A TIME FOR ACCOUNTABILITY -- A TIME FOR JUSTICE

       It is time for a Sovereign People to hold their Public Servants accountable. Without doing so, there can be no Justice in this Land.

Raymond Karczewski©
(Internet Copy)
 

AFFIDAVIT AND NOTICE OF DEFAULT

By and from:
Secured Party:
Raymond Ronald Karczewki©                                                              CASE NO. 02-CR-0617
in care of: PO Box 1870
Cave Junction, OR 97523        U.S.P.O. Registered Mail Article No. RR463804186US

February 7, 2003

DISTRICT ATTORNEY CLAY E. JOHNSON
STATE OF OREGON JUSTICE DEPARTMENT
DISTRICT ATTORNEY FOR JOSEPHINE COUNTY
JOSEPHINE COUNTY  COURTHOUSE
500 N. W. 6TH STREET
GRANTS PASS, OR  97526

Introductory Certification

The Undersigned Secured Party, Raymond Ronald Karczewski©, hereinafter "Affiant," does herewith solemnly swear, declare, and state that:
A.  Affiant can competently state the matters set forth herewith.
B.  Affiant has personal knowledge of the facts stated herein.
C.  All the facts stated herein are true, correct, complete, and certain, admissible as evidence, not misleading, the truth, the whole truth, and nothing but the truth, in accordance with Affiant's best firsthand knowledge and understanding.

Plain Statement of Facts

D.  Conditional Acceptance -- Request for Proof of Claim, attached hereto, made fully part hereof, and included herein by reference, was served on Josephine County District Attorney CLAY E. JOHNSON, via his agent/receptionist, who would give no other name than "SUE," by Anita L. Karczewski, witnessed by Peter Sparacino, and John Taft, on November 8th, 2002 (Affidavit of Service filed with Court November 21, 2002).

E.  CLAY E. JOHNSON, District Attorney for the County of Josephine Oregon, dishonored and thus defaulted on said Conditional Acceptance -- Request for Proof of Claim by failing to establish Liability of Affiant through any of the enumerated proofs of claims within 10 days of  its service via his agent.

F.  CLAY E. JOHNSON, District Attorney for the County of Josephine Oregon,  sent said Conditional Acceptance -- Request for Proof of Claim and other pertinent documents regarding Josephine County Court Case No. 02-CR-0617 to Oregon Attorney General's office for investigation of Affiant, the Secured Party for criminal violation of  ORS 162.355 Simulation of Legal Process (Paper Terrorism).

G. An expanded Conditional Acceptance -- Request for Proof of Claim, attached hereto, made fully part hereof, and included herein by reference, was served on Josephine County District Attorney's CLAY E. JOHNSON via U.S.P.O Registered Mail Article No RR463804155 US  (Received and signed for by agent G. JOHNSON, January 22, 2003).

H.  CLAY E. JOHNSON, District Attorney for the County of Josephine Oregon, again dishonored and thus defaulted on said second, expanded Conditional Acceptance -- Request for Proof of Claim by failing to establish Liability of Affiant through any of the enumerated proofs of claims within 10 days of receipt of said U.S.P.O Registered Mail Article No RR463804155 US document.

I.  CLAY E. JOHNSON, District Attorney for the County of Josephine Oregon, refused to investigate and prosecute Josephine County Deputy MICHAEL S. BURKE and a number of other Josephine County Deputies for criminal charges of Oregon Revised Statute 164.415 (1) Robbery in the First Degree in response to Affiant's complaint filed with, and received by CLAY E. JOHNSON via email sent to DA@co.josephine.or.us on September 8, 2002 (copy of complaint in court file).

J.  CLAY E. JOHNSON, District Attorney for the County of Josephine Oregon, refused to investigate and prosecute Josephine County Deputy MICHAEL S. BURKE  for filing a false sworn Affidavit (Traffic Citation #8890) claiming Affiant was uninsured at the time of the traffic stop while insurance records given to Deputy BURKE under duress showed that Affiant's insurance status was valid at the time of said traffic stop.  Said false Affidavit sworn by Josephine County Deputy MICHAEL S. BURKE resulted in a wrongful conviction via trial, held in absentia on October 4, 2002, while Affiant was in the custody of the Josephine County Sheriff's Office Jail faciilty. CLAY E. JOHNSON, District Attorney for the County of Josephine Oregon, refused to act on Affiant's complaint filed with, and received by CLAY E.
JOHNSON via email to DA@co.josephine.or.us  on November 14th, 2002.

By CLAY E. JOHNSON'S, District Attorney for the County of Josephine Oregon, dishonor/default regarding his refusal to respond to Conditional Acceptance -- Request for Proof of Claims, received by him on November 8th, 2002 and January 20, 2003, CLAY E. JOHNSON has not lawfully established Affiant's Liability to the charges stated in Josephine County Circuit Court case No. 02-CR-0617, and has thus stipulated to the facts that Affiant, this private man, is not subject to the Oregon Vehicle Code, and that he has a right to travel in his private vehicle/conveyance, in non-commercial use of same, and all charges brought against Affiant, as enumerated, are unfounded in Common Law, and the State of Oregon, by and through Josephine County, has no jurisdiction over this private man, Secured Party, Raymond Ronald Karczewskiª, has no claim, and therefore no controversy exists requiring adjudication by the court.

Further, by CLAY E. JOHNSON'S, District Attorney for the County of Josephine Oregon, dishonor/default regarding his refusal to respond to Conditional Acceptance -- Request for Proof of Claims, received by him on November 8th, 2002 and January 22, 2003, CLAY E. JOHNSON has given permission for a lien to be filed against him in the amount of Five Hundred Thousand United States Dollars ($500.000.00) for said admission, confession, dishonor by his silence, and default. (See attached Conditional Acceptance -- Request for Proof of Claim, dated January 20, 2003.)
 

Verification of Certification

I.  The Undersigned Affiant, Raymond Ronald Karczewski©, does herewith swear, declare, and affirm that Affiant executes this Affidavit with sincere intent, that Affiant can competently state the matters set forth herein, that the contents are true, correct, complete, and certain, not misleading, and the truth, the whole truth, and nothing but the truth in accordance with Affiant's best firsthand knowledge and understanding.

Date:  The Seventh Day of the Second Month in the Year of Our Lord Two Thousand Three

Signed: ____________________________________________________________
Autograph Common Law Copyright ©2002 by Raymond Ronald Karczewski©.  All Rights Reserved. No part of this Common Law Copyright may be reproduced in any manner without prior, express, written permission from Raymond Ronald Karczewski© as signified by Raymond Ronald Karczewski©'s signature in red ink.  Unauthorized use of "Raymond Ronald Karczewski" incurs same unauthorized-use fees as those associated with "RAYMOND RONALD KARCZEWSKIª
 

Attached: Conditional Acceptance -- Request for Proof of Claim - Nov. 8, 2002
               http://www.arkenterprises.com/prfclaim.html#Claim

               Conditional Acceptance for Value --Request for Proof of Claim - Jan. 20, 2003
               http://www.arkenterprises.com/linesand.html#Accountable

               Complaint re Robbery by Deputy Michael S. Burke and other deputies - Sep. 8, 2002
               http://www.arkenterprises.com/dialch64.htm#Deputies

              Complaint re False Affidavit by Deputy Michael S. Burke - Nov. 14, 2002
              http://www.arkenterprises.com/dialch66.html#JUSTICE

              DMV Notice of Conviction for Driving Uninsured - Oct. 30, 2002
              http://www.arkenterprises.com/dmv116.jpg

             Payment Coupon from DMV re Conviction for Driving Uninsured - Jan. 21, 2003

             Certification of Non-response by Notary - Feb. 7, 2003