Unlicensed Traveller's Automobiles are Now targeted for Piracy by the JOSEPHINE COUNTY
SHERIFF'S OFFICE in Josephine County Oregon
From: David Michael
Karczewski
and Raymond Ronald Karczewski©
1441
Hillside
Dr.
c/o PMB 115, PO
Box
RENO NEVADA. {89503
]
Cave Junction (97523)
Oregon
To: Judge THOMAS M.
HULL
Board of Commissioners
Traffic Court
Judge
Josephine County
Courthouse
Josephine County
Courthouse 500
NW 6th
Street
500 NW 6th
Street
.
Grants Pass, OR 97526
Grants Pass, OR 97526
KIRK L.
BRUST
SHERIFF GIL GILBERTSON
TRIAL COURT
ADMIN
Josephine County Sheriff's Office
Josephine County
Courts
601 NW 5th Street
500 NW 6th
Street
Grants
Pass, Oregon
97526
Grants Pass, OR 97526
DEPUTY SEAN
RAREY
Sgt. JOHN JUSTEMA
Josephine County Sheriff's
Ofc
Josephine County Sheriff's Office
601 NW 5th
Street
601 NW 5th Street
Grants Pass, OR
97526
Grants Pass, OR 97526
DISTRICT ATTORNEY STEPHEN CAMPBELL
JOSEPHINE COUNTY
500 nw 6th Street,
Grants Pass OR,97526,
(541) 474-5200,
DA@co.josephine.or.us
1993 Beige Cadillac 4dr. Deville TKR 072
See: License Plates rescinded July 18th, 2005.
http://www.arkenterprises.com/dialch146.html#Lorna
APPEARANCE . . BRIEF BY SPECIAL VISITATION/ Affidavit of Conditional
Acceptance REQUEST FOR PROOF OF CLAIM
Sent: U.S.P.O. Registered Mail Article No. RR 487 237 785 US
Feb. 22, 2010
FACTS:
The Following are the accurate events which occured on Feb 20th,
2010 This document has been prepared and typed by my Father,
Raymond Ronald Karczewski and has my full authorization and
acknowledgment regarding the truth and accuracy of the facts as they
are known to me.. . See Affidavit Below:
Saturday Feb, 20, 2010...11.00 Hrs. I, David Michael
Karczewski© accompanied by my father Raymond traveled to Town for
Breakfast and groceries. On the way to town, we passed a
JOSEPHINE COUNTY PATROL CAR heading south while we were going north on
Highway 199..
On the way home we passed a patrol car parked at the turnoff accross
from the intersection of Rockydale Road and hiway 199.. My dad
said they were watching for the car. Sure enough the patrol
car pulled out and followed us to our Slot at the Shady Acres RV Park.
turning the emergency lights on once we were in the park..
OREGON REVISED STATUTES 809.720. States: (1) A
police officer who has probable cause to believe that a person, at or
just prior to the time the police officer stops the person, has
committed an offense described in this subsection may, without prior
notice, order the vehicle impounded until a person with right to
possession of the vehicle complies with the conditions for release or
the vehicle is ordered released by a hearings officer. This
subsection applies to the following offenses:
(a) Driving
while suspended or revoked in violation of ORS 811.175 or 811.182.
(b) Driving
while under the influence of intoxicants in violation of ORS 813.010.
(c) Operating
without driving privileges or in violation of license restrictions in
violation of ORS 807.010.
(d) Driving
uninsured in violation of ORS 806.010.
It is clear that none of the above circumstances issued probable cause
for Deputy RAREY to pursue the Cadillac to the Camp Ground other than
recognizing that the Cadillac belonged to my father. That another
was behind the wheel seems to not matter that no laws were violated yet
cause DEPUTY RAREY to TARGET the automobile for impoundment. Deputy
RAREY had no cause or grounds for his action other than his arbitrary
unlawful intentions.
Past history shows they have stopped the automobile when my
father is behind the wheel due to false and fraudulent
information of SUSPENSION OF DRIVING PRIVILEGES posted on the OREGON
police computer. The STATE and COUNTY law enforcement authorities
have refused to remove such false information from their
computers, even though they have repeatedly dishonored themselves a
number of times via Commercial Default in refusing to answer the
questions of jurisdiction over my father, the Living, Breathing,
Flesh-and-Blood, Sentient Man who will not surrender to corporate
agents his Unalienable Right To Liberty (which includes the Right to
Travel)..
In Law, such Commercial defaults stand as Truth, When
uncontradicted by counterpoint rebuttal such Commercial Defaults stands
as Judgement. In essence the authorities, by their/your refusal
to respond to the questions of JURISDICTION accompanied by their/your
affidavit, accede to the Truth of the posiiton that a man of the
Sovereign People, my father and I have the right to travel in his
private automobile as the "Travel Conveyance of the Day" without
securing permissiion via a license from the STATE.
Yet they rule with the threat of gun, tasers, handcuffs in committing
piracy upon a law abiding public. Corporate Policies such as
Vehicle Code Regulations are merely Policy which rule corporate
entities who are subject to the Corporate STATE and COUNTY. They
are NOT LAW binding upon the American Sovereign People ..
Deputy Sean RAREY asked for my license, registration and
insurance. I showed him my NEVADA ID card since I have no
driver license with NEVADA. MY last license was with
CALIFORNIA years ago. The Registration on the plates had
been rescinded by my father since 2005, and he is awaiting return
of the actual Title of the automobile from OREGON DMV
before returning the plates and certificate of Title. Dad
showed RAREY proof of insurance on the cadillac.
I was subsequently cited for NO OPERATORS LICENSE Sect. ORS
807.010 AND 803.560 NO CURRENT
STICKERS. (b) The
stickers are displayed on the vehicle after the registration period
shown on the stickers. See Cite: #13334
As for me, I have no driver license issued to me in Oregon, Never had
one. It is my understanding that as a living, natural man of the
Sovereign People not engaged in Commerce, I am not required to have a
commercial driver license in order to travel in a private automobile.
It is my Unalienable Right To liberty to do so. Such Unalienable
Right to Liberty, includes the Right to Travel the publicly owned
roadways in the usual conveyance of the Day, the automobile and cannot
be abrogated by any government.
JUDGE HULL, it is my understanding that you have already been served
with a previous "Affidavit of Conditional Acceptance REQUEST FOR PROOF
OF CLAIM" sent Registered Mail # U.S.P.O. Registered Mail Article No.
RR 487 237 573 US on November 12th, 2009, and have yourself
defaulted in answering the questions of Jurisdiction and now stand in
Commercial Dishonor. See:
http://www.arkenterprises.com/hull6.html
JUDGE HULL, such Commercial Default in not answering the 23 questions
of JURISDICTION stands asTruth. Via such default, you sir, have
acceded to the Truth that my fathers position, is correct and true and
hence, stands as Truth in Commercial Law. Hence there is no
controversy for the traffic court to adjudicate. To make sure
there is no mistake in our relative positions, I, David Michael,
Karczewski am resending the same 23 questions on my behalf accompanied
by my affidavit.
I am also sending a copy of this Notice to the JOSEPHINE COUNTY
SHERIFF, GIL GILBERTSON, District Attorney STEPHEN D. CAMPBELL,
Trial Adminstrator KURT L. BRUST, SERGEANT JOHN JUSTEMA, AND DEPUTY
SEAN RAREY and to the JOSEPHINE COUNTY BOARD OF COMMISSIONERS and to
the TAXPAYERS OF JOSEPHINE COUNTY, AND THE AMERICAN PEOPLE via the
Internet..
I hope that you have the integrity to deal with this matter of
corruption coverup as District Attorney STEPHEN D. CAMPBELL, and
Sheriff, GIL GILBERTSON, have already their lack thereof, andskirted
the law in REFUSING to accept a similar "Affidavit of Conditional
Acceptance REQUEST FOR PROOF OF CLAIM" sent them on January 4th,
2010. See: http://www.arkenterprises.com/pirajoco.html
http://www.arkenterprises.com/dialch272.html#People
Sir, as I said, It is my understanding that you have already defaulted
on answering the questions of JURISDICTION put to you by my father.
When and until the following proofs of claims accompanied by my
affidavit can be rebutted point, by point by any or all of the
following: You Sir, the Assigned Traffic Court JUDGE hearing the
Citation #13334 issued by Josephine County Deputy SEAN RAREY, .the
unlawful impoundment of the automobile under the present
conditions of Color of Law (Corporate Policy) amount to theft and
conversion of private property, in property over which the STATE
has no standing, Deputy RAREY has committed the crimes of PIRACY,
THEFT, ROBBERY AND CONVERSION.. A Second Time..
Following are the questions of JURISDICTION WHICH MUST BE ANSWERED IF
LAW IS ASSUMED TO EXIST IN JOSEPHINE COUNTY OREGON.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
1. PROOF OF CLAIM on how the Oregon Constitution operates upon
me, David
Michael Karczewski, a living breathing, flesh-and-blood, sentient,
natural private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
2. PROOF OF CLAIM on how the State statutes by and through the
Oregon Legislature
and the DMV operate upon me, a living breathing, flesh-and-blood,
sentient, natural
private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
3. PROOF OF CLAIM that the name appearing on the charging
instrument, in capital
letters; David Michael Karczewski, is not a corporate fiction, but is
the name of the living,
breathing, flesh-and-blood, sentient, natural 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 private man, the
Secured Party, David Michael Karczewski, in his private capacity
unless consented to,
and/or contracted for, by that natural 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 private man,
the Secured Party, David Michael Karczewski, in his private capacity
unless consented to,
and/or contracted for, by that natural 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 private man, the Secured
Party, David
Michael Karczewski, in his private capacity unless consented to, and/or
contracted for, by
that natural 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 private man, the
Secured Party, David Michael Karczewski, in his private capacity unless
consented to,
and/or contracted for, by that natural private man.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
14. PROOF OF CLAIM that in my private capacity, that I, David
Michael Karczewski, a
living breathing, flesh-and-blood, sentient, natural 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 David Michael Karczewski, a living breathing,
flesh-and-
blood, sentient, natural 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 David Michael Karczewski, a living breathing,
flesh-and-
blood, sentient, natural 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 David Michael Karczewski,
a living breathing,
flesh-and-blood, sentient, natural private man in the event of any
damnification.
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
I, David Michael Karczewski, respectfully asks that you answer
these Jurisdictional questions regarding the Natural Man David Michael
Karczewski within 10 days of this registered mailing and well before
the scheduled traffic court appearance.. A non-response and/or
failure to provide proof of claim will constitute agreement that
charges brought against this living, breathing, flesh-and-blood,
sentient, natural man, David Michael Karczewski are
unfounded in common law and that my position is Truth and Lawful, and
my Unalienable Right to Liberty which includes the Right to Travel is
being infringed upon by the Josephine County Sheriff's office .
Failure and/or refusal to bring forth such ‘proofs of claim’
accompanied by your affidavit based on your own personal unlimited
Commercial liability will place you, once again in commercial
dishonor and default and thus constitute an admission of damage and
injury to David Michael Karczewski and Raymond Ronald Karczewski©,
living, breathing, flesh-and-blood, sentient, natural men in the amount
of $2,000,000.00 (Two Million Dollars) An additional
charge of $50,000.00 will be levied for the unlawful Theft/
Confiscation of the private automobile in which the OREGON DMV, STATE
OF OREGON and COUNTY OF JOSEPHINE has no standing. see:
http://www.arkenterprises.com/dialch146.html#Lorna
AFFIDAVIT
Affiant, David Michael Karczewski, a living,
breathing, flesh-and-blood, sentient, natural man, does swear and
affirm that Affiant has read the foregoing facts, and, in
accordance with the best of Affiant's firsthand knowledge and
conviction, such are true, correct, complete, and not misleading, the
truth, the whole truth, and nothing but the truth.
This Affidavit is dated the Twenty Second Day of the Second Month in
the Year of Our Lord Two Thousand Ten.
____________________________________________________
David Michael Karczewski
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
Composed and Typed by Raymond Ronald Karczewski©
STATE OF OREGON
County of Josephine } ss.
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: _______________________