William Thomas, pro se
2817 11th Street, N.W.
Washington, D.C. 20001
(202) 462-0757

__________________________
Brett (Song) Hamrick
P.O. Box 27217
Washington, D.C. 20038

_______________________
Ellen Thomas, pro se
2817 11th Street N.W.
Washington, D.C. 20001

__________________________
Concepcion Picciotto
P.O. Box 4931
Washington, D.C. 20008

___________________________
Scott Galindez
P.O. Box 27217
Washington, D.C. 20038


UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA

Huddle, et. al.                   )
      Plaintiffs pro se           )      C.A. No. 88-3130
                                  )
          v.                      )      Judge Joyce Hens Green
                                  )
Reagan, et. al.                   )
      Defendants.                 )
__________________________________)

ORDER

Upon consideration of the Plaintiffs' Motion for Joinder of Defendants for Joinder of Defendants in Conjunction with Their Motion to Renew and Amend Their Motions for Temporary Restraining Order and Preliminary Injunction In Light of Recent Developements, defendants' opposition to that motion, and the entire record of this case, this ____th day of March, 1991, it be and hereby is ORDERED that plaintiffs' motion to join defendants is GRANTED, and it is further

ORDERED that the U.S. Marshal's Service shall serve copies of the summons, and the Complaint in Support of Plaintiffs' Motion to Renew and Amend Their Motions for a Temporary Restraining Order and Preliminary Injunction, filed March ___ 1991, and Plaintiffs' Motion to Renew and Amend Their Motions for a Temporary Restraining Order and Preliminary Injunction, upon

George Walker Bush
1600 Pennsylvania Avenue, N.W.
Washington, D.C.

United States Park Police
1100 Ohio Dr. S.W.
Washington, D.C.

Major Holmsburg
United States Park Police
1100 Ohio Dr. S.W.
Washington, D.C.

1

Lt. Clipper
United States Park Police
1100 Ohio Dr. S.W.
Washington, D.C.

Sgt. McNally
United States Park Police
1100 Ohio Dr. S.W.
Washington, D.C.

Sgt. Rule
United States Park Police
1100 Ohio Dr. S.W.
Washington, D.C.

Officer Ferebee
United States Park Police
1100 Ohio Dr. S.W.
Washington, D.C.

__________________________________
Joyce Hens Green
UNITED STATES DISTRICT COURT JUDGE

COPIES OF THIS ORDER SHOULD BE ADDRESSED TO:

Jay B. Stevens, U.S. Attorney
Judiciary Square
555 4th Street N.W.,
Washington, D.C. 20001

William Thomas
2817 11th Street, N.W.
Washington, D.C. 20001

Concepcion Picciotto
P.O. Box 4931
Washington, D.C. 20008


UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA

Huddle, et. al.                   )
      Plaintiffs pro se           )      C.A. No. 88-3130
                                  )
          v.                      )      Judge Joyce Hens Green
                                  )
Reagan, et. al.                   )
      Defendants.                 )
__________________________________)

CERTIFICATE OF SERVICE

 

I, _________________________, hereby state that, on this __th day of March, l991 I caused a copy of the foregoing Plaintiffs' Motion for Joinder of Defendants in Conjunction with Their Motion to Renew and Amend Their Motions for Temporary Restraining Order and Preliminary Injunction In Light of Recent Developments to be hand-delivered to the offices of Jay B. Stevens, U.S. Attorney for the District of Columbia at Judiciary Square, 555 4th Street N.W., Washington, D.C., and the Office of the Corporation Counsel for the District of Columbia.

_____________________________________