The evidence
DISTIL-backed evidence records.
The first analyzed source records from the Cyberlux Corporation and HII drone-contract file. This view is intentionally limited to evidence records with completed DISTIL analysis while the broader archive is built out.
Evidence posts
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01exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 151. My name is William Welter and I am over the age of 21 years and competent.Open record02exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 2[ ] You are commanded to levy upon the goods, chattels, current money, bank notes and real estate of the Defendant(s), and to make from those the principal, interest, costs and attorney's fees, together...Open record03exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 3Atlanta, GA Charleston, SC Charlotte, NC Columbia, SC Greenville, SC Raleigh, NC Spartanburg, SC Washington, DCOpen record04exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 4Atlanta, GA Charleston, SC Charlotte, NC Columbia, SC Greenville, SC Raleigh, NC Spartanburg, SC Washington, DCOpen record05court filing · May 4, 2026Proposed Order – Friday Motion HearingAdvanced Navigation & Positioning Corporation vs. Cyberlux Corporation CL-2025-0016055Open record06exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 81. DEBTOR'S NAME: Provide only one Debtor name (a or b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record07exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 9On December 16, 2025, Plaintiffs Atlantic Wave Holdings, LLC and Secure Community, LLC and Defendants Cyberlux Corporation and Mark D. Schmidt, individually, by their Receiver, Robert W. Berleth, Esq.,1 appeared by and through counsel...Open record08exhibit · May 4, 2026Exhibit 21. Documents supporting or otherwise concerning your answer to the above interrogatory.Open record09document · May 4, 2026IP HII EDVA 00483 Doc. 0183 Main1. Plaintiff HII Mission Technologies Corp.'s ("HII") predecessor entered into a subcontract with Cyberlux, which is incorporated in Nevada and has its principal place of business in North Carolina. ECF 41, 11 4, 17,...Open record10document · May 4, 2026IP HII EDVA 00483 Doc. 01881. HII and Cyberlux entered into Subcontract No. P000043846 in August 2023, subsequently modified by Modification No. 4, effective February 26, 2025 (Mod. 4). Under the Subcontract, Cyberlux was to design, manufacture, and deliver...Open record11document · May 4, 2026IP HII EDVA 00483 Doc. 0190This matter comes before the Court on a motion to intervene "as a matter of right[,] or in the alternative[,] permissively," filed by Bilal Maadarani. (ECF No. 162, at 1 (alterations added).) Under Federal...Open record12document · May 4, 2026OrderORDER Regarding Procedures for Follow-Up Settlement ConferenceOpen record13document · May 4, 2026IP HII EDVA 00483 Doc. 0192The United States of America submits this memorandum in response to the other parties' motions for summary judgment.Open record14exhibit · May 4, 2026Exhibit AADVANCED NAVIGATION & POSITIONING CORPORATION, Judgment Creditor, V. CYBERLUX CORPORATION, Judgment Debtor andOpen record15document · May 4, 2026IP HII EDVA 00483 Doc. 01951. Cyberlux entered into valid agreements, or caused judgments and security agreements to be entered, entitling Movants to the Corpus after the Receiver's appointment. See [D.N. 186 at 4] (stating that Cyberlux's CEO executed...Open record16declaration · May 4, 2026Declaration of Charles a. Gavin, Counsel for Atlantic Wave Holdings, LLC and Secure Community, LLC1. Your Declarant is Charles A. Gavin. I am greater than 21 years of age. I am an attorney licensed in the Commonwealth of Virginia and admitted to practice in state court and this...Open record17exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 101:25-Cy-00805-GPG-MDB Document 27 filed 08/29125 Case 3:25 cv-00483-JAG Document 197-10f 2Filed 04/22/26 Page 1 of 2 PageID# 4349Open record18exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 111. I am the attorney for the Plaintiff in the above-entitled action and I am familiar with the file, records and pleadings in this matter.Open record19exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 12Secretary of State P.O. Box 13697 Austin, TX 78711-3697 FAX: 512/463-5709Open record20exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0197 Exhibit 13Pursuant to Modification No. 4 to Subcontract No. P000043846 (the "Agreement") by and between HIl Mission Technologies Corp. ("HII") and Cyberlux Corporation ("Cyberlux"), and in accordance with Section 5(f) of the Agreement, this letter...Open record21exhibit · May 4, 2026Order1. Pursuant to the Court's Order entered on July 22, 2025, Garnishee HII Mission Technologies Corp. interpleaded the sum of $1,444, 543.11 to the Court (such funds, held by the Court, the "Funds"), pursuant...Open record22exhibit · May 4, 2026Exhibit 41. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record23exhibit · May 4, 2026Exhibit 51. This document is a Request for Disbursement as described in the Agreement.Open record24exhibit · May 4, 2026Exhibit 7The balance listed above is the total balance due to Legalist, Inc. and/or its affiliates ("Lender") through April 15th, 2026 to fully and finally satisfy all loan obligations through such date.Open record25declaration · May 4, 2026Declaration of Christopher W. Bascom in Support of Legalist Spv Iii, L.p.’s Motion for Summary Judgment1. I am over 18 years old and of sound mind. The following information is based on my personal knowledge, and I am competent to testify on the matters herein.Open record26exhibit · May 4, 2026Exhibit AState Corporation Commission Office of the Clerk Entity ID: 11078802Open record27exhibit · May 4, 2026Exhibit C1. "Witness" means any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record28declaration · May 4, 2026Declaration of Thomas O. Wirth1. I am the General Counsel of Fairwinds Technologies, LLC ("Fairwinds"). This declaration is based on my personal knowledge, information, and belief.Open record29document · May 4, 2026IP HII EDVA 00483 Doc. 0178 MainPursuant to the Court's Orders dated February 11, 2026 and March 31, 2026 (Dkt. Entries 145, 158) and Federal Rule of Civil Procedure 56, Fairwinds Technologies LLC ("Fairwinds"), through its undersigned counsel, hereby respectfully...Open record30exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 10RE: Atlantic Wave Holdings, LLC and Secure Community, LLC v. Cyberlux Corporation and Mark D. Schmidt; Case Number: CL24-3910Open record31exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 22. Stand Still. During the period of the Government's review of the Agreement, neither Party shall file or otherwise pursue any judicial or other action for money damages against the other with respect to...Open record32exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 31. Recitals. The recitals set forth above are incorporated herein.Open record33exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 4BEFORE THE COURT is a Motion for Entry of an Amended Final Order and Judgment by Plaintiffs ATLANTIC WAVE HOLDINGS, LLC AND SECURE COMMUNITY, LLC, and agreed to by Defendants CYBERLUX CORPORATION and MARK...Open record34exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 51. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record35exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 61. DEBTOR'S NAME - Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual...Open record36exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0180 Exhibit 71. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name: do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record37document · May 4, 2026AW Harris Awh 2024 48085 Doc. 1210349011. Payment of All Amounts Due: Cyberlux owes (a) $1,935,000 in unpaid commissions on the approximately $38.7 million received during 2023, (b) $193,500 representing the 10% penalty on such underpayment pursuant to Section 3.3(c),...Open record38complaint · May 4, 2026Cm Montague V Cyberlux Complaint 202506231. This action arises from Cyberlux's willful refusal to honor its contractual obligations to the strategic consultant that transformed it from a struggling small-cap lighting company into a legitimate defense contractor with tens of...Open record39declaration · May 4, 2026Declaration of Anthony R. Gonzalez1. I am over the age of 18 and competent to make this Declaration. I have personal knowledge of the facts stated in this Declaration.Open record40document · May 4, 2026IP HII EDVA 00483 Doc. 0169 MainPursuant to Rule 56 of the Federal Rules of Civil Procedure, Rule 56 of the Local Rules for the United States District Court for the Eastern District of Virginia, and the Court's March 31,...Open record41exhibit · May 4, 2026Exhibit 91. Recitals. The recitals set forth above are incorporated herein.Open record42exhibit · May 4, 2026Exhibit 25Pursuant Rules 26, 33 and 34 of the Federal Rules of Civil Procedure, and the Joint Discovery Plan entered in this case by order dated February 19, 2026 (Doc. 149) (the "Order"), Interpleader Defendant...Open record43exhibit · May 4, 2026Exhibit 262. Judgment in favor of ANPC and against Cyberlux in the amount of $2,926,814.39, as set out in the Verified Complaint, which includes: (1) $2,830,050.00 for the Final Invoice and (2) interest accruing at...Open record44exhibit · May 4, 2026Exhibit 27In accordance with Federal Rules of Civil Procedure 33 and 34 and the Court's February 19, 2026 Order entering the Joint Discovery Plan (ECF 149), Intervenor/Claimant Thin Air Gear, LLC ("TAG"), by and through...Open record45exhibit · May 4, 2026Exhibit 21. Borrower shall, before execution of any agreement with a government-related customer (each, a "Government Account Debtor") in connection with which Borrower desires Lender to provide financing under this Agreement, provide to Lender the...Open record46exhibit · May 4, 2026Exhibit 28In accordance with the orders filed during the pendency of this case, and pursuant to Federal Rule of Civil Procedure 58(a), the following Final Judgment is hereby entered.Open record47exhibit · May 4, 2026Exhibit 30Now comes Interpleader Defendant/Claimant Fairwinds Technologies, LLC ("Fairwinds"), who submits the following responses to the Interrogatory and Document Requests agreed to by all Parties in the Joint Discovery Plan [Doc. 147] filed with the...Open record48exhibit · May 4, 2026Exhibit 312. The parties wish to make certain changes to the Existing Agreement to reflect the developments in the nature of the deal.Open record49exhibit · May 4, 2026Exhibit 33In accordance with Federal Rules of Civil Procedure 33 and 34 and the Court's February 19, 2026 Order entering the Joint Discovery Plan (ECF 149), Intervenor/Claimant The ARG Group, LLC ("ARG"), by and through...Open record50exhibit · May 4, 2026Exhibit 34WeShield: $3,905,541.64 Roman: $576,436.03 MAS: $215,062.95 Sinensky: $310,097.79Open record51exhibit · May 4, 2026Exhibit 14Page 2 of 6 PageID# 2815 16/2026 6:47 PM Marilyn Burgess - District Clerk Harris County Envelope No. 109732259 By: Shanelle Taylor Filed: 1/6/2026 6:47 PMOpen record52exhibit · May 4, 2026Exhibit 15Marilyn Burgess - District Clerk Harris County Envelope No. 110345798Open record53exhibit · May 4, 2026Exhibit 171. On June 23, 2023, a Virginia court presiding over Case No. CL22-3882-4, Atlantic Wave Holdings, LLC and Secure Community, LLC v. Cyberlux Corporation and Mark D. Schmidt, in the Circuit Court of the...Open record54exhibit · May 4, 2026Exhibit 181. Judgment Creditors' Second Amended Motion for Distribution of Funds is GRANTED, and further,Open record55exhibit · May 4, 2026Exhibit 19Marilyn Burgess - District Clerk Harris County Envelope No. 112162576 By: Alyssa Henderson Filed: 3/9/2026 11:02 AM Pgs-1Open record56exhibit · May 4, 2026Exhibit 20On the 2nd day of March, 2026, the following proceedings came on to be held in the above-titledOpen record57exhibit · May 4, 2026Exhibit 211. Explain the nature of your claim to any of the proceeds that are the subject of this Interpleader, including an explanation of:Open record58exhibit · May 4, 2026Exhibit 152. Judgment in favor of ANPC and against Cyberlux in the amount of $2,926,814.39, as set out in the Verified Complaint, which includes: (1) $2,830,050.00 for the Final Invoice and (2) interest accruing at...Open record59document · May 4, 2026Order1. Effective August 29, 2023, HII's predecessor in interest and Cyberlux Corporation ("Cyberlux") entered into Subcontract No. P000043846 (the "Subcontract").Open record60document · May 4, 2026IP HII EDVA 00483 Doc. 01551. Intervenor ARG is a Delaware limited liability company with its principal place of business located in Tucson, Arizona.Open record61exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0163 Exhibit 12. Employment agreement that was signed when I first accepted the positionOpen record62document · May 4, 2026IP HII EDVA 00483 Doc. 0167 MainIn accordance with Fed. R. Civ. P. 56, Local Civil Rule 56, and the Court's March 31, 2026 Order (ECF 158), The ARG Group, LLC ("ARG"), by counsel, respectfully submits this Memorandum of Law...Open record63exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0169 Exhibit 21. The work performed by Receiver in this Receivership to date includes, without limitation, the following: researching the latest developments in relevant turnover receivership law, communications with Plaintiff's counsel, communications with Defendant's counsel, communications...Open record64exhibit · May 4, 2026Exhibit A1. "Witness" means any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record65declaration · May 4, 2026Declaration of Brian Stout in Support of Legalist Spv Iii, L.p.’s Motion for Summary Judgment1. I am over 18 years old and of sound mind. The following information is based on my personal knowledge and I am competent to testify on the matters herein.Open record66exhibit · May 4, 2026Exhibit 81. AWH is a Virginia limited liability company AWH is the sole owner of your Co Interpleader Defendant, Secure Community, LLC ("SC"). Accordingly, while each a party, AWH and SC have the same claims...Open record67exhibit · May 4, 2026Exhibit 10BEFORE THE COURT is a Motion for Entry of an Amended Final Order and Judgment by Plaintiffs ATLANTIC WAVE HOLDINGS, LLC AND SECURE COMMUNITY, LLC, and agreed to by Defendants CYBERLUX CORPORATION and MARK...Open record68exhibit · May 4, 2026Exhibit 111. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record69exhibit · May 4, 2026Exhibit 122. The name of the Defendant/Judgment-Debtors is CYBERLUX CORPORATION and MARK D. SCHMIDT, Individually and as President of Cyberlux Corporation.Open record70exhibit · May 4, 2026Exhibit 131. Mr. Berleth was appointed Receiver by the Court over Judgment Debtors CYBERLUX CORPORATION ("Cyberlux") to collect a judgment owed to ATLANTIC WAVE HOLDINGS, LLC in an Order Appointing Receiver ("OAR"). The Receiver has...Open record71document · May 4, 2026OrderThis matter comes before the Court on a deposit made by the plaintiff, HII Mission Technologies Corp. ("HII"), into the Court's Registry Investment System - Disputed Ownership Fund in the amount of $23,736,937.56. (Dkt....Open record72document · May 4, 2026IP HII EDVA 00483 Doc. 0159 Version A1. See Washington Electric Cooperative, Inc. v. Paterson, Walke & Pratt, P.C., 985 F.2d 677, 679 (2d Cir. 1993), cited for the quote "colorable adverse claims to the same res," (ECF No. 86, at...Open record73document · May 4, 2026IP HII EDVA 00483 Doc. 0162COMES NOW, Mr. Bill Maadarani, by and through his undersigned counsels, and pursuant to Federal Rule of Civil Procedure 24 respectfully moves this court to allow Mr. Maadarani to intervene in the above captioned...Open record74document · May 4, 2026IP HII EDVA 00483 Doc. 0163 MainPursuant to Federal Rule of Civil Procedure 24(a)(2), Mr. Bilal Maadarani ("Mr. Maadarani"), through his undersigned counsels, humbly moves this court to allow him to intervene as a matter of right, or in the...Open record75document · May 4, 2026IP HII EDVA 00483 Doc. 0164In accordance with Federal Rule of Civil Procedure 56, Local Civil Rule 56, and the Court's March 31, 2026 Order (ECF 158), Thin Air Gear, LLC ("TAG"), by and through its undersigned counsel of...Open record76document · May 4, 2026IP HII EDVA 00483 Doc. 0165 MainIn accordance with Federal Rule of Civil Procedure 56, Local Civil Rule 56, and the Court's March 31, 2026 Order (ECF 158), Thin Air Gear, LLC ("TAG"), by and through its undersigned counsel of...Open record77exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0169 Exhibit 11. This case is hereby STAYED subject to the Interpleader Action.Open record78exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0169 Exhibit 4On December 16, 2025, Plaintiffs Atlantic Wave Holdings, LLC and Secure Community, LLC and Defendants Cyberlux Corporation and Mark D. Schmidt, individually, by their Receiver, Robert W. Berleth, Esq.,' appeared by and through counsel...Open record79exhibit · May 4, 2026OrderIn the Circuit Court of the City of Richmond, John Marshall Courts Building ATLANTIC WAVE HOLDINGS, LLC. AND SECURE COMMUNITY, LLC. Plaintiff,Open record80exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0171 Exhibit 11. Mr. Maadarani asserts through this complaint his interest in the funds that plaintiff, HII Mission Technologies Corp. ("HII") has interpleaded in this case. Cyberlux Corporation ("Cyberlux") agreed to pay Mr. Maadarani's salary, expenses,...Open record81document · May 4, 2026IP HII EDVA 00483 Doc. 0171 MainCOMES NOW, Mr. Bilal Maadarani, through his undersigned attorneys, and in support of his Motion for Summary Judgment states as follows:Open record82document · May 4, 2026IP HII EDVA 00483 Doc. 0173 MainInterpleader Defendant/Claimant, Robert W. Berleth, as Receiver (the "Receiver"), by counsel, pursuant to the Court's April 7, 2026, Order (the "Court's Order"), submits this Memorandum of Law to show cause why the Receiver's "continued...Open record83exhibit · May 4, 2026Exhibit 41. Social Security benefits and Supplemental Security Income (SSI) (42 U.S.C. § 407).Open record84exhibit · May 4, 2026Exhibit 5THIS MATTER came before the Court July 18, 2025, on Plaintiffs' Motion for Entry of Order of Payment. And, for the reasons stated on the record, it isOpen record85exhibit · May 4, 2026Exhibit 61. On June 28, 2023, a Virginia state court signed the Amended Final Order and Judgment against Cyberlux (and Mark D. Schmidt) in Case No. CL22-3882, in the Circuit Court of the City of...Open record86exhibit · May 4, 2026Exhibit 71. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record87exhibit · May 4, 2026Exhibit 81. "Witness" means any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record88exhibit · May 4, 2026Exhibit 91. The work performed by Receiver in this Receivership to date includes, without limitation, the following: researching the latest developments in relevant turnover receivership law, communications with Plaintiff's counsel, communications with Defendant's counsel, communications...Open record89exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0144 Exhibit 11. Atlantic Wave Holdings, LLC. Cause No. 2024-48085, styled Atlantic Wave Holdings, LLC, et al. v. Cyberlux Corporation, et al., in the 129th Judicial District Court, Harris County, Texas. This is the originating receivership...Open record90exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0144 Exhibit 3Subject: Indemnification Demand Concerning Curtin v. Watts, et al., Case No. 1:25-cv-00782, United States District Court for the Middle District of North Carolina (the "Action")Open record91exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0144 Exhibit 41. Social Security benefits and Supplemental Security Income (SSI) (42 U.S.C. § 407).Open record92exhibit · May 4, 2026IP HII EDVA 00483 Doc. 0144 Exhibit 51. This case is hereby STAYED subject to the Interpleader Action.Open record93declaration · May 4, 2026Declaration of Clark J. Belote1. I am over 21 years of age and otherwise competent to make this declaration. I have personal knowledge of the statements contained herein. The statements herein are true and correct to the best...Open record94declaration · May 4, 2026Declaration of Scott Freling1. I am over 21 years of age and otherwise competent to make this declaration. I have personal knowledge of the statements contained herein. The statements herein are true and correct to the best...Open record95declaration · May 4, 2026Declaration of T. Gregory Jackson1. I am over 21 years of age and otherwise competent to make this declaration. I have personal knowledge of the statements contained herein. The statements herein are true and correct to the best...Open record96document · May 4, 2026IP HII EDVA 00483 Doc. 0144 Main7. Indemnity. Cyberlux hereby agrees to indemnify and to hold HII, its affiliates, parent, and subsidiaries. and their directors, officers, shareholders, agents, and employees (each, an "Indemnified Party") harmless from and against any and...Open record97court filing · May 4, 2026Defendants’ Objections to Demand for Document Disclosure and Motion for Protection1. On June 11, 2025, the Judgment was paid in full so all of Berleth's actions in this case plainly exceed the statutory authority conferred under TCPRC 31.002.Open record98exhibit · May 3, 2026Exhibit 8RE: Cyberlux/Atlantic Wave - Documents Ordered to be DeliveredOpen record99notice · May 3, 2026Defendants’ Notice of Designation for Clerk’s Record7/1/2025 2:30 PM Marilyn Burgess - District Clerk Harris County Envelope No. 102650844 By: Tonisha Ricks Filed: 7/1/2025 2:30 PMOpen record100document · May 3, 2026Cm Arg V Cyberlux Durham Nc Cyberlux Answer 202507071. Defendant lacks knowledge or information sufficient to form a belief as to the truthfulness of the allegations in Paragraph 1 and, therefore, denies the same.Open record101complaint · May 3, 2026Plaintiff’s ComplaintPursuant to Rule 6(b) of the North Carolina Rules of Civil Procedure. Defendant Cyberlux Corporation (hereinafter collectively referred to as "Defendant") respectfully moves this Court for an order extending the time, though and including...Open record102exhibit · May 3, 2026Cm Arg V Cyberlux Durham Nc Exhibit 31. Plaintiff is a limited liability company organized under the laws of the State of North Carolina and doing business in North Carolina, with a registered agent and office located in North Carolina.Open record103document · May 3, 2026Cm Fairwinds Commission Calculation1. Intervenor Fairwinds asserts through this complaint its interest in the funds that plaintiff HII Mission Technologies Corp. ("HII") has proposed to interplead in this case. Cyberlux Corporation ("Cyberlux") agreed to pay Fairwinds in...Open record104notice · May 3, 2026Notice of Withdrawal of Motion for Temporary Restraining Order, Motion for Expedited Discovery, and Notice of HearingPLEASE TAKE NOTICE that Plaintiff Montague Capital Partners, LLC hereby withdraws its Motion for Temporary Restraining Order, Motion for Expedited Discovery, and its Notice of Hearing in this matter for Friday, June 27, 2025,...Open record105judgment · May 3, 2026Plaintiff’s Motion for Summary Judgment1. I am a resident and citizen of the State of North Carolina and I am over the age of eighteen (18) years and competent to make this affidavit.Open record106document · May 3, 2026Fn Awh Ucc1 California Schmidt Cyberlux 20231020STATE OF CALIFORNIA Office of the Secretary of State UCC FINANCING STATEMENT (UCC 1) California Secretary of State 1500 11th Street Sacramento, California 95814 (916) 653-3516Open record107document · May 3, 2026Fn Awh Ucc1 Virginia Schmidt Cyberlux 202307061. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record108document · May 3, 2026Fn Legalist Ucc1 California Datron 20240401STATE OF CALIFORNIA Office of the Secretary of State UCC FINANCING STATEMENT (UCC 1) California Secretary of State 1500 11th Street Sacramento, California 95814 (916) 657-5448Open record109document · May 3, 2026G2 G2g Global Ltd Uk Incorporation 20230925The Registrar of Companies for England and Wales, hereby certifies thatOpen record110court filing · May 3, 2026IP Amicus Brief HII EDVA InterpleaderThis amicus curiae brief is submitted by James Curtin, Plaintiff in Curtin v. Watts et al., No. 1:25-cv-00782 (M.D.N.C.), to provide factual clarity and contextual support relevant to the Court’s consideration of Cyberlux Corporation’s...Open record111exhibit · May 3, 2026Exhibit 11. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor's name); if any part of the Individual Debtor's...Open record112exhibit · May 3, 2026Exhibit 10Relators Cyberlux Corporation and Mark D. Schmidt filed a petition for writ of mandamus regarding the trial court's May 22, 2025 Order Appointing Receiver and June 12, 2025 oral denial of Relator's Emergency Motion...Open record113exhibit · May 3, 2026Exhibit 111. "Witness" means any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record114exhibit · May 3, 2026Exhibit 1202326813063 Received: 10/10/2023 Document 41-12 Filed 08/04/25Open record115exhibit · May 3, 2026Exhibit 1302330041005 Received: 10/26/2023 Document 41-13 Filed 08/04/25Open record116exhibit · May 3, 2026Exhibit 1402416654027 Received: 04/30/2024 Document 41-14 Filed 08/04/25Open record117exhibit · May 3, 2026Exhibit 21. Cyberlux Corporation ("Cyberlux") acknowledges and expressly consents to HII Mission Technologies Corp. ("HII") paying to Legalist LLC ("Legalist") all amounts that otherwise become due and owing to Cyberlux under Subcontract No. P000043846 (the...Open record118exhibit · May 3, 2026Exhibit 3Pursuant to Modification No. 4 to Subcontract No. P000043846 (the "Agreement") by and between HIl Mission Technologies Corp. ("HII") and Cyberlux Corporation ("Cyberlux"), and in accordance with Section 5(f) of the Agreement, this letter...Open record119document · May 3, 2026AW Harris Awh 2024 48085 Doc. 120966549This dispute has a long and winding history across multiple state and federal courts. The plaintiffs, Atlantic Wave Holdings LLC and Secure Community LLC, obtained a judgment in June 2023 in a Virginia state...Open record120document · May 3, 2026AW Harris Awh 2024 48085 Doc. 120966558On the 28th day October, 2024, the following proceedings came on to be held in the above-titled and numbered cause before the Honorable Michael Gomez, Judge Presiding, held in Houston, Harris County, Texas.Open record121document · May 3, 2026Order Appointing Receiver1. On June 10, 2025, Legalist SPV III, LP ("Legalist") transmitted payment of $3,083,639.75 to the Receiver, via wire transfer.Open record122document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121014240Evidence record for AW Harris Awh 2024 48085 Doc. 121014240.Open record123document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121014241Evidence record for AW Harris Awh 2024 48085 Doc. 121014241.Open record124document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121014242Notification of Service for Case: 202448085, ATLANTIC WAVE HOLDINGS LLC v CYBERLUX CORPORATION for filing Motion (No Fee), Envelope Number: 101743796Open record125document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121014243Notification of Service for Case: 202448085, ATLANTIC WAVE HOLDINGS LLC v CYBERLUX CORPORATION for filing Notice, Envelope Number: 101743796Open record126document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121014245Cyberlux/Atlantic Wave - revised Agreed Order re Motion to Correct (draft)Open record127document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121014246§ § § § Defendant/Judgment Debtors. § § 129TH JUDICIAL DISTRICTOpen record128document · May 3, 2026Order Granting Temporary Restraining Order and Appointing ReceiverOn the date of entry below, this Court considered Plaintiff's Original Petition and Emergency TRO/Injunction to Extend Receivership, reviewed the documents on file, relevant statutory and case law, admissible evidence, all arguments of the...Open record129document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1210349022. TERM. Other than as expressly set forth herein in respect of provisions of this Agreement which relate to services provided under the Existing Agreement, the term of this Agreement shall commence as of...Open record130document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1210374722. Berleth Now Holds Funds in Excess of the Judgment Balance.Open record131document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121037473Berleth confirmed receipt but says there is a TRO hearing going on to extend the receivership. Not sure if you guys are in on that. If so, let us know what happens.Open record132document · May 3, 2026Order Granting Temporary Restraining Order and Appointing Receiver6/11/2025 4:29 PM Marilyn Burgess - District Clerk Harris County Envelope No. 101911236 By: Sasha Prince Filed: 6/11/2025 4:29 PM Pgs-24Open record133document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1210685211. This Court has appointed Robert Berleth as Receiver over Cyberlux Corporation ("Cyberlux") in the above-captioned proceeding. Montague seeks to intervene to protect its substantial contractual rights to sums totaling approximately $3,543,265.17 (before interest)...Open record134document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121068522THIS CONSULTING AGREEMENT ("Agreement") is made and entered into effective as of the 1st day of January 2019, between Cyberlux Corporation, a corporation formed under the laws of the State of Nevada, and Montague...Open record135document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1210685232. TERM. Other than as expressly set forth herein in respect of provisions of this Agreement which relate to services provided under the Existing Agreement, the term of this Agreement shall commence as of...Open record136document · May 3, 2026AW Harris Awh 2024 48085 Doc. 121068524Reference is made to that certain Amened and Restated Consulting Agreement effective as of January 1, 2023 by and between Cyberlux Corporation and Montague Capital Partners LLC (the "Agreement"). Words used with initial capitalization...Open record137exhibit · May 3, 2026Exhibit 1Evidence record for Exhibit 1.Open record138exhibit · May 3, 2026Exhibit 2Evidence record for Exhibit 2.Open record139exhibit · May 3, 2026Exhibit 3On the 9th day of June, 2025, the following proceedings came on to be heard in the above-entitled and numbered cause before the Honorable Latosha Lewis Payne, Judge presiding, held in Houston, Harris County,...Open record140exhibit · May 3, 2026Exhibit 5 – ANPC-Cyberlux SettlementI'm seeking to get an agreed final order to distribute funds in the Cyberlux matter entered promptly. Unfortunately, Cyberlux has ~$65M in debt, with less than half that available to pay creditors. Will your...Open record141exhibit · May 3, 2026Exhibit 6See below from Berleth. What's the deal with the settlement conference? Feet free to give me a call if its easier to discuss over the phone.Open record142exhibit · May 3, 2026Exhibit 7Relators Cyberlux Corporation and Mark D. Schmidt filed a petition for writ of mandamus regarding the trial court's May 22, 2025 Order Appointing Receiver and June 12, 2025 oral denial of Relator's Emergency. Motion...Open record143judgment · May 3, 2026Plaintiffs/judgment-Creditors v. Cyberlux Corporation and Mark Schmidt, Individually1. Legalist is an investment firm that specializes in alternative assets in the private credit industry across litigation finance, bankruptcy, and government receivables lending.Open record144notice · May 3, 2026Notice of Second Remand OrderMARK SCHMIDT, Individually, § Defendants/Judgment-Debtors. §Open record145court filing · May 3, 2026Order for the Reasons Stated on the Record at the Hearing on March 26, 2025, the Plaintiffs’ Motion to Remand, (docket Entry No. 4), Is Granted. This Case Is Remanded to the 129th Judicial DistrictUnited States District Court Southern District of Texas ENTERED March 27, 2025 Nathan Ochsner, ClerkOpen record146document · May 3, 2026AW Harris Awh 2024 48085 Doc. 120550112This dispute has a long and winding history across multiple state and federal courts. The plaintiffs, Atlantic Wave Holdings LLC and Secure Community LLC, obtained a judgment in June 2023 in a Virginia state...Open record147document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1205581921. On June 28, 2023, a Virginia state court signed the Amended Final Order and Judgment against Cyberlux (and Mark D. Schmidt) in Case No. CL22-3882, in the Circuit Court of the City of...Open record148exhibit · May 3, 2026Exhibit A1. For common equity, describe any dividend, voting and preemption rights.Open record149document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1206516985/20/2025 11:13 AM Marilyn Burgess - District Clerk Harris County 972 629 71B6velope No. 101045441 972 629 7171 faxBy: Shanelle Taylor thompsonEdedn5/20/2025 11:13 AMOpen record150document · May 3, 2026AW Harris Awh 2024 48085 Doc. 120702485Honorable Michael Gomez 129th Judicial District Court Harris County Civil Courthouse 201 Caroline, 10th Floor Houston Texas 77002Open record151exhibit · May 3, 2026Plaintiff’s Exhibit1. My name is J. Chapman Petersen, and I am a Virginia-Licensed Attorney working as a Principal attorney at Chap Petersen & Associates, PLC, located at 3970 Chain Bridge Road, Fairfax, VA 22030.Open record152document · May 3, 2026Order Appointing Receiver1. "Witness" mean's any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record153court filing · May 3, 2026Defendants’ Emergency Motion to Modify.1. The Definition in 12, p. of the Order provides: "Defendant(s)" or "Judgment Debtor(s)", collectively and individually refers to the following Debtors: (referring to Cyberlux and "Mark D. Schmidt (individually)). This section refers to...Open record154exhibit · May 3, 2026Exhibit 11. "Witness" means any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record155exhibit · May 3, 2026Exhibit 2On the 16TH day Of January, 2025, the following proceedings came on to be held in the above-titled and numbered cause before the Honorable Michael Gomez, Judge Presiding, held in Houston, Harris Counter Texas.Open record156document · May 3, 2026Defendants’ Objections to Court’s Order Appointing Receiver Dated May22, 20251. The Turnover Order greatly exceeds what is shown in the record and statutory authority. It defines "Judgment Debtors" as the Defendants and then purports to appoint a receiver as to "Debtor," which is...Open record157exhibit · May 3, 2026Exhibit 11. "Witness" means any person who is not a defendant but who may have information, Records or Documents relating to defendant.Open record158exhibit · May 3, 2026Exhibit 2 – Order6/5/2025 12:13 PM Marilyn Burgess - District Clerk Harris County Envelope No. 101664202 By: Shanelle Taylor Filed: 6/5/2025 12:13 PMOpen record159exhibit · May 3, 2026Exhibit 31. On June 28, 2023, a Virginia state court signed the Amended Final Order and Judgment against Cyberlux (and Mark D. Schmidt) in Case No. CL22-3882, in the Circuit Court of the City of...Open record160exhibit · May 3, 2026Exhibit 41. Applicants are judgment creditors of Cyberlux pursuant to the Amended Final Order and Judgment signed on June 28, 2023, which sets forth an award of $1,572,500 "as agreed to by the parties pursuant...Open record161document · May 3, 2026Order Appointing Receiver1. Sufficient funds to satisfy the Judgment were tendered to the Receiver.Open record162exhibit · May 3, 2026Exhibit B1. My name is Jeff Prostok. I am over the age of twenty-one (21) years, of sound mind, and otherwise competent to make this declaration SThe facts and statements contained in this declaration are...Open record163notice · May 3, 2026Notice of Emergency HearingPLEASE TAKE NOTICE that Defendants' Cyberlux Corporation and Mark D. Schmidt ("Cyberlux" or "Defendants") Emergency Motion to Correct Order Appointing Receiver and Emergency Motion to Stay or Suspend Enforcement of Turnover Order has been...Open record164document · May 3, 2026AW Harris Awh 2024 48085 Doc. 1209665481. On July 7, 2024 Plaintiff, Atlantic Wave Holdings, LLC, hereinafter "Atlantic Waves" filed a Petition to Enforce a Foreign Judgment with an exemplified judgment from Virginia, Cause no. 23-07422, styled Atlantic Waves Holdings,...Open record165document · May 3, 2026Defendants’ Response to Plaintiffs’ February 5, 2025 Request for Emergency Hearing1. Despite demanding an emergency hearing in Texas, Atlantic Wave is currently telling the Virginia Court it is "not available" for an emergency hearing.Open record166exhibit · May 3, 2026Exhibit B – 2024-48085; Atlantic Wave Holdings LLC vs. Cyberlux Corp. and Mark D SchmidtSubject: RE: 2024-48085; Atlantic Wave Holdings LLC vs. Cyberlux Corp. and Mark D Schmidt Importance: NormalOpen record167exhibit · May 3, 2026Exhibit C2/7/2025 9:29 AM Marilyn Burgess - District Clerk Harris County Envelope No. 97103416 By: Maegan McGuire Filed: 2/7/2025 9:29 AMOpen record168court filing · May 3, 2026Defendants’ Motion to Extend Stay of Enforcement1. My name is Jimmy F. Robinson. I am over the age of twenty-one (21) years, of sound mind, and otherwise competent to make this declaration. The facts and statements contained in this declaration...Open record169judgment · May 3, 2026Plaintiffs’ Opposition to Judgment-Debtors’ Motion to Extend Stay of Execution1. On October 28, 2024, the court heard Defendants' Motion to Vacate and Motion to Stay Execution.Open record170document · May 3, 2026Order Signed Staying Proceedingsat the time of imaging This instrument is of poor quality RECORDER'S MEMORANDUMOpen record171court filing · May 3, 2026Proposed Order Denying Defendants’ Motion for Stay and for Extension of Stay12/5/2024 1:56 PM Marilyn Burgess - District Clerk Harris County Envelope No. 94987070 By: Chancesas Ougrah Filed: 12/5/2024 1:56 PM Pgs-3Open record172court filing · May 3, 2026Order Granting Plaintiffs’ Motion to Compel12/11/2024 11:30 AM Marilyn Burgess - District Clerk Harris County Envelope No. 95193103 By: Chancesas Ougrah Filed: 12/11/2024 11:30 AMOpen record173judgment · May 3, 2026Order Denying Judgment- Debtors’ Request for Protective Order12/11/2024 12:00 PM Marilyn Burgess - District Clerk Harris County Envelope No. 95195813 By: Chancesas Ougrah Filed: 12/11/2024 12:00 PMOpen record174judgment · May 3, 2026Application for Turnover After Judgment and for Appointment of ReceiverComes Now, ATLANTIC WAVE HOLDINGS, LLC and SECURE COMMUNITY, LLC, Plaintiff-in-Judgment, (hereinafter called "Applicants"), and makes this Application for Turnover after Judgment And For Appointment Of Receiver as herein stated with respect to the...Open record175declaration · May 3, 2026Declaration of William Welter in Support of Plaintiffs Atlantic Wave Holdings, LLC’s and Secure Community, LLC’s Further Supplemental Update re: Defendants’ Motion to Vacate1. I am the Managing Director of Atlantic Wave Holdings, LLC and Secure Community, LLC, Plaintiffs in this matter. I have personal knowledge of the facts stated herein and, if called upon to testify,...Open record176court filing · May 3, 2026Plaintiffs Atlantic Wave Holdings, LLC and Secure Community, LLC’s Further Supplemental Update re: Defendants’ Motion to Vacate2. Defendants' Complaints for Injunctive and Declaratory ReliefOpen record177document · May 3, 2026Order to Show Cause Regarding Subject Matter Jurisdiction v. Cyberlux CorporationOn March 5, 2024, Plaintiffs Atlantic Wave Holdings, LLC and Secure Community, LLC (collectively, "Plaintiffs") filed an Application for Entry of Judgment on Sister-State Judgment in the Superior Court of California, County of San...Open record178document · May 3, 2026Order to Show Cause re Subject Matter Jurisdiction (doc. No. 33)1. A "Civil Action" is a Broad Term Defined Exclusively by Federal Law and Applying When an Individual Seeks a Remedy in CourtOpen record179court filing · May 3, 2026Order Granting Defendants’ Motion to Stay and Motion to VacateEnforcement of Foreign Judgment filed by Defendants Cyberlux Corporation and Mark D. Schmidt (collectively, "Defendants"). The Court has considered the Motion, responses, replies, and arguments of counsel and finds that the Motion is GRANTED...Open record180court filing · May 3, 2026Defendants’ Response to Plaintiffs’ Motion for Reconsideration1. My name is Jimmy F. Robinson. I am over the age of twenty-one (21) years, of sound mind, and otherwise competent to make this declaration. The facts and statements contained in this declaration...Open record181court filing · May 3, 2026Plaintiff’s Motion to Compel and Response to Cyberlux Corporation and Mark D. Schmidt’s Motion for Protective Order and Motion to Quash Atlantic Wave Holding’s Subpoena Duces Tecum and Deposition on Written Questions1. On July 30, 2024, Plaintiffs filed its Petition to Enforce Foreign Judgment, of its approximately $1.5 million judgment rendered in Virginia against Defendants ("Texas Judment").Open record182exhibit · May 3, 2026Exhibit A – Atlantic Wave, et al. v. Cyberlux, et al.: Meet and Confer on Anti-SLAPP9 am tomorrow works. We can do the Rule 26(f) conference ("the parties must confer as soon as practicable") and then meet and confer regarding your Motions. I understand you are not interested in...Open record183declaration · May 3, 2026Declaration of Charles Watts in Support of Defendants Cyberlux Corporation and Mark D. Schmidt’s Opposition to Plaintiff’s Motion to Voluntarily Dismiss Complaint1. I am the special counsel for Defendant Cyberlux Corporation ("Cyberlux"), of which Mark D. Schmidt ("Schmidt") is the Chief Executive Officer. I am an attorney licensed to practice and in good standing in...Open record184declaration · May 3, 2026Declaration of Mark D. Schmidt in Support of Cyberlux Corporation’s Motion to Vacate Sister-State Judgment1. I am the President and Chief Executive Officer of Cyberlux Corporation ("Cyberlux"), the entity against which Atlantic Wave Holdings, LLC and Secure Community LLC sought and obtained entry of a Sister-State Judgment. I...Open record185declaration · May 3, 2026Declaration of David Keithly in Support of Opposition of Plaintiffs’ Opposition to Defendants’ Motion to Vacate Sister-State Judgment1. I am an attorney licensed to practice law in the State of California and am a partner at the law firm Mortenson Taggart Adams LLP. I am one of the attorneys representing Plaintiffs...Open record186declaration · May 3, 2026Declaration of William Welter in Support of Opposition of Plaintiffs’ Opposition to Defendants’ Motion to Vacate Sister-State Judgment1. I am the Managing Director of Atlantic Wave Holdings, LLC ("Atlantic Wave") and Secure Community, LLC ("Secure Community") (collectively, "Plaintiffs"). I have personal knowledge of the matters stated herein and, if called upon...Open record187declaration · May 3, 2026Declaration of Charles Watts in Support of Defendants Cyberlux Corporation’s Ex Parte Application to Quash and Recall Plaintiffs’ Request and Application for Writ of Execution1. I am the special counsel for Defendant Cyberlux Corporation ("Cyberlux"). I am an attorney licensed to practice and in good standing in North Carolina and am located in North Carolina. If called as...Open record188declaration · May 3, 2026Declaration of Charles Watts in Support of Defendant Cyberlux Corporation’s Opposition to Plaintiffs’ Ex Parte Application for Order to Post a Bond1. I am the special counsel for Defendant Cyberlux Corporation ("Cyberlux"). I am an attorney licensed to practice and in good standing in North Carolina and am located in North Carolina. If called as...Open record189notice · May 3, 2026Notice of Withdrawal of CounselATLANTIC WAVE HOLDINGS, LLC, a Virginia limited liability company; and SECURE COMMUNITY, LLC, a Virginia limited Liability company, Plaintiffs,Open record190declaration · May 3, 2026Declaration of William Welter in Support of Plaintiffs Atlantic Wave Holdings, LLC and Strikepoint Consulting LLC’s Update re: Motion to Vacate1. I am the Managing Director of Atlantic Wave Holdings, LLC, Secure Community, LLC, and Strikepoint, LLC (collectively, "Plaintiffs") in the above- captioned matter. I have personal knowledge of the facts set forth herein...Open record191declaration · May 3, 2026Declaration of William Welter in Support of Plaintiffs Atlantic Wave Holdings, LLC and Strikepoint Consulting LLC’s Update re: Motion to Vacate1. I am the Managing Director of Atlantic Wave Holdings, LLC, Secure Community, LLC, and Strikepoint, LLC (collectively, "Plaintiffs") in the above- captioned matter. I have personal knowledge of the facts set forth herein...Open record192court filing · May 3, 2026Plaintiffs Atlantic Wave Holdings, LLC and Strikepoint Consulting LLC’s Update re: Motion to VacateATLANTIC WAVE HOLDINGS, LLC, a Virginia limited liability company and STRIKEPOINT CONSULTING, LLC, a Virginia limited liability company, Plaintiffs, VS. CYBERLUX CORPORATION, a Nevada Corporation; MARK D. SCHMIDT, an individual; and DOES 1 to...Open record193declaration · May 3, 2026Declaration of David M. Keithly in Support of Plaintiffs Atlantic Wave Holdings, LLC’s and Secure Community, LLC’s Further Supplemental Update re: Defendants’ Motion to Vacate1. I am an attorney duly licensed to practice law in the State of California and before this Court. I am a partner at Mortenson Taggart Adams LLP, counsel of record for Plaintiffs Atlantic...Open record194declaration · May 3, 2026Declaration of Federico J. Zablah in Support of Plaintiffs Atlantic Wave Holdings, LLC and Strikepoint Consulting LLC’s Update re: Defendants’ Motion to Vacate Domesticated Judgment1. My name is Federico Zablah, and I am a Virginia-Licensed Attorney working as a senior associate attorney at Chap Petersen & Associates, PLC, located at 3970 Chain Bridge Rd, Fairfax, VA 22030. I...Open record195judgment · May 3, 2026Default JudgmentIT APPEARING TO THE COURT that the above-named Defendants were served on October 31, 2024, with Summons and Complaint pursuant to the provisions of Rule 4 of the North Carolina Rules of Civil Procedure...Open record
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