thirstforjustice.tripod.com/tsarnaevamicpet12015.html

U.S. District Court for the District of Massachusetts

United States of America

v Case - Criminal No. 13-10200 GAO

Dzhokhar Tsarnaev

Initial Component of 1/20/15 of Prospective Next Friend/Petitioner to Intervene/Amicus Robert J. More's Motion of 1/20/15 to be Permitted to File Documents in this Case in Some Role or Other and According to Some Formula In Order to Ensure that No Legitimate Reliance Interest Implicated in the Matter this Document Concerns ("This Matter") would be Left in Any Condition Other than One of having been Adequately Accommodated and for Court to Either Stay the Adjudication of this Case Pending the Adjudication of the Petition Which RJM Filed in the SCOTUS on 1/20/15 in Re Whereto or to Otherwise Adequately Address the Issue of the Evidence which Richard Eastman has Presented in Various Theatres in Regard to the Boston Marathon of 2013 Explosions, Which if Competent, Would Seem to Exonerate D. Tsarnaev of Culpability for having Planted and/or Detonated any Explosive in that Event, to be Superseded, Retracted and/or Otherwise Modified as the Requirements of the Moral Law Applicable to the Circumstances which will be Encountered in Regard to This Matter Would Evidently Require

Now Comes Petitioner Robert J. More ("RJM") to respectfully move this Court to grant the consideration referenced in the title to this motion and in explanation and support whereof, RJM avers and explains as follows:

1. On 1/20/15, RJM both mailed to the Supremed Court of the United States ("SCOTUS") and filed via the efiling process presently in place in the SCOTUS a copy of a document titled "INITIAL COMPONENT OF 1/19/15 OF A PETITION TO THE SUPREME COURT OF THE U.S. OF A. FOR THE ISSUANCE OF A WRIT OF HABEAS CORPUS PURSUANT TO THE PROVISIONS OF 28 USC 2241 VIA THE VEHICLE OF A SPECIAL WRIT PURSUANT TO THE PROVISIONS OF 28 USC 1651, ACCOMPANIED BY A MOTION TO STAY THE PROCEEDINGS PRESENTLY BEING CONDUCTED IN THE TRIAL COURT IN THE TRIAL OF MR. D. TSARNAEV SO THAT TSARNAEV DOES NOT LOSE THE STATUS OF PRE-TRIAL DETAINEE PRIOR TO THE COMPLETION OF THE ADJUDICATION OF THIS PETITION, TO BE SUPERSEDED AS SOON AND AS FREQUENTLY AS MIGHT BE NECESSARY FOR RJM TO UNDERSTAND THAT HIS MORAL LIABILITY IN REGARD TO THE MATTERS CONCERNED WOULD HAVE BEEN ADEQUATELY COVERED", except that attributable to whatever combination of contributing causes, the title included herein did not end up in the documents emailed to the SCOTUS on 1/20/14, but did end up in those emailed to the SCOTUS on 1/21/14.

2. A copy of that document is included in the envelope in which this document has been transmitted and the entirety of the contents whereof are incorporated herein by referenced as if fully set forth herein and such document has been posted at: "thirstforjustice.tripod.com/tsarnaevhabpet11915.html".

3. Predicated upon the contents of such document, RJM understands that he ought respectfully move this Court to stay the commencement of Mr. D. Tsarnaev's trial until the SCOTUS would have adjudicated that petition, so that Tsarnaev will not lose the "Pre-trial Detainee" status necessary for the adjudication of a 28 USC 2241 Petition.

4. For now, the mailing of this document accompanied by efforts on 1/21/15 to efile it would evidently constitute the adequate covering of what RJM apprehends to constitute his "moral liability" in regard to the matters this document concerns but RJM realizes that the continued prosecution of this matter may end up entailing multiple burdens and RJM resigns himself to the adequate bearing whereof until it occurs to RJM how RJM might legitimately get himself "unhooked" from entanglement in this matter, an entanglement which RJM has understood that he could not legitimately evade, unless and until someone more capable than RJM would take up the championing of the causes at issue in this regard.

Wherefore, RJM respectfully moves this Court to grant the consideration referenced in the title to this document,

Respectfully submitted,

Robert J. More



U.S. District Court for the District of Massachusetts

United States of America

v Case - Criminal No. 13-10200 GAO

Dzhokhar Tsarnaev

Proposed Order of 1/20/15

1. For reasons which will be explicated fully, Providence permitting at some future juncture, all proceedings in the case this document concerns have herein been stayed pending the adjudication of the Petition which Robert J. More filed on 1/20/15 in the SCOTUS by such Court until further order of this Court.

___________________________, ______________________



1. Document List of 12015 - Tsarnaev - D/L of 12015 - Tsarnaev

2. 28 USC 2241 Habeas Corpus Petition to SCOTUS from Next Friend/Jus Tertii Intervenor Robert J. More X

3. Tsarnaev - Initial Component of 1/20/15 of ... Amicus Petition [in Trial Court] X

4. Notice of Motion of 1/20/15 X

5. Motion re selective prosecution/us of A loss of claim to prosecute - subjugation to Rothschilds, motion to have William Grigg called as a witness to FGJ, and if necessary in any trial, get evidence from Eastman and re Todashev to FGJ and if necessary to trial jury,

6. Tsarnaev Invitations to Director of FBI, Craft International Operative/FBI Asset

7. Tsarnaev Petition for Indictments

8. Email of 12/26/14 to Office of Federal Defender for District of MA ('FDMA")

10. URL's of Videos of Voice Mail Messages Delivered to FDMA on 12/29/14

11. Todashev Invitations ....

12. Todashev Petitions for Indictments

13. Motion to Appoint Special Prosecutor 28 USC 591, 592 - Judge

14. . Motion to Appoint Special Prosecutor 28 USC 591, 592 - Congressional Judiciary Committee

Documents Listed Herein Adjacent to Which there is an "X" have been included in the documents transmitted to the USDC for the District of Massachusetts on 1/20/15.



U.S. District Court for the District of Massachusetts

United States of America

v Case - Criminal No. 13-10200 GAO

Dzhokhar Tsarnaev

Notice of Emergency Motion from Prospective Intervenor/Amicus R. J. More of 1/20/15

On either 1/23 or 1/26/15, or both, at 9:00 a.m. Robert J. More will endeavor to procure an audience or at least keep himself available via telephone to participate in an audience with USDC for District of MA Judge G. O'Toole in regard to the Case whose caption is at the top of this document in whatever Courtroom it would be in which such Judge would be adjudicating cases in the Moakley Federal Courthouse in Boston, MA.

Proof of Service

RJM emailed a copy of this notice and all of the documents which accompany it to the Office of the Federal Defender for Massachusetts at the email address available in such entity's website on 1/21/14 and delivered a voice mail to the Office of the U.S. Attorney for the District of MA on such entity's voice mail available to the public notifying such entity of the attempted scheduling of the petition this document concerns.

Under penalty of perjury pursuant to the provisions of 28 USC 1746, I aver to the veracity of all factual averments included herein

Robert J. More

P.O. Box 6926

Chicago, IL, 60680, 608 455-6181, anselm45@gmail.com