FAITH & LIBERTY

" My will to truth, walks with your will to give a Foucault. "

JohnDavid Battaglia 

ALL ART IS PROPAGANDA: "FREEDOM OF THE INTELLECT MEANS THE FREEDOM TO REPORT WHAT ONE HAS SEEN, HEARD, AND FELT, AND NOT TO BE OBLIGED TO FABRICATE IMAGINARY FACTS AND FEELINGS. THE FAMILAR TIRADES AGAINST 'ESCAPISM', 'INDIVIDUALISM' OR 'ROMANTICISM' AND SO FORTH, ARE MERELY A FORENSIC DEVICE, THE AIM OF WHICH IS TO MAKE THE PERVERSION OF HISTORY SEEM RESPECTABLE." George Orwell, January 1946

DeathRow-USA.us/JohnDavidBattaglia.htm

 

Petitioner John David Battaglia

Some DATA on my federal Judges to got from the I-net with my note .... for infos/ref. JDVD April 2012

Jane J. Boyle

...followed Paul Coggins - FCA 1995-1998- where was she?

Judical Profile U.S. Magistrate Jane Boyle JudgeJBoyle2012DallsBAR2012.jpg (354221 Byte)

...IRONIC "Last book read: "To Kill a Mockingbird" (it isn't the first time she has read it!)... maybe should try again...

...Its about a crooked COURT-House &Community in the .... south 


Jeff Kaplan U.S. Magistrate Judge

"I made a bad Joke out of--so here it is": 

ProfilJeffKaplan5thDistrictCApril2012.jpg (296205 Byte)

ProfilJeffKaplan5thDistrictCApril2012p2.jpg (421464 Byte)

How many law schools are in TX? .... He attended Vanderbilt University same as Magaret L. Schmucker....

 

Filled Jan.18 2011- Motion for Self Representation   Cause Number 3-09-cv-1904-B

Filled Jan.18 2011 - Motion To Amend Federal Petition in Cause Number 3-09-cv-1904-B  and File on Unresolved and newly discovered Appeal 

MOTION TO EXTEND TIME FOR AMENDMENT OF FEDERAL WRIT OF HABEAS CORPUS-Case 3:09-cv-01904-B -BD Document 50 Filed 02/23/11

March 9, 2011 ORDER Jeff Kaplan Magistrate Judge US_Dallas No.3-09-CV-1904-B-BD

7-25-10 TDCJ Offender Grievance Form Step1 (to USSC letter 25 Oct 2010)  MAIL Polunsky Unit

8-18-10 TDCJ Step 2  - Code 304 (to USSCourt letter 25 Oct 2010) MAIL Polunsky Unit

  • 09/20/2011

    74

    ProSe Supplemental Reply     

    05/27/2011

    62

    Supplemental Application for Writ of Habeas Corpus by John David Battaglia. (twd) (Entered: 05/31/2011)

    05/19/2011

    60

    MOTION for Stay and Abeyance filed by John David Battaglia. (twd) (Entered: 05/20/2011)

    04/14/2011

    56

    MOTION to Extend Time to File Pro Se Supplemental Application for Writ of Habeas Corpus Due to Exceptional Circumstances filed by John David Battaglia. (tln) (Entered: 04/14/2011)  

     
    09/20/2011 74 / ProSe Supplemental Reply 

       

    Filed documents:

    60 - MOTION for Stay and Abeyance filed by John David Battaglia. (twd) (Entered: 05/20/2011)

       

     


    160MOTIONforStayandAbeyancefiledbyJohnDavidBattaglia.Entered05202011.jpg (410339 Byte)260MOTIONforStayandAbeyancefiledbyJohnDavidBattaglia.Entered05202011_2.jpg (351989 Byte)360MOTIONforStayandAbeyancefiledbyJohnDavidBattaglia.Entered05202011_3.jpg (481303 Byte)460MOTIONforStayandAbeyancefiledbyJohnDavidBattaglia.Entered05202011_4.jpg (347813 Byte)

    62 Supplemental Application for Writ of Habeas Corpus by John David Battaglia. (twd) (Entered: 05/31/2011)  

    Petitioner/ProSe 62JDVD0527201162SupplementalApplication for Writ of HabeasCorpusbyJohnDavidBattagliaEntered05312011.pdf

    56 MOTION to Extend Time to File Pro Se Supplemental Application for Writ of Habeas Corpus Due to Exceptional Circumstances filed by John David Battaglia. (tln) (Entered: 04/14/2011)   

    8 page motion to extends time .... This Kendall is Federal Judge refferred to IRS-CID & who was forced off-FED Bench when I was arrested JDVD

     KendallJudgeIRS-CIDforcedOff.jpg (495950 Byte)

     

Filed 02.23.2011 Page ID 333

February 17, 2011

U.S. District Court
Nothern District Texas-Dallas Division
1100 Commerce
Dallas, TX 75242-1003
 
RE: Case 3:09-cv-01904-B-BD ; John David Battaglia v. THALER, TDCJ 
(Death Penalty Case)

Dear Clerk of the U.S. District Court:

I have enclosed two PRO SE Motions which need to be filed in above-referenced case;

  1. MOTION TO EXTEND TIME FOR AMENDMENT OF FEDERAL WRIT OF H.C.
  2. MOTION IN OPPOSIION TO STATE'S OBJECTION BASED ON "HYPRID REPRESENTATION

February172011_TwoPRO_SE-MotionsToUS_DistrictCourt.jpg (354735 Byte)

 
   Filled Jan.18 2011- Motion for Self Representation   Cause Number 3-09-cv-1904-B
   
   
  • press the picture for the document 1-5 pages
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  • March 9, 2011 ORDER Judge Jane J.Boyle - Case 3:09-cv-01904-B-BD Self-Representation

 

 

  • Filled Jan.18 2011 - Motion To Amend Federal Petition in Cause Number 3-09-cv-1904-B  and File on Unresolved and newly discovered Appeal 

  March92011orderJeffKaplanJudgeUS_Dallas3-09-cv-1904-b-bd.jpg (371894 Byte)
  • March 9, 2011 ORDER Jeff Kaplan Magistrate Judge US_Dallas

No.3-09-CV-1904-B-BD

 

     

 

Filled Jan.18 2011 - Motion To Amend Federal Petition in Cause Number 3-09-cv-1904-B  and File on Unresolved and newly discovered Appeal 

 


Case 3:09-cv-01904-B -BD Document 50 Filed 02/23/11

 

JOHN DAVID BATTAGLIA,

Petitioner

v. Cause No. 3-09-cv-1904-B

(DEATH-PENALTY CASE)

RICK THALER, Director

Correctional Institution Division,

Texas Department Criminal Justice,

Respondent

MOTION TO EXTEND TIME FOR AMENDMENT OF

FEDERAL WRIT OF HABEAS CORPUS

 

       Petitioner, John David Battaglia, hereby requests permission to move this COURT to GRANT him an extension of at least 90 days, from the date in ORDER, Docket Entry 44, dated February 3, 2011 and postmarked from Dallas February 7, 2011 and received by Petitioner on February 10, 2011, which states;

    1. Petitioner  may file a pro se supplemental application for writ of habeas corpus, raising any additional grounds for relief he deems appropriate, by March 18, 2011

    Petitioner desires to amend current issues and file new claims such as, but not limited to, ineffective assistance of appointed federal writ counsel, but because of petitioner’s unique physical restrictions and limited access and procedures of death-row to the unit's law library and dependence on officials to deliver requested legal research materials; which are done only three times per week for a maximum period of 24 hours per each request and which are limited to a maximum of three items per request. These procedures are dependent on a normal, holiday free, five day work week, but as of this date, February 16, 2011, this death-row unit was placed on a SECURITY LOCK-DOWN for an undisclosed and indefinite period of time; which restricts all movement on death-row and may aIso involve the removal, search and inspection of petitioner's legal correspondence and documents which makes responding to the ORDER'S (DE 44) set deadline unreasonable. Petitioner would point out that this request for an extension of time is not unreasonable and that a common request is for six months. Also, the petitioner is not trying to use di1atory tactics and would point out to the COURT that he has no access to a copy machine or a printer or to the internet or even his own court trial transcripts and records or his attorney work files, which the petitioner has repeated requested and has been denied by all of his appointed counsel’s to date. In addition, State Law restricts the petitioner's access to his own public records because of his current legal status, including his TDCJ medical and psychological records and his TDCJ Legal Mail Logs for use in amending his writ.    Petitioner prays that the COURT will GRANT his request for an Extension of Time for Amendment of his Federal Writ of Habeas Corpus .

Respectfully submitted

John David Battaglia

999412, Livingston, TX

 

CERTIFICATE OF SERVICE

       I do hereby certify that a true and correct carbon copy of the above and foregoing MOTION has been p1aced in the death-row unit mail at 5 A.M., February 17, 2011, to be Logged in as Legal Mail and then to be placed in the O.S. Postal Service for delivery to Mr. W. Erich Dryden, Assistant Attorney General, for the Respondent at the following address;  

Attorney General of Texas

Postconviction Division

W. Erich Dryden

P.O. Boa: 12548

Austin, TX 78711-2548

 

     
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JDVDBattaglia.com - John David BATTAGLIA - 999412 Polunsky DR, 3872 FM 350 South - Livingston, Texas 77351 USA

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The textes are unsencored and will show you case information that we have received from JohnDavid Battaglia. Also have placed much case related information in his profiles. Therefore you will also find some of those profiles listed above. This section is created on request by JDVD Battaglia and we will add more information soon. If you have questions about any information that has been placed in the material listed above we advice you to write the inmate. We don't know about all the cases and therefore can't be of any help. The inmates profiles show the address. For comments please write us an e-mail.

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