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Page 1: gig - Texas

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_

K‘ (‘gig Y1 CONFEBENTIAL

Affidavit for Immediate Rescission of Search Warrant and for Immediate .

Return of all assets upon receipt '

Affidavit for setting aside de facto aflidavit for evidentiary search warrant

Affidavit for setting aside search warrant for THE STATE OF TEXAS FOR. COUNTY OF COLLIN on behalf of Letha L. Sparks for all reasons fully

stated in the forwarding counter-affidavit in support.

Affidavit for immediate setting aside of Texas State' Securities Board document in its entirety as to order No. EnF-l_6-CDO-1746 and the

Emergency cease and desist order, et al

State of Texas et al )

)

County of Collin et al )

Stateof Texas et al to the office of any county sheriff, its agents, assignees, associates, associations, et al, or any peaceofficer of Collin County et al, Texas, or of the State of Texas '

_

Ceitified Retutn Receipt (Www.usps.c0m) 70l5 3430 0000 9654 7105 Texas State Securities Board -

20$ E. 10“ Street, s‘“ Floor Austin, Texas 78701-2407

i

Certified Return Receipt (www.usps.con1) 7015 3430 0000 9654 '7l 12 Office for Collin County Sheriff et al .

4300 Community Ave. ,

i '

McKinney, TX 75071

Certified Return Receipt (www.usps.c0rn) 7015 3430 0000 9654 7143 U.S. Department of Justice

'

950 Pennsylvania Avenue, NW Washington, DC 20530-0001

‘ éeovenumsm 5

exmmr §_n_ IL_ l of2

Page 2: gig - Texas

_///

Greetings: Whereas, an Affidavit was subscribed and sworn to before me on this day by Bobby Eugene Guess, who is a natural living blood man and who has reserved all rights in good faith, due to enrichment of others, and for all reasons stated within the attached conflicted jurisdictions as to facts stated Within the de faoto documents and affidavits: '

Bobby Eugene Guess, “Affiant” and “principal”

You are directed to immediately contact all interested de facto parties to -

immediately return all real and personal property back to the rightful place, known as a location listed as: 5300 Town and Country Boulevard, Suite 190, Frisco, Texas 75034, so that the real and personal property can be given back to the rightful owners for possession for all reasons stated by this document and affidavit in support thereof and due to violations under the UCC 1-207 for the peace for all. In addition this document and / or documents are being given in good Faith.

Whereas demand is made in good faith that this Warrant must be executed Within three (3) days, exclusive of the day of its issuance and execution, with your return therein, showing how you have executed the same. '

Issued at 4 '

o"clock pm on this 23- day of /4 Vim!” 2016, to certiiy which Witness my hand this day _

Affiantl real natural man

State of Texas '

County of Ci/Z‘ ~

,,/ Subscribed and sworn to before me on this % day of /4_¢y1u7£ $016, by 6 any:

d to J n the basis of satisfacto an prove m 0 ry evidence to be the person(s) who appeared before me on my sworn oath sitting in for State of Texas. ~

"Fl?" .

"( °“"':;n::: Si@a‘”e p Notice and OTICE to all parties of interest

2of2

Page 3: gig - Texas

Z kt L V U Y

J dfiae/mm

Affidavit for B>b)uy Eugene Guess, et al

State of Texas et al ) .

_ _) Know all men by These Presents County of Collin et al )

BEFORE ME, the undersigned authority, on this day personally appeared Affiant, who being by me duly sworn, deposes and says under oath as follows:

That I am Bobby Eugene Guess, who is the principal of an estate and who is operating on the land called America within the state of Texas and who has reserved all rights by this affient affidavit and as to:

Affiant demands the immediate rescission of Search Warrant and for immediate retuin of all assets upon receipt.

Affiant demands the immediate setting aside of de facto affidavit for evidentiary search Warrant, et al.

Affiant demands rescission for immediate setting aside the search Warrant for THE STATE OF TEXAS FOR COUNTY OF COLLIN on behalf of Letha L. Sparks for all reasons fully stated in the forwarding counter- affidavit in support.

Affiant demands immediate setting aside of Texas State Securities Board document in its entirety as to order N0. EnF-l6—CDO-1746 and the Emergency cease and desist order.

In addition, affiant states:

Thatl am of lawful age and am competent to make this Affidavit. I have firsthand knowledge of the facts stated herein.

That this sworn Affidavit is made as a matter of record as my right in my own proper person under the constitutions of the united states operating in and on the land called America. Artic1e(s): No bill of attainder, ex post facto law, retroactive law, or any law impairing the obligation of contracts, shall be made; and no person's property shall be taken, or applied to public use without just compensation being made, unless by the consent of such person;

' ‘ ’

1 of4

Page 4: gig - Texas

nor shall any law be passed depriving a party of a_ny remedy for the enforcement of a contract, which existed when the contract was made.

That I do not waive any of my rights at this time nor do I intend to waive any of my rights at any time without my written signed consent.

Affiant demands rescission for the immediate setting aside of any and all de facto documents as to:

Texas First Financial, et al '

Bobby Eugene Guess, et al Mechanical Motion Solutions, LLC

Due to the forwarding Facts: .

~ Statements made in the de facto document are clearly untme. ° Documents were issued without the written consent of all parties by wet J

signature which is a violation of individual constitutional rights and the declaration of independence.

' The targeted pmties of interest were not given propernotice that paperwork involving alleged violations Was not in compliance (if any, as it relates to their private standards) nor were parties of interest given any notice of remedy for alleged violations before executing the unlawful documents as it relates to any legal determination, which is required by law.

' The findings were obtained by private associations through and by unlawful means of fraud (intentional deception).

' The acts and actions taken by third parties operating under private associations were committed in violations of RICO, organized crime, and judicial crime. ‘

Affiant requests and demands that all parties must contest this affiant affidavit by counter-affidavit with a declaration by an independent notary due to conflict of interest by third parties who operate both in the public and private area.

Affiant demands that all unknown contracts Without all facts revealed be rescinded immediately [made void, null and have no effect as to any of affiant accounts, et

2of4

Page 5: gig - Texas

al] due to all rights reserved mid all special power of attorneys as to fraud (intentional deception). _

Affiant demands that all wet signature(s) be rescinded due to fiaud (intentional deception) and for all other reasons fully stated within this affidavit and others.

WHEREAS, the eternal and unchanging principles of the laws of Commerce are: A matter must be expressed to be resolved.

I

In Commerce, Truth is sovereign.i

Truth is expressed in the form of an Affidavit. '

An un-rebutted Affidavit stands as truth in Commerce. .

An un—rebuttecl Affidavit becomes Judgment in Commerce. An Affidavit of Truth, under Commercial Law, can be satisfied only:

' through a rebuttal Afiidavit of Truth, point by point; ' by payment; _

' by agreement; or ' by resolution of a jury by the rules of common law. ‘

All are equal under the law.

The Foundation of Commercial Law is based upon certain eternally just, valid, and moral Precepts and truth, which have remained unchanged for at least six thousand (6000) years having its roots in the Mosaic Law. Said Commercial Law forms the underpinnings of Western Civilization, if not all Nations, Law, and Commerce in this world. Commercial Law is non-judicial, and is prior and superior to, the basis of, and cannot be set aside or overruled by the statutes of any governments, Legislatures, Governmental or Quasi-Governmental Agencies, Courts, Judges, and Law Enforcement agencies that are under an inherent obligation to uphold said Commercial Law.

I declare under penalty of perjury under truth and the Laws of the United States of America for fairness Without discrimination and for the peace for all, that the above statements and the foregoing is true, correct, complete, and not misleading and contains the truth, the whole truth, and nothing but the truth to my knowledge and belief.

V

3of4

Page 6: gig - Texas

/ 1

Affiant

State of Texas/ Countyof ( 24241 /V

Subscribed d sworn to before me on this é day of A , 2016, by ' -

,;§ roved to me on the basis ofP Satisfactory evidence to be the pe1'son(s) Who appeared "before me on my sworn oath sitting in for State of T as.

Notary Signature: '

(Seal)

Notice and NOTICE to all parties of interest

This document shall remain private and confidential until further notice

mi ?.§'é2:.:.:2a:W.§ 10/M2011

4of4

Page 7: gig - Texas

��������

DEPUTY SECURITIES COMMISSIONER ~ ___’ , DAWDA APPLEBV

JOHNMORGAN'

,‘ ,-he »=,t_,‘\

\

BET“""'é,f$°K‘”°°D SEDURITIESOOMMISSIONER _\,;:~; <9? My

' a;,“"* EWALLVKINNEV \!‘:\‘ _" ,».~,t,

RONAKV. PATEL » ~<sl,~;=- / MEMBER \ ,

MEMBER

Aus"1ffiv';2;(§§§Q7§'1g167 ‘T€X_ll$ State \S'€C1J1‘iti€S Q30¢l1'L[ MAN wntunoe MEMBER

208 E.1W|h $lIeet, Elli F100! Austin, Texas 70701 2407 Pliunec rsizi ans-esnn . MmuEh§&”§;'°- JR“

Fmcslmllat (512) 305-8310 www.aab.tR>ias.§mI

August 26, 2016

V' a C-M RRR d I an electronic mail to [email protected] Mr. Bobby Eugene Guess Texas First Financial, LLC 5300 Town and Country Bivd,, Suite 190 Frisco, Texas 75034

RE: Order No. ENF-16-CDO-1746

Dear Mr. Guess:

Thank you for speaking with the Enforcement Division today. As discussed, the Enforcement Division is in receipt of your correspondence concerning the Emergency Cease and Desist Order, styled In the Matter of Texas First Financial. LLC: Bobby Euqene Guess: and Mechanical Motion Solutions, LLC, Order No. ENF-16-CDO-1746 (the “Emergency Order").

ln your correspondence, you request the Emergency Order be set aside in its entirely. As such, the staff is treating your correspondence as a request for hearing on behalf of all named Respondents. .

Section 23-2 of The Securities Act requires that upon receipt of a request for hearing a “hearing must be held not later than the 10"‘ date after the date the Commissioner receives the request for a hearing unless the parties agree to a later hearing date.“

As discussed, the hearing is held before an administrative law judge at the State Office ‘of Administrative Hearings ("SOAH") and the Enforcement Division bears the burden of proof to present evidence in support of the Emergency Order. Additional information about SOAH, including its procedural rules may be found at httpzl/www.soah.texas.gov. The Securities Act and its Rules and Regulations may be found at

httgs://www.ssb.texastgov.

Please note the SOAH proceeding relates solely to whether the Emergency Order should be affirmed, modified, or set aside. Any matters you wish to address concerning the execution of the evidentiary search warrant at Texas First Financiats business location on August 5, 2016 is not before SOAH.

GOVERNMENT g

l EXHIBIT

g3

Page 8: gig - Texas

Mr. Bobby Eugene Guess August 26, 2016 Page 2

The Enforcement Division will docket the matter at SOAH and provide you with a notice of hearing for the time and place of said hearing. The Enforcement Division will attempt to set this hearing within the 10 day requirement for the week of August 29"‘ through September 2"“ . Also as discussed, when the Enforcement Division provides you with the notice of hearing, it will also provide you with the evidence submitted to the

Securities Commissioner in connection with the recommendation that the Emergency Order be entered. V

Please advise the Enforcement Division in writing if you would like to waive the 10 day hearing requirement and have the hearing scheduled for a later mutually agreeable date. Absent such a waiver of the 10 day requirement, the hearing must be held within 10 days.

Should you have or obtain counsel to represent you in this matter, please have counsel communicate with the Enforcement Division on your behalf.

Thank you for your time and consideration in regard to this matter.

Sincerely, @Q.’& Travis J. lies Enforcement Attorney Enforcement Division

Page 9: gig - Texas

08/26/2016 13:18 DDT '1‘OL151Z3058398 FROM:B1'75902528

- ii T? .. wmmuaom

szcunrrrsscomesmusk ;~,€{i¢' =g}>*7-‘EM’

r M "W M ; >12,» 4-£1 qr

m»uu<v.m-am ‘~"$w / nenuw sucumrrzs cwmsslnnfilt _/,./

A,;“,;;§ggg§,;z~,=g,,, Tw(;1s$mte Securities (Board 7.ML’_W1h5|ruA. EIIIFMI

Pllflflu. (514 GHNMB ' 1

AIJl1|r|.Yu)wl7fl1B\-ZIVI FIn!YmL'0:(E!I.)€fl$-H510

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_ Q 7 u Ware rrrxilgiiqi ® k = =5\I| ubo\s1s. n ‘l. -1‘-

Mr. nbbyEg Guess .\V

First Finn , LLG _

300 Tuwn and n B|vd.. 190 -,

Frrivhgxaa 750a '

Page:

EH11 MM BLADYQNQDB CHAIR

E.wAux KINNEY MEMBER

DAVID/\. APPLEDV MEMER MAN WMDROP

MEMi€R IA1nUELRDMANO.JR.

MEMBER

f P = ,~ -- - '2’ DeaG _ O °REOd Nr=1;ao114e

W rMr.Guessr A ¢ -

_

Ank you meaklng wit I-; Enfcrcememsflon today. cussed. the

Enfgcement ' ~ ls in recei your corresp ooncemi the Emency

:3. seand Des 0,» styled '= alt - -- Fisk man -14¢» usss- 1‘ =. al -1rr erNo.ENF-’~ =9‘ e

(!h' genuy " - . ?;"r'

yo orrespondence, you request me cy Order be aside in Its '

Y e

such, the ff la lreafin urrespo a request earlng on bah - fé all amed ndenls, b

. 12

n23-2 cumles ctre as thatupnnre iptofa reqqtforhearlng a~»

>w must b not later 10"‘ date a dateth Commissioner'

e requefia hearing partles agr gfilater hearlng date.

���

As disc the haafln '

eld bafo dml lstratrve la at the State Offrce

Admr s e Hearm AH") and the En lmenl Dlvls bears lha burden of

<Iprcof to pgse evlden pork of ihen

y Orderi? al mformatlon

abo SOA@fing its 1 ra! rule' s may be ar

Secur Act and ules and aflcns may found at

, pr A ‘sh xs. ov. W Pleas ihe SOAH proceedirwtss snlsly to the Emem r

loaatxon on 5, 2018 Is not before

should b ed, modified, or set a e. ny matters yo w s address so g

ihe execufi I the svidentlary search t at Texas %noIa\‘s business

���

5 GOVERNMENT

I

2

3

EXHIBIT '1

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Page 10: gig - Texas

08/26/2018

I

13:18 PDT TO:l5123058398 FROM:8175802528 Page

Mr. Bobby Eugene Guess August 26. 2016 Page 2

TheE roementblvlsl will clopket the mellera SO n rovidyuu wl t =

of hearln orthellme an place ofsald hearlng he nforce enl vlsl ', atte pt

to set lhle rlng within t 10 clay requlrem ntt the w of ~| gu“' thro gh September 2“ . Also as dl seed, when lh Enf cement ivlslu pr you llh

the notice of h ring, it wlll lso provlde cu llh the ldan = ltted t the

Securltles Commls oner in cc nection wt the eoomm datlon _a = Em ensy

Order be entered.

Please advlselhe Enfor entDl slo lrl wrltlng you ~ ld llketow ethe1O day hearlng requlrement and 11 e the rlng scheduled '- a later mtually agreeable

date. Absent such a waiver of e 10 day requlreme the hearl;g’Fnuet be held wlthln

10 days.

Should you have or obteln counsel to eprese ' eu in thls matter, please have counsel

communlcate wilhtha Enforcement Dlvl‘ en ~ your behalf.

Thank you for your time and ounslderatl I regard to this matter.

'

Si erely,

Travls J. lles Enforcemeht Attorney Enforcement‘ lvislon

l

l

Page 11: gig - Texas

08/26/‘Z016 13:18 PDT TO: 15123058398 FROM:81.7580252B P636: 5 Ms1il- ECDO N0. ENF-I6-CDO-1746 Pagc l of!

u _‘ V E [Y] fig Bob uass <bab@ 1s(Ilnancla|.co|n>

1 “L1'

. w »< L \ ECDO No. ENF-16-CDO-1746

n'

1 1message ‘

\ _, .

Rachael Luna <r|[email protected]> ' Frl. Aug 26, 201 I 12:22 PM To: [email protected]

'

;

Mr. Guassi _

Please rind attached (he correspondence mailed out today ed mail, retur request ease Indicate to us ll you wnuld like ta have me hearing outside uflh day haerlng ‘-1 ement. » = »'

II be <:ontac\ing SOAH to get a hearing date and wlll advlas you accu I .

Thank you,

Rachael Luna , Attomey. Enlorcemam Division Tums Slate Securhles B rd

-

P. 0. Box 1:161 K Ausiln, Texas 78711 Ofllcei (512) 305-B392 t Fax: (512) 305~639{3

- E Guaas Oorrespnndenoo_032Bz01$.p 108K

A

\~

u%

Imps:/lmnil.googlemmlmallIul(l/’Iui=2¢S'4ik=9e05 Ie6663&view=pt8mcarcl1=inb0x&Ih= l 56_.. 8/26/2016

Page 12: gig - Texas

O8/ZB/2016 13:18 PDT 'i‘O:l5l23058388 FROM:Bl75902528 Page:

Affidavit for Immediate Rescission 01' Search Warrant and for Immediate Return of all asset upon receipt

Affidavit for setting aside de facto affidavit for evidentia ry search Warrant

Affidavit for setting aside search warrant for THE STATE OF TEXAS FOR COUNTY OF COLLIN on behalf of Lethe L. Sparks for all reasons fully

sieted in the forwarding counter-affidavit in support.

Affidavit for immediate setting aside oi‘ Texas State Securities Beard document in its entirety as to order No. Enli‘-16-CDO»l746 and the

Emergency cease and desist order, et al

State of Texas et al )

)

County of Collin et ai )

' State of Texas et al tothe office of any county sheriff, its agents, assignees, associates, associations, et al, or any peace officer of Collin County et ai, Texas, er of the Slate of Texas

Certified Return Receipt (www.usps.com) 7015 3430 0000 9654 7105 Texas State Seuurities Board 208 E. 10"‘ Street, s"' Floor Austin, Texas 78701-2407 -

Certified Return Receipt (www.usps.corn) 7015 3430 0000 9654 7112 Office for Collin County Sheriff et al 4300 Community Ave. McKinney, TX 15011 .

Certified Return Receipt (www.usps,eom) 7015 3430 0000 9654 7143 U.S. Department of Justice 950 Pennsylvania Avenue, NW Washington, DC 20530-0001

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Page 13: gig - Texas

Q8/Z6/ZOLB 13:18 PDT 'l‘O:l51.2305839B FROM:Bl75902528 Page:

Greetings: Whereas, an Affidavit was subscribed and sworn to before me on this day by Bobby Eugene Guess, who is a natural living blood man and who has reserved all rights in good faith, due to enrichment of others, and for all reasons stated within the attached conflicted jurisdictions as to facts stated within the cle facto documents and affidavits:

Bobby Eugene Guess, “Aftiant" and “principal”

You are directed to immediately contact all interested dc facto parties to immediately return all real and personal property back to the rightful place, knoum as a location listed as: 5300 Town and Country Boulevard, Suite 190, Frisco, Texas 75034, so that the real and personal property can be given back to the

rightful owners for possession for all reasons stated by this document and affldavit in support thereof and due to violations under the UCC l-207 for the peace for ail. In addition this document and / or documents are being given in good Faith.

Whereas demand is made in good faith that this warrant must be executed within three (3) days, exclusive of the day of its issuance and execution, with your retum therein, showing how you have executed the same.

Issued at ff o’ciock pm on this Z71- _‘day of 4 I/55.51" 2016, to certify which witness my hand this day

Affiantl real natural man

State of Texas County of Q! (/1 Subscribed and sworn to before me on this day of

fight?‘ ,20l6, by an evi for

Notice and NOTICE to all parties of interest

2 of 2

Que“ d /---»—-~_ , proved to m on the basis of satisfactory deuce to be the person(s) who appeared before me on my sworn oath sitting in State ofTexas. /

i

-

. I / , =t" D'vidn§|:1Z:!%:Erfl“

Slgfiatum L / 11%,./-.4; ’ _Q%§irro11

/ 4

Page 14: gig - Texas

08/26/2018 13:18 DDT TO:J.51.230583B8 FROM:8J.'7590252B P5129:

it Affidavit for Bo@y Eugene Guess, et al

State of Texas et al ) .

) Know all men by These Presents County of Collin et al )

BEFORE ME, the undersigned authority, on this day personally appeared Affiant, who being by me duly sworn, deposes and says under oath as follows:

That I am Bobby Eugene Guess, who is the principal of an estate and who is operating on the land called America within the state of Texas and who has reserved all rights by this affiant affidavit and as to:

Aftiant demands the immediate rescission of Search Warrant and for immediate return of all assets upon receipt.

Affiant demands the immediate setting aside of de facto affidavit for evidentiary search warrant, er al.

Affiant demands rescission for immediate setting aside the search warrant for Tl-IE STATE OF TEXAS FOR COUNTY OF COLLIN on behalf of Letha L. Sparks for all reasons fully stated in the forwarding counter- affidavit in support.

Affiant demands immediate setting aside of Texas State Securities Board document in its entirety as to order No. EnF-16-CDO-1746 and die Emergency cease and desist order.

In addition, affiant states:

Thatl am of lawfiil age and am competent to make this Affidavit. I have firsthand knowledge of the facts stated herein.

That this sworn Affidavit ismade as a matter of record as my right in my own proper person under the constitutions of the united states operating in and on the land called America. Article(s): No bill of attainder, ex post facto law, retroactive law, or any law impairing the obligation of contracts, shall be made; and no person's property shall be taken, or applied to public use withoutjust compensation being made, unless by lhe consent of such person;

lof4

Page 15: gig - Texas

08/28/2018 13:18 PDT TO: 15123058395 FROM18l75902528 Page:

nor shall any law be passed depriving a party of any remedy for the enforcement of a contract, which existed when the contract was made.

That] do not waive any of my rights at this time nor do 1 intend to waive any of my rights at any time without my written signed consent.

Affiant demands rescission for the immediate setting aside of any and all de facto documents as to:

Texas First Financial, et ul Bobby Eugene Guess, et al Mechanical Motion Solutions, LLC

Due to the forwarding Facts:

' Statements made in the de facto document are clearly untrue. ' Documents were issued without the written consent of all parties by wet

signature which is s violation of individual constitutional rights and the declaration of independence.

- The targeted parties of interest were not given proper notice that paperwork involving alleged violations was not in compliance (if any, as it relates to their private standards) nor were parties of interest given any notice of remedy for alleged violations before executing the unlawful documents as it relates to any legal determination, which is required by law.

' The findings were obtained by private associations through and by unlawful means of iraud (intentional deception).

Q The acts and actions taken byithird parties operating under private associations were committed in violations of RICO, organized crime, and judicial crime.

Affiant requests and demands that all parties must contest this affiant affidavit by counter-affidavit with a declaration by an independent notary due to conflict of interest by third parties who operate both in the public and private area.

Affiant demands that all unknown contracts without all facts revealed be rescinded immediately [made void, null and have no effect as to any of affiant accounts, et

2 of4

Page 16: gig - Texas

08/26/2016 13:18 PDT 'l'O:151230'58388 FROM : 8175902528 Page:

al] due to all rights reserved and all special power of attorneys es to fraud (intentional deception).

Affiant demands that all wet signature(s) he rescinded due to fraud (intentional deception) and for all other reasons fully stated within this affidavit and others.

WHEREAS, the eternal and unchanging principles of the laws of Commerce are: A matter must be expressed to be reso‘ .ved. In Commerce, Truth is sovereign.

Truth is expressed in the form of an Affidavit.

An un-rebutted Affidavit stands as truth in Commerce. An un-rebutted Affidavit becomes Judgment in Commerce. An Affidavit ofTruth, under Commercial Lew, can be satisfied only:

' through a rebuttal Affidavit of Truth, point by point; ' by payment; - by agreement; or ' by resolution of a jury by the rules of common law.

All are equal under the law.

The Foundation ofOommercial Law is based upon certain eternally just, valid, and moral Precepts and truth, which have remained unchanged for at Least six thousand (6000) years having its roots in the Mosaic Law. Said Commercial Law forms the underpinnings of Western Civilization, if not all Nations, Law, and Commerce in this world. Commercial Law is non-judicial, and is prior and superior to, the basis of, and cannot be set aside or overruled by the statutes of any governments, Legislatures, Governmental or Quasi-Govemmental Agencies, Courts, Judges, and Law Enforcement agencies that are under an inherent obligation to uphold said Commercial Law.

I declare under penalty of perjury wider truth and flie Laws of the United States of America for fairness without discrimination and for the peace for all, that the above statements and the foregoing is n-net correct, complete, and not misleading and contains the truth, the whole truth, and nothing but the truth to my knowledge and belieii

3of4

Page 17: gig - Texas

O8/Z6/201.6’ 13:18 PDT 'I'0:15123058398 FROM:8l75902528 Page: 11

_ \ Affiant

i

State of Texas County of { Q42}; . ,,,/ Subscribed d sworn to before me on this é day of

2016, by r

.

, proved to me on the basis of satisfactozy evidence to be the pe1’son(s) who appeared before me on my sworn oath sitting in for State of T as.

Notary Signature: ' '

(Seal)

Notice and NOTICE to all parties of interest

This document shall remain private and confidential until further notice

* \ mesme-" > mmmxumwl

. (H. 1imnw\1

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Page 18: gig - Texas

OB/25/2016 13:18 PDT '1‘O:15.L23058398 FROPM8175902528 Page

- Fax Transmission To; RacheIetal,Travlselai From: bobby

Fax: 1512sosasea Date: 8/26/2016

RE; retumtosender Pages: 11

COMMSHISI

Page 19: gig - Texas

08/26/2018 13:18 PDT 'l‘O:1512SO58393 FROM:8.'l.75902528 Page

August 26, 2016 .“Notice”

Re: Return Documents for all reasons stated by this document and attached documents in support thereof.

Return to sender due to conflicting jurisdiction and violations of RICO Act and after proper notice was given to Travis (see notes).

“I do not waive any rights.” Final Demand given for immediate letum of all property!

bobby! not an attorney private association

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“No contract”