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Mohan Harihar <moharihar@gmail.

com>

RE: Case No. 1981CV00050, HARIHAR v. US BANK, et al, Rule 9A


Motions
Wed, Jun 12, 2019 at
Mohan Harihar <moharihar@gmail.com>
11:11 AM
To: "Fialkow, David E." <David.Fialkow@klgates.com>
Cc: Arthur T Deguglielmo <arthur.deguglielmo@jud.state.ma.us>, "Jeffrey B. Loeb"
<JLoeb@richmaylaw.com>, NewYorkComplaints Dojoig <dojoig.newyorkcomplaints@usdoj.gov>,
theresa.watson3@usdoj.gov, andrew.lelling@usdoj.gov, mary.murrane@usdoj.gov,
"Constituent.services@state.ma.us" <constituent.services@state.ma.us>,
elizabeth_warren@warren.senate.gov, Nairoby_Gabriel@warren.senate.gov,
Nora_Keefe@warren.senate.gov, sydney_levin-epstein@markey.senate.gov,
lori.trahan@mail.house.gov, ayanna.pressley@mail.house.gov, chairmanoffice@sec.gov,
CommissionerStein@sec.gov, CommissionerJackson@sec.gov, CommissionerPeirce@sec.gov, ma-igo-
general-mail@state.ma.us, igo-fightfraud@state.ma.us, maura.healey@state.ma.us

Mr. Fialkow,

You are respectfully reminded of previous email communications to the Court including re-scheduling
requests made by you personally, due to conflicts with your schedule. Furthermore, the severity of
evidenced - civil, criminal and professional claims involving both Defendants as well as judicial
officers (including you personally) warrants incremental documentation for the record.
Respectfully, if it remains your intention - and the intention of your clients, to disregard these
communications, it will be noted for the record. I look forward to receiving timely responses to all
motions as required by the rules.

Please be advised, you are aware that as a matter of record, the severity evidenced claims against
Defendants as well as judicial officers are perceived to impact matters of National/Homeland Security.
Therefore, it becomes necessary to forward copies of these documents to: (1) the United States
Secret Service; (2) POTUS; (3) Congress; (4) the DOJ; (5) Governor Charlie Baker (R-MA) and a
list of additional government offices/agencies/committees listed within the referenced motions. Copies
will also be made available to the Public and to media sources nationwide out of continued concerns
for my personal safety and security. Thank you for your attention to this very serious matter.

Sincerely,

Mohan A. Harihar
Plaintiff
7124 Avalon Drive
Acton, MA 01720
617.921.2526 (Mobile)
mo.harihar@gmail.com
Mohan Harihar
<moharihar@gmail.com>

RE: Case No. 1981CV00050, HARIHAR v. US BANK, et al, Rule 9A


Motions
Fialkow, David E. <David.Fialkow@klgates.com> Wed, Jun 12, 2019 at 10:48 AM
To: Mohan Harihar <moharihar@gmail.com>, Arthur T Deguglielmo
<arthur.deguglielmo@jud.state.ma.us>
Cc: "Jeffrey B. Loeb" <JLoeb@richmaylaw.com>

Dear Clerk Deguglielmo:

We are not generally in the practice of communicating with the Court by email, but we would be
remiss if we did not respond under the circumstances. We oppose the request to reschedule
the summary judgment hearing as that motion has been scheduled and pending for a while. We
will respond to all motions as required under the Rules. We do not intend to have further
communications outside of written motions to the Court. We apologize if this has been any
inconvenience to the Court.

Thank you,

David E. Fialkow

Partner
K&L Gates LLP
State Street Financial Center
One Lincoln Street
Boston, MA 02111
Phone: (617) 261-3126
Fax: (617) 261-3175
david.fialkow@klgates.com
www.klgates.com
Mohan Harihar <moharihar@gmail.com>

RE: Case No. 1981CV00050, HARIHAR v. US BANK, et al, Rule 9A


Motions
Mohan Harihar <moharihar@gmail.com> Wed, Jun 12, 2019 at 10:00 AM
To: Arthur T Deguglielmo <arthur.deguglielmo@jud.state.ma.us>, "Jeffrey B. Loeb"
<JLoeb@richmaylaw.com>, david fialkow <david.fialkow@klgates.com>
Cc: NewYorkComplaints Dojoig <dojoig.newyorkcomplaints@usdoj.gov>, theresa.watson3@usdoj.gov,
andrew.lelling@usdoj.gov, mary.murrane@usdoj.gov, christina.sterling@usdoj.gov,
"Constituent.services@state.ma.us" <constituent.services@state.ma.us>,
elizabeth_warren@warren.senate.gov, Nairoby_Gabriel@warren.senate.gov,
Nora_Keefe@warren.senate.gov, sydney_levin-epstein@markey.senate.gov, chairmanoffice@sec.gov,
CommissionerStein@sec.gov, CommissionerJackson@sec.gov, CommissionerPeirce@sec.gov,
lori.trahan@mail.house.gov, ayanna.pressley@mail.house.gov, ma-igo-general-mail@state.ma.us, igo-
fightfraud@state.ma.us, maura.healey@state.ma.us

Dear Clerk Deguglielmo and Counsel,

I am respectfully requesting a documented response to the email sent to your attention two (2) days
ago on June 10, 2019 (see attached below), addressing forthcoming 9A motions and re-scheduling
the hearing on Summary Judgement. Thank you for your attention to this very serious matter.

Sincerely,

Mohan A. Harihar
Plaintiff
7124 Avalon Drive
Acton, MA 01720
617.921.2526 (Mobile)
mo.harihar@gmail.com
Mohan Harihar <moharihar@gmail.com>

RE: Case No. 1981CV00050, HARIHAR v. US BANK, et al, Rule 9A


Motions
Mohan Harihar <moharihar@gmail.com> Mon, Jun 10, 2019 at 9:05 AM
To: Arthur T Deguglielmo <arthur.deguglielmo@jud.state.ma.us>, "Jeffrey B. Loeb"
<JLoeb@richmaylaw.com>, david fialkow <david.fialkow@klgates.com>
Cc: NewYorkComplaints Dojoig <dojoig.newyorkcomplaints@usdoj.gov>, theresa.watson3@usdoj.gov,
andrew.lelling@usdoj.gov, mary.murrane@usdoj.gov, christina.sterling@usdoj.gov,
"Constituent.services@state.ma.us" <constituent.services@state.ma.us>,
elizabeth_warren@warren.senate.gov, Nairoby_Gabriel@warren.senate.gov,
Nora_Keefe@warren.senate.gov, sydney_levin-epstein@markey.senate.gov, chairmanoffice@sec.gov,
CommissionerStein@sec.gov, CommissionerJackson@sec.gov, CommissionerPeirce@sec.gov,
lori.trahan@mail.house.gov, ayanna.pressley@mail.house.gov, ma-igo-general-mail@state.ma.us, igo-
fightfraud@state.ma.us, maura.healey@state.ma.us

Dear Clerk Deguglielmo and Counsel,

The Court is aware of multiple Plaintiff motions being prepared for filing under Superior Court Rule
9A (See email delivered June 4, 2019, attached below). Considering:

1. Whether Defendants are interested in having a Mutual Agreement Discussion;


2. Timelines for receiving Defendant Opposition (if any);
3. Timeline for filing Plaintiff Replies (if necessary);
4. The amount of unresolved issues, including New Evidence; and
5. The requested subpoenaed testimony from State/Federal Prosecutors regarding
evidenced criminal complaints related to this litigation,

the current date set for the Summary Judgement hearing (currently scheduled for July 11, 2019) is
not appropriate and should be re-scheduled to a future date TBD, if necessary. Please bring these
conflicts to the attention of Judge Hogan. Thank you.

Please be advised, you are ALL aware that as a matter of record, the severity evidenced claims
against Defendants as well as judicial officers are perceived to impact matters of National/Homeland
Security. Therefore, it becomes necessary to forward copies of these documents to: (1) the United
States Secret Service; (2) POTUS; (3) Congress; (4) the DOJ; (5) Governor Charlie Baker (R-
MA) and a list of additional government offices/agencies/committees listed within the attached.
Copies will also be made available to the Public and to media sources nationwide out of continued
concerns for my personal safety and security. Thank you for your attention to this very serious matter.
Respectfully,

Mohan A. Harihar
Plaintiff
7124 Avalon Drive
Acton, MA 01720
617.921.2526 (Mobile)
mo.harihar@gmail.com

[Quoted text hidden]

9 attachments
Plaintiff Motion to Clarify Mutual Agreement Discussion.pdf
131K
Plaintiff Motion to Address Criminal Claims.pdf
423K
Plaintiff Motion to Clarify Jurisdiction.pdf
183K
Plaintiff Motion for Injunction and Imbalance of Hardships.pdf
181K
Plaintiff Demand to Enforce Article III.pdf
186K
Plaintiff Motion to Address Incremental Claims.pdf
190K
Plaintiff Motion to Add Defendants.pdf
426K
Plaintiff Motion to Address New Evidence.pdf
379K
Plaintiff Motion re Professional Penalties.pdf
179K

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