Case 2:16-cr-00046-GMN-PAL Document 3189 Filed 02/20/18 Page 1 of 3 1 3 Ryan-c: family of Bundy In care of postal address: Post Office Suite 7447 Bunkerville, NV Email: C4CFForall@gmail.com 4 Sui Juris 2 5 6 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA 7 8 9 10 THE UNITED STATES OF AMERICA, Plaintiff, 11 12 13 14 v. Case No: 2:16-cr-00046-GMN-PAL Defendant ryan-c: Bundy’s Renewed Notice Requiring an Evidentiary Hearing and Unsealing of BLM Whistleblower Letter of Larry Wooten ryan-c family of Bundy, et. al Defendants. 15 16 Between the time that this Court ordered a mistrial and dismissed the superseding 17 indictment with prejudice, I required this Court to hold an evidentiary hearing to take the 18 testimony of Bureau of Land Management (BLM) whistleblower Larry Wooten. The reason that I 19 made this requirement was because I wanted the Court to have a full and complete record of the 20 violation of my and the other defendants constitutional and other rights by BLM, the Federal 21 Bureau of Investigation and the U.S. Attorney’s Office in this district before it made its ruling on 22 whether to dismiss the superseding indictment. I also asked that the communication from Mr. 23 Wooten be unsealed, which to date has not happened. Nor did the Court order an evidentiary 24 hearing before it ordered the dismissal with prejudice. 25 However now, in light of the prosecution’s motion to reconsider the dismissal of the 26 superseding indictment with prejudice, which motion is inconsistent with its having also having 27 moved to dismiss the indictment with prejudice of the remaining so called “third tier” defendants, 28 -1- Case 2:16-cr-00046-GMN-PAL Document 3189 Filed 02/20/18 Page 2 of 3 1 which include but are not limited to my brothers Mel and Dave Bundy, I renew my requirement 2 for an evidentiary hearing before this Court even considers and later rules upon the motion to 3 reconsider of the U.S. Attorney. I also renew my requirement to unseal the letter of BLM 4 whistleblower Wooten, as there is no valid reason to keep it under seal, particularly since it is a 5 matter of extreme public interest and in the interest of the proper and legal administration of 6 justice. 7 In so doing, there will be a complete record more than confirming that the prosecution’s 8 motion to reconsider this Court’s prior dismissal of the superseding indictment is frivolous and 9 not put forth in good faith, but only to try to insulate them from likely discipline by the now 10 opened ethics and potentially criminal investigation before the Justice Department’s Office of 11 Professional Responsibility and Inspector General, ordered by Attorney General Jeff Sessions, 12 into their deceitful, gross, willful and flagrant prosecutorial misconduct which severely prejudiced 13 my constitutional due process and other rights and the rights of the other defendants. 14 Incredibly, the prosecution in this case would have, through lies and obstruction of justice, 15 had my father, brothers and I convicted for life, obviously to try to further their own careers and 16 other improper reasons. This egregious prosecutorial misconduct cannot be permitted and go 17 unchecked in a civilized society and democracy and the testimony of BLM whistleblower Wooten 18 is necessary to have a complete record of what amounts to not just a deprivation of defendants’ 19 rights, but criminal conduct by the prosecution and its client agencies such as the BLM and FBI. 20 21 22 23 WHEREFORE, DEFENDANT ryan-c: family of Bundy AND THE OTHER AGGRIEVED DEFENDANTS, INCLUDING BUT NOT LIMITED TO CLIVEN AND AMMON BUNDY, RESPECTFULLY DEMAND THAT THIS REQUIREMENT BE CARRIED OUT WITHOUT DELAY, AND AN EVIDENTIARY HEARING HELD AT THE EARLIEST PRACTICABLE DATE, AND THAT THE LETTER OF MR. WOOTEN BE IMMEDIATELY UNSEALED AND PLACED ON THE PUBLIC DOCKET OF THIS CASE. 24 /s/ Ryan C Bundy_____________________ Ryan-c: family of Bundy In care of postal address: Post Office Suite 7447 Bunkerville, NV Email: C4CFForall@gmail.com 25 26 27 28 -2- Case 2:16-cr-00046-GMN-PAL Document 3189 Filed 02/20/18 Page 3 of 3 CERTIFICATE OF SERVICE 1 2 1. 3 I ryan-c: family of Bundy certify that on Feb. 20, 2018, a copy of Defendant ryan-c: Bundy’s Renewed Notice Requiring an Evidentiary Hearing and Unsealing of BLM 4 Whistleblower Letter of Larry Wooten was {served/electronically} filed as follows: 5 6 Via the CM/ECF system, which will automatically serve a Notice of Electronic Filing and/or by: 7 8 9 10 11 12 13 14 15  by certified U.S. mail, return receipt requested #____________________________________  by U.S. mail placed in Postal Box at: ____________________________________________  by personal delivery by {my agent}: _____________________________________________  by fax to {fax number} at {time}: _______________________________________________  by common-carrier delivery by {identify type of delivery service, e.g., FedEx, UPS}: ____________________________________________________________________________ _  by e-mail to {e-mail address} ________________________________ at {time} _________  by the following agent/assistant for Defendant, RYAN C BUNDY: 16 Ryan C Bundy 17 /s/ 18 ryan-c: family of Bundy In care of postal address: Post Office Suite 7447 Bunkerville, Nevada Email: C4CFForall@gmail.com Cell Phone: (435) 701-1013 19 20 21 22 I certify that Maysoun Fletcher is a registered CM/ECF user and that service was accomplished by the CM/ECF system on February 20, 2018. 23 24 __/s/_Maysoun Fletcher__ Maysoun Fletcher 25 26 27 28 -3-