Time: Sun Nov 23 10:15:25 1997
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Date: Sun, 23 Nov 1997 10:13:17 -0800
To: (Recipient list suppressed)
From: Paul Andrew Mitchell [address in toolbar] (by way of Paul Andrew Mitchell [address in tool bar])
Subject: SLF: Verified Criminal Cross-Complaint (2 of 2)
[This text is formatted in Courier 11, non-proportional spacing.]
Verified Criminal Cross-Complaint: Page 7 of 15
Michael Pollard with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with City of Tucson policies, procedures,
practices, and customs which prohibit Citizens of Arizona
state from enjoying due process of law, courts of competent
jurisdiction, and assistance of Counsel during arraignments
in colorable proceedings alleging criminal complaints;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with City of Tucson policies,
procedures, practices, and customs which prohibit Citizens
of Arizona state from enjoying due process of law, courts of
competent jurisdiction, and assistance of Counsel during
arraignments in colorable proceedings alleging criminal
complaints;
racketeering across state lines, in violation of 18 U.S.C.
1962, deprivation of fundamental Rights, in violation of 18
U.S.C. 242, and conspiracy to deprive fundamental Rights, in
violation of 18 U.S.C. 241 (one or more counts, each), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs by which automobile MSO's
are unlawfully converted into custody of the State of
Arizona, in concert with other Union States, and by which
Defendant's fundamental Rights to travel and to enjoy
(operate) private property are systematically infringed.
F. Ann Rodriguez with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs which prohibit Citizens of
Arizona state from electing Representatives in the United
States House of Representatives, and from serving on grand
or petit juries convened by the State of Arizona;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with State of Arizona statutes,
practices, policies, procedures, and customs which prohibit
Citizens of Arizona state from electing Representatives in
the United States House of Representatives, and from serving
on grand or petit juries convened by the State of Arizona;
Linda Scharbach with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with City of Tucson policies, procedures,
practices, and customs which prohibit Citizens of Arizona
state from enjoying due process of law, courts of competent
jurisdiction, and assistance of Counsel during arraignments
in colorable proceedings alleging criminal complaints;
Verified Criminal Cross-Complaint: Page 8 of 15
Linda Scharbach (continued):
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with City of Tucson policies,
procedures, practices, and customs which prohibit Citizens
of Arizona state from enjoying due process of law, courts of
competent jurisdiction, and assistance of Counsel during
arraignments in colorable proceedings alleging criminal
complaints;
racketeering across state lines, in violation of 18 U.S.C.
1962, deprivation of fundamental Rights, in violation of 18
U.S.C. 242, and conspiracy to deprive fundamental Rights, in
violation of 18 U.S.C. 241 (one or more counts, each), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs by which automobile MSO's
are unlawfully converted into custody of the State of
Arizona, in concert with other Union States, and by which
Defendant's fundamental Rights to travel and to enjoy
(operate) private property are systematically infringed.
Douglas F. Smith with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with City of Tucson policies, procedures,
practices, and customs which prohibit Citizens of Arizona
state from enjoying due process of law, courts of competent
jurisdiction, and assistance of Counsel during arraignments
in colorable proceedings alleging criminal complaints;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with City of Tucson policies,
procedures, practices, and customs which prohibit Citizens
of Arizona state from enjoying due process of law, courts of
competent jurisdiction, and assistance of Counsel during
arraignments in colorable proceedings alleging criminal
complaints;
racketeering across state lines, in violation of 18 U.S.C.
1962, deprivation of fundamental Rights, in violation of 18
U.S.C. 242, and conspiracy to deprive fundamental Rights, in
violation of 18 U.S.C. 241 (one or more counts, each), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs by which automobile MSO's
are unlawfully converted into custody of the State of
Arizona, in concert with other Union States, and by which
Defendant's fundamental Rights to travel and to enjoy
(operate) private property are systematically infringed.
Verified Criminal Cross-Complaint: Page 9 of 15
George Stoner with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with City of Tucson policies, procedures,
practices, and customs which prohibit Citizens of Arizona
state from enjoying due process of law, courts of competent
jurisdiction, and assistance of Counsel during arraignments
in colorable proceedings alleging criminal complaints;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with City of Tucson policies,
procedures, practices, and customs which prohibit Citizens
of Arizona state from enjoying due process of law, courts of
competent jurisdiction, and assistance of Counsel during
arraignments in colorable proceedings alleging criminal
complaints;
racketeering across state lines, in violation of 18 U.S.C.
1962, deprivation of fundamental Rights, in violation of 18
U.S.C. 242, and conspiracy to deprive fundamental Rights, in
violation of 18 U.S.C. 241 (one or more counts, each), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs by which automobile MSO's
are unlawfully converted into custody of the State of
Arizona, in concert with other Union States, and by which
Defendant's fundamental Rights to travel and to enjoy
(operate) private property are systematically infringed.
Fife Symington III with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs which prohibit Citizens of
Arizona state from electing Representatives in the United
States House of Representatives, and from serving on grand
or petit juries convened by the State of Arizona;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with State of Arizona statutes,
practices, policies, procedures, and customs which prohibit
Citizens of Arizona state from electing Representatives in
the United States House of Representatives, and from serving
on grand or petit juries convened by the State of Arizona;
[Please see next page et seq.]
Verified Criminal Cross-Complaint: Page 10 of 15
Grant Woods with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs which prohibit Citizens of
Arizona state from electing Representatives in the United
States House of Representatives, and from serving on grand
or petit juries convened by the State of Arizona;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with State of Arizona statutes,
practices, policies, procedures, and customs which prohibit
Citizens of Arizona state from electing Representatives in
the United States House of Representatives, and from serving
on grand or petit juries convened by the State of Arizona;
and Does 1 thru 100 with:
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs which prohibit Citizens of
Arizona state from electing Representatives in the United
States House of Representatives, and from serving on grand
or petit juries convened by the State of Arizona;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by the state and federal constitutions, under
color of law, in violation of 18 U.S.C. 241 (one or more
counts), in connection with State of Arizona statutes,
practices, policies, procedures, and customs which prohibit
Citizens of Arizona state from electing Representatives in
the United States House of Representatives, and from serving
on grand or petit juries convened by the State of Arizona;
deprivation of fundamental Rights guaranteed to Defendant by
the state and federal constitutions, under color of law, in
violation of 18 U.S.C. 242 (one or more counts), in
connection with City of Tucson policies, procedures,
practices, and customs which prohibit Citizens of Arizona
state from enjoying due process of law, courts of competent
jurisdiction, and assistance of Counsel during arraignments
in colorable proceedings alleging criminal complaints;
conspiracy to deprive fundamental Rights guaranteed to
Defendant by state and federal constitutions, under color of
law, in violation of 18 U.S.C. 241 (one or more counts), in
connection with City of Tucson policies, procedures,
practices, and customs which prohibit Citizens of Arizona
state from enjoying due process of law, courts of competent
jurisdiction, and assistance of Counsel during arraignments
in colorable proceedings alleging criminal complaints;
Verified Criminal Cross-Complaint: Page 11 of 15
Does 1 thru 100 (continued):
racketeering across state lines, in violation of 18 U.S.C.
1962, deprivation of fundamental Rights, in violation of 18
U.S.C. 242, and conspiracy to deprive fundamental Rights, in
violation of 18 U.S.C. 241 (one or more counts, each), in
connection with State of Arizona statutes, practices,
policies, procedures, and customs by which automobile MSO's
are unlawfully converted into custody of the State of
Arizona, in concert with other Union States, and by which
Defendant's fundamental Rights to travel and to enjoy
(operate) private property are systematically infringed;
tampering with a federal witness, victim, or an informant,
in violation of 18 U.S.C. 1512 (one or more counts);
retaliating against federal witness, victim, or an
informant, in violation of 18 U.S.C. 1513 (one or more
counts);
false imprisonment, false arrest, extortion, fraud, and
criminal trespass, in violation of the pertinent Arizona
Revised Statutes (one or more counts, each).
SPECIFIC DAMAGES
(actual, consequential, and exemplary)
State of Arizona $20,000,000.00
County of Pima $10,000,000.00
City of Tucson $ 5,000,000.00
Larry Bahill $ 250,000.00
Laura Brynwood $ 125,000.00
Timothy J. Cranshaw $ 500,000.00
Carl R. Davison III $ 250,000.00
Beverly A. Ginn $ 125,000.00
Gerard M. Guerin $ 125,000.00
James B. Martin $ 250,000.00
Officer Newman [sic] $ 125,000.00
Michael Pollard $ 250,000.00
F. Ann Rodriguez $ 500,000.00
Linda Scharbach $ 125,000.00
Douglas F. Smith $ 500,000.00
George Stoner $ 125,000.00
Fife Symington III $ 1,000,000.00
Grant Woods $ 750,000.00
and Does 1 thru 100 (tba)
SUB-TOTAL: $40,000,000.00
==============
[Please see next page et seq.]
Verified Criminal Cross-Complaint: Page 12 of 15
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,
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 23, 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
Verified Criminal Cross-Complaint: Page 13 of 15
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):
VERIFIED CRIMINAL CROSS-COMPLAINT:
First Amendment, Petition Clause;
Fifth Amendment, Due Process Clause;
Sixth Amendment, Assistance of Counsel;
18 U.S.C. 241, 242, 1962;
Universal Declaration of Human Rights;
International Covenant on Civil and Political Rights,
enacted with explicit Reservations by the U.S. Congress;
Rule 201(d), Arizona Rules of Evidence;
28 U.S.C. 1746(1); Privileges and Immunities Clause;
Supremacy Clause; Guarantee Clause; 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
Verified Criminal Cross-Complaint: Page 14 of 15
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
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 23, 1997:
/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
Verified Criminal Cross-Complaint: Page 15 of 15
# # #
===========================================================================
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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