Subject: My Response to William J. Stevens' lies. From: Michael Williams 100705,1252 Date: 28-Aug-95 03:38
IN THE UNITED STATES COURT OF APPEALS FOR THE SEVENTH CIRCUIT EASTERN DIVISION
UNITED STATES OF AMERICA, ] Appeal from the United
] States District Court for
Plaintiff. ] the Northern District of
] Illinois, Eastern
v. ] Division.
]
MICHAEL WILLIAMS, ] No. 88 CR 204
]
Defendant. ] JUDGE LEINENWEBER,
] Judge.
]
SUPPLEMENT TO DEFENDANT-APPELLANT MICHAEL WILLIAMS' RESPONSE TO WILLIAM J. STEVENS'
STATEMENT AND REQUEST FOR AN ORDER DIRECTING DANIEL R. MASON TO SUBMIT A STATEMENT UNDER
OATH PRO SE APPELLANT
TO: Mr. Thomas F. Strubbe Carol A. Davilo
Clerk of the U.S. Court of Appeals Assistant United States Attorney
219 S. Dearborn, 20th Fl. 219 S. Dearborn, 20th Fl.
Chicago, IL 60604 Chicago, IL 60604
Juleann Hornyak SA Richard Loyd
Clerk of the Supreme Court FBI - Room 905
Supreme Court Building 219 S. Dearborn
Springfield, IL 62706 Chicago, IL 60604
William J. Stevens A.R.D.C.
135 S. La Salle St. One Prudential Plaza
Suite 1407 130 E. Randolph Drive
Chicago, IL 60603 Chicago, IL 60601-6219
Boutros Boutros-Ghali J. Moller, Chief of Branch
Secretary General Centre for Human Rights
United Nations United Nations
Room S-3800A Palais des Nations
New York, NY 1--14 8 - 14 Avenue de la Paix
1211 Geneva 10
Daniel R. Mason
160 S. Church St.
Canton, GA 30114
I, Michael Williams, declare that I am the Defendant in the
above-entitled proceeding. I am not an attorney, do not have the funds necessary to retain
one, have not been appointed one despite my many persistent requests, and am thus being
forced to prepare this document myself, without the assistance of counsel, even though I
am not qualified to do so.
1. On 3 August 1995 Defendant-Appellant Michael Williams received a document from the
Court dated 25 July 1995 ordering William J. Stevens to file a statement explaining what
basis, if any, Defendant has for making the statement that Mr. Stevens informed Defendant
that the U.S. Attorney's Office and the FBI threatened Defendant's life and freedom should
he return to the United States.
2. On 3 August 1995 Defendant also received William J. Stevens' court-ordered response.
3. On 3 August 1995, Defendant filed his response to William J. Stevens' response,
declaring it to be untrue.
4. Defendant has received similar threats from other individuals allegedly relayed from
the F.B.I., warning him not to return to his homeland, the United States.
5. On or about 18 March 1994, attorney Daniel R. Mason (160 S. Church St., Canton, GA
30114, tel.: 404-720-7596), whom Defendant had retained to set aside an invalid divorce
decree obtained by Defendant's ex-wife, apparently with the encouragement and assistance
of the F.B.I. and U.S. Probation Department, engaged in a telephone conversation with
Defendant.
6. In said telephone conversation, attorney Mason stated he had just had a telephone
conversation with Defendant's ex-wife, and stated: "Your ex-wife told me that the
F.B.I. made you leave America. She warned me that she's got the name and telephone number
of an F.B.I. agent that she was told to call if she ever found out you were back in the
United States. She said that he promised her that as soon as you set foot in America, he'd
personally arrest you".
7. The threat relayed to Defendant from attorney Mason corroborates the threats
Defendant received from William J. Stevens.
8. The information relating to this threat is contained in Defendant's Affidavit, which is
Attachment No. 1.
- 2 -
WHEREAS Defendant Michael Williams prays that this court supplement his
RESPONSE TO WILLIAM J. STEVENS' RESPONSE with this SUPPLEMENT TO DEFENDANT-APPELLANT
MICHAEL WILLIAMS' RESPONSE TO WILLIAM J. STEVENS' STATEMENT AND REQUEST FOR AN ORDER
DIRECTING DANIEL R. MASON TO SUBMIT A STATEMENT UNDER OATH - PRO SE APPELLANT and its
Attachments and Exhibits, and that attorney Daniel R. Mason be ordered to provide a
statement made under oath and notarized under penalty of perjury within fourteen (14) days
setting forth to the Court any and all threats he received from Defendant's ex-wife, and
that an independent investigation be ordered to determine what, if any, unlawful support
was provided to Defendant's ex-wife by the F.B.I. or U.S. Probation Department in order to
encourage, assist or aid Defendant's ex-wife in any way to obtain an unlawful divorce, to
kidnap Defendant's two minor children and remove them across state lines and deny
Defendant his Constitutional right to Due Process of Law and his Civil Rights by
terrorizing him into leaving and not returning to his homeland, the United States.
Respectfully submitted,
MICHAEL WILLIAMS, in Pro Se
Postfach 20
CH-3112 Allmendingen bei Bern
Switzerland
- 3 -
AFFIDAVIT OF MAILING CANTON OF BERNE ) COUNTRY OF SWITZERLAND )
MICHAEL WILLIAMS swears that on the 12th day of August, 1995, he placed a copy of
SUPPLEMENT TO DEFENDANT-APPELLANT MICHAEL WILLIAMS' RESPONSE TO WILLIAM J. STEVENS'
STATEMENT AND REQUEST FOR AN ORDER DIRECTING DANIEL R. MASON TO SUBMIT A STATEMENT UNDER
OATH - PRO SE APPELLANT in envelopes addressed to the following named individuals and
caused the envelopes to be deposited in the Swiss mail depository located at the PTT Post
Office in Bern, Switzerland on said date at or before the hour of 5:00 p.m.
Mr. Thomas F. Strubbe Carol A. Davilo
Clerk of the U.S. Court of Appeals Assistant United States Attorney
219 S. Dearborn, 20th Fl. 219 S. Dearborn, 20th Fl.
Chicago, IL 60604 Chicago, IL 60604
Juleann Hornyak SA Richard Loyd
Clerk of the Supreme Court FBI - Room 905
Supreme Court Building 219 S. Dearborn
Springfield, IL 62706 Chicago, IL 60604
William J. Stevens A.R.D.C.
135 S. La Salle St. One Prudential Plaza
Suite 1407 130 E. Randolph Drive
Chicago, IL 60603 Chicago, IL 60601-6219
Boutros Boutros-Ghali J. Moller, Chief of Branch
Secretary General Centre for Human Rights
United Nations United Nations
Room S-3800A Palais des Nations
New York, NY 1--14 8 - 14 Avenue de la Paix
1211 Geneva 10
Daniel R. Mason
160 S. Church St.
Canton, GA 30114
Respectfully submitted,
MICHAEL WILLIAMS, in Pro Se
Postfach 20
CH-3112 Allmendingen bei Bern
Switzerland