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Date: Thu, 27 Nov 1997 15:18:17 -0500
Originator: heritage-l@gate.net
From: Paul Andrew Mitchell [address in toolbar] (by way of Paul Andrew Mitchell [address in tool bar])
To: pmitch@primenet.com
Subject: SLF: Notice of Removal and of Related Procedural Remedies

[This text is formatted in Courier 11, non-proportional spacing.]


Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state
c/o general delivery at:
2509 North Campbell Avenue
Tucson [zip code exempt]
ARIZONA STATE

In Propria Persona

All Rights Reserved
without prejudice




               DISTRICT COURT OF THE UNITED STATES

                  JUDICIAL DISTRICT OF ARIZONA


State of Arizona,               )  Case Number __________________
                                )
          Plaintiff,            )  NOTICE OF REMOVAL AND OF
     v.                         )  RELATED PROCEDURAL REMEDIES:
                                )
Paul Andrew Mitchell,           )  28 U.S.C. 1331, 1441,
                                )  1443(2), 1446(a), (c);
          Defendant.            )  28 U.S.C. 2284;
________________________________)  Commerce Clause;
                                )  18 U.S.C. 241, 242, 245(b)(1);
Paul Andrew Mitchell,           )  18 U.S.C. 1962, 1964(a);
                                )  Qualifications Clauses;
          Cross-Plaintiff,      )  Sixth Amendment;
                                )  Thirteenth Amendment (1819)
     v.                         )
                                )  JURY TRIAL DEMANDED
State of Arizona,               )
County of Pima,                 )
City of Tucson,                 )
Larry Bahill,                   )
Laura Brynwood,                 )
Timothy J. Cranshaw,            )
Carl R. Davison III,            )
Beverly A. Ginn,                )
Gerard M. Guerin,               )
James B. Martin,                )
Officer Newman [sic],           )
Michael Pollard,                )
F. Ann Rodriguez,               )
Linda Scharbach,                )
Douglas F. Smith,               )
George Stoner,                  )
Fife Symington III,             )
Grant Woods,                    )
and Does 1 thru 100,            )
                                )
          Cross-Defendants.     )
________________________________)


 Notice of Removal & of Related Procedural Remedies:  Page 1 of 6


COMES NOW  Paul Andrew  Mitchell, Sui  Juris, Citizen  of Arizona

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

citizen"), Counselor  at Law,  Federal Witness,  Private Attorney

General,   Candidate    for   the    United   States   House   of

Representatives, Defendant and civil Cross-Plaintiff in the above

entitled action  (hereinafter  "Defendant"),  to  provide  formal

Notice to  all  interested  party(s),  and  to  demand  mandatory

judicial notice  by this honorable Court, pursuant to Rule 201(d)

of the  Federal Rules of Evidence, of this, Defendant's NOTICE OF

REMOVAL AND OF RELATED PROCEDURAL REMEDIES, submitted pursuant to

28 U.S.C. 1446(a).

     Defendant hereby  provides formal  Notice to  all interested

party(s)  of   Defendant's  challenge,   made  hereby,   to   the

apportionment of Congressional districts within Arizona state and

of a  Bona Fide  Controversy at Law concerning the federal law(s)

applicable and  enforceable  upon  related  statutes,  practices,

policies, procedures,  customs and rules of the State of Arizona.

See Supremacy Clause.

     Pursuant to 28 U.S.C. 2284, Defendant hereby provides formal

Notice to  all interested party(s) of Defendant's specific intent

to petition  this honorable  Court for  a Warrant of Removal by a

competent and  qualified 3-judge panel, to adjudicate Defendant's

challenge to  the apportionment of Congressional districts within

Arizona state.

     Defendant hereby  testifies  to  the  existence  of  several

monumental federal  questions which  grant original  jurisdiction

founded on  claims arising  under the Constitution, treaties, and

laws of  the United  States, including  but not  limited  to  the


 Notice of Removal & of Related Procedural Remedies:  Page 2 of 6


proper  and   lawful  construction   of  the   Commerce   Clause,

deprivation of fundamental Rights and conspiracy to deprive same,

state government  racketeering and  civil remedies  for enjoining

and otherwise  prohibiting same,  and the proper construction and

lawful application of the original Thirteenth Amendment (1819) to

Defendant's several  claims to  declaratory and injunctive relief

in the  instant case.   Plaintiff  hereby reserves  the Right  to

elaborate on these several points, in detail, in future pleadings

to be filed timely in the instant case.

     Defendant hereby  testifies  that,  pursuant  to  28  U.S.C.

1446(c)(1), the  instant NOTICE  OF REMOVAL has been executed and

served  no   later  than  thirty  (30)  days  after  the  alleged

arraignment [sic] in the State Court.

     Defendant hereby  offers to prove that the Tucson City Court

[sic] is  now proceeding  ultra  vires,  due  to  a  demonstrable

failure by  the Superior  Court of Arizona state, Pima county, to

renew the  intergovernmental agreement  required by Arizona state

law and authorizing same to exist in the first instance.

     Defendant hereby  offers to prove that the Tucson City Court

[sic] is  also arraigning  criminal defendants via closed-circuit

television cameras  without the  assistance of  Counsel  for  the

defense, in direct, premeditated, and systematic violation of the

Sixth Amendment  in the  Constitution for  the United  States  of

America, as  lawfully amended.   See  Johnson v. Zerbst, 304 U.S.

458, 468 (1938), in chief.

     Defendant also  provides formal  Notice  to  all  interested

party(s)  of   Defendant's  specific   intent  to  petition  this

honorable Court  for a change of venue to Phoenix, Arizona state,


 Notice of Removal & of Related Procedural Remedies:  Page 3 of 6


due to  the existence  of an  ongoing criminal  conspiracy  among

employees of the United States District Court in Tucson, Arizona,

to commit  obstruction of  registered, certified  and first class

U.S. Mail,  jury  tampering,  obstruction  of  justice,  perjury,

violations of  the Anti-Kickback  Act of  1986 (41  U.S.C. 51  et

seq.), and conspiracy to commit all of the above.  Defendant is a

victim of, and an eyewitness to, said conspiracy.

     Lastly, Defendant  assumes and  hereby respectfully requests

that the currently assembled docket file will be transmitted from

the State  Court to the Clerk of this honorable District Court of

the United States ("DCUS"), with all deliberate speed.


                          VERIFICATION

I, Paul  Andrew Mitchell,  Sui Juris,  Citizen of  Arizona state,

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

Counselor at  Law, Federal  Witness,  Private  Attorney  General,

Candidate for  the U.S.  House of  Representatives, Defendant and

Cross-Plaintiff in the instant case, hereby verify, under penalty

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

without (outside)  the "United States" (federal government), that

the above  statement of facts is true and correct, to the best of

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

pursuant to 28 U.S.C. 1746(1).  See Supremacy Clause.


Executed on November 28, 1997:


Respectfully submitted,

/s/ Paul Mitchell
_____________________________________
Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state and Federal Witness
(expressly not a citizen of the United States)
All Rights Reserved without Prejudice


 Notice of Removal & of Related Procedural Remedies:  Page 4 of 6


                        PROOF OF SERVICE

I, Paul Andrew Mitchell, 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):

                        NOTICE OF REMOVAL
               AND OF RELATED PROCEDURAL REMEDIES:
          28 U.S.C. 1331, 1441, 1443(2), 1446(a), (c);
                28 U.S.C. 2284;  Commerce Clause;
                 18 U.S.C. 241, 242, 245(b)(1);
        18 U.S.C. 1962, 1964(a);  Qualifications Clauses;
          Sixth Amendment;  Thirteenth Amendment (1819)
                       JURY TRIAL DEMANDED

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                Judge Alex Kozinski (supervising)
c/o 400 W. Congress, Ste. 315   c/o P.O. Box 91510
Tucson, Arizona state           Pasadena, California state

Pima County Attorney            Judge Michael Brown (supervising)
c/o 32 N. Stone Ave., 15th Fl.  c/o 110 W. Congress St.
Tucson, Arizona state           Tucson, Arizona state

Tucson City Attorney            Judge Robert Gibson (supervising)
c/o P.O. Box 27210              c/o 115 N. Church Ave.
Tucson, Arizona state           Tucson, Arizona state

Larry Bahill                    Clerk, Arizona Supreme Court
c/o 115 N. Church Ave.          c/o 400 West Congress, Ste. 345
Tucson, Arizona state           Tucson, Arizona state

Laura Brynwood                  Clerk, Arizona Court of Appeals
c/o P.O. Box 27210              c/o 400 West Congress, Ste. 200
Tucson, Arizona state           Tucson, Arizona state

Timothy J. Cranshaw             Clerk, U.S. Bankruptcy Court
c/o 103 E. Alameda, 1st Fl.     c/o P.O. Box 34151
Tucson, Arizona state           Phoenix, Arizona state

Carl R. Davison III             Office of the Governor
c/o 270 S. Stone Avenue         c/o 400 W. Congress St., Ste. 504
Tucson, Arizona state           Tucson, Arizona state

Beverly A. Ginn                 President, Arizona State Senate
c/o 270 S. Stone Avenue         c/o 402 W. Congress St.
Tucson, Arizona state           Tucson, Arizona state


 Notice of Removal & of Related Procedural Remedies:  Page 5 of 6


Gerard M. Guerin                Speaker, House of Representatives
c/o 1750 E. Benson Highway      c/o 402 W. Congress St.
Tucson, Arizona state           Tucson, Arizona state

James B. Martin                 Clerk, Board of Supervisors
c/o 270 S. Stone Avenue         c/o 130 W. Congress St.
Tucson, Arizona state           Tucson, Arizona state

Officer Newman [sic]            Mayor of Tucson
c/o P.O. Box 951                c/o 255 W. Alameda
Tucson, Arizona state           Tucson, Arizona state

Michael Pollard
c/o 103 E. Alameda, 1st Fl.
Tucson, Arizona state

F. Ann Rodriguez
c/o 115 N. Church Avenue
Tucson, Arizona state

Linda Scharbach
c/o 103 E. Alameda, Ste. 501
Tucson, Arizona state

Douglas F. Smith
c/o 270 S. Stone Avenue
Tucson, Arizona state

George Stoner
c/o 270 S. Stone Avenue
Tucson, Arizona state

Fife Symington III              (last known address)
c/o 1700 W. Washington, 9th Fl.
Phoenix, Arizona state

Grant Woods                     (via fax to: (520) 628-6530)
c/o 400 W. Congress, Ste. 315
Tucson, Arizona state

Clerk of Court [sic]
c/o 103 E. Alameda, 1st Fl.
Tucson, Arizona state


Executed on November 28, 1997:

/s/ Paul Mitchell
_____________________________________
Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state, Federal Witness,
Counselor at Law, Private Attorney General, and
Candidate for the U.S. House of Representatives
(expressly not a citizen of the United States)

All Rights Reserved without Prejudice


 Notice of Removal & of Related Procedural Remedies:  Page 6 of 6


                             #  #  #

===========================================================================
Paul Andrew Mitchell, Sui Juris      : Counselor at Law, federal witness 01
B.A.: Political Science, UCLA;   M.S.: Public Administration, U.C.Irvine 02
tel:     (520) 320-1514: machine; fax: (520) 320-1256: 24-hour/day-night 03
email:   [address in toolbar]        : using Eudora Pro 3.0.3 on 586 CPU 04
website: http://supremelaw.com       : visit the Supreme Law Library now 05
ship to: c/o 2509 N. Campbell, #1776 : this is free speech,  at its best 06
             Tucson, Arizona state   : state zone,  not the federal zone 07
             Postal Zone 85719/tdc   : USPS delays first class  w/o this 08
_____________________________________: Law is authority in written words 09
As agents of the Most High, we came here to establish justice.  We shall 10
not leave, until our mission is accomplished and justice reigns eternal. 11
======================================================================== 12
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