Petition for Writ of Certiorari — Chadd A. Morris, Petitioner v. Shan Jumper, et al.
Supreme Court briefFeb 5, 2021
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SJPREME CW OP THE DOTTED STATES
Chadd A. Morris
Supreme Court, U.S.
FILED
ELaintiff/Pstitioner (3ea-3a)
FEB 05 2021
VS.
|
ncgrp OF THE CLERK
Gragg Scott, Sham. Jumper, Diana Dobier, Rebecca HOusenga, Ashley 3nifh, Mara Sheldon
Sritney Betiford, TDdd Moody, Sandra Simpson, Paul Vincent
Respondents
MDKCM ECR LEAVE TO FROCEEDE W FORMA PAUPERIS
aHMM»eaaMaaMMnM*MWMMHMMMMMMw«aaui«MaiMiMeiMMea.
2he Plaintiff/Pstitimer respsctfnlly requests leave to file the attached petition foe a writ of
Certiorari, without prepayment of costs and to proceeds In Fbrma Pauperis.
Elaintiff/Petitianer has prsviouslly bean granted leava to Proceeds In Forma Pauperis in the
United States District Court, For the Central District of Illinois, in the ini&al litigation .in this issue
of VEit, in case #4:18-cv-04121-SLD. The United States Court of appeals, Bor the Seventh Circuit had
denied this Plaiatifff/Betitionsrs ability to proceeds to appeal In Forma Pauperis, in Rpp&al i3o. 20-2972.
such Court of Appeals denied Plaintiff/Patitioners IFP status, without giving a reasoning, other than due
to circuit rule 3 (b) beucase of Plaintiffs non payment. Plaintiff/Petitioner then, and still currently,
*
as is attached hereto, of his facilitys trust fund -account printout for the last 12 months, that shows ha
Has ao funds, ana thus unatue to pay for costs Of such litigation. Urns Appellant courts dlsaassaf/aeniai
of Plaintiffs IPP status, seems to also ba in error, by simply ind&ating beucase of Plaintiffs non
payment, When ha has no finds to pay, so how can he.
(1)
n
AFFIDAVIT OR DECLARATION
SUPPORT OF MOTION FOR LEAVE TO PROCEEDS IN FORMA PAUPERIS
I, Chadd a» Morris, am the Plaintiff/Patiticner in the above entitled case. 2h support of «y notion
to proceede In Barma Pauper!s, I state that because of ny poverty, I am unable to pay the costs of this
case, or to give security therefor; and I am entitled to redress.
T.) Bar both you and your spouse estimate -fee average amount of money recieved from ».^h of the
following sources -Airing the fast 12 months. Adjust any amount that was recieved weekly, biweekly,
tjjartly, seminnaually, or annually to show the monthly rate, use gross amounts, that as, amounts before
any deductions far taxes or otherwise.
.INCOME SOURCE
Average Monthly amount
Amount Expected Next
Daring the last 12 months
Mcgith
Employment
$ Nona Wh
$ None Wh
$ Kane N/A
$ NOne N/A
felf Employment
$ Nona Wh
$ None Wh
$ None N/A.
$ None Wh
(Such as rental income)
$ None s/A
$ None n/a
$ None N/A
$ None Wh
Interest and Dividends
$AMafcMKSaaNhaCKOMMM
None N/A
$ None N/A
Income from real Property
$ None Wh
$ None Wh
Gifts
$ None N/A
$ KSne N^A
$ Hone N/A
$ Nona Wh
Alimony
$ isone Wh
$ None Wh
$ most N/A
$ None Wh
Child Support
$ None Wh
$ None Wh
$ None Wh
$ None N/A
$ None N/A
$ None Wh
$ NOne Wh
$ Maie N/A
§ None Wh
$ None Wh
$ NOne Wh
$ None Wh
liiemplynsent I&ymants
$ None Wh
$ None Wh
$ Nona Wh
$ None n/a
Public assistance
$ Nona Wh
$ None N/A
$ None Wh
$ None N/A
$ NOne N/A
$ NOne N/A
$ None N/A
$ None N/A
$ None Wh
$ None N/A
$ Hone Wh
$ None N/A
■w
Retirement (such as soci/il
Security, Pensions, enmities, insurance)
Db-ability (such as Social
Security, Insurance Payments)
(such as welfare)
Other (Speficy)
Total Monthly Income:
(2)
2.) list your employment history foor the past two years, cost recent first, (gross Monthly Pay is
before taxes or other deductions.)
Gross Monthly
rates of Bmloy&enfc
Address?
employer
Pay
None NA
Nana Wh
Kona NA
None NA
*&■»
3.) list your spouse's saployaent history for the past two years, most recant employer first. (Gross
Monthly jay is before taxes or other deductions.)
None Wh
Gros3 Montly Pay
Dates of employment
address
Employer
None Wh
None Wh
None Wh
Below state any money you or
4.) Bow Much cash do you and your spouse have? $____ ffons Wh_
your spouse have in bank, accounts or in any other financial instutioru
Amount Your Spouse Has
Amount You IBve
type Of Account
None Wh
None Wh
None N/A
5.) list the assets, and their values, which you own, or your spouse owns, Do not list clothing and
ordinary household furnishing.
Other Real Estate
Bo,'is:
Value:
Value:
Wh
Motor Vehicle if2
Motor Vehicle #1
Other assets
Year, Make S Model
None Wh
Year, rflafce S Model
Value
NA
Value
None Wh
Description
None Wh
Value
None NA
(3)
None nA
ame Wh
None Wh
6.) state ovary person, business, or ocginization owing you or your spouse nmsy, and the
amount
owed.
Person Owing you
Amount Owed s> You
Amount Owed to your Spouse
Or year spouse Money
$
Bone N/A
$
Stone H/A
None m/a
$
7*) state the persons who rely on you or your spouse for support, Bar minor children, list initals
instead of oases (e.g.
instead of "John smith”
l'S'ae
Relationship
Korea s/b
Sge
mns X/A
NS233 N/A
8.) Estimate Ehs average monthly expenses of you and your family. Show separately the amounts paisa
fcy your spouse, Adjust any payments that are .mads waekly, biv/eakly, quarterly, or annually to show the
monthly rata.
You
Rent or 'rorui-mortaga payments
$
Your Spouse
None,N/A
$____None n/a
(include lot rented for nobile boms)
ftre real estate taxes included? Yes
or No .
x None N/A
Is property insurance included? Yes
or no
x None N/A
Utilities (electricity, heating, fi«*l
$
None N/A/
$ ___
None N/A
None N/A
$
NSae N/A
Water, Sewer, and telephone)
Ksras Maintenance (repairs and upkeep)
flood
Clothing
$
TMrifw vn-ffirtmw ri-fffnsMWrf.-
$
NOae N/A
$
$
None N/A
$
None N/A
■M.
None N/A
laundry and Dry-Cleaning
$
None N/A
$
None, N/A
ffedioal and Dental Expenses
$uhfcn
None N/A
$
None B/A
(4)
itensporfcation (not inducing Mnfor
$
Wane N/A
$
NOne n/a
$
None N/A
$
Hone N/A
$
Wane N/&
Vehicle Payments)
Recreation, entertainment, newspapers,
magazines etc)
insurance (not deducted from, wages or included in mortgage payments)
Homeowner's or renter's
$
life
None n/a
Kong n/a
Health
None N/A
$
NOne.lS/A
$
Mane n/a
$
Hone N/A
$
None n/a
None n/a
$
Saxes (not deducted from wages or included in mortgage payments)
$..
None N/A
Motor Vehicle
Other: None N/A
(^pacify):
*-
■
None N/A
.
$
None N/A
$
None N/A
$
Nans n/A
$
Ntsne
N/A
TTVSr-mrn»tt-»*£j5aa»33iaiaaa
Ndae N/A
$
tee M/a
$
None N/A
$.... .
None N/A
$
$
None N/A
$
None n/A
NOne N/A
$
None n/a
$
None N/A
$
None N/A
$
None N/A
$
. None N/A
$
None N/A
$
NOnsg/A
Installment t&yments
Motor Vehicle
Osed!* Cara(s)
Department Store(s)
Other:
None N/A
ALimony, naintanance, and support paid to others
Regular expenses for operation of business,
Profusion, or farm
(attach detailed statemiit.)
Other (Specify):
None n/a
®Jtal Monthly Expenses:
94 Do you expect any major changes to your monthly income,
IT.
or expenses or in your assets or
lieabilities daring the next 12 .months?
Yes
or m
x
10.) mva you paid - or will he paying -
an attorney any money for --services in connection with this
case, including the caseation of this form
Yes
If yes, how roach?
or No
axzxnrar*-* y
x
.■
None n/a
(5)
jf yes, state the person's name, address and telephone number:
None KT/A
11.) Hava you paid - or will be paying - anyone other than an attorney (such as a pareiogai or a
typist) any money for services in connection with this case, including the compleation of this form?
Yes
or {to
If Yes, Kow Much?
x
None tyh
If yes, state the persons name, address, and telephone number:
None
12.) Provide any other information taht will help explain why you cannot pay -the costs of this case.
Currently, this PXaiiitiff/Patitioner, is being civilly detained WHOM 33 NOT A PRISIONER, ASP
kqt
mt ammss eg EESSS am? fiS & SRISICiNER (e.q, restrictions like from the prision litigation
reform act (P.L.R.A,]} at the Illinois Dapartmant of Hunan Services Treatment and Dstantion facility at
Rushville Illinois 17019 ODunty Pbrm Road. Such facility is diffemi'. from prlsions, they do not have
'jobs' rather 'tasks' that are awarded compensation in “points’ not actual monies, and in which are not
able to be transferad to, nor can be used as acufcal monies, can only ba used to purchace 'in-house'
axnminsary items, in Spite of such, Rlaintiff/petifcioner is not currently working for any tasks at said
fecility. Plaintdff/Pabitionec, does not have any current funds in his trust fund account (a request -and
printout is subsequsntalty attached hereto) to be able to cay any costs associated with this case, nor has
had any funds in such account for atleast 5 years or more (aprox). Due to 5he Plaintiff/Pstiticners
provsety in this regard, hs is unable to pay cx»sts for this litgintion, and as earlier meticned, the
dilate court denied Plaintiffs IPP status, for inability to pay. in spite of not having any money to do
so which this Plaintiff/Petition.ee also asserts should be in error to, agian, since he has no funds to pay
costs assocaited with this case.
1 Declare Under Penalty of Perjury, that the forgoing ia true anti correct.
excuted on-.
1 Sy"
20
.
Signature:
Chadd Morris (Plaintiff/Pstitionar
(pro-Se)
(6)
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