Time: Mon Aug 04 14:39:23 1997
Date: Mon, 04 Aug 1997 14:33:59 -0700
To: (Recipient list suppressed)
From: Paul Andrew Mitchell [address in toolbar]
Subject: SLS: update to Gilbertson appeal

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Everett C. Gilbertson, Sui Juris
c/o Rural Route 1, Box 140
Battle Lake [zip code exempt]
MINNESOTA STATE

In Propria Persona

Under Protest and
by Special Visitation






                 UNITED STATES COURT OF APPEALS

                         EIGHTH CIRCUIT


UNITED STATES OF AMERICA [sic], )  Case No. 97-2099-MNST
          Plaintiff [sic]/      )
          Appellees,            )  USDC Minneapolis #CR-4-96-65
     v.                         )
                                )
EVERETT C. GILBERTSON [sic],    )
          Defendant [sic]/      )
          Appellant.            )
________________________________)
                                )
Everett C. Gilbertson,          )  DCUS Minneapolis #4-96-65
          Plaintiff/Appellant,  )
     v.                         )  APPELLANT'S FIRST SUPPLEMENT
                                )  TO APPLICATION FOR LEAVE
United States,                  )  TO FILE ENLARGED BRIEF:
James M. Rosenbaum,             )
and Does 2-99,                  )  FRAP Local Rule 28A(e), (j);
          Respondents.          )  Rule 201(c), Federal Rules
                                )  of Evidence;  Full Faith
________________________________)  and Credit Clause


COMES NOW  Everett C. Gilbertson, Sui Juris, Citizen of Minnesota

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

citizen"),  and   Appellant  in   the   above   entitled   matter

(hereinafter  "Appellant"),  to  provide  formal  Notice  to  all

interested  party(s),   to  move   this   honorable   Court   for

discretionary judicial  notice, pursuant  to Rule  201(c) of  the

Federal Rules  of Evidence,  and to  apply for  leave to  file an

enlarged REPLY  BRIEF, pursuant  to Local Rules 28A(e) and (j) of

the Federal Rules of Appellate Procedure ("FRAP").


 First Supplement for Leave to File Enlarged Brief:  Page 1 of 5


     Appellant  respectfully   requests  discretionary   judicial

notice by  this honorable  Court of the two (2) attachments which

are itemized as follows:


     (1)  Appendix "A"  from the  book entitled The Federal Zone:
          Cracking the  Code of  Internal Revenue, a fully edited
          version  of  the  Plaintiffs'  winning  brief  entitled
          MEMORANDUM IN SUPPORT OF REQUEST FOR THE DISTRICT COURT
          TO CONSIDER  THE T.R.O.  AND INJUNCTION  DENIED BY  THE
          MAGISTRATE, in  Knox v. U.S. et al., USDC, San Antonio,
          Texas, case number #SA-89-CA-1308, September 5, 1991;

     (2)  Chapter 13,  "Amendment 16  Post Mortem," from the book
          The  Federal   Zone:  Cracking  the  Code  of  Internal
          Revenue, as  incorporated by  reference  in  the  brief
          entitled  NOTICE  AND  DEMAND  FOR  MANDATORY  JUDICIAL
          NOTICE, in  U.S.A. v.  Knudson, USDC, Lincoln, Nebraska
          state, case number #4:CV96-3275, May 7, 1997.


     Said attachments are hereby incorporated by reference, as if

both were set forth fully herein.


                          VERIFICATION

I, Everett C. Gilbertson, Sui Juris, hereby verify, under penalty

of perjury,  under the  laws of  the United  States  of  America,

without the "United States", that the above statement of facts is

true  and  correct,  to  the  best  of  My  current  information,

knowledge, and belief, so help Me God, per 28 U.S.C. 1746(1).



Dated: ______________________________


Respectfully submitted,





______________________________________________
Everett C. Gilbertson, Sui Juris
Citizen of Minnesota state, federal witness
(expressly not a citizen of the United States)

All Rights Reserved without Prejudice


 First Supplement for Leave to File Enlarged Brief:  Page 2 of 5


                        PROOF OF SERVICE

I, Everett  C.  Gilbertson,  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):

                 APPELLANT'S FIRST SUPPLEMENT TO
          APPLICATION FOR LEAVE TO FILE ENLARGED BRIEF:
                  FRAP Local Rules 28A(e), (j);
             Rule 201(c), Federal Rules of Evidence;
                  Full Faith and Credit Clause

by placing one true and correct copy of said document(s) in first

class U.S. Mail, with postage prepaid and properly addressed to:


Attorney General                   James M. Rosenbaum
Department of Justice              United States District Court
10th & Constitution, N.W.          110 South Fourth Street
Washington [zip code exempt]       Minneapolis [zip code exempt]
DISTRICT OF COLUMBIA               MINNESOTA STATE

Solicitor General                  Henry Shea
Department of Justice              United States Attorneys
10th & Constitution, N.W.          110 South Fourth Street
Washington [zip code exempt]       Minneapolis [zip code exempt]
DISTRICT OF COLUMBIA               MINNESOTA STATE

Courtesy copies to:

William H. Rehnquist, C.J.         Clarence Thomas, J.
U.S. Supreme Court                 U.S. Supreme Court
One First Street N.E.              One First Street N.E.
Washington [zip code exempt]       Washington [zip code exempt]
DISTRICT OF COLUMBIA               DISTRICT OF COLUMBIA

Paul Andrew Mitchell               Alex Kozinski (supervising)
Counselor at Law, federal witness  Ninth Circuit Court of Appeals
c/o 2509 N. Campbell Ave., #1776   125 S. Grand Avenue, Suite 200
Tucson [zip code exempt]           Pasadena [zip code exempt]
ARIZONA STATE                      CALIFORNIA STATE


Dated:  ______________________________________




______________________________________________
Everett C. Gilbertson, Sui Juris
Citizen of Minnesota state, federal witness
(expressly not a citizen of the United States)


 First Supplement for Leave to File Enlarged Brief:  Page 3 of 5


                         Attachment "A":

                MEMORANDUM IN SUPPORT OF REQUEST
          FOR THE DISTRICT COURT TO CONSIDER THE T.R.O.
             AND INJUNCTION DENIED BY THE MAGISTRATE

                       Knox v. U.S. et al.

                  United States District Court
                    San Antonio, Texas state
                   case number #SA-89-CA-1308

                        September 5, 1991


 First Supplement for Leave to File Enlarged Brief:  Page 4 of 5


                         Attachment "B":

         NOTICE AND DEMAND FOR MANDATORY JUDICIAL NOTICE

        incorporating Chapter 13 from the book entitled:
     The Federal Zone: Cracking the Code of Internal Revenue
                   electronic seventh edition

                        U.S.A. v. Knudson

                  United States District Court
                     Lincoln, Nebraska state
                    case number #4:CV96-3275

                           May 7, 1997


 First Supplement for Leave to File Enlarged Brief:  Page 5 of 5


                             #  #  #


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Paul Andrew Mitchell                 : Counselor at Law, federal witness
B.A., Political Science, UCLA;  M.S., Public Administration, U.C. Irvine

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