...08, 2020 DECLARATORY JUDGMENT FINDING THAT THE ILLINOIS DEPARTMENT OF HEALTH ACT GOVERNS THE CONDUCT OF STATE ACTORS IN THIS CONTEXT FOR INJUNCTIVE RELIEF There is also a Motion for...
...persons who are not a part of State government. It does not therefore fall within the authority granted by section 2 of article XIII.” For those that have been following...
...Constitution, Article VIII Section 3. “I do solemnly swear (affirm) that I will support the Constitution of the United States, and the Constitution of the State of Illinois, and that...
...state court, delayed two weeks before filing an amended complaint and, after filing it, did not seek emergency relief or an expedited hearing. In the meantime, the Governor’s counsel acknowledges...
...regulations, and consequences that are arbitrary, capricious, and completely devoid of anything even remotely approaching common sense. State’s attorneys in this state, county sheriffs, mayors, city councils and county boards...
Illinois (ECWd) – While we await a copy of the transcript from today’s TRO hearing in Clay County on behalf of James Mainer, we believe the entire state should know...
United States Department of Justice (“USDOJ”) asked the federal court to remand Rep. Bailey’s case back to Clay County Circuit Court. “The United States supports the plaintiff’s emergency motion for...
...Governor Pritzker and any other state actor in Illinois from enforcing, or attempting to enforce, the governor’s Executive Orders on stay-at-home, and business closures. This ONLY applies to Mr. Mainer...
...citizens of this state, is the Governor going to tell this veteran he is grandstanding and being political? Does he dare try to drag this patriot into the Federal Court...
...than to derail state court proceedings. This Court should not countenance such an egregious attempt to neuter a state court. In short, the Notice of Removal is beyond frivolous and...