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