Shuhratjon AHMADJONOV
STATEMENT-COMPLAINT (CONTINUED 5): THE USA FBI CRIMES AND THE ROAD OF EVIDENCE
82. I wrote a complaint analyzing the events of February 2016 to Mr. Brian Carome, Executive Director of Street Sense on April 30, 2016. I sent him this complaint via mail on May 3, 2016. Below is the full text of that complaint. I wrote based on a complaint from the Street Sense American Newspaper Buyers Address on May 14, 2016. I added six points at the end of the complaint and Appeal P.S. In P.S.3 I printed nine photos. I have typed six photographs from the 14 May 2016 Address in paragraphs 77, 80, 83 and 87. The complaint is long and has been divided into paragraphs 82-85 for clarity.
«216 Tulip Dr.
Gaithersburg, Maryland 20877
Phone: 301-337-5722
E-mail:
jiz54@mail.ru ,
ergash1955@yahoo.com
Shuhratjon Ahmadjonov (Uzbek, born 01.20.1954)
Street Sense
Mr. Brian Carome, Executive Director
1317 G Street, NW
Washington, DC 20005
Phone: 202-347-2006
E-mail:
info@streetsense.org
April 30, 2016
Dear Mr Brian Carom,
On February 23, 2016, Joshua Maxey (Street Sense salesperson and sales manager) gave me a Suspension from the sale of Street Sense for one week from February 19, 2016 (I was given another Suspension on February 26, 2016 from February 19, 2016). The following is written there (see Appendix 1).
“To: Shuhratjon Ahmadjonov, # 457
From: Josh Maxey, Vendor Manager
Subject: Two week suspension
Date: 2/19/2016
CC: Brian Carome, Executive Director
Mr. Ahmadjonov,
On 2/5/16 Street Sense staff members were made aware of a situation that involved you violating Street Sense code of conduct which states “I agree to abide by the Street Sense vendor territorial policy at all times”. A witness informed Street Sense staff that you stood in front of a wendor that was already selling on a street corner. When the wendor tried to address you and told you that they were at the location first, you ignored them and continued to try to sell your paper. Street Sense does not assign any specific territory to our vendors. Street Sense uses a “first come, first serve” method. Street Sense staff have also had to address this issue with you on more than one occasion.
Due to this violation, I am hereby suspending you from selling Street Sense for a period of one week. You may not purchase and distribute the Street Sense paper during this period.
Once this suspension has expired on 2/26/2016, Street Sense will consider reviewing your status and granting you privileges to return to selling Street Sense papers again. You may appeal this suspension to the Executive Director by filling out the attached form.
Any questions you have about this suspension may be brought to the Vendor Manager
Josh Maxey
Vendor Manager
202-347-2006x10
josh@streetsense.org
signature Josh Maxey 2/23/2016”
Mr. Joshua Maxey in the Solution writes:
“On 5/2/2016, Street Sense employees were made aware of the situation that you are involved in a violation of the Street Sense Code of Conduct, which states: “I undertake to comply with the submitter of the Street Sense Vendor Territorial Policy in any case.” A witness told Street Sense staff that you were standing in front of a vendor who was already selling on the street corner. When the salesperson tried to reach out to you and told you that he was at the location first, you ignored them and continued trying to sell your paper. Street Sense does not assign a specific territory to our sellers. Street Sense uses a first-come, first-served basis Street Sense staff have also had to deal with this issue with you on more than one occasion.”
I have been working as a vendor in Street Sense since October 2012. I have always tried not to violate the Street Sense Code of Conduct which states: "I undertake to comply with the submitter of the Street Sense territorial policy at all times." I also tried to work on a first-come, first-served basis.
83. Continuation of my complaint addressed to Mr. Brian Carom, Executive Director of Street Sense dated April 30, 2016. I write here about the provocations of the vendor David Denny.
“I'll start from the end. Mr. Joshua Maxey writes: "Street Sense staff also had to deal with this problem with you on more than one occasion." What he is referring to, I don't know. If Mr. Joshua Maxi writes specifically, I will answer specifically.
In my opinion, my suspected violation was reported on February 5,2016 by the vendor, Mr. David Denny, by providing a video taken on the phone. I'll start with his previous provocations.
Photo 25. Vendor David Denny. Photo from the website of the newspaper Street Sense. 2016.
I sold Street Sense newspaper near the Eastern Market some Saturdays in 2013 and 2014 (Eastern Market, 225 7th Street, SE Washington, DC 20003. Phone: 202-698-5253). David made several provocations against me near the Estern Market in 2014. Here I will write about three of his provocations. I wrote about these provocations and other important events in detail in my diary. Unfortunately, on the night of May 26, 2014, two armed robbers robbed me and took away my bag and backpack. The bag and backpack contained a laptop and other important items, including diaries. I bought a new notebook in July 2014 and started writing down some important events. I copied the date of the third provocation of David on April 19, 2014 into this diary from a piece of paper.
DAVID'S FIRST PROVOCATION. This was in 2014. I came to the corner of Pennsylvania Avenue Southwest and 7th Street Southwest (Pennsylvania Avenue, SE and 7th Street, SE) on Saturday 9:00 am and started selling Street Sense. David Denny came in around 12:00 and started selling Street Sense on the same corner. Several minutes passed. Some disabled person wearing a green Street Sense uniform arrived in a wheelchair. David gave him the Street Sense newspaper and the disabled person also started selling Street Sense. As a result, on one corner, a few steps including me, three people dressed in the Street Sense uniform were selling. This case was seen by vendor Ms. Aida Basnight. I explained the situation to her. She called David to order. But David did not leave and continued to sell the Street Sense newspaper. I hoped that David would understand and leave. So I tried to keep selling Street Sense. But David did not leave and continued to sell the newspaper. I realized that this is an open provocation on the part of David. So, I left after 7-8 minutes.
THE SECOND PROVOCATION OF DAVID. David created the same situation a few weeks later. In this case, there was no Street Sense salesman in a wheelchair. This case was also seen by vendor Ms. Aida Basnight. This time I stood for a few minutes and then left.
THE THIRD PROVOCATION OF DAVID. I started selling Street Sense on April 19, 2014 at 9:00 am at the corner of Pennsylvania Avenue Southwest and 7th Street Southwest (Pennsylvania Avenue, SE and 7th Street, SE). Here in the corner is a cafe and its tables and chairs are on the sidewalk. I sat down to eat at about 12:30. A little time passed and David came up. He put his bag near the tree and began to put on his green Street Sense uniform.
I know the Street Sense Vendor Territorial Policy, in paragraph 4 of which the following words are written.
“4. Vendors are permitted to vacate a distribution point for up to 20 minutes for a meal/bathroom break without losing their claim on that distribution point. If a vendor vacates a distribution point for more than 20 minutes, the distribution point they occupied becomes available to any other vendor on a first come, first serve basis for all vendors, regardless of length of tenure with the organization.” [39]
I went up to David and said, “I've been selling Street Sense here since 9:00 am. I’ll finish my lunch and continue selling newspapers.” He paid no attention to my words, took out newspapers from his bag and began to sell loudly saying “Donation ... Homeless ...” (“Donate ... to the Homeless ...”, I remembered two words from his loud talking). I quickly finished my lunch, cleared the table, and stood at my selling point. David quickly approached me and waving a newspaper and loudly saying “Donation… Homeless…” stood in front of me. I took a few steps back and wanted to sell a newspaper. He came and stood before me again. I understood his open and impudent provocation. I crossed Pennsylvania Avenue and started selling a newspaper outside CVS Fharmasy (661 Pennsylvania Ave SE, Washington, DC 20003). David quickly crossed the street and again stood in front of me waving the newspaper loudly saying “Donation… Homeless…”. I crossed the street and returned to my original place in front of the cafe. David also came back across the street and stood in front of me again. I crossed Pennsylvania Avenue for the second time and wanted to continue selling newspapers near CVS Fharmasy. David crossed the street again and brazenly stood in front of me waving a newspaper loudly saying "Donation ... Homeless". I understood that he wants to organize an open, impudent provocation and create a conflict situation. I said nothing, stopped selling newspapers and went to the library.
I went to another small market in the city of Washington later on Saturdays and sold newspapers there. This market was in the parking lot across from the Safeway Store (Safeway Grocery Store address: 1855 Wisconsin Ave NW, Washington, DC 20007).
DAVID'S FOURTH PROVOCATION. Now about David's provocation in early November 2015 near Farragat North metro station. Why exactly at the beginning of November 2015 - the reason is as follows.
On the evening of October 30, 2015, I returned from the city of Denver to the capital of the United States to the city of Washington. After my trip to the states of Idaho and Colorado, the provocations and persecution against me in Washington intensified. Again, David tried to arrange a provocation in early November 2015. (Probably, the FBI agents specifically sent against me the proven provocateur David Denny, who many times staged provocations near the Estern Market. A.Sh., 05/11/2016, 11/08/2021).
In early November 2015, I was selling Street Sense near the Farragut North metro station. After an hour of my work, David came. He looked at me and walked past. I sold the newspaper for another 30 minutes and went to the toilet. I return in 5-6 minutes and see that David is selling a newspaper here near the metro. I said nothing, put on my green Street Sense uniform, and continued selling newspapers. David saw me and within about ten minutes sold a Street Sense newspaper to two customers. David left after ten minutes of selling the Street Sense newspaper.
I came the next day and saw that David was selling a newspaper near the Farragat North metro station. I told him that I would write a complaint to the Street Sense management and I went to another place. David after my warning about ten days did not come to sell the newspaper. I thought maybe David realized his mistake and I decided not to write a complaint about David's provocation in early November 2015.
Another 10-15 days passed and he began to come to sell Street Sense at the corner of Farragat Square or near the Farragat North metro station. So on February 5 (Friday), 2015, he came to the corner of Farragat Square. I decided to tell him in front of others that he was a provocateur. I took out the Street Sense newspaper and stood close to David. He came up and started talking to me. I told him: “You used to do provocations against me in the Estern Market. You have now come to this place to arrange new provocations.” He took out his phone and started making a video recording. I turned away from him and said that he was a provocateur. But he was passing to the right, then to the left, filming on the video of the phone. I stood for a few minutes and went to another place.
THE FIFTH PROVOCATION OF DAVID. After February 5, 2016, David sold newspapers several times in Farragat Square and near the Farragat North metro station. Knowing that he could arrange another provocation, I never approached him. Therefore, on February 12 (Friday), 2016, David himself approached me in order to arrange another provocation. It was like that.
On February 12 (Friday), 2016, after praying in the mosque at 14:00, I came to Farragat Square and started selling the Street Sense newspaper. David came at 15 o'clock near the metro station Farragat North. At 15:40, I decided to take the bus one stop and drink a cup of coffee in a cafe and go to the toilet. The bus stopped at the corner of K Street and 17th Street, and I crossed 17th Street and quickly approached the bus. At this time, David comes running and takes a video of his phone and asks me: “Are you leaving?” So, he waited 40 minutes for me to go to the toilet. This was another provocation by David. I looked at him and said nothing. That day I distributed roses to my female customers: February 14 - Sunday was Valentine's Day, that is, Valentine's Day. David wanted to take my job selling newspapers and take away my ability to give 60 roses to my customers. Therefore, I decided to return to the place where I sold newspapers, that is, to the corner of Farragat Square. This is how I extinguished another provocation by David on February 12, 2016.
SIXTH PROVOCATION WITH THE PARTICIPATION OF MR. RAY HICKS. The organizers of the provocation, possibly FBI agents, sent another provocateur, vendor Ray Hicks, to Farragat Square on February 19 (Friday), 2016. I will briefly write about his provocation below.
I will add: Vendor David Denny did similar provocations against me in 2020-2021. I reported them to the manager with a photo.
84. Complaint continued on 30 April 2016.
“Some may ask the question: Why didn’t I write a complaint against David on the days of the five provocations?
I believe that these provocations are deliberately planned and staged to create the appearance of a conflict situation. If I write a Complaint and the conflict becomes public knowledge, then they can organize a big and insidious provocation against me in the form of a severe beating or even murder. The police or the FBI will open a criminal case and begin an investigation. They will suspect the conflicting person. But this provocateur on the day and hour of the crime will be among the people, that is, he will have an alibi. As a result, the investigation will come to a standstill and the crime will not be solved. It is appropriate to recall that in 2015, 65 journalists were killed around the world (https://en.wikipedia.org/wiki/Reporters_Without_Borders ), and many hundreds of journalists and human rights activists were beaten and maimed. Most of these crimes against journalists and human rights activists have not been solved and the perpetrators have not been found...”
85. Continuation of my complaint to Mr. Brian Carom, Executive Director of Street Sense dated April 30, 2016. I write about the provocations of the vendor David Denny.
“I have above (in paragraph 82, A.Sh. 08.11.2021) cited the text of the Decision to remove me from the sale of Street Sense from February 19, 2016, which was given to me by Mr. Joshua Maxi on February 23, 2016. The question arises: why was the decision to suspend me from the sale of Street Sense only received four days later, that is, on February 23, 2016? I will number my answers.
85.1. On the afternoon of February 19, 2016, I went to the Street Sense office and bought 55 pieces of newspaper for $25. But no one told me about the suspension decision. Apparently there was no such solution.
85.2. On February 19, 2016 at 4:15 pm vendor Ray Hicks taunted me in the corner of Farragat Square and he robbed my 25 pieces of Street Sense newspapers. I phoned the Street Sense office twice at 4:15 pm and left a message twice. I called the police on 911. About this entrapment and robbery, on February 25 and 27, 2016, I sent a registered letter with notification to Mr. Melvin Gresham, Police Chief of the Second District Station, and Mr. Brian Carom, Executive Director of Street Sense. The text of this Complaint was written in article [47] (see paragraphs 82-85). To my complaint, Mr. Joshua Maxi wrote a response on March 31, 2016. I wrote about this in P.S.2 (see paragraph 86).
85.3. On February 22 (Monday), 2016 at 10:00 am, I came to the Street Sense office. Mr. Jeffrey Gray (sales and communications manager) said: “You are suspended from selling Street Sense. You need to talk to - Mr. Joshua Maxi. He won't come today. He will come to the office tomorrow."
85.4. I came on the morning of February 23, 2016 to the Street Sense office. Mr. Joshua Maxey has given me a suspension from the sale of Street Sense. He cites a violation on February 5, 2016. I believe that this Decision was hastily organized with hindsight after my report of a robbery and provocation by vendor Ray Hicks on February 19, 2016 at 16:15. Therefore, Mr. Joshua Maxi gave me the Solution only on February 23, 2016. I wrote a brief history of Mr. Josh Maxey's beginnings at Street Sense in P.S.3 (see paragraph 80).
The legal error of this Decision is that it was adopted without discussion with the accused party, that is, with me. For clarity, imagine this case: one US citizen sued another citizen and provided a video shot on his own phone. And the judge, without discussion with the accused party, makes an accusatory Decision. This is not a court, but a dictatorial solution to a conflict situation. And such a gross violation of human rights takes place in the office of Street Sense, which is located less than one mile from the White House and the US Congress.
I believe that the decision to suspend me from the sale of Street Sense is specifically designed to denigrate me, defend the wrongdoing of vendor Ray Hicks on February 19, 2016, and subsequently stage another similar provocation and fire me from my job as a vendor of Street Sense. I believe that all this is targeted harassment and persecution for my human rights and journalistic activities.
So, the decision is made erroneously without discussion with me.
Based on the foregoing, I request that Mr. Joshua Maxey's Decision to Suspension me from the sale of the Street Sense newspaper be rescinded."
86. I wrote in paragraph 77 how vendor Ray Hicks robbed me on February 19, 2016. On February 27, 2016, I sent a registered letter with notification to Mr. Brian Caroum, Executive Director of Street Sense. Mr. Joshua Maxi gave me the following written reply to this complaint on March 31, 2016.
“STREET SENSE
March 31, 2016
Mr. Ahmadjonov:
Upon reviewing your complaint, the administrative office followed up with the vendor whom you filed the complaint against. Given the evidence that you included with your complaint in the form of a picture, the disciplinary action was taken against said vendor. If there are any more incidents wits this vendor, please do not hesitate to contact me. Thank you.
Sincerely,
Joshua Maxey
Vendor Manager, Street Sense
202-347-2006 ext. 10”
Please note: Mr. Joshua Maxey does not write anything about the punishment applied. That is, he hides it from me and from others. This is first.
Second, in the Disciplinary Procedures section of the Street Sense Vendor Territorial Policy, the following words are written.
“Criminal Offenses
- Stealing money, newspapers, or property from Street Sense, volunteers, staff, vendors, or customers.
Consequence:
First offense: Minimum six month suspention” [46, стр. 10]
I also wrote an Appeal to my newspaper buyers and there at the end I wrote the following: “Given the reason for the appearance and the beginning of the work of Mr. Josh Maxey at the Street Sense offices, it's not hard to imagine that he will transfer or be transferred within one year to another job. Indeed, soon the patrons, possibly FBI agents, transferred him to another organization.
I believe that the FBI agents deliberately orchestrated, through their protege, Mr. Joshua Maxi, the Decision to suspend me from the sale of Street Sense on February 23, 2016. By doing so, they tried to denigrate me and protect the robber Ray Hicks from legal liability for the February 19, 2016 robbery.
87. In those days I wrote an Appeal to the Americans, first of all to my customers of the Street Sense newspaper and handed out a text about robbery and injustice. Many of them helped me financially. Thank them.
Photo 26. Author - Shukhratjon Akhmadjonov. City of Washington. February 26, 2016. Photo of the author.
My picket near Farragat Square on February 26, 2016 is shown in photo 26. I wrote the following words on the poster:
«I was robbed in the Farragat squary on February 19, 2016 at 4:00 pm. I was suspending Street Sense for a period of two week on February 23, 2016.
Shuhratjon Ahmadjonov,
human rights activist, freelance journalist, refugee and vendor “Street Sense”
88. THETENTH THEFT. FBI agents and his assistants orchestrated the theft of 30 pieces of Street Sense newspaper from a stroller around March 30, 2016.
The FBI agents tried to organize an additional theft and thereby confuse me in the testimony of crimes through drug interrogation. I wrote in paragraph 47 about this way of organizing a double crime.
I usually put my bag and trolley at a distance of two or three meters and when selling a newspaper, I often look at my things. Therefore, the FBI agent and his assistants could not organize the theft for more than a month. Around March 30, 2016, in the evening, they managed to steal my 30 pieces of Street Sense newspaper from the cart.
People were returning home from work, and when the traffic light turned red, they stopped in the corner of Farragat Square in front of me. The FBI agents chose just such a time. They arranged for a few men to stand between me and the cart, blocking the view of the cart. Within about one minute, an experienced thief managed to discreetly remove a package from my cart, which contained 30 pieces of Street Sense newspaper.
I did not notice the theft and continue to sell the newspaper that I have on hand. At this time, a man of athletic build, about 27 years old, the same height as me - 180 cm, approached me. It is very noisy at this intersection. Therefore, he speaks in my ear in the sense of "Bring your bags to you." I nodded and continue to call customers. He repeatedly says, “I'm a cop. You carry your bags with you. They can commit theft" and left.
I sold a few newspapers that were in my hands and went to the cart to take another five pieces to continue selling newspapers. I look at the package of newspapers, no. I had to go home.
I know that a police officer usually doesn't use the insulting word "I'm a cop" about himself. It was clear to me that this man was an FBI agent and orchestrated a second additional theft. If I call the police and they write a report about the theft, then at night they could organize another drug interrogation about the robbery on February 19 and the theft on March 30, 2016 in Farragat Square. Then they would have received another billiard, which they would have used to obtain another conclusion from psychiatrists. Given this, I did not call the police and did not write about this theft. I included it in my list as another organized tenth theft.
89. THE ELEVENTH THEFT. The eleventh theft was organized on August 9, 2017 at 18:45. I placed two bags on the edge of the sidewalk along K-street near the corner of Farragat Square and tied each other with a handkerchief.
Bus routes L2, G8, 38B, 30S, 30N, 32, 33, 36 had their final stop at Farragat Square and made a full turn around it. And buses 30S, 30N, N2, N4, 42, 43 stopped near the square and drove on. Apparently for this reason, Farragat Square was additionally controlled by some leaders and drivers of the bus fleet. They themselves or on behalf of FBI agents put one or two buses on the edge of 17th Street and watched me from a distance of 15-20 meters, sometimes making various signs with their hands so that people would not buy my newspaper. They turned on the headlights of the bus in my direction from the onset of darkness.
That day, as usual, several men were watching me at a distance of 15-20 meters, including those in the clothes of a bus driver. Suddenly they began to fuss and stubbornly look in my direction, standing in the middle of the sidewalk. I started taking pictures with my phone. One of them saw that I was photographing him and ran into the inside of his bus.
People come home from work and during the red light of the traffic light they stop in the corner of the square and block my view of the bags for one or two minutes. In such a short time, the thieves managed to pick up the bags and put them in the trunk of the car and drive off. I found out about the disappearance of the bags a few minutes later, called 911 and called the police at 18:45 hours. Police officer Carlos Ramos arrived at 20:00 (Carlos Ramos, his badge number is 4478. Metropolitan Police Department. Second District. 3320 Idaho Avenue, NW. Washington, DC, 20016). He said the six-digit identification number of the report (report) about the incident: 17.137129 (the first two digits indicate the year, that is, 2017). I said, "please give me your business card." He gave. I wrote important information on the back of the card. The above facts I copied from that business card of Mr. Carlos Ramos.
I didn't receive any message from the police, as usual. I went a few days later to the police station. There he received a copy of the report, met with the detective, demanded that a criminal case be opened and that the crime be investigated. The detective shrugged his shoulders and said in the sense: "How to solve this crime?" I told him: “You should have at least met with me and talked about this crime. I would tell you additional facts. You didn't come and talk." If he would come then, I wanted to give him the photos of the bus drivers that I took that evening. I don't know where that report is in my archive now.
90. THE TWELVE THEFTS. I remembered the following about the twelfth theft: then 25 copies of the Street Sense newspaper were stolen. I wrote about this theft in my diary, like all the events taking place around me. I wrote the date and circumstances of the theft there. The criminals took away all my diaries and notebooks through robbery and theft. That's why I don't remember the date of the twelfth theft.
I used to trade in the evening at the entrance to the North Farragat metro station. The newspapers were on top of the stroller. Americans come home from work in a large stream from 17:00 to 19:00. The provocateur stole at that moment my 25 pieces of newspaper. Why does an ordinary citizen need 25 newspapers? It cannot be sold elsewhere: as a special cape of the seller of the "Street Sense" newspaper is needed.
I'm sure the FBI agents organized this theft on purpose. They expected me to call the police. They organize a demolition. The thief will not be found. But to turn the guards of the subway against me and forbid me to sell the newspaper at the entrance to the subway. That is, they will demand that I sell the newspaper away from the subway entrance.
So, the goal was to drive me away from the subway entrance somewhere to the side. I realized this treachery and did not call the police. In the future, I put the stroller next to it and put the newspapers away in the inside of the stroller, I also often looked at the stroller.
91. THE THIRTEENTH THEFT. The events associated with the 13th theft occurred in the following order. I often ate lunch and dinner at the large Whole Foods Market (4420 Willard Avenue, Chevy Chase, Maryland, 20815). I came for dinner on March 2 (Friday) 2018 at 20:00. Bought a hot meal and sat down at the table. I wanted to start eating, at this time the store cleaner comes up and tells me: "You must leave." I ask: "What is the reason?" He does not answer my question and repeated his demand. I reply: "Okay, you return my money, which I paid for this food." He didn't say anything about getting my money back. He says he will call the police. I sat down and started eating.
I ate, cleaned up after myself and went out. Opposite me are two policemen. One of them stops me and demanded to provide the document. I gave him my individual document and said: “Please introduce yourself. Give me your business card." In response, he takes out handcuffs and puts them on my hands. I was taken outside and put on the pavement with handcuffs on my hands. Their white police car was numbered: D 00-86. The policeman radioed my identity and filled out a standard protocol. The handcuffs were removed from my hands. He gave me a second copy of the protocol and said that I was banned from entering this store for three years. I said, “Please introduce yourself. Give me your business card." He said, "Roy Johnson." He had a badge on his chest: 3127. He gave me his business card. There were the following entries.
Department of Police (Montgomery County, Maryland)
2nd District
4823 Rugby Avenue
Bethesda, Maryland 20814
240-773-6700 Fax 301-657-0123
www.montgomerycountymd.gov/police
I looked at the notes on the protocol: on the second copy, the notes were barely noticeable, as if written with a bad pencil and it was difficult to read the words. I asked for a good copy. The policeman refused. I said: "Please fill out the protocol again and give me a properly completed protocol." He refused and said, "Tomorrow you can come to the police department and get a good copy."
On March 5 (Monday), 2018, I arrived at the Second Montgomery County Police Department and said to the officer on duty, "Please call a police officer, Mr. Roy Johnson." He said, "He is not." I showed a copy of the protocol and said: "He promised to provide a good copy." The attendant refused to provide a good copy. I then said: "Please then write the words in my copy of the protocol in good letters." He wrote a few words, stopped, and refused to encircle the words any further in normal letters. He demanded that I leave. I left.
A few days later I took this protocol to my storage room at Extra Space Storage (1001 N Fillmore St, Arlington, VA 22201). One fine day in the same 2018, the puncture disappeared from my cell: more precisely, FBI agents stole the protocol during another unauthorized search in my cell. This was the thirteenth theft of my property by FBI agents.
92. On December 10, 2017, I rented a room in Arlington, Virginia from an ad in www.russiandc.com (address: 4114 4th Street North, # 2. Arlington, Virginia 22203). The owner, Ms. Baigalmaa Baljinnyam, came to the US from Mongolia many years ago. She raised her daughter and son alone. She rented a two-room apartment (if you add a living room, then a three-room apartment) and paid a significant part of her salary in rent. So she sublet one room.
She studied and graduated from the Faculty of Philology in Russia in her youth and knew the Russian language well. She said that punitive psychiatry was also used against her.
Her father came from Mongolia in November 2017 and stayed with her. The owner's father left the US in mid-January 2018. He left and the next day they came and demanded from the hostess that I leave the apartment. I moved out of the apartment on January 28, 2018. I called her by phone in 2018 and asked about the letters sent to my name to her home address. She said she moved to another apartment.
93. So, because of the persecution for my human rights and journalistic activities, from June 1, 2015 to March 2020, that is, before the start of the coronavirus pandemic, I spent the night in various places, including McDonald's and hostels. Under such conditions, it was convenient for the persecutors, that is, the FBI agents and people associated with them, to use sedatives and drug interrogations against me.
94. Now I’ll write why they organized the theft of my green card at the end of the summer of 2018. In 2015, in an Appeal (Complaint) to Mr. Barack Obama, I wrote the names of six Uzbek refugees who were subjected to illegal persecution in the United States. One of these six refugees was Jamshid Mukhtorov (1976). I wrote about him in my Appeal in 2015 as follows.
“Jamshid Mukhtorov (born in 1976 in the city of Jizzakh (Uzbekistan), Uzbek, Muslim, refugee). He has lived with his wife and two children in Denver, Colorado since 2007. He was arrested on January 21, 2012 at the Chicago airport before leaving for Turkey. He was charged with "attempting to provide material assistance to the Islamic Jihad Union, an Uzbek terrorist organization." He has been kept in prison for more than 3 years and has not yet been tried on him. I also grew up in Jizzakh. Jamshid is an Uzbek, a Muslim, a refugee like me” [28, paragraph 4]
And after my Appeal (Complaint) to President Barack Obama in February 2015, the trial of Jamshid Mukhtorov was postponed several times for no reason. I came to the city of Denver (Colorado) in August 2015 from the city of Boise, also from Washington in 2017 and 2018. In general, he lived there for 150 days assisting Jamshid as a human rights activist and journalist. He handed over about 100 articles relating to his court case. Wrote and published 20 articles and appeals in Uzbek, Russian and English.
95. On April 28, 2017, I asked Jamshid Mukhtorov to write a complaint to the US Supreme Court about the violation of the Sixth Amendment of the US Constitution.
“Article VI. In all criminal prosecutions, the defendant has the right: to a speedy public trial by an impartial jury from the state and district (predetermined by law) where the crime was committed; the accused must be informed of the property and grounds for the accusation against him; he has the right to demand that he be confronted with witnesses testifying against him; so that he can get witnesses to testify in his favor, and so that he can use the advice of a defense counsel” [48]
The meaning of the 6th Amendment was this: the arrested person must be tried by a speedy trial. If the suspect has not been tried for one year, then he has the right to file a complaint and he must be released without preconditions.
On April 29, 2017, I was about to leave Denver for Washington. During the last meeting on April 28, I tried to convince and urged Jamshid to send a copy of the complaint to the US Supreme Court in the city of Washington. But he was afraid that he would deprive him of a meeting with his family and therefore he was waiting for an answer from the judge. If Jamshid Mukhtorov would then have written a complaint to the US Supreme Court, then in 2017 he would have been released. He limited himself to writing a complaint to the District Federal Court. The federal district court has scheduled a trial for 2018. As a result, the court in 2018 sentenced him to 11 years in prison.
It is appropriate to say that prosecutors and FBI agents could not prove in court that Jamshid Mukhtorov provided even one US dollar to terrorist organizations. In my opinion, the first, third and sixth amendments to the US Constitution regarding Jamshid Mukhtorov were violated in the Federal Court of the State of Colorado.
Currently, in January 2022, Uzbek refugee and human rights activist Jamshid Mukhtorov is serving a sentence for an uncommitted crime in a US prison.
TO BE CONTINUED