NOTICE OF CRIMINAL
INVESTIGATION
AND MIRANDA WARNING
TO: Mr. Bruce D. Black
dba
United States District Judge
c/o United
States District Court
333 Lomas
Blvd., N.W.
Albuquerque 87102
NEW MEXICO, USA
FROM: Paul Andrew Mitchell, B.A., M.S.
Private Attorney
General: 18
U.S.C. 1964, Rotella v. Wood;
Relator on
behalf of the United States ex rel. in
Tenth Circuit appeals #07-2017
and #06-2103
DATE: May 7, 2007 A.D.
SUBJECT: probable cause of multiple violations of 42 U.S.C. 1986
and of Title 18 (the federal
criminal Code)
Greetings
Mr. Black:
Our professional investigation of non-conforming “process”
repeatedly issued in the matter of USA v. Williamson et al., Tenth Circuit appeal #07-2017,
has now given us probable cause to conclude that the United States District
Court for the District of New Mexico (“USDC”) did lack original jurisdiction in
the first instance in that case, quite apart from any other reasons why original jurisdiction was also lacking.
Please see the published cases decided under 28 U.S.C. 1691, the
plain English explanation of “sewer
service” [sic] (copies attached)
and the requirements imposed upon every civil SUMMONS by FRCP Rule 4(b).
Other pertinent cases have held that federal judges do not enjoy any judicial immunity whenever a judge acts in the clear absence of all jurisdiction. On this point, please see the standing decision of the U.S. Supreme Court in Stump v. Sparkman, 435 U.S. 349, 356-357 (1978).
Quite obviously, none of the “process” issued to date by the USDC or by the Tenth Circuit in the Williamsons’ cases has complied with the simple and straightforward requirements imposed by the federal statute at 28 U.S.C. 1691, mandating the seal of the court and the signature of the clerk. See Dwight v. Merritt, 4 F. 614, 615 (C.C. D. NY 1880); and Leas & McVitty v. Merriman, 132 F. 510, 511-513 (C.C. D.Va. 1904).
Moreover, satisfying the latter signature requirement is simply not possible if the Offices of Clerk are legally vacant, as now appears to be true for both offices of District Clerk and Circuit Clerk.
Therefore, it is my solemn duty to inform you
that you are now under formal investigation on suspicion of violating each of
the following federal statutes one or more times, to wit:
18 U.S.C.
3 for being an accessory after the fact to felony impersonation in
violation of 18 U.S.C.
912 by M. Christina Armijo in the matter of her
four (4) missing
credentials confirmed in replies by the U.S. Department of Justice to our
lawful FOIA
Requests for same;
18
U.S.C. 242 for depriving all Williamson Appellants of their fundamental
Rights to a Separation of Powers, to due process of Law, to equal protection of
the Law, to petition the Government for redress of grievances, to be secure
against unreasonable searches or seizures, to trial by jury and to judicial
officers who are bound by Oath or Affirmation to support the Constitution for the United States of
America, as required by Article
VI, Section 3 in said Constitution;
18
U.S.C. 241 for conspiring with M. Christina Armijo,
Matthew J. Dykman, W. Daniel Schneider, Gorden E. Eden, Jr., Kent Halverson and at least ten (10)
other personnel recently employed by the Office of the U.S. Marshal, to injure,
oppress, threaten and intimidate the Williamson Appellants in the free exercise
and full enjoyment of their fundamental Rights to a Separation of Powers, to
due process of Law, to equal protection of the Law, to petition the Government
for redress of grievances, to be secure against unreasonable searches or
seizures, to trial by jury and to judicial officers who are bound by Oath or
Affirmation to support the Constitution
for the United States of America, as required by Article VI, Section 3 in said
Constitution, and because the Williamson Appellants have so exercised same;
18
U.S.C. 1001 for making and using false writings and
documents, knowing the same to contain materially false, fictitious and
fraudulent statements or entries including but not limited to a false and
fraudulent “summons”, and numerous false and fraudulent court “orders”, each of
which clearly and deliberately violated the federal statute at 28 U.S.C. 1691
requiring all such “process” to exhibit the official seal of the court
and the official signature of the clerk;
18 U.S.C. 1341 for placing in a post office, or in an authorized depository for mail, matter to be sent and delivered by the Postal Service for the purposes of executing a scheme or artifice to defraud and of obtaining money by means of false and fraudulent pretenses, representations or promises, after having devised or intended to devise said scheme or artifice to defraud and to obtain money by means of false and fraudulent pretenses, representations or promises;
18
U.S.C. 1503 for corruptly influencing, obstructing or impeding, and for
corruptly endeavoring to influence, obstruct or impede, the due administration
of justice in the matter of the Williamsons’ cases;
18
U.S.C. 1512 for knowingly using intimidation and engaging in misleading
conduct towards the Williamsons with intent to influence, delay or prevent
their testimony in an official proceeding, by causing or inducing them to
withhold testimony or withhold a record, document or other object from an
official proceeding, and for hindering, delaying or preventing their
communication of information relating to the commission or possible commission
of Federal offenses to a law enforcement officer or duly credentialed judge of
the United States;
18
U.S.C. 1513 for knowingly engaging in conduct and thereby damaging the
tangible property of the Williamsons, and by threatening to do so, with intent
to retaliate against the Williamsons for their attendance as Federal witnesses
and proper Parties at an official proceeding, for testimony given and records,
documents and other objects produced by said witnesses in an official
proceeding, and for information relating to the commission or possible
commission of multiple Federal offenses;
18
U.S.C. 1962(d) for conspiring with M. Christina Armijo,
Matthew J. Dykman, W. Daniel Schneider, Gorden E. Eden, Jr., Kent Halverson and at least ten (10)
other personnel recently employed by the Office of the U.S. Marshal, to engage
in a pattern of racketeering activities as a direct result of committing two
(2) or more of the RICO predicate acts itemized supra, and also itemized at 18 U.S.C. 1961 et seq., during the preceding ten (10)
calendar years; and,
42
U.S.C. 1986 for neglecting to prevent and then refusing to prevent all of
the above, particularly after having
been repeatedly informed, in writing
transmitted via U.S. Mail, that probable causes of all the above violations
existed by reason of verified statements of fact lodged in the official records
of the USDC, of the DCUS infra, and
of the Tenth Circuit Court of Appeals in all of the Williamsons’ cases.
MIRANDA WARNING
Pursuant to the holdings of the U.S.
Supreme Court in Counselman v. Hitchcock,
142 U.S. 547, 563 (1892),
McCarthy v. Arndstein, 266 U.S. 34, 40 (1924), George Smith v.
U.S., 337 U.S. 137 (1949),
and Miranda v. Arizona, 384 U.S. 436 (1966), formal NOTICE is
hereby given to you that you have the Right to remain silent, under the Fifth Amendment; you have the Right to assistance of Counsel,
under the Sixth
Amendment; and, any thing that you say, or do, from this point forward, can
and will be held against you in the District Courts of the United States (“DCUS”).
See 18 U.S.C.
3231. Such statutes conferring original
jurisdiction upon Federal district courts must be strictly construed
[cites omitted here].
Notice to principals is notice to agents.
Notice to agents is notice to principals.
Sincerely
yours,
/s/ Paul Andrew Mitchell
Paul Andrew Mitchell, B.A.,
M.S.
Private Attorney
General, Criminal Investigator and
Federal
Witness: 18 U.S.C. 1510, 1512-13, 1964(a); Rotella
v. Wood
http://www.supremelaw.org/decs/agency/private.attorney.general.htm
All Rights Reserved without
Prejudice (UCCA
1207)
copies:
Williamson Appellants et al.,
Tenth Circuit appeal #07-2017:
I, Paul Andrew Mitchell, B.A., M.S., Sui Juris, hereby certify, under penalty of perjury, under the laws of the United States of America, without the “United States” (federal government), that I am at least 18 years of age, a Citizen of ONE OF the United States of America, and that I personally served the following document(s):
NOTICE OF CRIMINAL INVESTIGATION
AND MIRANDA WARNING
by placing one true and correct copy of said document(s) in first class United States Mail, with postage prepaid and properly addressed to the following:
Mr. Bruce D. Black
dba
United States District Judge
c/o United States District Court
333 Lomas Blvd., N.W.
Albuquerque
87102
NEW MEXICO,
USA
Clerk of Court (5x)
U.S. Court of Appeals for the Tenth Circuit
1823 Stout Street
Denver 80257
COLORADO, USA
Mr. and Mrs. John S. Williamson
1277 Historic Route 66 East
Tijeras 87059
NEW MEXICO, USA
Mr. John Gregory Williamson
c/o Mr. and Mrs. John S. Williamson supra
Mr. David Andrew Williamson
c/o Mr. and Mrs. John S. Williamson supra
Mr. Garrett James Williamson
824 Adams Street, N.E.
Albuquerque 87110
NEW MEXICO, USA
Ms. Deborah Kruhm
P.O. Box 23899
Santa Fe 87502
NEW MEXICO, USA
Eileen J.
O'Connor Andrea R. Tebbets
U.S. Department of Justice U.S. Department of Justice
Appellate Section Appellate Section
P.O. Box 502 P.O. Box 502
Washington 20044 Washington 20044
DISTRICT OF COLUMBIA, USA DISTRICT OF COLUMBIA, USA
Ms. Gretchen M. Wolfinger Office of Chief Counsel
U.S. Department of Justice Internal Revenue Service
Appellate Section c/o U.S. Department of
the Treasury
P.O. Box 502 1500
Pennsylvania Avenue, N.W.
Washington 20044 Washington 20220
DISTRICT OF COLUMBIA, USA DISTRICT OF COLUMBIA, USA
Jonathan S. Cohen Waymon
G. DuBose, Jr.
U.S. Department of Justice U.S. Department of Justice
Appellate Section Tax Division
P.O. Box 502 717 North
Harwood, Suite 400
Washington 20044 Dallas 75201
DISTRICT OF COLUMBIA, USA TEXAS, USA
Larry Gomez Joseph A. Pitzinger III
Office
of the U.S. Attorney U.S. Department of Justice
P.O. Box 607 Tax Division
Albuquerque 87103 717 North Harwood, Suite 400
NEW MEXICO, USA Dallas 75201
TEXAS, USA
Matthew J. Dykman Elisabeth A. Shumaker
dba Clerk of Court dba Clerk of Court
U.S. District Court Tenth Circuit
333 Lomas Blvd., N.W. 1823 Stout Street
Albuquerque 87102 Denver 80257
NEW MEXICO, USA COLORADO, USA
Clerk of Court Clerk of Court
U.S. District Court U.S. District Court
200 E. Griggs 120 South Federal Place
Las Cruces 80001 Santa Fe 87501
NEW MEXICO, USA NEW MEXICO, USA
Clerk of Court Hon. Darien White
U.S. District Court Bernalillo County Sheriff
500 North Richardson P.O. Box 25927
Roswell 88201 Albuquerque 87125
NEW MEXICO, USA NEW MEXICO, USA
U.S. Department of Justice Office of the U.S. Marshal
Tax Division 333 Lomas Blvd., N.W., Ste. 180
717 North Harwood, Suite 400 Albuquerque 87101
Dallas 75201 NEW MEXICO, USA
TEXAS, USA
Dr. Harriet Smith Windsor Secretary of the Treasury
Secretary of State U.S. Department of the Treasury
State of Delaware 1500 Pennsylvania Ave., N.W.
401 Federal Street Washington 20220
Dover 19901 DISTRICT OF COLUMBIA, USA
DELAWARE, USA
Office of the Director Foreperson
Administrative Office of the U.S. Courts Federal Grand Jury
One Columbus Circle, N.E. 333 Lomas Blvd., N.W.
Washington 20544 Albuquerque 87102
DISTRICT OF COLUMBIA, USA NEW MEXICO, USA
Hon. Richard C. Bosson,
C.J. Dave Tighe
New Mexico Supreme Court dba Circuit Executive
P.O. Box 848 1823 Stout Street
Santa Fe 87504 Denver 80257
NEW MEXICO, USA COLORADO, USA
David W. Aemmer Lance Olwell
dba Chief Circuit Mediator dba Circuit Mediator
1823 Stout Street 1823 Stout Street
Denver 80257 Denver 80257
COLORADO, USA COLORADO, USA
Kyle Ann Schultz Rose Giacinti
dba Circuit Mediator dba Secretary
1823 Stout Street 1823 Stout Street
Denver 80257 Denver 80257
COLORADO, USA COLORADO, USA
Michael W. McConnell Paul J. Kelly, Jr.
Tenth Circuit Tenth Circuit
1823 Stout Street 1823 Stout Street
Denver 80257 Denver 80257
COLORADO, USA COLORADO, USA
Harris L. Hartz Robert H. Henry
Tenth Circuit Tenth Circuit
1823 Stout Street 1823 Stout Street
Denver 80257 Denver 80257
COLORADO, USA COLORADO, USA
Wade Brorby Carlos F. Lucero
Tenth Circuit Tenth Circuit
1823 Stout Street 1823 Stout Street
Denver 80257 Denver 80257
COLORADO, USA COLORADO, USA
Monroe G. McKay David M. Ebel
Tenth Circuit Tenth Circuit
1823 Stout Street 1823 Stout Street
Denver 80257 Denver 80257
COLORADO, USA COLORADO, USA
Deanell Reece Tacha W. Daniel Schneider
Tenth Circuit U.S. District Court
1823 Stout Street 333 Lomas Blvd., N.W.
Denver 80257 Albuquerque 87102
COLORADO, USA NEW MEXICO, USA
James O. Browning Lorenzo
F. Garcia
U.S. District Court U.S. District Court
333 Lomas Blvd., N.W. 333 Lomas Blvd., N.W.
Albuquerque 87102 Albuquerque 87102
NEW MEXICO,USA NEW MEXICO,USA
M. Christina Armijo Gorden
E. Eden, Jr.
U.S. District Court U.S. Marshals
333 Lomas
Blvd., N.W. 333 Lomas Blvd., N.W., Ste. 180
Albuquerque 87102 Albuquerque 87101
NEW MEXICO, USA NEW MEXICO, USA
Kent
Halverson
U.S. Marshals
333 Lomas Blvd., N.W., Ste. 180
Albuquerque 87101
NEW MEXICO, USA
[See USPS Publication #221 for addressing instructions.]
Dated: May 7, 2007 A.D.
Signed: /s/ Paul Andrew Mitchell
______________________________________________
Printed: Paul Andrew Mitchell, Private Attorney General
All
Rights Reserved without Prejudice