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« CROSS-COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES: 42 U.S.C. 1986, 18 U.S.C. 1964(a), 5 USC 552 Re: #2:14-CR-00027-NDF-2 | Main | NOTICE OF STIPULATION AND OF TRESPASS #2:14-CR-00027-NDF-2 (USDC/DWY) »

SUPPLEMENTAL AFFIDAVIT OF MOVES #29 THRU #42 Case No.: #2:14-CR-00027-NDF-2 (USDC/DWY)

SUPPLEMENTAL AFFIDAVIT OF MOVES

#29 THRU #42

Case No.: #2:14-CR-00027-NDF-2 (USDC/DWY)

 

TO: Office of Presiding Judge (duly credentialed)

District Court of the United States (“DCUS”)

2120 Capitol Ave., 2nd Floor

Cheyenne 82001

Wyoming, USA

DATE: June 23, 2014 A.D.

Comes now the Undersigned, under protest and

In Propria Persona, to testify concerning the

following MOVES #29 THRU #42, and to supplement

his previous AFFIDAVIT concerning MOVES #1 THRU

#28, itemized as follows:

MOVE# DESTINATION (mode)

29           to Boeing Field, Seattle (van)

30           to Las Vegas, Nevada (plane)

31           to Southern Nevada Detention Center (bus)

32           to Las Vegas, Nevada (bus)

33           to Phoenix, Arizona (plane)

34           to OKC Transfer Center (plane)

35           to Grady County Jail (bus)

36           to OKC Transfer Center (bus)

37           to Pueblo, Colorado (plane)

38           to Akron, Colorado (van)

39           to Cheyenne, Wyoming (van)

40           to Gering, Nebraska (van)

41           to Cheyenne, Wyoming (van)

42           to Gering, Nebraska (van)

 

- 1 of 4 -

 

During several  of said forty-two (42)

moves beginning January 28, 2014, the Under-

signed's personal property and private legal

research and related documents were confiscated.

This happened upon departures from FDC SeaTac;

from the Scotts Bluff County Detention Center

in Gering, Nebraska; from the Washington

County Justice Center in Akron, Colorado;and,

from the Grady County Jail in Chickasha,

Oklahoma.

 

At least four, possibly five documents enclosed

in #10 business-size envelopes turned up missing

from items confiscated by Sheriffs at Akron,

Colorado, after the remaining items were mailed

to the Undersigned’s legal assistant.

 

His legal assistant also reported a long delay of

several weeks before receiving a box shipped from

FDC SeaTac, with more legal research and related

documents assembled by the Undersigned during his

second period of detention there. An inventory of

the latter items is not possible until all contents

of the latter box are forwarded to the Undersigned.

 

The Undersigned believes sincerely that all

42 MOVES to date and repeated confiscation of

his private property and legal research documents,

were deliberately inflicted to cause cruel,

summary punishment; to deprive access to adequate

 

- 2 of 4 -

 

law library resources and adequate technical

assistance of counsel; to obstruct and impede

communication with his legal assistant;

and, to obstruct the delivery of correspondence

and related LEGAL MAIL via U.S. Mail due

to a deliberate lack of postage stamps, paper,

envelopes, pens and pencils (read “indigence”).

 

Obstruction of correspondence transmitted

via U.S. Mail is a felony violation of 18 U.S.C. 1702.

 

The Undersigned therefore believes that all

the above constitute probable causes of multiple

violations of the Federal criminal statutes at

18 U.S.C. 241 and 242, at a minimum and as

already alleged in RELATOR’S FIFTH VERIFIED

CRIMINAL COMPLAINT, ON INFORMATION, now

filed and served in the instant case.

 

The Undersigned also believes that all the above

were inflicted in criminal retaliation for the

discovery, by the Undersigned, of missing and/or

defective (counterfeit) credentials for Stephan

Harris, Zachary Fisher, Tammy Hilliker,

Christopher A. Crofts, L. Robert Murray,

William M. McCool, James P. Donohue,

Brian Tsuchida and numerous other personnel

employed by the United States Judiciary,

U.S. Department of Justice, and IRS personnel

James Marcy and Dave Guest, all in

violation of 18 U.S.C. 1513 and 1519.

 

- 3 of 4 -

 

VERIFICATION

 

I, Paul Andrew Mitchell, B.A., M.S., hereby

verify, under penalty of perjury, under the laws

of the United States of America, without

(outside) the United States (federal government),

that the above statement of facts and laws

is true and correct, according to the best of my

current information, knowledge and belief,

so help me God, pursuant to 28 U.S.C. 1746(1).

 

Dated: June 23, 2014 A.D.

 

Signed: Paul Andrew Mitchell (chosen name*)

Printed: Paul Andrew Mitchell, B.A., M.S.

Citizen of Washington State,

Relator In Propria Persona, 28 U.S.C. 1654,

Private Attorney General, 18 U.S.C. 1964,

    Rotella v. Wood, 528 U.S. 549 (2000)

     (objectives of Civil RICO)

All Rights Reserved (cf. UCC 1-308)

 

* See Doe v. Dunning (Washington State Supreme

   Court re: right to change one’s name;

   common-law, fundamental Right)

 

- 4 of 4 -

 

SUPPLEMENTAL AFFIDAVIT OF MOVES #29 THRU #42 Case No.: #2:14-CR-00027-NDF-2 (USDC/DWY)

___

Related:

A submission to the House Committee on Oversight and Government Reform re: IRS targeting scandal:

http://tekgnosis.typepad.com/tekgnosis/2014/06/house-committee-on-oversight-and-government-reform-informed-about-new-information-re-irs-us-gov-targ.html

July 3, 2014 in Current Affairs | Permalink