lEGAL NOTICE TO MINNESOTA ,MEDIA, ET AL 1DEC2018
Fighting DFL 4 decades Currently the Issue of Fair Housing Dirty Deals by Obama Boys DFL Chair Tom Perez,VC Muslin Keith Ellison, re USSC 10-1032 TITLED Magner vs Gallagher Dismissed out of Hand by then Asst. US Atrry Tom Perez, then Hud Commissioner complicit with City St. Paul,Coleman,former City Attry Sarah Grewing complicit with David Lillhaug, Apptl to Judge and Justice was a Bribe found at http://sharon4mnag.blogspot.com
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- https://ademocracy.blogspot.com/…/saint-paul-racketeering-l… Ten yrs later must reopen In a message dated 12/12/2017 1:27:22 AM Central Standard Time, sharon4anderson@aol.com writes:SHARONS DISCLAIMER
CITY ST. PAUL,AGENTS,ASSIGNS IN A PATTERNED ENTERPRISE
HAVE STOLEN SHARONS CAR,TRAILER,WATER,EXCESSIVE TAXACTION WITHOUT REPRESENTATION www.sharon4anderson.orgFOURTH VERIFIED CRIMINAL COMPLAINT ON INFORMATION
Paul Andrew Mitchell, Sui Juris
c/o Forwarding AgentSharon Anderson sharon4anderson@aol.com
651-776-5835
In Propria PersonaAll Rights Reserved
without PrejudiceSTATE OF MINNESOTA VIA ATTORNEY
GENERAL LORI SWANSON QUITAM RELATOR
SHARON ANDERSON VA WIDOW
CANDIDATE,PROPERTY OWNER ) Case No.
)
Plaintiff,S PLAINTIFF’S
v. ) VERIFIED CRIMINAL COMPLAINT
) ON INFORMATION:
STATE OF MINNESOTA,CITY ST.
PAUL,COUNTY OF RAMSEY,ALL
AGENCIES,DSI INSPECTORS ED
SMITH,JOHN DOE,MARY ROE AL
OTHERS SIMILARLY SITUATED )
) 18 U.S.C. 4, 1341, 1961 et seq.;
Defendants. ) 28 U.S.C. 1746; Supremacy Clause;
) CBPC §§ 6067, 6068, 6126, 6128;
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)
)
)
Intervenors. )
_________________________________)COME NOW the People of Minnesota ex rel.QuiTam Relator VA Widow Candidate Sharon Anderson aka Scarrella 4 Justice 221NW2 562 , now Relator in similar cases re www.sharon4mnag.blogspot.com Citizen of California,Private Attorney General and Federal Witness, to intervene here, to provide formal notice to all interested parties, and to demand mandatory judicial notice by this Attorney General, Grand Jury and honorable Court, of this charging the following as yet unnamed individuals with the corresponding criminal violations enumerated infra.Intervenors hereby formally charge all past and present members of The State Bar of Minnesota City Council Chris Tolbert,Jane Prince,Samuel Clark agent Rachel Tierney Gunderson Chris Coleman individuals, with the following specific crimes: MN Constution Art. III Separation of Powerscommission of multiple misdemeanors by the unauthorized practice of law and/or by failing to indorse and failing to exhibit the Certificate of Oath that is required to be indorsed upon all licenses to practice law in the State Minnesotacommission of multiple misdemeanors by consenting to collusion and deceit with the intent to deceive Courts and Party(s), by failing to support the Constitution and all other laws of the United States and of the State of Minnesota by employing means that are not consistent with the truth, and by seeking to mislead voting public,taxing agencys, judges and/or other judicial officers by artifices or false statements of fact or law,commission of multiple felonies by conspiring with others also charged herein (1) to commit all of the crimes enumerated above, (2) to cheat and defraud Persons of property by means which are in themselves criminal, and to obtain money or property by false pretenses, and (3) to pervert and obstruct justice and the due administration of the laws,commission of multiple felonies by placing in a Post Office, or in an authorized depository for U.S. mail, matters including but not limited to proofs of service to be sent and delivered by the U.S. Postal Service, for the purposes of executing schemes or artifices to defraud, and of obtaining money by means of false and fraudulent pretenses, representations or promises, after having devised or intended to devise said schemes or artifices to defraud and to obtain money by means of false and fraudulent pretenses, representations or promises, in violation of 18 U.S.C. 1341 (two or more counts per individual); and,commission of multiple felonies by conspiring to engage in a pattern of racketeering activity as a direct result of committing two (2) or more of the predicate acts itemized supra and at 18 U.S.C. 1961 during the preceding ten (10) calendar years, in violation of 18 U.S.C. 1962 (one or more counts per individual).INCORPORATION OF EVIDENCE
Plaintiff hereby incorporates by reference the entire contents of the Clerks’ dockets: in the instant case, in the District Court of the United States (“DCUS”) for the Eastern Judicial District of California (Sacramento) #CIV. S-01-1480 WBS DAD PS, in the United States Court of Appeals for the Ninth Circuit #02-15269 and #02-89005, and in the Supreme Court of the United States #03-5070, as if all such contents were set forth fully here, with particular emphasis on all material evidence assembled by Plaintiff to date implicating specific personnel of the Federal Judiciary with all crimes enumerated above, with impersonating officers of the United States (federal government), with obstruction of justice, and with conspiracy to engage in a pattern of racketeering activities. To conserve paper, included here also are the following Internet resources:U.S. Supreme Court, “Justices”:
http://www.supremelaw.org/copyrite/oconnor/ SBN 24077
http://www.supremelaw.org/copyrite/kennedy/ SBN 32544
http://www.supremelaw.org/copyrite/breyer/ SBN 38384 NAD
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