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November18,2013 AttorneyGeneralRobertCooper,Jr. AttorneyGeneralfortheStateofTennessee P.O.Box20207 Nashville,TN37202 InRe:HOOKERV.HASLAMETAL.

LAMETAL. DearMrAttorneyGeneral: InthecontextoftheanniversaryofJohnFKennedysassassinationIhavebeenreadingsomeof his quotes, as he and his brother Bobby were my political mentors, one of which is: NO MATTER HOW BIG THE LIE; REPEAT IT OFTEN ENOUGH AND THE MASSES WILL REGARD IT AS THE TRUTH. In that regard you and lawyers in your office have intentionally, in papers filed with the Court and in oral argument,donejustthat. In that regard the fact is that the Lieutenant Governor Ramsey and Speaker of the House Harwell, as well as Senator Beavers and Representative Watson, have ALL TOLD ME PERSONALLY that the RetentionElection Statute is UNCONSTITUTIONAL. If you will ask them whether that statement is true, they will undoubtedly tell you that it is. Consequently, in view of the fact that you have claimed otherwise,arguingthattheStatuteisCONSTITUTIONAL,withoutdisclosingtotheCourtthatfourofthe Defendants in this case, CLAIMED to the contrary that the statute is unconstitutional, you have a duty underyouattorneysoathtodisclosethatfacttotheCourt. Therefore,lawyertolawyerinthiscaseinvolvingtheHIGHESTPUBLICINTERESTIamaskingyou forthwithinresponsetotheattachedmotiontoinformtheCourtoftheaforesaidfacts.Ifyoudonotdo so, I am going to attempt to file this letter with the Court in the name of JUSTICE, as the pursuit of JUSTICE for the qualified voters of this State require me to do so. Otherwise, over time the FRAUDULENT claim that the Defendants all claim that the Statute is CONSTITUTIONAL will inevitably be exposed.Astheoldsayinggoes,THETRUTHCRUSHEDTOGROUNDSHALLRISEAGAIN. The Court is entitled, under the RULES OF PROFESSIONAL RESPONSIBILITY to no less than the TRUTHNOW! Respectfully, s JohnJayHooker cc:LtGov.RonRamsey SenatorMaeBeavers SpeakerBethHarwell ChairmanEricWatson

IN THE SPECIAL SUPREME COURT OF TENNESSEE AT NASHVILLE

) ) Appellant/Petitioner, ) ) v. ) ) ) ) GOVERNOR BILL HASLAM, ) LIEUTENANT GOVERNOR RON RAMSEY, ) SPEAKER BETH HARWELL, ) SENATE JUDICIARY CHAIRMAN ) MAE BEAVERS, ) HOUSE JUDICIARY CHAIRMAN ) ERIC WATSON, ) CHIEF JUSTICE CORNELIA CLARK, ) ATTORNEY GENERAL ROBERT COOPER ) On behalf of the Attorney General's Office ) and all appellate judges appointed and ) subsequently retention elected under ) T.C.A. 17-4-101 et seq, and ) CRIMINAL APPEALS JUDGE ) JEFF BIVENS ) ) Appellee/Respondent. )

JOHN JAY HOOKER, et al.

Case No. M2012-01299-SC-R11-CV On appeal from Davidson County Circuit Court Case No. 12C735

AMOTIONTODISCLOSE ______________________________________________________________________________ A MOTION FOR GOVERNOR HASLAM AND FOR EACH OF THE DEFENDANTS TO DISCLOSE, EITHER THROUGH THE ATTORNEY GENERAL WHO REPRESENTS THEM IN THIS CASE, NOTWITHSTANDING THE FACT THAT HE IS AN APPOINTEE OF THE MEMBERS OF THE SUPREME COURT, AND THEREFORE MAY BE CONFLICTED, OR OTHER COUNSEL AND THEREBY ADVISE THE COURT UNDER THE OATHS OF OFFICE OF EACH OF THE DEFENDANTS WHETHER THEY INDIVIDUALLY CLAIM BOTH PUBLICLY AND PRIVATELY THAT THE RETENTION ELECTION STATUTE, TCA 174101 ET SEQ. IS CONSTITUTIONAL, AS THE ATTORNEY GENERAL, AND HIS SUBORDINATES,UNDERTHEIROATHSOFOFFICEHAVEARGUEDONBEHALFOFEACHOFTHE DEFENDANTS BEFORE THIS COURT, AND IN THE TRIAL COURT, IN OPPOSITION TO THIS LAWYERS CLAIM, UNDER THE ATTORNEYS OATH THAT THE RETENTION ELECTION STATUTE ISUNCONSTITUTIONAL.
_____________________________________________________________________________________

ARGUMENT
Thepreviousargumentsbythislawyer,challengingtheconstitutionalityoftheact,shouldberereadin thecontextofthismotion.FurthermoretheCourtcantakejudicialnoticeoftheeditorialinthe TennesseenewspaperwrittenbyFrankDanielsIII,attachedhereto,whichstatesthattheTennessee Planstealsrightfulpowerofvoters. Respectfullysubmitted s _________________________________ JOHN JAY HOOKER, BPR #005118 115 Woodmont Blvd. Nashville, Tennessee 37205 Phone (615) 269-6558 Cell (615) 479-6531 Fax (615) 383-6036 johnjayhooker@hpeprint.com

CERTIFICATE OF SERVICE I hereby certify that a true and exact copy of the foregoing has been sent via First Class mail, postage prepaid and email and or fax, to: Janet Kleinfelter Deputy Attorney General Public Interest Division Office of the Attorney General P.O. Box 20207 Nashville, Tennessee 37202 William A Blue, Jr. Constangy, Brooks, and Smith, LLP 401 Commerce Street, Suite 700 Nashville, Tennessee 37219 Jacqueline B. Dixon Cindy Wyrick Allan F. Ramsaur Tennessee Bar Association Tennessee Bar Center 221 4th Avenue North, Suite 400 Nashville, TN 37219-2198 Patricia Head Moskal Edmund S. Sauer Bradley Arant Boult Cummings, LLP 1600 Division Street, Suite 700 P.O. Box 340025 Nashville, TN 37203

Attorney General Robert Cooper, Jr. Attorney General for the State of Tennessee P.O. Box 20207 Nashville, TN 37202 On this the 17th day of November 2013.

s
______________________________ John Jay Hooker

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