Hearing Testimony and Demand Questions of JURISDICTION be Answered By Oregon Administrative Court Judge


Raymond Ronald Karczewski©     
In Care of: PMB 115 Post Office Box 1459
Cave Junction  [97523]
Oregon
                                                                                                                                                              March  27 th, 2008

CONRAD YUNKER Attorney
1596 Liberty St. S.E.
Salem OR.  97302
conrad@ceypc.com
                                              
                                                                                                      U.S.P.O. Registered Mail Article No. RR 487 279 919US

Mr.  CONRAD YUNKER,

I am glad that you called back for a rescheduling of the hearing scheduled for Monday the 31st of March , as I had missguessed the spelling of your
last name and could not find it in the Oregon Bar Association Search engine.

The rescheduling of the hearing to April 8th, 1:00 PM  is satisfactory.  It gives me the opportunity to send the evidence which otherwise would not
have been possible to reach you by  Monday, the 31st of March, due to time constraints and Post office delivery

Since you acknowledge that you are an Administrative Law Judge acting under contract with the STATE OF OREGON to handle such hearings for
the State Police,  you do have the authority to speak on behalf of the Color of Law Policies for the STATE OF OREGON the corporation, and thus
answer as evidence, the 23 questions of Jurisdiction (listed below), if at all, over this Living, Breathing, Flesh-and-Blood, Sentient, Natural Man as well as can Sgt. JEFF FITZGERALD, and and Trooper TRAVIS LEE, also operating as Agents for the STATE OF OREGON.

I am engaged in this hearing as a Living, Breathing, Flesh-and-blood, Sentient, Natural Man who has not waived any of my Unalienable and
Common Law Rights at any time.   My sole purpose is to have answered by yourself and/or any of the other participants in the hearing employed by the Oregon State Police  who have unlawfully made a claim upon me, this Living, Breathing, Flesh-and-Blood, Sentient, Natural Man.  If you have no
claim upon me nor can find any other participant  who is an agent for the State Police who has a claim upon me which can establish JURISDICTION
over this living man, then the monies extorted from me unlawfully in order to recover my private property automobile must be returned forthwith
along with an apology.and an admission that this fictional court has JURISDICTION only over the  fictional Juristic Person RAYMOND RONALD,
KARCZEWSKI over whom I hold supreme claim as Secured Party, Creditor, and Holder in Due Course, and not me, Raymnd Ronald Karczewski© , the living, Breathing, Flesh-and-Blood, Sentient, Natural Man.,  See attached UCC-1 Financing Statement

I, declare that on February 28th, 2008 at approximately 2PM, that I, Raymond Ronald Karczewski©  was a victim of an Act of Piracy at the hands of OREGON STATE Troopers,  TRAVIS LEE  and Trooper ELZY roaming the roadways of Josephine County and unlawfully impounding the Private Property  of a Living, Breathing, Flesh-and-Blood, Sentient, Natural Man  while they were acting under Maritime Law and in defiance of the Common Law and the Law of the Land, the U.S. Constitution.    The Oregon State Trooper's act, was an act of Plunder. (Plunder Defined as:  To sieze wrongfully or by force, steal.  To take booty, to rob.                

I am not a 14th Amendment Citizen, nor am I subject to the corporate policies of Corporations known as the UNITED STATES, STATE OF OREGON, OR JOSEPHINE COUNTY.                                                                                        

I, Raymond Ronald Karczewski©, a natural born American citizen, am a common man of  the Sovereign People, arising under the original jurisdiction of the de jure Constitution of the united States of 1789 as amended by the qualified electors of the several States of the American union and the Northwest Ordinance of 1787 for the Territories of the de jure united States.

I, Raymond Ronald Karczewski©, a Living, Breathing, Flesh-and-Blood, Sentient, Natural Man, am the Secured Party/Creditor, Holder in due course, and Authorized Representative for the Juristic Person RAYMOND RONALD KARCZEWSKI©,  I am not an accommodation party nor a surety for the debts of RAYMOND RONALD KARCZEWSKI© .

I, Raymond Ronald Karczewski©, am held harmless by  RAYMOND RONALD KARCZEWSKI© in HOLD HARMLESS AND INDEMNITY AGREEMENT NO: RRK-050302-HHIA, dated the Third Day of the Fifth Month in the Year of Our Lord Two Thousand and Two, against all claims, legal actions, orders, warrants, judgments, demands, liabilities, losses, depositions, summonses, lawsuits, costs, fines, liens, levies, penalties, damages, interests, and expenses whatsoever, both absolute and contingent, as are now due, and as might become due, now existing, and as might hereafter arise, and as might be suffered by, imposed on, and incurred by  RAYMOND RONALD  KARCZEWSKI© for any and every reason, purpose, and cause whatsoever. Said Hold Harmless and Indemity agreement is filed with the Josephine County Criminal Court Clerk's office.

Lee not only infringed upon my Right to Travel, he violated State Law when he impounded (Pirated) my privately owned auto.  Additionally, I was not on a public Road when stopped but on private property (Safeway Shopping Center in parking area of Bank of the Cascades.)   It is my intension to file criminal charges against Trooper LEE with the Josephine County District Attorney on charges of Piracy, Theft,  and Torture in his administration of "detainment."  

I  was stopped on Private Property (parking lot for Bank of the Cascades) in the Safeway Shoppiing Center near Union and Williams Highway, Grants Pass Oregon.  When asked for Idenification, I offered none to TROOPER #1, advising  LEE, that I was not required to be licensed as I was not engaged in Commercial Activity while travelling in my privately own automobile and that I had rescinded my ODL in 1999, there was no license to suspend or revoke. I added I had rescinded my Oregon Registration and State Plates, in 2006.   I advised LEE that I was on my way to STEPHEN'S MORTUARY approximately 1/2 mile away on Williams Highway to pick up the ashes of my wife who recently passed away.   I also had a Doctor's appointement in Medford at 3:30 pm.  He told me to forget abount the appointments.  I told LEE I did not consent to doing business with him and that He was Infringing upon my Right to Travel. It didn't matter to LEE.  

 Read the following Registered Letter of rescindment accompanied by Affidavit.  See:  http://www.arkenterprises.com/dialch146.html#SOVEREIGNTY   Since the rescindment, DMV has stopped sending renewal Registrations on both of my privately owned automobile used solely for personal use, thus acknowledging no further interest in my automobile.

These are the twenty-three (23) questions the State of Oregon and County of Josephine will not and have not answered for the six years.  The answers to these questions will clarify the clouded issue of JURISDICTION over this Living, Breathing, Flesh-and-Blood, Sentien, Natural Man..    The answers to these questions would also return our Constitutional Republic to the hands of the sovereign people, where it belongs.

~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
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. Yunker, This, in essence WILL BE my testimony and defense
submitted at the hearing on April 8th, 2008..  I do require that all questions
of JURISDICTION  listed above be answered accompanied by sworn oath
or affidavit, by  either you or the other Witnesses/Agents  who have been
served with such accemptance for value, upon Proof of Claim. and who
may appear for the hearing.  

                                                                  AFFIDAVIT                                                        

    Affiant, Raymond Ronald Karczewski©, Common Law Trade-Name/Trademark, © 2002, a living, breathing, flesh-and-blood, sentient, natural man, does swear and affirm that Affiant has scribed and 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 Eigth Day of the Third Month in the Year of Our Lord Two Thousand Eight.

____________________________________________________________
Raymond Ronald Karczewski©, Secured Party/Creditor, Claimant

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: _______________________

Attachments:   1cc:  Charge Back To Secretary of Treasury JOHN W. SNOW                           1 page    
                      1cc   Bill of Exchange to Secretary of Treasury JOHN W. SNOW                           3 pages
                       1cc  UCC-1  Financing Statement establishing  Raymond Ronald                            3 pages                                  
Karczewski© , Secured Party, Creditor over debtor RAYMOND RONALD KARCZEWSKI     3 pages                                                                                    
                       1cc  Hold Harmless and Indemnity Agreement                                                           3 pages
                       1cc  Registered Letter of Rescindment, accompanied by Affidavit to Director Lorna Young of Oregon DMV.                                                                                                                                                     3 pages