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,            )
                                )  VERIFIED STATEMENT
     v.                         )  OF STANDING OBJECTIONS
                                )  TO ALL FURTHER PROCEEDINGS
Neil and Evelyn Nordbrock,      )  IN THIS FORUM:
Lawrence E. Condit,             )
W. U. Weber, and                )  Petition Clause,
Does 1 to 100,                  )  Due Process Clause,
          Defendants.           )  U.S. Constitution
________________________________)


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

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

citizen") and Plaintiff in the above entitled matter (hereinafter

"Plaintiff"), to present this, His VERIFIED STATEMENT OF STANDING

OBJECTIONS TO ALL FURTHER PROCEEDINGS IN THIS FORUM.

     Prior to  the hearing  scheduled for  June 16,  1997,  which

hearing did not occur, Plaintiff witnessed Mr. W. U. Weber state,

in open court, that jurisdiction cannot be waived.  Plaintiff had

arrived early for said hearing, and was present in the gallery to

hear said statement by Mr. W. U. Weber, in another case.

     Plaintiff now  believes there  is probable cause to conclude

that this  honorable  Court  lost  subject  matter  jurisdiction,

pursuant to  the affirmative  duty imposed upon this Court by ARS

22-201(F), the language of which is clear and unequivocal.


    Statement of Standing Objections to Further Proceedings:
                           Page 1 of 6


     Even if  this honorable Court did have jurisdiction over the

subject matter,  because the  jurisdictional limit  had not  been

exceeded, the  man alleging  to preside over the instant case has

failed to  produce evidence of the solemn Oath of Office required

of him  by Article  VI, Clause 3 ("6:3"), in the Constitution for

the United  States of  America, as  lawfully amended (hereinafter

"U.S. Constitution").   Plaintiff  has testified to this fact, by

recently filing  Plaintiff's AFFIDAVIT OF DEFAULT AND OF PROBABLE

CAUSE IN RE MR. W. U. WEBER, properly served on July 8, 1997.

     Moreover,  Plaintiff  is  now  the  official  Relator  in  a

VERIFIED PETITION  FOR PEREMPTORY  WRIT OF  MANDAMUS, which names

this honorable  Court as a real party of interest in a request to

the Superior  Court of  Arizona to  compel this  Court to  do its

affirmative duty under ARS 22-201(F).

     Said Petition was served on July 8, 1997, with the requisite

docket  fee   of  ninety-seven   dollars  and  twenty-five  cents

($$97.25), paid  in advance,  and under  protest, by  means of  a

lawful United  States Postal  Money  Order  purchased  at  United

States Postal Substation #749 in Tucson, Arizona state.

     Said Relator  has formally  objected to  the payment of said

docket fee,  for reasons  which are  clearly stated  in Relator's

NOTICE OF PETITION FOR PEREMPTORY WRIT OF MANDAMUS, AND NOTICE OF

EXEMPTION FROM  DOCKET FEE,  properly executed and served on June

17, 1997.  See ARS 12-2021 and related statutes governing service

of process for peremptory writs of mandamus.

     Last but  not least,  the cover page of the instant pleading

displays additional  parties who were previously exhibited on the

cover page  of PLAINTIFF'S  FIRST  AMENDED  COMPLAINT,  executed,

verified, and also served on July 8, 1997.


    Statement of Standing Objections to Further Proceedings:
                           Page 2 of 6


     Under the  Petition and  Due Process  Clauses  in  the  U.S.

Constitution, as  governed by  the Supremacy  Clause, Mr.  W.  U.

Weber is  now precluded  by Law  from presiding  over any  of the

instant proceedings,  because he is now a real party of interest.

Plaintiff has  previously briefed  this honorable Court as to the

meaning,  and   pertinent  cases   which  have   adjudicated  the

implications, of  the Petition  Clause as  applied to the instant

case.

     Wherefore, Plaintiff  hereby places  all interested party(s)

on formal  Notice, that all ORDER's allegedly issued by Mr. W. U.

Weber in  the instant  case are  hereby declared  to be  null and

void,  ab initio.  Pertinent cases have held that the Pima County

Consolidated Justice  Court does  have the  capacity to  exercise

judicial power.   Without  a  presiding  judge  who  has  clearly

exhibited a  valid Oath  of Office, as required by 6:3, Mr. W. U.

Weber can exercise no judicial power or authority whatsoever.


                   NOTICE OF REFUSAL FOR FRAUD

     Accordingly, Plaintiff  hereby refuses  all  of  Mr.  W.  U.

Weber's previously issued ORDER's for fraud, without exception.


                          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, 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.


    Statement of Standing Objections to Further Proceedings:
                           Page 3 of 6


Dated:  July 8, 1997


Respectfully submitted,

/s/ Paul Andrew Mitchell

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

All Rights Reserved without Prejudice


    Statement of Standing Objections to Further Proceedings:
                           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):

      DEMAND FOR JURY TRIAL AND DEMAND TO STAY PROCEEDINGS,
           PENDING FINAL REVIEW OF FORMAL CHALLENGE TO
           JUROR AND VOTER REGISTRANT QUALIFICATIONS:
            ARS 21-201, ARS 16-101;  Guarantee 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:


Neil and Evelyn Nordbrock               VIA FAX TRANSMISSION
c/o 6642 E. Calle de San Alberto        to: (520) 296-6544
Tucson, Arizona state

Lawrence E. Condit                      VIA FAX TRANSMISSION
c/o 376 South Stone Avenue              to: (520) 624-8414
Tucson, Arizona state

Dr. and Mrs. Eugene A. Burns            VIA FAX TRANSMISSION
c/o 4500 E. Speedway, #27               to: (520) 323-3922
Tucson, Arizona state

Mr. Richard Rineer                      VIA FAX TRANSMISSION
c/o 4841 E. Speedway Boulevard          to: (520) 323-3922
Tucson, Arizona state

Mr. Tim Hay                             VIA FAX TRANSMISSION
c/o 4500 E. Speedway Boulevard, #27     to: (520) 323-3922
Tucson, Arizona state

Mrs. Susan Shew                         VIA FAX TRANSMISSION
c/o 4500 E. Speedway Boulevard, #27     to: (520) 323-3922
Tucson, Arizona state

Mr. and Mrs. Patrick Shew               VIA FAX TRANSMISSION
c/o 2624 W. Flamebrook                  to: (520) 323-3922
Tucson, Arizona state

Todd V. Jones                           VIA FAX TRANSMISSION
c/o 1500 Northwest Tower                to: (520) 884-1294
One South Church Avenue
Tucson, Arizona state

Mr. and Mrs. Herbert Crawford
c/o 4741 W. Camino Tierra
Tucson, Arizona state


    Statement of Standing Objections to Further Proceedings:
                           Page 5 of 6


Mr. David Wallen
c/o 2536 Vereda de la Manana
Tucson, Arizona state

Ms. Sheila T. Wallen
c/o 2536 Vereda de la Manana
Tucson, Arizona state

Mr. W. U. Weber
c/o 115 N. Church Avenue
Tucson, Arizona state

Chief of Police
Tucson Police Department
270 S. Stone Avenue
Tucson, Arizona state

Pima County Attorney
c/o 32 North Stone Avenue
Tucson, Arizona state

Arizona Attorney General
c/o 400 W. Congress South, Suite 315
Tucson, Arizona state


Executed on July 8, 1997:

/s/ Paul Andrew Mitchell

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

All Rights Reserved without Prejudice


    Statement of Standing Objections to Further Proceedings:
                           Page 6 of 6


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Mitchell v. Nordbrock