LAST UPDATED 08/15/19

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United States Bankruptcy Court
District a/Massachusetts
Eastern Division

Chapter 11 Case No. 96-10123-CJK

INRE:

V&M Management
Debtor

MOURAD'S NON PREJUDICIAL WITHDRAWAL OF HIS MOTION TO COMPEL THE RESIGNATIONOFASSISTANTU.S. TRUSTEE ERIC BRADFORD IN ORDER TO PERMIT THE U.S. DEPARTMENT OF JUSTICE TO CONTINUE ITS INVESTIGATION OF BRADFORD'S ALLEGED MISCONDUCT IN THE V&M MANAGEMENT INC. BANKRUPTCY CASE BEFORE THIS COURT.

Alphonse Mourad withdraws and moves to withdraw his June 30, 1998 filed "Motion to Compel the Court to Order the Resignation ofAsst. U.S. Trustee Attorney, Eric Bradford," without prejudice, pending disposition of Mourad's administrative complaint against Bradford filed with the U.S. Department of Justice's Office of the United States Trustee, in Washington, DC.
Mourad says the present withdrawal is necessary in order for the U.S. Department of Justice to act, upon his administrative complaint, as the department will not act upon matters pending before a court (see exhibit #1). Mourad seeks the dismissal of the above mentioned case due to the courts lengthy deliberations on three motions previously filed before the court which remain pending (ALPHONSE MOURAD'S MOH *;*// TO COMPEL THE TRUSTEE TO PAY V&M MANAGEMENT'S FEDERAL TAXES, JANUARY 28TM, 1998 - Exhibit #2) (ALPHONSE MOURAD'S
GROUND OF HER COMMUTING PERJURY JUDICIAL COUNCIL OF THE FIRST CIRCUIT, JUNE 1s1, 1998 - EXHIBIT #3) (MOTION TO COMPEL THE COURT TO ORDER THE RESIGNATION OF ASSISTANT U.S. TRUSTEE ATTORNEY, ERIC BRADFORD... JUNE 30TM,1998, Exhibit ff4). Due to the timely nature of the motion TO COMPEL THE RESIGNATION OF ASSISTANT U.S. TRUSTEE ERIC BRADFORD, Mourad hereby requests the motion be dismissed without prejudice so that the Department of Justice may conduct its investigation of the matter.

Hyde Park, MA 02136 (617) 361-2793
July 30, 1998