STEVE RICH, Legal Counsel for
JOSEPHINE
COUNTY OREGON, What
Part of the Law Don't You Understand?
Raymond Ronald
Karczewski©
In Care of: PMB 115 Post Office
Box 1459
Cave Junction [97523]
Oregon Republic
STEVEN E. RICH
LEGAL COUNSEL
Josephine
County Courthouse, Rm 152
500 N.W. 6th
Street/Grants Pass OR, 97526
USPS Certified Mail Nbr. 7006 2150 0004 2199 7713
October 1st, 2008
Affidavit of
Conditional Acceptance REQUEST FOR
PROOF OF CLAIM
Mr
RICH, I received your letter
Dated Sept. 29, 2008. See:
http://www.arkenterprises.com/pendens5.jpg
ORS
93.740 reads thus;
Notice of lis pendens; contents;
recordation; effect; discharge.
(1) In all suits in which the title to or any interest in or lien upon
real property is involved, affected or brought in question, any party
thereto at the commencement of the suit, or at any time during the
pendency thereof, may have recorded by the county clerk or other
recorder of deeds of every county in which any part of the premises
lies a notice of the pendency of the action containing the names of the
parties, the object of the suit, and the description of the real
property in the county involved, affected, or brought in question,
signed by the party or the attorney of the party. From the time of
recording the notice, and from that time only, the pendency of the suit
is notice, to purchasers and incumbrancers, of the rights and equities
in the premises of the party filing the notice. The notice shall be
recorded in the same book and in the same manner in which mortgages are
recorded, and may be discharged in like manner as mortgages are
discharged, either by such party or the attorney signing the notice.
Mr
RICH, What
part of ORS 93.740 do you not understand.
A UCC-1 lien has
been filed against JOSEPHINE COUNTY
See: http://www.arkenterprises.com/ucc1joco.jpg
It reads:
"All right, title and interest of the
county in and to all monies
specifically stated and arising since default of Josephine County
agents/attorneys/employees described fully in Tort Claim date 3-3-03,
Afffidavit/Request for Proof of Claim dated 6-5-03,and Affidavit and
Notice of Default/Invoice dated 6-16-03, between Josephine County and
the Secured Party. Inquiring parties may consult directly with
debtor for ascertaining, in detail, the financial relationship
regarding this commercial transaction identified in document listed
above."
Mr
RICH, What part of Legal Definition
of default Judgement by "nil dicit" (NiHIL DICIT) do you not
understand". Bouviers Law Dictionary 1856 Edition defines "nil
dicit" (NiHIL DICIT) as:
"He says nothing. It is the failing of
the defendant to put in a plea
or answer to the plaintiff's declaration by the day assigned; and in
this case judgment is given against the defendant of course, as he says
nothing why it should not. Vide 15 Vin. Ab. 556; Dane's Ab. Index, h.
t."
Mr RICH, What
part of Legal Definition of
"joint" do you not understand?
Bouviers Law Dictionary 1856 Edition
defines "joint" as:
JOINT. United, not separate; as, joint
action, or one which is brought
by several persons acting together; joint bond, a bond given by two or
more obligors.
Mr RICH, What
part of the Maxims of Commerce
(which supercede circuit court proceeding when the County court,
District Attorney's office, and Josephine County Sheriff's Office are
party to the default and thus operate in a conflict of Interest don't
you understand?
MAXIMS OF
COMMERCE,
All are equal under the law
(both moral and natural law)
In commerce truth is sovereign.
truth is expressed by means of an
affidavit.
An unrebutted affidavit stands as the
truth in commerce.
An unrebutted affidavit becomes the
judgment in commerce.
A matter must be expressed to be
resolved.
He who leaves the field of battle
first loses by default.
Sacrifice is the measure of
credibility (if one has neither been
damaged nor incurred a risk, and is unwilling to swear an affidavit --
i.e., "true, correct, and complete," the commercial equivalent
of, " the truth, the whole truth, and nothing but the truth" -- on his
unlimited commercial liability for the veracity of his statements and
the legitimacy of his action, he has no credibility, and therefore no
basis for asserting claims/charges or claiming authority).
A lien or claim can be satisfied only
through rebuttal by
counteraffidavit point-for-point, resolution by jury, or payment.
Mr RICH, How
do you sleep at night claiming as
you have said, and I quote: "Josephine County is not a party in
either of these cases.
Mr. RICH, who the
hell kidnapped me at gunpoint and
robbed me of my private automobile if not the JOSEPHINE COUNTY
SHERIFF'S DEPUTIES.
Mr. RICH, who the hell
held this Living Breathing,
Flesh-and-Blood, Sentient, Natural Man hostage for 128 days in the
JOSEPHINE COUNTY JAIL for the debts of the Defendant JURISTIC PERSON,
over whom I hold Supreme Claim and am therefore indemnified as per Hold
Harmless and Indemnity Agreement NO# RRK-050302-HHIA See:
http://www.arkenterprises.com/holdharm.html
Mr. RICH, as Legal
Counsel for JOSEPHINE COUNTY, I now ask
you as I have asked countless others from the STATE OF OREGON and
COUNTY OF JOSEPHINE to set this matter to rest for once and all.
I ask this SIMPLE
QUESTION of you.. Does the Corporate
Administrative Court of Josephine County, a fiction in itself, have
JURISDICTION over a Living, Breathing, Flesh-and Blood, Sentient,
Natural Man of the Sovereign People who has not waived his rights,
consented to, or granted JURISDICTION to the Corporate court over
him? Will you answer that simple and direct question
along with a point by point rebuttal of the following 23 questions of
JURISDICTION which have been STONEWALLED by every agent, judge, and
prosecutor of the STATE OF OREGON and COUNTY OF JOSEPHINE,
They are:
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
1. PROOF OF CLAIM on how the
Oregon Constitution operates upon
me, Raymond
Ronald Karczewski©, a living
breathing, flesh-and-blood, sentient,
natural person, the
private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
2. PROOF OF CLAIM on how the
State statutes by and through the
Oregon Legislature
and the DMV operate upon me, Raymond
Ronald Karczewski©, a living
breathing, flesh-
and-blood, sentient, natural person,
the private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
3. PROOF OF CLAIM that the name
appearing on the charging
instrument, in capital
letters; RAYMOND RONALD KARCZEWSKI, is
not a corporate fiction, but is
the name
of the living, breathing,
flesh-and-blood, sentient, natural person,
the private man in his
private capacity.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
4. PROOF OF CLAIM that the
Oregon Revised Statutes (ORS) describe
any other class
of license other than for commerce or
for commercial trade, occupation
or profession.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon – 2001
Edition Article 1, Section 1
5. PROOF OF CLAIM that
this private man is specifically
named in the Oregon State
Statutes and more specifically ORS
cites as applied in this
matter. (See the PEOPLE
v.HERKIMER, 15 Am Dec 379, 4 Cowen
(N.Y. 345, 348 (1825)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon – 2001
Edition Article 1, Section 1
6. PROOF OF CLAIM that the
STATE OF OREGON, in its
Corporate capacity, has
Jurisdiction over this living,
breathing, flesh-and-blood,
sentient, natural person/private
man, the
Secured Party, Raymond Ronald
Karczewski© in his private capacity
unless consented to,
and/or contracted for, by that natural
person/private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon – 2001
Edition Article 1, Section 1
7. PROOF OF CLAIM that the
COUNTY OF JOSEPHINE, in its Corporate
capacity,
has Jurisdiction over this living,
breathing, flesh-and-blood,
sentient, natural person/private
man, the
Secured Party, Raymond Ronald
Karczewski© in his private capacity
unless consented to,
and/or contracted for, by that natural
person/private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon -- ARTICLE
XV MISCELLANEOUS 3.
Oaths of office
8. PROOF OF CLAIM that all
"Officers of the Court," which
include members of the
JOSEPHINE COUNTY DISTRICT ATTORNEY'S
staff, are under oath of office to
support and defend both U.S. and
OREGON Constitutions.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon -- ARTICLE
XV MISCELLANEOUS 3.
Oaths of office
9. PROOF OF CLAIM that
Deputies and/or Jail Staff, in their
capacity as Agents for the
CORPORATE JOSEPHINE COUNTY
SHERIFF'S DEPARTMENT, are bound by
their
oath of office to support and defend,
both U.S. and OREGON
Constitutions
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon – 2001
Edition Article 1, Section 1
10. PROOF OF CLAIM that
the CIRCUIT COURT OF THE STATE OF
OREGON
FOR
JOSEPHINE COUNTY, in its Corporate
capacity, has Jurisdiction over this
living,
breathing, flesh-and-blood, sentient,
natural person/private man, the
Secured Party,
Raymond Ronald Karczewski© in his
private capacity unless
consented to, and/or
contracted for, by that natural
person/private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon – 2001
Edition Article 1, Section 1
11. PROOF OF CLAIM of the
existence of the liability and
how it was created.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Constitution of Oregon – 2001
Edition Article 1, Section 1
12. PROOF OF CLAIM of what
'state' the liability came from,
the de jure state ('The
State') or the de-facto state ('This
State'), a mere corporation.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
13. PROOF OF CLAIM that
the State of Oregon DEPARTMENT OF
TRANSPORTATION,DMV, through its
Administrative Drivers Licensing
process, has
Jurisdiction over this living,
breathing, flesh-and-blood, sentient,
natural person/private
man, the Secured Party, Raymond Ronald
Karczewski© in his private
capacity unless
consented to, and/or contracted for,
by that natural person/private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
14. PROOF OF CLAIM that in my
private capacity, that I, Raymond
Ronald
Karczewski©, a living breathing,
flesh-and-blood, sentient,
natural person, the private man
is subject to Class A, B,
and C commercial driver license. (see
ORS 807.031)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
15. PROOF OF CLAIM that the State of
Oregon via the DMV sells any other
‘driver’
license.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
16. PROOF OF CLAIM that the
Motor Vehicle code does not operate
upon all ‘drivers’
of ‘all’ vehicles owned or operated by
‘the United States,’ ‘this
state,’ ‘or any county,’
‘city,’ ‘district,’ ‘or any other
political subdivision of this state’
… and thus operates upon
this private man. (see ORS 801.020)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
17. PROOF OF CLAIM that my
‘private vehicle is not a
‘recreational’ vehicle that is
operated solely for personal (private)
use. (see ORS 801.208)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
18. PROOF OF CLAIM that my
‘private vehicle is used for the
transportation of persons
for compensation or profit, or
designed or used primarily for the
transportation of
property (for hire).
(see ORS 801.210)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
19. PROOF OF CLAIM that Raymond Ronald
Karczewski©, a living
breathing, flesh-
and-blood, sentient, natural person,
the private man was a licensee at
the time of the ‘stop’
to subject himself
to the motor vehicle code by agreement
and as a signatory. (see Vehicle
Traffic Law, 1974
Rev Ed., page 238, 239)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
20. PROOF OF CLAIM that, “In view of
this rule a statutory provision
that the
supervision officials “may” exempt
such persons when the transportation
is not on a
commercial basis means that they
“must” exempt them, generally applies
in this matter
(State v. Johnson, 243 P. 1073; 60
C.J.S. section 94 pg 581)
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
21. PROOF OF CLAIM that Raymond Ronald
Karczewski©, a living
breathing, flesh-
and-blood, sentient, natural person,
the private man does not have the
right in light of
ORS 801.305.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
22. PROOF OF CLAIM that the ‘entity’
bringing forth this claim can
testify on the
witness- stand of the same and bring
all relevant evidence.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
23. PROOF OF CLAIM that the
prosecutor, as an agent of the State, has
established a
‘liability bond’ in this action to
indemnify Raymond Ronald
Karczewski©, a living
breathing, flesh-and-blood, sentient,
natural person, the private man
in the event of any
damnification.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Mr
RICH, as Legal Counsel for JOSEPHINE COUNTY, you have a sworn
duty to clear this matter up once and for all by answering the above
questions within 10 days of this certified mailing. Should
you fail to do so, you sir, shall, like your Josephine County
Associates listed below, be in default in the amount of
$2,000,000.00 (Two Million U.S.Dollars) . In addition. should you
chose remain in dishonor through default, I demand the Lis
Pendens be recorded in the County Recorders Office. Your name
shall also be added to the list of agents in the Notice of Lis
Pendens
See: Agents for STATE OF OREGON
and COUNTY OF JOSEPHINE:
JOSEPHINE COUNTY CIRCUIT COURT JUDGE
ALLAN HERBERT COON
JOSEPHINE COUNTY CIRCUIT COURT JUDGE
LINDI L. BAKER
JOSEPHINE COUNTY CIRCUIT COURT JUDGE
GERALD C. NEUFELD
JOSEPHINE COUNTY CIRCUIT COURT JUDGE
STEVEN L. GALLAGHER
JOSEPHINE COUNTY CIRCUIT COURT JUDGE
WILLIAM J. MACKAY
JOSEPHINE COUNTY CIRCUIT COURT
JUDGE ROSS G. DAVIS
JACKSON COUNTY CIRCUIT COURT JUDGE
WILLIAM G. PURDY
JOSEPHINE COUNTY CIRCUIT COURT
PRO TEM JUDGE J PAT WOLKE
JOSEPHINE COUNTY CIRCUIT COURT
JUDGE THOMAS M. HULL
JOSEPHINE COUNTY DISTRICT ATTORNEY
CLAY EDWARD JOHNSON
JOSEPHINE COUNTY DEPUTY DISTRICT
ATTORNEY NEIL CHARLES MOREY
JOSEPHINE COUNTY DEPUTY DISTRICT
ATTORNEY LISA MARIE TURNER
JOSEPHINE COUNTY SHERIFF DAVID HUBERT
DANIEL
JOSEPHINE COUNTY SHERIFF GIL GILBERTSON
JOSEPHINE COUNTY DEPUTY SHERIFF
MICHAEL S. BURKE
JOSEPHINE COUNTY DEPUTY SHERIFF
JOHN R. JUSTEMA
JOSEPHINE COUNTY DEPUTY SHERIFF
(RESERVE) LILLIAN MORGAN
JOSEPHINE COUNTY DEPUTY SHERIFF
CAMERON D. MONTROSE
OREGON STATE POLICE INVESTIGATOR
GRIFFITH HOLLAND
OREGON DEPARTMENT OF JUSTICE ASS'T
ATTORNEY GENERAL DAINA
VITOLINS
ODOT DEPUTY DIRECTOR DMV LORNA YOUNGS
DMV PROCESSING SERVICES MANAGER K.
FRANCES HANSON
MICHAEL B. BAIRD CLAIMS MANAGER
OREGON DEPARTMENT OF
ADMINISTRATIVE SERVICES/RISK
MANAGEMENT DIVISION
MR. CORT DOKKEN OREGON DEPARTMENT OF
ADMINISTRATIVE
SERVICES/RISK MANAGEMENT DIVISION
KENT GRANAT DIRECTOR JOSEPHINE COUNTY
DEPARTMENT OF HUMAN
RESOURCES/RISK MANAGEMENT DIVISION.
ALLEN B. deSCHWEINITZ ATTORNEY/AGENT
FOR JOSEPHINE COUNTY
DEPARTMENT OF HUMAN RESOURCES/RISK
MANAGEMENT DIVISION
OREGON SECRETARY OF STATE BILL
BRADBURY
CHIEF JOE HENNER, GRANTS PASS DEPT.
PUBLIC SAFETY
JOSEPHINE COUNTY TRIAL ADMINISTRATOR
KIRK BRUST
OREGON STATE POLICE TROOPER TRAVIS LEE
OREGON STATE POLICE SERGEANT JEFF
FITZGERALD
OREGON STATE POLICE HEARINGS JUDGE
CONRAD YUNKER
OREGON GOVERNOR TED KULONGOSKY
OREGON ATTORNEY GENERAL HARDY MYERS
This
matter of JURISDICTION must be
answer for it goes to the heart of Sovereignty of not only the
Sovereign People of Josephine County and the State of Oregon, but the
Sovereign American People.
AFFIDAVIT
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.
Dated this 2nd day of October,
2008
Respectfully submitted
_____________________________________
Raymond Ronald Karczewski©
Secured Party, Creditor, Claimant
STATE OF
OREGON )
) ss.
County of
JOSEPHINE )
STATE OF OREGON
BE IT
REMEMBERED, That on this _______ day of
______________, ______,
Before me, the undersigned, A Notary
Public in and for the State of
Oregon, personally
appeared the within named
______________________________________________
__________________________________________________________________
__________________________________________________________________
known to me to be the identical
individual AS described in
and who executed the within
instrument and acknowledged to me that
___________ executed the same
freely and
voluntarily.
IN TESTIMONY WHEREOF, I have hereunto set My
hand And affixed my official seal the day and Year
.
last above
Written.
_________________________________________
Notary Public of Oregon
My Commission expires: _______________________