Time: Wed Jul 30 11:36:39 1997
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Date: Wed, 30 Jul 1997 10:51:34 -0700
To: (Recipient list suppressed)
From: Paul Andrew Mitchell [address in tool bar]
Subject: SLS: routine extension request: U.S.A. v. Gilbertson
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Everett C. Gilbertson, Sui Juris
c/o Rural Route 1, Box 140
Battle Lake [zip code exempt]
MINNESOTA STATE
In Propria Persona
Under Protest and
by Special Visitation
[D R A F T]
UNITED STATES COURT OF APPEALS
EIGHTH CIRCUIT
UNITED STATES OF AMERICA [sic], ) Case No. 97-2099-MNST
Plaintiff [sic]/ )
Appellees, ) USDC Minneapolis #CR-4-96-65
v. )
)
EVERETT C. GILBERTSON [sic], )
Defendant [sic]/ )
Appellant. )
________________________________)
)
Everett C. Gilbertson, ) DCUS Minneapolis #4-96-65
Plaintiff/Appellant, )
v. ) NOTICE OF INTENT TO SUBMIT
) APPELLANT'S REPLY BRIEF AND
United States, ) REQUEST FOR EXTENSION OF TIME
James M. Rosenbaum, )
and Does 2-99, )
Respondents. )
________________________________)
COMES NOW Everett C. Gilbertson, Sui Juris, Citizen of Minnesota
state, expressly not a citizen of the United States ("federal
citizen"), and Appellant in the above entitled matter
(hereinafter "Appellant"), to provide formal Notice to all
interested party(s), and to demand mandatory judicial Notice by
this honorable Court, pursuant to Rules 201(d), 301, and 302 of
the Federal Rules of Evidence, of Appellant's intent to submit a
REPLY BRIEF in response to the BRIEF OF APPELLEES recently filed
by opposing party(s).
Notice of Intent to Reply and Request for Extension of Time:
Page 1 of 4
On Monday, July 28, 1997, Appellant's Counsel first received
a photocopy of the BRIEF OF APPELLEES, filed after Appellees had
requested, and were granted, a routine extension of time to file
same. Appellant is informed that the new deadline for filing a
REPLY BRIEF is August 7, 1997.
The original APPEAL BRIEFING SCHEDULE ORDER, dated April 25,
1997, set deadlines of 7/18/97 for the BRIEF OF APPELLEES, and
8/1/97 for the REPLY BRIEF, that is, two (2) calendar weeks for
completion of the REPLY BRIEF after submission and service of the
BRIEF OF APPELLEES.
Appellant respectfully requests this honorable Court to take
into account the necessary delays which are imposed upon
Appellant, by reason of the requirement that Counsel must prepare
and mail unsigned originals to Appellant at the Federal Prison
Camp in Duluth, Minnesota state, and then Appellant must sign and
serve the executed pleading(s) upon the Clerk of this Court and
all interested party(s). These mail delays are unavoidable.
Accordingly, Appellant argues that a new deadline of Friday,
August 29, 1997, would allow two (2) full calendar weeks for
Counsel to research and draft Appellant's REPLY BRIEF, and one
(1) full calendar week for necessary delays in forwarding mail to
Appellant at FPC Duluth, and then to the Clerk of this Court.
REMEDY REQUESTED
Appellant respectfully requests this honorable Court to
order a routine extension of time, until August 29, 1997, for
Appellant to prepare and file a REPLY BRIEF in response to, and
in proper refutation of, the BRIEF OF APPELLEES.
Notice of Intent to Reply and Request for Extension of Time:
Page 2 of 4
VERIFICATION
I, Everett C. Gilbertson, Sui Juris, hereby verify, under penalty
of perjury, under the laws of the United States of America,
without the "United States", that the above statement of facts is
true and correct, to the best of My current information,
knowledge, and belief, so help Me God, per 28 U.S.C. 1746(1).
Dated: ______________________________
Respectfully submitted,
_____________________________________
Everett C. Gilbertson, Sui Juris
Citizen of Minnesota state
(expressly not a citizen of the United States)
All Rights Reserved without Prejudice
Notice of Intent to Reply and Request for Extension of Time:
Page 3 of 4
PROOF OF SERVICE
I, Everett C. Gilbertson, 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 OF INTENT TO SUBMIT
APPELLANT'S REPLY BRIEF AND
REQUEST FOR EXTENSION OF TIME
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:
Attorney General James M. Rosenbaum
Department of Justice United States District Court
10th & Constitution, N.W. 110 South Fourth Street
Washington [zip code exempt] Minneapolis [zip code exempt]
DISTRICT OF COLUMBIA MINNESOTA STATE
Solicitor General Henry Shea
Department of Justice United States Attorneys
10th & Constitution, N.W. 110 South Fourth Street
Washington [zip code exempt] Minneapolis [zip code exempt]
DISTRICT OF COLUMBIA MINNESOTA STATE
Dated: __________________________________
__________________________________________
Everett C. Gilbertson, Sui Juris
Citizen of Minnesota state
(expressly not a citizen of the United States)
All Rights Reserved without Prejudice
See USPS Publication #221 for addressing instructions.
Notice of Intent to Reply and Request for Extension of Time:
Page 4 of 4
# # #
========================================================================
Paul Andrew Mitchell : Counselor at Law, federal witness
B.A., Political Science, UCLA; M.S., Public Administration, U.C. Irvine
tel: (520) 320-1514: machine; fax: (520) 320-1256: 24-hour/day-night
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ship to: c/o 2509 N. Campbell, #1776 : this is free speech, at its best
Tucson, Arizona state : state zone, not the federal zone
Postal Zone 85719/tdc : USPS delays first class w/o this
As agents of the Most High, we came here to establish justice. We shall
not leave, until our mission is accomplished and justice reigns eternal.
========================================================================
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