Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell, #1776
Tucson, Arizona state, USA
zip code exempt (formerly DMM 122.32)

Under Protest and by Special Visitation
with explicit reservation of all rights







                  UNITED STATES DISTRICT COURT

                  JUDICIAL DISTRICT OF ARIZONA


IN RE GRAND JURY SUBPOENA      )   Case No. GJ-95-1-6 (JMR)
SERVED ON                      )
NEW LIFE HEALTH CENTER COMPANY )   PETITION FOR ORDER
                               )   TO SHOW CAUSE RE:
_______________________________)   GRAND JURY TESTIMONY


COMES NOW  Paul Andrew,  Mitchell, Sui  Juris, Sovereign Arizona

Citizen (hereinafter  "Counsel") and  Vice President  for  Legal

Affairs of  New Life  Health Center  Company, an  Unincorporated

Business Trust  domiciled in  the Arizona  Republic (hereinafter

the "Company"), to Petition this honorable Court for an Order to

Show Cause  why Counsel  and Dr.  Eugene A.  Burns should not be

allowed to  testify, without  the  presence  of  Mr.  Robert  L.

Miskell, to  the federal  Grand Jury  already  convened  in  the

instant case concerning the documentary evidence which Dr. Burns

personally served on all members of said Grand Jury at 9:30 a.m.

on Wednesday, May 22, 1996.

     Dr. Burns  appeared as  required by Order of this honorable

Court, but did so under protest because said Order needs further

clarification.     To  this  end,  the  Company  has  previously

petitioned this Court for formal clarification of said Order.  A

hearing on this petition has not yet been scheduled.


    Petition for OSC re: Grand Jury Testimony:  Page 1 of 6


     The Company  has also  petitioned this  Court  for  several

effective judicial  remedies, including  but not  limited to  an

order to  Mr. Robert  L. Miskell to show cause why he should not

be charged  with mail  fraud, jury tampering, and obstruction of

justice.   The Company  has also filed and served a supplemental

petition for an order to Mr. Miskell to show cause why he should

not also  be charged  with perjury and contempt of court because

of his  questionable conduct  in connection  with the Grand Jury

proceedings in the instant case.

     With the  assistance of  Counsel, Dr. Burns photocopied and

bound a  set of  exhibits for  presentation to the Grand Jury at

the hearing  scheduled for  May 22,  1996.  When He attempted to

distribute these  bound exhibits  to the  several members of the

Grand Jury  during said  hearing, Dr.  Burns was  prevented from

doing so by Mr. Miskell, who also attended the hearing.

     The Company  considers this act as further evidence of jury

tampering and obstruction of justice, particularly because these

exhibits contain  material evidence  of Mr. Miskell's overt acts

of mail  fraud, jury tampering, obstruction of justice, perjury,

and contempt of court in the instant case and prior to it.

     The Company  argues that  this evidence should be presented

to the  Grand Jury  in the instant case by federal witnesses who

are competent  to explain  the precise  sequence of events which

have  transpired,   and  the  precise  sequence  of  documentary

evidence  which   should  be  examined  by  the  Grand  Jury  as

supporting material evidence of these events.


    Petition for OSC re: Grand Jury Testimony:  Page 2 of 6


     The Company  makes this  notorious offer  to prove  to  the

Grand Jury  that Mr.  Miskell (and  other accomplices) have been

willing and  premeditated participants  in an  on-going perjury,

extortion,  mail   fraud,  and   conspiracy  racket  within  the

Department  of  Justice  and  the  "Internal  Revenue  Service,"

particularly as regards enforcement of the Internal Revenue Code

within the freely associated compact states.  See 28 U.S.C. 297.

     The Company  offers to  prove to  the Grand  Jury that  Mr.

Miskell has  also been an active participant in a deliberate and

openly acknowledged  effort unlawfully to destroy the reputation

and business of New Life Health Center Company, its officers and

co-workers, which effort was criminal in intent when it started,

and remains criminal in intent right up to the present moment.


                         RELIEF SOUGHT

     Wherefore,  Counsel  petitions  this  honorable  Court,  on

behalf of  the Company, for an order to the office of the United

States Attorney  to show  cause why  Counsel and  Dr. Eugene  A.

Burns, who are now both federal witnesses, should not be allowed

to testify,  without the  presence of  Mr. Robert L. Miskell, to

the federal  Grand Jury  already convened  in the  instant  case

concerning the  documentary evidence  which Dr. Burns personally

served upon  all members  of said  Grand Jury  at 9:30  a.m.  on

Wednesday, May 22, 1996.


Respectfully submitted on May 24, 1996.

/s/ Paul Mitchell

Paul Andrew, Mitchell, B.A., M.S.
Citizen of Arizona state
all rights reserved without prejudice


    Petition for OSC re: Grand Jury Testimony:  Page 3 of 6


                        PROOF OF SERVICE

I, Linda  H. Burns,  hereby certify,  under penalty  of perjury,

under the  laws of  the United  States of  America, without  the

United States,  that I am at least 18 years of age and a Citizen

of one  of the United States of America, that I am not currently

a Party  to this  action,  and  that  I  personally  served  the

following document:

                PETITION FOR ORDER TO SHOW CAUSE
                    RE: GRAND JURY TESTIMONY

by placing said document with exhibits in first class U.S. Mail,

with postage  prepaid and  properly addressed  to the  following

individuals:

ROBERT L. MISKELL                  John M. Roll
Acapulco Building, Suite 8310      U.S. District Court
110 South Church Avenue            55 E. Broadway
Tucson, Arizona                    Tucson, Arizona

JANET NAPOLITANO                   Clerk
Acapulco Building, Suite 8310      U.S. District Court
110 South Church Avenue            55 E. Broadway
Tucson, Arizona                    Tucson, Arizona

Grand Jury Foreperson              Postmaster
In re: New Life Health Center Co.  U.S. Post Office
55 E. Broadway                     Downtown Station
Tucson, Arizona                    Tucson, Arizona

Judge Alex Kozinski                Evangelina Cardenas
Ninth Circuit Court of Appeals     "Internal Revenue Service"
125 S. Grand Avenue, Suite 200     300 West Congress
Pasadena, California               Tucson, Arizona

Attorney General                   Solicitor General
Department of Justice              Department of Justice
10th and Constitution, N.W. !      10th and Constitution, N.W. !
Washington, D.C.                   Washington, D.C.


Dated:  June 5, 1996

/s/ Linda Burns
________________________________________
Linda H. Burns, Citizen of Arizona state
all rights reserved without prejudice


    Petition for OSC re: Grand Jury Testimony:  Page 4 of 6


Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell, #1776
Tucson, Arizona state, USA
zip code exempt (formerly DMM 122.32)

Under Protest and by Special Visitation
with explicit reservation of all rights







                  UNITED STATES DISTRICT COURT

                  JUDICIAL DISTRICT OF ARIZONA


IN RE GRAND JURY SUBPOENA      )   Case No. GJ-95-1-6 (JMR)
SERVED ON                      )
NEW LIFE HEALTH CENTER COMPANY )          ORDER
_______________________________)


Upon motion  of the  Company and its Counsel of record, and good

cause appearing therefor,

     IT IS ORDERED that:

     The office  of the United States Attorneys will show cause,

in a  Memorandum of  Points and  Authorities, why  Dr. Eugene A.

Burns and  Counsel of record for New Life Health Center Company,

Mr. Paul  Andrew, Mitchell,  B.A., M.S., should not be scheduled

with all  deliberate speed  to testify,  without the presence of

Mr. Robert  L.  Miskell,  to  the  federal  Grand  Jury  already

convened in the instant case concerning the documentary evidence

which  Dr. Burns personally delivered to said Grand Jury at 9:30

a.m. on Wednesday, May 22, 1996.


     Dated this _________ day of ____________________, 1996.



                           _____________________________________
                           JOHN M. ROLL
                           United States District Judge


    Petition for OSC re: Grand Jury Testimony:  Page 5 of 6


Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell, #1776
Tucson, Arizona state, USA
zip code exempt (formerly DMM 122.32)

Under Protest and by Special Visitation
with explicit reservation of all rights







                  UNITED STATES DISTRICT COURT

                  JUDICIAL DISTRICT OF ARIZONA


IN RE GRAND JURY SUBPOENA      )   Case No. GJ-95-1-6 (JMR)
SERVED ON                      )
NEW LIFE HEALTH CENTER COMPANY )          ORDER
_______________________________)


Upon motion  of the  Company and its Counsel of record, and good

cause appearing therefor,

     IT IS ORDERED that:

     Dr. Eugene  A. Burns  and Counsel  of record  for New  Life

Health Center Company, Mr. Paul Andrew, Mitchell, B.A., M.S., be

scheduled with  all deliberate  speed to  testify,  without  the

presence of  Mr. Robert  L. Miskell,  to the  federal Grand Jury

already convened  in the instant case concerning the documentary

evidence which Dr. Burns personally delivered to said Grand Jury

at 9:30 a.m. on Wednesday, May 22, 1996.



     Dated this _________ day of ____________________, 1996.



                           _____________________________________
                           JOHN M. ROLL
                           United States District Judge


    Petition for OSC re: Grand Jury Testimony:  Page 6 of 6


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IN RE GRAND JURY SUBPOENA SERVED ON NEW LIFE HEALTH CENTER COMPANY