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

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
SERVED ON                      )
NEW LIFE HEALTH CENTER COMPANY )  SUPPLEMENT TO PETITION
_______________________________)  FOR ORDER TO SHOW CAUSE


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 supplement  the Company's Petition for Order

to Show Cause.

     Counsel  hereby  petitions  this  honorable  Court  for  an

additional Order  to the office of the United States Attorney to

show cause  why Mr.  Miskell should  not also  be  charged  with

perjury and contempt of court in the instant matter.

     On April  18, 1996,  Mr. Robert  L. Miskell filed with this

honorable Court  a SUPPLEMENT  TO APPLICATION  FOR ORDER TO SHOW

CAUSE in which he made the following two statements:

     1.   "In the  application for  order  to  show  cause,  the
          undersigned [Mr.  Miskell]  stated  that  he  had  not
          received any  communication explaining New Life Health
          Center Company's failure to appear for [sic] the grand
          jury on March 27, 1996."


          Supplement to Petition for OSC:  Page 1 of 5


     2.   "On April  18, 1996,  the  undersigned  [Mr.  Miskell]
          received  the   attached  communication,   which   was
          postmarked March  21, 1996  and addressed to the Grand
          Jury Foreperson at the U.S. District Court."

     The "attached  communication" to  which paragraph  2 refers

was the Company's PRIVILEGED COMMUNICATION dated March 20, 1996,

which was addressed to the Grand Jury Foreperson In re: New Life

Health Center  Company, and  sent via  Registered United  States

Mail, registered  serial number  #R-591-643-753, Return  Receipt

and Restricted Delivery both requested.

     Mr. Miskell  has openly  admitted, on the record, that said

PRIVILEGED COMMUNICATION  was postmarked  March  21,  1996  (see

paragraph 2  quoted above).   This  admission is consistent with

the other  documentary evidence  filed by  the  Company  in  the

instant case.

     Even though  Restricted Delivery  services were  requested,

the Return  Receipt was  delivered to the Company showing a Date

of Delivery  of "3-22-96",  but it  had  no  signature.    After

delivery of  this Return  Receipt to  the Company,  two separate

requests were  made of the U.S. Post Office to trace the fate of

the Company's PRIVILEGED COMMUNICATION.

     The first  tracer, a  REQUEST  FOR  RETURN  RECEIPT  (AFTER

MAILING), PS  Form 3811-A,  was posted  on April  2,  1996,  and

delivered on April 5, 1996;  it showed a Date of Delivery of "3-

25-96".

     The second  tracer, also  a PS  Form 3811-A,  was posted on

April 17,  1996, and  delivered on April 18, 1996;  it showed no

Date  of  Delivery  but  stated  the  following  in  the  spaces

provided:  "no record found but cleared reg. rm 3/28".


          Supplement to Petition for OSC:  Page 2 of 5


     On April  18, 1996, the same day on which the second tracer

was delivered  to the Company, Mr. Miskell signed his SUPPLEMENT

TO APPLICATION  FOR ORDER  TO SHOW  CAUSE and  mailed it  with a

cover letter  on the same date.  See EXHIBIT "A" attached hereto

and incorporated fully by reference.

     Using the  tracer PS Forms 3811-A as a basis, the Company's

PRIVILEGED COMMUNICATION  was delivered  no later than March 28,

1996.   Mr. Miskell's  original APPLICATION  FOR ORDER  TO  SHOW

CAUSE was  submitted on  April 10,  1996, almost two weeks after

the  last   date  by  which  the  PRIVILEGED  COMMUNICATION  was

reportedly  delivered.     However,  this  original  APPLICATION

contained the following false and misrepresentative statement:

     The  undersigned   [Mr.  Miskell]   did  not   receive  any
     communication from  New Life  Health Center  explaining the
     failure to  appear  or  requesting  a  continuance  of  the
     appearance.

     On behalf  of the Company, Counsel alleges that Mr. Miskell

illegally intercepted  the  Company's  PRIVILEGED  COMMUNICATION

when it  was delivered  no later  than March  28, 1996 (probably

March 22,  1996).   He then  did nothing  about this  PRIVILEGED

COMMUNICATION until  two separate  postal inquiries were made to

determine its  fate, thus  obstructing its delivery to the Grand

Jury Foreperson.

     Then, when the second inquiry was made by the United States

Postal Service,  he appears  to  have  made  further  false  and

misrepresentative statements to this Court, and transmitted them

through U.S.  Mail, in  order to  conceal the  fact that  he had

previously  intercepted   Registered  United   States  Mail,  in

violation of federal postal laws and regulations.

     Coming from  an officer  of  this  Court,  such  false  and

misrepresentative statements  constitute perjury and contempt of

court and further acts of mail fraud.


          Supplement to Petition for OSC:  Page 3 of 5


                             PRAYER

     Wherefore,  Counsel  petitions  this  honorable  Court,  on

behalf of the Company, for a supplemental order to the office of

the United  States Attorney to show cause why Mr. Miskell should

not also  be charged  with perjury  and contempt  of  court  for

signing his  name to false and misrepresentative statements, for

transmitting them  through U.S.  Mail,   and  for  filing  these

statements in the official Court record of the instant case.


Respectfully submitted on May 20, 1996.

/s/ Paul Mitchell

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


          Supplement to Petition for OSC:  Page 4 of 5


                        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:

                     SUPPLEMENT TO PETITION
                    FOR ORDER TO SHOW CAUSE

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

Dated:  May 20, 1996

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


          Supplement to Petition for OSC:  Page 5 of 5


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