Certified U.S. Mail                Mr. and Mrs. Neil T. Nordbrock
Number #P-833-457-342               6642 E. Calle del San Alberto
Return Receipt Requested                      Tucson [85710-2104]
Restricted Delivery Requested                    ARIZONA REPUBLIC

                                                 October 25, 1996


              CONSTRUCTIVE NOTICE AND FORMAL DEMAND
                       TO CEASE AND DESIST


Mr. and Mrs. Leon Ulan
2735 North Paseo Tierra Verde
Tucson, Arizona state

Dear Mr. and Mrs. Ulan:

     This is  a  formal  Constructive  Notice  to  you  that  the
Undersigned, Mr.  and  Mrs.  Neil  T.  Nordbrock,  have  recently
verified and  served Their  FIRST AMENDMENT  PETITION TO CONGRESS
AND AFFIDAVIT  OF PROBABLE  CAUSE TO  REDRESS GRIEVANCES  DUE  TO
GROSS EXECUTIVE AND JUDICIAL MISCONDUCT (hereinafter "AFFIDAVIT")
upon all  members of  the  United  States  Senate  and  House  of
Representatives, in  addition to  all Judges currently sitting on
the Ninth  Circuit Court  of Appeals, with administrative offices
in San Francisco, California Republic, and others unnamed herein.

     A copy of this AFFIDAVIT is attached hereto and incorporated
by reference  as if set forth fully herein.  At the present time,
this AFFIDAVIT  remains entirely  unrebutted by any of the people
who are expressly named therein.

     This AFFIDAVIT  documents the 15-year pattern of retaliation
which has  been committed  against the  Undersigned by a criminal
conspiracy  of   United  States  (federal  government)  officers,
employees, agents,  henchmen,  accessories,  cronies,  and  other
unregistered foreign agents, which retaliation was done in direct
and immediate  response to  sworn testimony  which  Mr.  Neil  T.
Nordbrock gave,  under oath,  during a  criminal trial before the
United States District Court in Seattle, Washington state, in the
year 1982 Anno Domini.

     This is  to place  you on  formal written  Notice  that  the
penalty for  retaliating against  a federal  witness is  ten (10)
years in  federal  prison  and  a  fine  of  $250,000,  per  each
occurrence of retaliation.  See 18 U.S.C. 1513.

     Furthermore,  the   facts  as   stated  in   this  AFFIDAVIT
constitute probable  cause to charge the named individuals with a
host of  other federal  offenses, including also, but not limited
to, barratry, extortion, perjury, fraud, grand theft, deprivation
of fundamental  Rights under  color of  law, accessory to the all
the above  after the  fact, and  conspiracy to  commit all of the
above, all  of which  are serious  felony violations of Title 18,
United States Code (the federal criminal code).


             Constructive Notice and Formal Demand:
                          Page 1 of 3


     For your  information, this  AFFIDAVIT  is  currently  being
served  upon  all  people  expressly  named  within  it,  with  a
CONSTRUCTIVE NOTICE AND DEMAND upon them to either deny or rebut,
point-by-point, each and every allegation stated therein.

     If any alleged violation should remain unrebutted beyond the
lawful deadlines  stated  within  said  CONSTRUCTIVE  NOTICE  AND
DEMAND, the statements contained within the AFFIDAVIT will become
the truth  of the case;  accordingly, thereafter the named people
will be  barred forever,  by the law of estoppel by acquiescence,
from ever  denying or rebutting each and every point, as a matter
of fact and law.


                FORMAL DEMAND TO CEASE AND DESIST

     Accordingly, formal  Demand is hereby made upon you to cease
and desist  in your  unlawful attempts  to occupy, modify, and/or
otherwise possess,  utilize, and/or  trespass upon  any or all of
the land,  office building,  and  other  improvements  which  are
currently located  at 639-641  North Swan  in the city of Tucson,
Arizona state.

     Further Demand  is hereby  made upon you to cease and desist
in any  further  acts  which  might  or  could  be  construed  as
accessory in,  and/or complicity  in any  way, either  during  or
after the  fact, with the 15-year pattern of criminal retaliation
against Mr.  and Mrs.  Neil T.  Nordbrock for the testimony which
Mr. Nordbrock  gave before  the United  States District  Court in
Seattle, Washington state, in the year 1982.

     Said acts  include, but  are not  limited to,  any false and
fraudulent pretense(s)  you may  wish to adopt and present to the
world that you were not, and never have been, served with:

     (1)  Our NOTICE  AND DEMAND  TO  QUIT  PREMISES,  which  was
          personally served upon you today, October 25, 1996;

     (2)  Our COMPLAINT TO QUIET TITLE, Superior Court of Arizona
          state case  number  #315580  in  Pima  county,  Tucson,
          contrary  to   the  proof(s)   of  service  which  have
          heretofore been executed and filed in said case;  and,

     (3)  Our CERTIFICATE  RE: COMPULSORY  ARBITRATION,  Superior
          Court of  Arizona state  case number  #315580  in  Pima
          county, Tucson,  contrary to  the proof(s)  of  service
          which have  heretofore been  executed and filed in said
          case;  and,

     (4)  Our SUMMONS,  Superior  Court  of  Arizona  state  case
          number #315580  in Pima county, Tucson, contrary to the
          proof(s) of service which have heretofore been executed
          and filed in said case.


Thank you very much for your consideration.  We will look forward
to your timely answer to the SUMMONS cited above.


             Constructive Notice and Formal Demand:
                          Page 2 of 3


                          VERIFICATION

     We  the   Undersigned,  Mr.  Neil  T.  and  Mrs.  Evelyn  R.
Nordbrock,  Citizens  of  Arizona  state,  hereby  verify,  under
penalty of  perjury, under  the laws  of  the  United  States  of
America, without  the "United  States," that the above statements
of fact  are true  and correct,  according to  the  best  of  our
current information,  knowledge, and  belief,  so  help  Us  God,
pursuant to 28 U.S.C. 1746(1).


Executed on October 25, 1996 Anno Domini


/s/ Neil T. Nordbrock            /s/ Evelyn R. Nordbrock
______________________________   ________________________________
Mr. Neil T. Nordbrock            Mrs. Evelyn R. Nordbrock
Citizen of Arizona state         Citizen of Arizona state


             Constructive Notice and Formal Demand:
                          Page 3 of 3


                             #  #  #

      


Return to Table of Contents for

Swan v. Ulan