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FILE ON DEMAND

DECLARATION AND AFFIDAVIT


__________________________________________________________________________________

:Phillip~Francis:~Hanley, Living King, ) Appeal # 2018AP001445


one of the people ) Case # (2018CV000092)
)
Appellant ) Declaration and Affidavit of
) :Phillip~Francis:~Hanley, Living King
) one of the people
Vs )
Mark R. Rohrer )
___________________________________________________________________________________

Declaration and Affidavit of:Phillip~Francis:~Hanley

I, Phillip~Francis:~Hanley, Living King, one of the people, being of sound mind


and 71 years of ages, being, noncombatant, peaceful people, declare:

1) I HAVE CHALLANGED THE COURTS Jurisdiction both subject matter


and persona over the living king, Phillip~Francis:~Hanley, Living King,
one of the people.
2) I was never served in the case # 2018cv000092 to start with and
therefore a trespass of all my rights, god given, as well all treaty’s and
Bills of Rights, UCC-1-308, Constitutional protections 4th, 5th, Title 42,
Title 18, (RICO), Title 15 and many more.
3) The Court had improper Status, Standing, Venue, and Jurisdiction
4) These are plain ERRORS
5) The Court knowing that Jurisdiction was challenged and had a duty to
act chose to not enter into the Court of Record the Jurisdiction, both
subject matter and personal, Status, Standing, Venue as required.
a. The Court set a hearing date after knowing I had appealed Mark R.
Rohrer’s contempt order, which was not issued for 10 days after
the hearing and never served on me.
b. My Objection to no jurisdiction over Phillip~Francis:~Hanley,
Living King, one of the people and the fact my Special Appearance
stated I was there as an interpreter only and the Fact of No
service made on me.
c. The Court believes it had service on me which is false.
FILE ON DEMAND
DECLARATION AND AFFIDAVIT
i. Service was in-fact placed in a Mail Box by the Officer in
front of many Witness and caught on Camera.
d. Mark R. Rohrer issued a Bench Warrant
i. I asked to see the Warrant They could not show me
ii. It was not Signed by a Judge
iii. It was not stamped by the Court
iv. It did not have any affidavits in support of it issue
v. It was issued to a wrong address
vi. It was issued to a wrong city
6) The officers left and days later stopped my car in Outagamie County,
County Road J and County Road U near the One Stop off 54 Oneida.
7) I was arrested and taken to the Brown County Jail and Booked on the
Void Warrant
8) I was held over night for the Manitowoc County Police
9) I complained about my Heart Medication which I never received
because I Had just had a Heart Operation and had 2 Stents put in my
Heart.
10) I take 12 Medication for my Heart which I never received at Brown
County Jail or at Manitowoc County Jail.
11) I appealed my Objection to Jurisdiction by Mark R. Rohrer’s
Contempt order under Appeal # 2018AP001445, Copy of Transcript and
request the court to Stay the lower court from any further action until
appeal is heard Denied against my Jurisdictional claims.
12) The Court of Appeals kept wanting to combine both my appeal#
2018AP001445 and Appeal# 2018AP001482 which I Objected.
13) The Court of Appeals allowed my 1-day record to be combined
with both appeals ( I believe this was an attempt to confuse the Court).
14) I was taken in front of Mark R. Rohrer, I Objected:
a. Being arrested by a Void order
b. Being arrested in Outagamie County which the Officers had no
Jurisdiction
c. Being arrested when no legal service was made on me
d. Being arrested when Mark R. Rohrer had no Jurisdiction over
Phillip~Francis:~Hanley, Living King, one of the people.
15) I was in that hearing as an Interpreter only as the transcript
clearly states and my Special Appearance also States.
16) I believe my property and personal rights have been trespassed
by Mark R. Rohrer.
FILE ON DEMAND
DECLARATION AND AFFIDAVIT
17) I believe my property and personal rights have been trespassed
by the Court of Appeals who has a duty to protect my property.
18) I believe my property and personal rights have been trespassed
by the Arresting officer from Hobert Police, Brown County,
19) I believe taking a liberty and putting a people in jail is a very
serious thing and because I believe Mark R. Rohrer acted outside of his
Office as Judge does remove his immunity.
20) The Court of Appeals had a duty to determine the Jurisdictional
Questions before the court could move period.

I will swear in court that all stated in this Declaration are True and
Correct under oath.

_________________________________ _______________________________________________
Witness Janice Hanley :Phillip~Franci:~Hanley January 21, 2019
King on the Land, Living on the Oneida Nation, Territories
of Wisconsin with full capacity at Common Law only.

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