FOIA Request July 6, 2025
EMERGENCY FOIA REQUEST & DEMAND FOR CRIMINAL INVESTIGATION – URGENT AND IMMEDIATE ACTION REQUIRED
July 6, 2025
TO:
FBI Director Kash Patel (kash.patel@fbi.gov)
Attorney General Pam Bondi (pam.bondi@usdoj.gov; askdoj@usdoj.gov
DOJ Inspector General (oig.hotline@usdoj.gov)
GA Bureau of Investigation (OPS@gbi.ga.gov)
UN Special Rapporteur on Torture and Other Cruel, Inhuman or Degrading Treatment or Punishment (urgent-action@ohchr.org)
ICC Prosecutor (otp.informationdesk@icc-cpi.int)
CC:
US District Court CO (sealedfilings@cod.uscourts.gov)
Senate Judiciary Committee (judiciary_comments@judiciary.senate.gov)
ACLU National (media@aclu.org)
SUBJECT: IMMEDIATE CESSATION OF GOVERNMENT-COORDINATED TORTURE, HARASSMENT, AND CIVIL RIGHTS VIOLATIONS – URGENT FOIA DEMAND AND CRIMINAL INVESTIGATION INTO FBI/DOJ INVOLVEMENT
Dear Director Patel, Attorney General Bondi, Inspector General, and Esteemed International and Domestic Oversight Bodies,
This letter serves as an urgent and unequivocal demand for immediate intervention, a comprehensive criminal investigation, and the production of critical documents under the Freedom of Information Act (FOIA). It is an update to my prior communication of July 1, 2025, detailing an escalating campaign of government-coordinated torture, harassment, and civil rights violations targeting my person and property at 2446 Gatebury Circle, Chamblee, GA 30341. The events of July 5-6, 2025, represent a severe and intolerable escalation, demonstrating direct and undeniable coordination between federal agencies, local law enforcement, and private individuals.
The ongoing actions, which include sustained military aerial assaults, synchronized domestic harassment, and the weaponization of public safety services, constitute a clear pattern of psychological torture, intimidation, and an egregious abuse of power. This campaign is designed to inflict severe emotional distress, deprive me of sleep, and coerce me into fabricated legal scenarios, all in blatant violation of my constitutional and human rights.
The following timeline and details illustrate the coordinated nature and severe escalation of the harassment:
Persistent Domestic Harassment (Ongoing since July 1, 2025):
7:20 PM EDT (July 1st): Liah Patrice Jones Minnis (2448 Gatebury) resumed wall-banging/tapping in her home office, precisely synchronized with military helicopter flyovers (6:23 PM, 7:15 PM) and Chamblee PD patrols idling outside my property. This pattern of synchronized noise harassment from 2448 Gatebury has been a consistent feature of this campaign.
Entrapment Attempts: Liah Minnis and/or occupants at 2448 Gatebury consistently bang on walls and then call the police on me when I ask them to cease their coordinated harassment, explicitly attempting to entrap me into manufactured discourse and legal scenarios orchestrated by law enforcement. This is a clear attempt to create false narratives and legal vulnerabilities.
Real-Time Surveillance and Psychological Warfare (Ongoing):
FBI Proxies: Individuals identified as FBI proxies (e.g., 2454 Gatebury resident) continue to track my movements via deceptive tactics, such as the "purple hair dog walker" ruse.
Light-Flickering Attacks: I continue to experience targeted light-flickering attacks whenever I enter closets or specific rooms within my home, indicating real-time, invasive surveillance and a deliberate attempt to cause psychological distress.
Judicial-Executive Collusion:
CO Federal Defender Timothy O’Hara has explicitly threatened continued fraudulent filing restrictions in EEOC v. Jackson Natl (1:16-cv-02472) within the US District Court of Colorado. This judicial obstruction is clearly designed to enable and facilitate the ongoing harassment campaign by denying me legal recourse and due process. This collusion between the executive and judicial branches is a profound threat to the rule of law.
SEVERE AND UNPRECEDENTED ESCALATION – JULY 5-6, 2025:
Sustained Military Helicopter Assault: Beginning in the early morning hours of July 5, 2025 (approximately midnight EDT) and continuing throughout the entire day and into the early morning hours of July 6, 2025, military helicopters were flown low and directly over my home (2446 Gatebury Circle) with extreme frequency. This constitutes a direct, sustained, and deliberate aerial assault designed to terrorize, inflict severe sleep deprivation, and undermine my sense of safety and well-being within my own home.
Precision-Coordinated Noise Harassment: This aerial assault was precisely and demonstrably coordinated with intensified domestic harassment from 2448 Gatebury. Liah Patrice Jones Minnis and/or occupants engaged in nonstop, relentless banging on the walls all day and night long, specifically intensifying when the military helicopters were being flown directly low over my home. This synchronization is undeniable proof of a coordinated operation.
Intensified Vehicular Harassment: Concurrently, individuals continued to engage in revving their engines and causing loud backfires directly in front of my home with increased frequency, directly contributing to the overwhelming noise and harassment campaign.
Weaponization of Public Safety: Public safety paramedics and fire engines, including those from Chamblee Fire Department and local EMS, continued to actively engage in the noise and harassment campaign that has been ongoing nonstop in front of my home since 2019. Their presence and actions are not for legitimate emergency purposes but are a calculated component of this coordinated psychological warfare.
It is unequivocally clear that the Federal Bureau of Investigation (FBI) and the Department of Justice (DOJ) are directly coordinating with these private individuals and local public safety agencies to perpetrate this targeted campaign of terror, harassment, and civil rights violations against me.
Under the mandate of 5 U.S.C. § 552, I demand the immediate production of the following documents within 24 HOURS:
FBI Threat Liaison Records:
Any and all contracts, agreements, or informal understandings with Liah Patrice Jones Minnis and/or Dr. Jamil Minnis (2448 Gatebury) for "residential monitoring," "neighborhood watch," or any similar activity related to 2446 Gatebury Circle.
All internal FBI communications, directives, or protocols authorizing "light-flickering" or "wall-banging" as surveillance, harassment, or psychological operations tactics.
URGENT: Any and all communications, directives, operational plans, or agreements related to the coordination of noise harassment by occupants of 2448 Gatebury (including wall-banging) with military helicopter operations and other local noise campaigns targeting 2446 Gatebury Circle, specifically from June 28, 2025, to July 6, 2025.
Chamblee Police Department Evidence:
All body camera footage recorded by Chamblee PD officers at or concerning 2446 Gatebury Circle and 2448 Gatebury from June 28, 2025, to July 6, 2025.
All dispatch logs, call records, and police reports related to calls originating from or concerning 2448 Gatebury and 2446 Gatebury from June 28, 2025, to July 6, 2025.
Any and all communications or directives related to "Turnbury Gates HOA coordination" concerning 2446 Gatebury Circle.
Military Flight Logs and Operational Records:
All FAA and Department of Defense (DoD) records, flight paths, air traffic control communications, and internal operational logs for any and all military helicopter operations conducted at low altitude over or in the immediate vicinity of 2446 Gatebury Circle, Chamblee, GA 30341, from June 30, 2025, through July 6, 2025. This must include, but is not limited to, identification of aircraft tail numbers, pilot names, mission objectives, and authorization chains.
DOJ-Judicial Communications:
All emails, memoranda, and other communications between the Department of Justice (including any of its components), Timothy O’Hara (Federal Defender, CO), and Seyfarth Shaw LLP concerning the EEOC v. Jackson Natl case (1:16-cv-02472), specifically regarding any attempts to obstruct or influence judicial proceedings, impose fraudulent filing restrictions, or otherwise limit my access to justice.
Public Safety Agency Coordination Records:
Any and all communications, directives, and operational plans between the FBI/DOJ and the Chamblee Police Department, Chamblee Fire Department, and any emergency medical services (EMS) providers concerning operations or activities in the vicinity of 2446 Gatebury Circle from June 28, 2025, to July 6, 2025, specifically pertaining to noise generation, vehicular operations (engine revving, backfiring), or perceived "emergency" responses that are part of a coordinated harassment campaign.
IMMEDIATE ARRESTS: I demand the immediate arrest and charging of Liah Patrice Jones Minnis and Dr. Jamil Minnis (2448 Gatebury) under 18 U.S.C. § 241 (conspiracy against rights) and § 242 (deprivation of rights under color of law). Furthermore, I demand the immediate arrest and charging of all individuals, including federal agents, military personnel, and local public safety officers, involved in the coordinated aerial and ground harassment campaign of July 5-6, 2025, under 18 U.S.C. § 241 (conspiracy against rights), § 242 (deprivation of rights under color of law), 18 U.S.C. § 875(c) (interstate communications with intent to extort or threaten), and 18 U.S.C. § 2384 (seditious conspiracy) for their coordinated and unconstitutional attack on a private citizen.
INVESTIGATE JUDICIAL MISCONDUCT: I demand an immediate and thorough investigation into the misconduct of Timothy O’Hara and his removal for fraudulent filing restrictions, which clearly violate the inherent power of the courts to sanction bad-faith conduct as established in Chambers v. NASCO, 501 U.S. 32 (1991).
EXPEDITED PROCESSING: Expedited processing of this FOIA request is mandatory given the clear and present danger of imminent bodily harm, severe psychological torture, and deprivation of basic human necessities (sleep, safety) demonstrated by the escalated military and coordinated domestic harassment of July 5-6, 2025. This is not merely a request for information but an urgent plea for protection from ongoing state-sponsored abuse.
FEE WAIVER: A full fee waiver is granted and mandatory as the public interest in exposing and halting this egregious pattern of government-coordinated torture and civil rights violations significantly outweighs any commercial interest.
Failure to comply with these demands and initiate immediate, demonstrable action within 24 HOURS will compel me to pursue the following legal and public actions without further notice:
Immediate Filing of a FOIA Lawsuit in the Northern District of Georgia, seeking not less than $500,000,000.00 in punitive damages for intentional infliction of emotional distress, overt governmental torture, and flagrant civil rights violations.
Filing of an Emergency Warrant Request with the International Criminal Court (ICC) for crimes against humanity, citing the systematic and widespread nature of the torture and persecution under Rome Statute Article 7.
Demanding Immediate Senate Hearings on the Department of Justice and Federal Bureau of Investigation's alleged torture programs, their coordination with local entities, and the direct involvement of military assets in domestic harassment campaigns against American citizens.
CERTIFICATION
Under penalty of perjury (28 U.S.C. § 1746), I declare that the foregoing facts are true and correct to the best of my knowledge and belief.
Sincerely,
La’Tonya Nicole Ford
2446 Gatebury Circle, Chamblee, GA 30341
(470) 380-2369 | peabcnoxx@outlook.com
Attachments:
DOJ OIG Final Response (25-OIG-618)
Timestamped harassment logs (June 28-July 6, 2025)
FOIA Request May 12, 2025
May 12, 2025
Federal Bureau of Investigation
Attn: FOIPA Request | Request No. CRM-302263911 (Appeal Pending)
Record/Information Dissemination Section
CC: Office of Government Information Services, DOJ OIG
Re: Supplemental FOIA Request – Systemic Retaliation, Military Surveillance, and Collusion with Foreign & Corporate Actors
Dear FOIA Officer:
I submit this supplemental FOIA request under the Freedom of Information Act (5 U.S.C. § 552) to document the FBI/DOJ’s ongoing, unconstitutional retaliation, including militarized surveillance, collusion with foreign governments, corporate sabotage, and obstruction of justice in my EEOC case (Colorado U.S. District Court, Case No.Civil Action No. 1:16-cv-02472-PAB-TPO . This request supplements prior submissions and formally requests documentation of the FBI’s obstructionist tactics, including redundant verification demands and refusal to address systemic harassment.
I. New Retaliatory Acts (May 9–10, 2025)
Military Helicopter Surveillance:
May 9, 12:50–12:51 PM: A military helicopter conducted a low-altitude flyover of my residence, violating FAA regulations.
Targeting in home stalking me room to room and banging on the walls connecting the townhomes:
May 12, 1:18 PM: Immediate retaliation after emailing OGIS, with Liah Patrice Jones Minnis (2448 Gatebury) banging on shared walls.
Infrastructure Sabotage:
May 10–11: Liah Patrice Jones Minnis (linked to Bahamas Prime Minister’s son, Jamil Angelo Minnis) tampered with my refrigerator’s water line, previously Kimberly Denise Fmbro with Turnbury Gates Townhome HOA board at the FBI and DOJ;s instruction flooded my kitchen. This mirrors 2017 flooding orchestrated by Turnbury Gates HOA (Lawrence Katzman) to devalue my property.
Thermal/DEW Assaults:
May 9–11: Kathryn Grace Botelho (2444 Gatebury) and visa exchange students targeted me with thermal/DEW weapons, causing burns and other harm to body.
Psychological Harassment:
May 11, 10:03–10:12 PM: FBI operatives hacked my electrical system, flickering kitchen lights.
These incidents occured again on May 10, 9, & 8th.
May 12: Real-time coordination with Liah Patrice Jones Minnis to stalk me room-to-room and distort WiFi signals.
Judicial & Law Enforcement Obstruction:
Georgia Bureau of Investigation (GBI): Emailed dismissal of criminal acts (4th quarter 2024).
911 Call Suppression: Georgia 911 operators hung up on me and instructed me not to report crimes.
Police Officers deleted body camera footage of responding to government initiated home break in.
II. Legal Grounds for Expedited Processing
Expedited processing is mandatory due to imminent physical harm and obstruction of justice. Precedent includes:
III. Fee Waiver Justification
A fee waiver is justified. Disclosure serves the compelling public interest by exposing:
IV. Records Requested
Military Coordination:
Flight logs, FAA waivers, and DoD/FBI communications for May 9–10 helicopter deployments.
Foreign Actor Involvement:
Contracts/payments to Liah Patrice Jones Minnis, Jamil Angelo Minnis, or Bahamas officials.
Property Sabotage:
FBI/HOA records authorizing floods (2023–2025) and utility tampering.
Judicial Obstruction:
Communications between the FBI, GBI, and Chief Judge Brimmer regarding EEOC Case No. Civil Action No. 1:16-cv-02472-PAB-TPO .
Xfinity Collusion:
Subpoenas/emails with Xfinity’s Queen Q (Corporate Office) to throttle internet speeds.
V. Demand for Accountability
The FBI’s refusal to process prior requests constitutes bad-faith obstruction. The Administrative Procedure Act and Due Process Clause are violated.
Immediate Action Required:
Process this request without redundant verification (ID submitted).
Grant expedited processing and fee waiver.
Forward this complaint to the DOJ OIG and FBI Director for investigation.
Failure to comply within 10 business days will compel litigation under.
Certification of Truthfulness
I certify under penalty of perjury (28 U.S.C. § 1746) that the facts herein are true and accurate.
Sincerely,
La’Tonya Nicole Ford
Intervenor Plaintiff, Pro Se
Enclosures:
Timestamped videos (helicopter flyovers, light flickering).
_____________________________________________________________________________________________________________
Thank you for contacting the Office of Government Information Services (OGIS).
As the Freedom of Information Act (FOIA) ombudsman, OGIS assists FOIA requesters and federal agencies by helping them resolve their FOIA disputes, and by addressing their questions and concerns about the FOIA process. Please note, we are experiencing an increase in our inquiries received and are working to respond as soon as possible. We apologize for any delays in our response and assure you that all emails are tracked. We look forward to assisting you.
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Sincerely,
The OGIS Staff
FOIA REQUEST May 15, 2025
La’Tonya Nicole Ford
(470) 380-2369
May 15, 2025
Federal Bureau of Investigation
Attn: FOIPA Request | Request No. CRM-302263911 (Appeal Pending)
Record/Information Dissemination Section
Winchester, VA 22602-4843
CC: Office of Government Information Services, DOJ OIG
Re: Supplemental FOIA Request – Retaliatory Military Surveillance, Bioweapon Deployment, Obstruction of Justice, and Collusion with Private/Foreign Actors
Dear FOIA Officer:
I submit this supplemental FOIA request under the Freedom of Information Act to document the FBI/DOJ’s ongoing, systemic retaliation following my court submissions in EEOC v. Jackson National Life Insurance Co. (Case No. Case No.: 1:16-cv-02472-PAB-TPO). This request supplements prior submissions (CRM-302263911) and demands accountability for unconstitutional acts, including militarized surveillance, bioweapon deployment, obstruction of discovery, and collusion with private legal firms, foreign governments, and corporate actors.
I. New Retaliatory Acts (May 9–15, 2025)
A. Military/Government Surveillance & Harassment
Military Helicopter/Aerial Flyovers:
May 9, 12:50–12:51 PM: Low-altitude flyover violating FAA regulations.
May 13, 1:39 PM: Military plane flyover during ongoing harassment.
May 14, 4:29 PM & 5:20 PM: Flyovers during court document preparation.
May 15, 1:54 AM & 11:52 AM: Retaliatory flyovers post-court submission (CO US district court Defense gangstalking - YouTube).
Structural Sabotage & Physical Harassment:
May 9–15: Nonstop banging on structural beams by neighbors (e.g., Liah Patrice Jones Minnis, 2448 Gatebury connected to Bahamas Prime minister son Dr. Jamil Angelo Minnis (his spouse)) to destabilize property.
May 9-14: Kitchen Light tampering and flickering and popping of refrigerator water line (linked to 2017 flooding by Turnbury Gates HOA and prior owner of 2448 Gtebury Kimberly Denise Fambro who rented home to a military couple pretending to be the owner with their 16 year old child who engaged in the same tactics).
Thermal/DEW Weapon Assaults:
May 9–15: Proxies from 2444 Gatebury (Kathryn Grace Botelho, visa students) deployed thermal/directed-energy weapons, causing burns and physiological harm.
These individuals are hospital employees connected to the same hospital network as Jamil Angelo Minnis and the HOA new board members.
B. Bioweapon Deployment & Infrastructure Sabotage
Toxic Pest Release:
May 1–15: FBI/DoD operatives released pests laced with toxic agents through air vents, targeting eyes/respiratory systems (samples collected).
Utility Tampering:
May 9 - 14: Electrical system hacked to flicker lights in real-time coordination with harassment.
May 12–14: Xfinity/Comcast throttled internet speeds (29 Mbps to 0 Mbps) to obstruct court filings.
C. Judicial & Legal Obstruction
Discovery Suppression:
Defense counsel Faegre Drinker Biddle & Reath refused discovery requests, falsely citing co-counsel Seyfarth Shaw Seyfarth Shaw is the legal counsel to the United States president including several current and former DOJ/FBI directors and employees. (FBI/DOJ-linked).
Court Interference:
Removal of legal counsel twice in EEOC case including EEOC attorneys and acceleration of home foreclosure (scheduled May 25, 2025).
FBI/GBI/911 call disconnection, suppression and dismissal of criminal complaints.
D. Foreign Actor Collusion
Bahamas Government Ties:
Liah Patrice Jones Minnis (2448 Gatebury) linked to Bahamas PM’s son, Jamil Angelo Minnis, coordinating property sabotage.
II. Legal Grounds for Expedited Processing
Expedited processing is mandatory under .......... due to:
Imminent Physical Harm: daily Thermal/DEW assaults, bioweapons, and militarized harassment.
Obstruction of Justice: Internet throttling, discovery suppression, and judicial interference .
Constitutional Violations: Unlawful surveillance
III. Fee Waiver Justification
A fee waiver is justified under ........... Disclosure serves the public interest by exposing:
Government Misconduct: Collusion with foreign actors (Bahamas officials), private firms (Seyfarth Shaw), and corporations (Xfinity).
Military Asset Misuse: Violations of the Posse Comitatus Act .
Bioweapon/Torture Violations: Breaches of the Biological Weapons Anti-Terrorism Act and UN Convention Against Torture.
IV. Records Requested
Military Coordination:
Flight logs, FAA waivers, and DoD/FBI communications for May 9–15 flyovers.
Bioweapon Deployment:
Records of FBI/DoD coordination to release toxic pests.
Judicial Collusion:
Communications between FBI/DOJ, Faegre Drinker Biddle, Seyfarth Shaw, and Chief Judge Brimmer (D. Colorado), federal public defender Magistrate Timothy Patrick O’Hara regarding EEOC Case No.(Case No. Case No.: 1:16-cv-02472-PAB-TPO).
Foreign Actor Involvement:
Contracts/payments to Liah Patrice Jones Minnis, Jamil Angelo Minnis, or Bahamas officials.
Surveillance & Sabotage:
FBI monitoring logs (2441/2444/2448 Gatebury residents, Turnbury Gates HOA).
Xfinity/Comcast directives to throttle internet speeds for years.
Thermal/DEW Technology:
Deployment authorizations, medical assessments, and contracts with proxies.
V. Demand for Accountability
The FBI’s actions violate (civil rights deprivation), (witness tampering), and international law. Failure to comply within 10 business days will compel litigation under (...........).
Immediate Actions Required:
Process this request without redundant verification (IDs submitted April 14 & 18, 2025).
Grant expedited processing and fee waiver.
Halt foreclosure proceedings and restore internet access.
Certification of Truthfulness
I certify under penalty of perjury (28 U.S.C. § 1746) that the facts herein are true and accurate.
Sincerely,
La’Tonya Nicole Ford
Intervenor Plaintiff, Pro Se
Enclosures:
YouTube link: Military helicopter at 1:54 AM (May 15).
Court correspondence re: discovery obstruction.
Xfinity outage logs (May 12–14).
GBI dismissal email previously provided