Legal Declaration - James Curtin, Pro Se Plaintiff
1. I am the Plaintiff in this action. I am an individual domiciled in the State of New York. I am the founder and principal of Carotank Road Holdings, Inc., a defence industry advisory,...
DISTIL analysis
- Curtin interviewed for five hours by GSA and DoD OIG investigators on March 12, 2026
- Investigation covers $213,000 wire to Fletcher Jones Motorcars and $994,460 wire to G2G Global Ltd. from Cyberlux FMF advance
- Curtin confirmed as federal witness as of March 12, 2026
- Declaration authenticates seven exhibits including surveillance riddle, doxxing campaign materials, and threatening communications
- WhatsApp messages received from Bilal Maadarani on May 10 and May 27, 2025
- Cease and desist notice sent to G2G Global Ltd. on May 13, 2026, without response
Extracted text
5 pages · 7395 charactersJAMES CURTIN,
IN THE UNITED STATES DISTRICT COURT
Plaintiff,
FOR THE MIDDLE DISTRICT OF NORTH CAROLINA
V.
GREENSBORO DIVISION
CYBERLUX CORPORATION et al.,
Civil Action No.
Defendants.
DECLARATION OF JAMES CURTIN IN SUPPORT OF COMPLAINT
I, James Curtin, declare under penalty of perjury pursuant to 28 U.S.C. § 1746 as follows:
FEDERAL INVESTIGATIVE STATUS
Within approximately forty-eight hours of my transmitting this notification to Linde plc, the @BruceMcDou67575 account was permanently closed.
Executed this day of May, 2026, in , New York.
James Curtin Plaintiff, Pro Se 12 Tobey Court Pittsford, New York 14534 jim@carotankroad.com
Original source file
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- Full SHA-256
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