Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state, federal witness
c/o General Delivery at
2509 North Campbell, #1776
Tucson, Arizona state

In Propria Persona

All Rights Reserved
without prejudice





                 UNITED STATES BANKRUPTCY COURT

                       DISTRICT OF ARIZONA


In Re:                          )  Case No. #96-01624-TUC
                                )
Dr. and Mrs. Eugene A. Burns    )  2nd SUPPLEMENT TO APPLICATION
                                )  FOR INTERVENTION OF RIGHT, FOR
                                )  RELIEF FROM THE AUTOMATIC STAY
                                )  AND DEMAND FOR MANDATORY
                                )  JUDICIAL NOTICE:
________________________________)
                                )  Rule 201(d), Federal Rules
Paul Andrew Mitchell,           )  of Evidence;  Rule 4001,
                                )  Local Bankruptcy Rules;
          Movant,               )  Full Faith and Credit Clause
                                )
     v.                         )
                                )
Dr. and Mrs. Eugene A. Burns,   )
                                )
                                )
          Respondents.          )
________________________________)


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

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

citizen"), and federal witness (hereinafter "Movant"), 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  and the Full Faith and Credit

Clause, of the following documents, to wit:


       Second Supplement to Intervention/Relief from Stay:
                          Page 1 of 3


     1.   VERIFIED COMPLAINT  OF FRAUD,  MAIL FRAUD,  CONSPIRACY,
          OBSTRUCTION OF  MAIL, AND  LIBEL WITH INTENT TO INJURE,
          mailed on  May 20,  1997, to  Mr.  James  A.  Crawford,
          Postal Inspector,  U.S. Postal Inspection Service, P.O.
          Box 26320,  Tucson, Arizona  state, Postal  Zone 85726-
          6320/tdc;

     2.   FIRST SUPPLEMENT  TO VERIFIED  COMPLAINT OF FRAUD, MAIL
          FRAUD, CONSPIRACY,  OBSTRUCTION OF MAIL, AND LIBEL WITH
          INTENT TO  INJURE, mailed on May 22, 1997, to Mr. James
          A. Crawford,  Postal Inspector,  U.S. Postal Inspection
          Service, P.O.  Box 26320, Tucson, Arizona state, Postal
          Zone 85726-6320/tdc;  and,

     3.   SECOND SUPPLEMENT  TO VERIFIED COMPLAINT OF FRAUD, MAIL
          FRAUD, CONSPIRACY,  OBSTRUCTION OF MAIL, AND LIBEL WITH
          INTENT TO  INJURE, mailed on May 23, 1997, to Mr. James
          A. Crawford,  Postal Inspector,  U.S. Postal Inspection
          Service, P.O.  Box 26320, Tucson, Arizona state, Postal
          Zone 85726-6320/tdc.


     The  documents   itemized  above  are  attached  hereto  and

incorporated by reference as if set forth fully herein.


                          VERIFICATION

I, Paul  Andrew Mitchell, Sui Juris, hereby verify, under penalty

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

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

statements of fact are true and correct, according to the best of

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

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


Dated:  May 24, 1997


Respectfully submitted

/s/ Paul Andrew Mitchell

Paul Andrew Mitchell, B.A., M.S.
Citizen of Arizona state, federal witness
(expressly not a citizen of the United States)

All Rights Reserved without prejudice


       Second Supplement to Intervention/Relief from Stay:
                          Page 2 of 3


                        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" (federal government), 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):

    2nd SUPPLEMENT TO APPLICATION FOR INTERVENTION OF RIGHT,
             FOR RELIEF FROM THE AUTOMATIC STAY AND
              DEMAND FOR MANDATORY JUDICIAL NOTICE:
             Rule 201(d), Federal Rules of Evidence;
               Rule 4001, Local Bankruptcy Rules;
                  Full Faith and Credit Clause

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:


Dr. and Mrs. Eugene A. Burns
c/o 4500 E. Speedway, #27
Tucson [zip code exempt]
ARIZONA STATE

United States Trustee
c/o U.S. Bankruptcy Court
110 South Church Street, Suite 8112
Tucson [zip code exempt]
ARIZONA STATE

Creditors' Committee
In re: Dr. and Mrs. Eugene A. Burns
c/o United States Trustee
110 South Church Street, Suite 8112
Tucson [zip code exempt]
ARIZONA STATE

[See USPS Publication #221 for addressing instructions.]


Executed on May 24, 1997:


/s/ Paul Andrew Mitchell

Paul Andrew, Mitchell, Sui Juris
Citizen of Arizona state, federal witness
(expressly not a citizen of the United States)

All Rights Reserved without Prejudice


       Second Supplement to Intervention/Relief from Stay:
                          Page 3 of 3


                             #  #  #
      


Return to Table of Contents for

In Re Burns Bankruptcy