Vance E. Knudson, Sui Juris
Citizen of Nebraska state
c/o General Delivery
Hastings [zip code exempt]
NEBRASKA STATE

In Propria Persona

All Rights Reserved
without prejudice





                  UNITED STATES DISTRICT COURT

                      DISTRICT OF NEBRASKA


UNITED STATES OF AMERICA [sic], )  Case No. 4:CV96-3275
                                )
          Plaintiff [sic],      )  NOTICE AND DEMAND FOR
                                )  MANDATORY JUDICIAL NOTICE:
     v.                         )
                                )  Rule 201(d),
VANCE E. KNUDSON [sic],         )  Federal Rules of Evidence;
                                )  Full Faith and Credit Clause
          Defendant [sic].      )
________________________________)


COMES NOW Vance E. Knudson, Sui Juris, Citizen of Nebraska state,

expressly not a citizen of the United States ("federal citizen"),

and  Defendant   in  the   above  entitled   matter  (hereinafter

"Defendant"), to provide formal Notice to all interested parties,

and to  demand mandatory judicial notice by this honorable Court,

pursuant to  Rule 201(d)  of the Federal Rules of Evidence and to

the Full  Faith and  Credit Clause  in the  Constitution for  the

United States  of America,  as lawfully amended, of the following

documents recently  filed in People v. United States et al., DCUS

Montana, Billings Division, Case Number #CV-96-163-BLG, which are

attached hereto  and incorporated  by reference  as if  set forth

fully herein, to wit:

                 [Please see next page et seq.]


Fifth Notice and Demand for Mandatory Judicial Notice:  Page 1 of
                                3


     (1)  ORDER of  Chief United  States District  Judge Jack  D.
          Shanstrom, dated and filed on April 8, 1997;

     (2)  NOTICE  OF   MOTION  AND  MOTION  FOR  RECONSIDERATION;
          NOTICE OF  CHALLENGE AND CHALLENGE TO CONSTITUTIONALITY
          OF FEDERAL REMOVAL STATUTES, signed and served on April
          14, 1997;  and,

     (3)  MEMORANDUM  OF   LAW   IN   SUPPORT   OF   MOTION   FOR
          RECONSIDERATION    AND     OF    CHALLENGE    TO    THE
          CONSTITUTIONALITY OF  A FEDERAL  REMOVAL STATUTE,  also
          signed and served on April 14, 1997.

     Because the  issues discussed  in these  documents are  very

similar to  the issues  expected to  arise in  the instant  case,

particularly the  enforcement of  the Freedom of Information Act,

Plaintiff hereby  incorporates by reference all facts and laws as

cited therein, as if the same were set forth fully herein.


                          VERIFICATION

I, Vance  E. Knudson,  Sui Juris, hereby verify, under penalty of

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

(outside) the  "United States",  that the  attached documents are

true and  correct copies  of the  originals, to  the best  of  My

current information,  knowledge, and  belief,  so  help  Me  God,

pursuant to 28 U.S.C. 1746(1).


Dated: ______________________________


Respectfully submitted,

/s/ Vance Knudson
_____________________________________
Vance E. Knudson, Sui Juris
Citizen of Nebraska state
(expressly not a citizen of the United States)

All Rights Reserved without Prejudice


Fifth Notice and Demand for Mandatory Judicial Notice:  Page 2 of
                                3


                        PROOF OF SERVICE

I, Vance  E. Knudson, Sui Juris, 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,  a

Citizen of  one of  the United  States of  America,  and  that  I

personally served the following document(s):

                   FIFTH NOTICE AND DEMAND FOR
                   MANDATORY JUDICIAL NOTICE:
             Rule 201(d), Federal Rules of Evidence

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:

SALLY R. JOHNSON
Office of U.S. Attorney
487 Federal Building
100 Centennial Mall North
Lincoln [zip code exempt]
NEBRASKA STATE

ROBERT D. METCALFE
Trial Attorney, Tax Division
U.S. Department of Justice
c/o POB 7238, Ben Franklin Station
Washington [zip code exempt]
DISTRICT OF COLUMBIA


Dated:  __________________________________

/s/ Vance Knudson
__________________________________________
Vance E. Knudson, Sui Juris
Citizen of Nebraska state
(expressly not a citizen of the United States)

All Rights Reserved without Prejudice

[See USPS Publication #221 for addressing instructions.]


Fifth Notice and Demand for Mandatory Judicial Notice:  Page 3 of
                                3


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U.S.A. v. Knudson