Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state
c/o General Delivery at:
2509 North Campbell Avenue
Tucson, Arizona state
In Propria Persona
All Rights Reserved
Without Prejudice
PIMA COUNTY CONSOLIDATED JUSTICE COURT
Paul Andrew Mitchell, ) Case Number #CV-97-3438
Plaintiff )
) NOTICE AND DEMAND FOR
v. ) MANDATORY JUDICIAL NOTICE:
) Rule 201(d), Arizona Rules
Neil and Evelyn Nordbrock, ) of Evidence
Defendants )
________________________________)
COMES NOW Paul Andrew Mitchell, Sui Juris, Citizen of Arizona
state and Plaintiff in the above entitled matter (hereinafter
"Plaintiff"), 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 Arizona Rules of Evidence, of the
several documents which are itemized infra. Copies of said
documents are attached hereto and incorporated by reference as if
set forth fully herein.
Mandatory judicial notice leaves no room for discretion on
the part of this honorable Court, since the legislative intent of
the word "shall" in Rule 201(d) has a compulsory meaning. Confer
at "shall" in Black's Law Dictionary, Sixth Edition.
The attached nine (9) documents include the following:
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 1 of 20
1. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Eugene A. Burns concerning "Sheryl Smith".
2. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Linda Burns concerning "Sheryl Smith".
3. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Dr. and Mrs. Sheldon Deal concerning
"Sheryl Smith".
4. NOTICE AND DEMAND dated February 12, 1997, from Paul
Andrew Mitchell to Mr. Neil Thomas Nordbrock concerning
"Sheryl Smith".
5. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Richard Rineer concerning "Sheryl Smith".
6. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Susan Shew concerning "Sheryl Smith".
7. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Tim Hay concerning "Sheryl Smith".
8. NOTICE AND DEMAND dated March 5, 1997, from Paul Andrew
Mitchell to Rachel Saull concerning "Sheryl Smith".
9. AFFIDAVIT OF PROBABLE CAUSE dated February 12, 1996.
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", that the attached documents are true
and correct copies of the originals, with the sole exception of
the original blue-ink signatures, which signatures I hereby apply
to said documents by proxy, 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.
Dated: March 14, 1997
Respectfully submitted,
/s/ Paul Andrew Mitchell
_____________________________________
Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state
All Rights Reserved without Prejudice
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 2 of 20
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 AND DEMAND FOR
MANDATORY JUDICIAL NOTICE:
Rule 201(d), Arizona 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:
Neil and Evelyn Nordbrock
c/o 6642 E. Calle de San Alberto
Tucson, Arizona state
Executed on March 14, 1997:
/s/ Paul Andrew Mitchell
_____________________________________
Paul Andrew Mitchell, Sui Juris
Citizen of Arizona state
All Rights Reserved without Prejudice
Attachments follow infra.
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 3 of 20
NOTICE AND DEMAND
TO: Eugene A. Burns
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, in whole or in
part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of the various position(s) which you have held
with New Life since it was first established.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 4 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 5 of 20
NOTICE AND DEMAND
TO: Linda Burns
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, in whole or in
part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of your close association with New Life since it
was first established.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 6 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 7 of 20
NOTICE AND DEMAND
TO: Dr. and Mrs. Sheldon Deal
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, jointly and
severally, in whole or in part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were principal agents in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of the affidavit which you filed in the USDC,
under penalty of perjury, with My assistance.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 8 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 9 of 20
NOTICE AND DEMAND
TO: Mr. Neil Thomas Nordbrock
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: February 12, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because you recommended the appointment, and because you
have been the accountant to the New Life Health Center Company
("New Life") for some time, you have been implicated in my
appointment to the office of Vice President for Legal Affairs of
New Life under "authority" of this "Sheryl Smith." If "Sheryl
Smith" is not a human being, then it is quite probable that my
appointment to said office was fraudulent, and that you are,
therefore, liable, in whole or in part, for this fraud.
Therefore, this is my formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith."
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
February 28, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that my appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court in Tucson, Arizona state, and consequently upon
the United States Court of Appeals for the Ninth Circuit, with
headquarters in San Francisco, California state.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 10 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 11 of 20
NOTICE AND DEMAND
TO: Richard Rineer
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, in whole or in
part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of the position(s) which you have held with New
Life since it was first established, as evidenced by the lawful
trust indenture for New Life.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 12 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 13 of 20
NOTICE AND DEMAND
TO: Susan Shew
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, in whole or in
part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of the various position(s) which you have held
with New Life since it was first established.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 14 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 15 of 20
NOTICE AND DEMAND
TO: Tim Hay
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, in whole or in
part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of the various position(s) which you have held
with New Life since it was first established.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 16 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 17 of 20
NOTICE AND DEMAND
TO: Rachel Saull
FROM: Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law
DATE: March 5, 1997
SUBJECT: "Sheryl Smith"
I now have documentary reasons to believe that one "Sheryl
Smith" is not a human being. My reasons for believing this are
private at the present time. Privacy is a fundamental Right.
Because Neil T. Nordbrock recommended the appointment, and
because Neil T. Nordbrock has been the accountant to the New Life
Health Center Company ("New Life") for some time, you and he have
now been implicated in My appointment to the office of Vice
President for Legal Affairs of New Life under "authority" of this
"Sheryl Smith." If "Sheryl Smith" is not a human being, then it
is quite probable that My appointment to said office was
fraudulent, and that you are, therefore, liable, in whole or in
part, for this fraud.
Therefore, this is My formal DEMAND that you produce
evidence of the whereabouts and identity of the real "Sheryl
Smith" forthwith.
I hereby demand that this evidence be mailed to Me at the
mailing location shown below, on or before 5:00 p.m. on Friday,
March 14, 1997. Beyond that deadline, I will be entitled to
proceed on the basis of the conclusive presumptions that "Sheryl
Smith" is not a real human being; that My appointment to the
office of Vice President for Legal Affairs of New Life was
fraudulent; and that you were a principal agent in committing
this fraud upon Me, upon New Life, upon the United States
District Court ("USDC") in Tucson, Arizona state, and
consequently upon the United States Court of Appeals for the
Ninth Circuit, with headquarters in San Francisco, California
state, because of the position(s) which you have held with New
Life since it was first established.
Thank you for your prompt attention to this lawful Notice
and Demand.
Sincerely yours,
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Counselor at Law and federal witness
c/o 2509 N. Campbell Avenue, #1776
Tucson, Arizona state
Postal Zone 85719/tdc
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 18 of 20
email: supremelawfirm@altavista.net
website: http://supremelaw.com
copies: New Life Health Center Company
4500 E. Speedway Boulevard and
4841 E. Speedway Boulevard
Tucson, Arizona state
attachment: Affidavit of Probable Cause
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 19 of 20
AFFIDAVIT OF PROBABLE CAUSE
I, Paul Andrew, Mitchell, B.A., M.S., Citizen of Arizona
state and federal witness, hereby verify, under penalty of
perjury, under the laws of the United States of America, without
the "United States", that the following statement of fact 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).
During the latter half of calendar year 1996, I retained the
accounting services of Neil Thomas Nordbrock, and entrusted him
with the management of at least $3,000.00 of My own money. I
also performed approximately $1,160.00 worth of professional
services to upgrade his office computer.
During several social and business visits to his home
office, I observed Mr. Nordbrock quite inebriated on alcohol; he
consistently slurred his words, stumbled in his own kitchen, and
spilled full drinks with his right hand, as he reached for other
items on the dinner table. He also appeared quite incapable of
understanding the computer training I attempted to give him
concerning the computer upgrades which I had done for him and for
his spouse on their office computer.
I mailed several invoices to Mr. Nordbrock which he refused
to honor. I also mailed a BONA FIDE OFFER IN COMPROMISE AND
OFFER TO HOLD HARMLESS to Mr. Nordbrock, which he refused to
honor. I also retained the services of a private mediator. This
private mediator informed Me that he had made numerous good faith
attempts to reach an equitable settlement with Mr. Nordbrock.
This private mediator also informed Me that Mr. Nordbrock was
holding Me responsible for some contract which Mr. Nordbrock had
entered with one Richard McDonald in Canoga Park, California
state, a contract to which I was not a party in any way. I
subsequently confirmed this by direct telephone conversation with
Mr. McDonald.
After numerous private conversations with the private
mediator, this mediator advised Me that he had exhausted his
efforts to recover some or all of the money of Mine which Mr.
Nordbrock was managing for Me. This was Christmas time, and I
was rendered destitute by Mr. Nordbrock's conduct. I had to
borrow money from the mediator in order to buy food. This same
mediator then recommended that I file a criminal complaint
against Mr. Nordbrock with the Tucson City Police for embezzling
all of the $3,000.00 which I had entrusted to Mr. Nordbrock's
management. I then followed the mediator's advice. Copies of
the Criminal Complaint, and of other supporting documents, are
attached to this Affidavit of Probable Cause, and incorporated by
reference as if set forth fully herein.
Executed on February 12, 1997
/s/ Paul Andrew Mitchell
Paul Andrew, Mitchell, B.A., M.S.
Citizen of Arizona state and federal witness
Fourth Notice and Demand for Mandatory Judicial Notice:
Page 20 of 20
# # #
Return to Table of Contents for
Mitchell v. Nordbrock