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Claim for Compensatory and Punitive Damages Delivery Confirmation 12-17-24 USPS Prority Mail #9505510408274342705731 by Citrus County Clerk of Courts & Comptroller Angela Vick (5 files merged)
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0% found this document useful (0 votes)
231 views69 pages

USPS Tracking: Need More Help?

Claim for Compensatory and Punitive Damages Delivery Confirmation 12-17-24 USPS Prority Mail #9505510408274342705731 by Citrus County Clerk of Courts & Comptroller Angela Vick (5 files merged)
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd
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are in violation of the Plaintiff’s Security Agreement, the United Nations Convention on the Law of the Sea, the
U.S. Constitution and the Uniform Commercial Codes.

Exhibit A. (https://www.law.cornell.edu/wex/intentional_interference_with_contractual_relations).

Count 2. Intentional infliction of emotional distress: The Defendants Deputy Christopher Runnels and Deputy
Joseph Amigliore III traffic stop and an issuance of Citation/Bond #AIESILE on August 9th, 2023, for not
having a “valid” registration was in contradiction to the Supreme Court case decision People vs Nothaus. The
Plaintiff was forced and intimidated under threat, duress and coercion into a contract of adhesion in violation 28
U.S.C. §1360 and his Indigenous Rights. The Supreme Court decided that no State government entity has the
power to allow or deny passage on the highways, byways, nor waterways transporting his vehicles and personal
property for either recreation or business, but by being subject only to local regulation i.e., safety, caution,
traffic lights, speed limits, etc. Travel is not a privilege requiring licensing, vehicle registration or force
insurances.

Exhibit B. Constitutional Law, Safety Responsibility Law as a Deprivation of Due Process - People v. Nothaus,
363 P.2d 180 (Colo. 1961) (https://via.library.depaul.edu/cgi/viewcontent.cgi?article=3450&context=law-
review).

Count 3. Aiding and Abetting, accessories after the fact: The Defendants are in violation of their Oaths of
Office (5 U.S.C. §7311) and dereliction of their duties colluding with Santander Consumer USA Inc. and the
FLHSMV which has damaged the Plaintiff. The Defendants failed to report or investigate Santander Consumer
USA Inc. securities fraud and unethical business practices in which they destroyed the Promissory Note for
Automobile Title #1510909 vehicle identification #KL77LFE21RC00367. Pursuant to Florida Statute §839.24 a
sheriff, county court judge, prosecuting officer, court reporter, stenographer, interpreter, or other officer required
to perform any duty under the criminal procedure law who willfully fails to perform his or her duty shall be
guilty of a misdemeanor of the second degree, punishable as provided in Florida Statutes §775.082 or §775.083.

Exhibit C.
(http://www.leg.state.fl.us/Statutes/index.cfm?App_mode=Display_Statute&Search_String=&URL=0800-
0899/0839/Sections/0839.24.html).

Count 3. Genocide 18 U.S.C. §1091(a)3, (c)(d)(e)(f): The Defendants were given prior public notice that the
Copyright Trademark Name REGINALD OWENS ©™ Legal Status in Commerce is a White Indigenous
Autochthon of Aniyunwia descent who is not a surety/stand-in/decedent/replacement, in any manner of ANY
Legal Fictions.
In accord with Canon 2057 any Administrator or Executor that refuses to immediately dissolve a Cestui Que
Vie Trust upona Person establishing their status and competency, is guilty of fraud and fundamental breach of
their fiduciary duties requiring their immediate removal and punishment.

Exhibit D. (https://www.scribd.com/document/767061830/Certified-Copy-Financing-Statement-and-Security-
Agreement-Instrument-2018037763-for-REGINALD-OWENS-F-S-671-207-A-R-R-Publish-Attachments-7-9-
20).

Count 4. Defamation of Character: The Defendants acts of defamation, libel and slander has caused damage to
the reputation of the Plaintiff. In accord with Canon 2124 when a person has re-established their competent
living status, then by law the Cestui Que Vie Trust is dissolved, and they return to being acknowledged as a
beneficiary or some higher standing if a Trust. In either case, it is both unlawful and a serious fraud against the
law to seek Income Taxes once the Cestui Que Vie is dissolved and no (dead) body corporate exists to use as
argument for rent.

Exhibit D. (https://www.law.cornell.edu/uscode/text/28/4101).
Count 5. Libel: 5th Judicial Circuit Court Judge Charles L.W. Helm wrote a libelous statement on two occasions
that the Plaintiff’s Judicial Notice of Indigenous Standing was a ‘Sovereign Citizen Pleading”. This was a priori
assumption that was false and misleading causing damage to the copyright trademark name REGINALD
OWENS ©™ in violation of the Plaintiff’s Security Agreement. Pursuant to Florida Statute §836.01 any person
convicted of the publication of a libel shall be guilty of a misdemeanor of the first degree, punishable as
provided in §775.082 or §775.083.

Exhibit E. (http://www.leg.state.fl.us/statutes/index.cfm?App_mode=Display_Statute&URL=0800-
0899/0836/0836.html).

Count 6. Contractual Liability: The Defendants are guilty of Conspiracy in Restraint of Trade or Commerce by
breaching the Plaintiffs Certified Commercial Security Agreement #030919642018, UCC-1 Financing
Statement #2018037763, 15 U.S.C §1, §2, §3, and the 1948 United Nations Charter.
Every contract, combination in the form of trust or otherwise, or conspiracy, in restraint of trade or commerce
among the several States, or with foreign nations, is declared to be illegal. Every person who shall make any
contract or engage in any combination or conspiracy hereby declared to be illegal shall be deemed guilty of a
felony, and, on conviction thereof, shall be punished by fine not exceeding $10,000,000 if a corporation, or, if
any other person, $350,000, or by imprisonment not exceeding three years, or by both said punishments, in the
discretion of the court.

Exhibit F. (https://uscode.house.gov/view.xhtml?req=granuleid:USC-1999-title15-
section1&num=0&edition=1999#:~:text=Every%20contract%2C%20combination%20in%20the,is%20declared
%20to%20be%20illegal.).

Count 7. Conspiracy Against Rights Title 18 U.S. Code §241: The Defendants agreed to injure, threaten &
intimidate the Plaintiff with their Larceny of Tricks denying the free exercise and enjoyment of the Plaintiff’s
Inalienable Indigenous Rights and privileges secured by the following recognized & valid Treaties; Pope Paul
III 1537 Sublimis Deus, the Jay Treaty of 1794, the 1931 Statue of Westminster, the 1778 Articles
Confederation & Perpetual Union-Art.-XI, the 1812 Treaty of Ghent, the 1836 Treaty of Marrakesh and
President Joe Bidens apology to the American Indians October 25th, 2024.
(https://www.youtube.com/shorts/w2ixFVazN-g).

Exhibit G. (https://www.justice.gov/crt/statutes-enforced-criminal-section).

Count 8. Pain and suffering: The Plaintiff, a disabled person since 2014, has suffered from a diminished quality
of life, emotional distress and emotional trauma daily since the uneventful traffic stop on August 9th, 2023, by
the Defendants. The Plaintiff’s pain and suffering includes all items of non-pecuniary damages that includes the
loss of enjoyment of life and the anguish caused by the inability to participate in activities that once brought
pleasure.
Exhibit F. (https://www.law.cornell.edu/wex/pain_and_suffering).

NON-NEGOTIABLE
Defendants in Case #2023-TR-11218 are Ordered to pay Compensatory and Punitive Damages to the Plaintiff
REGINALD OWENS ©™, the aggrieved and damaged party in the amount of $28,695,000.00 (Twenty-Eight
Million Six Hundred Ninety-Five Thousand Dollars). Functional Currency. Gold /and or silver equivalent by the
ounce at the current market value rate; Penalties and interest accruing at a daily rate of 9%. All Calculations are
in accord with Caveat on Certified Commercial Security Agreement – 030919642018 filed July 18th, 2018, with
the Citrus County Clerk of Courts and Comptroller Angela Vick, Certified UCC-1 Financing Statement
Instrument #202302684380 filed October 1st, 2023, and Certified UCC-1 Financing Statement Instrument
#2024E070500036 filed in the Commonwealth of West Virginia July 5th, 2024. In accord with the Federal
Rule(s) of Civil Procedures Rules 8 & 10. 431 Days Past Due.
Exhibit H. (https://opensea.io/collection/certified-nft-ucc-1-active-lien-202302684380-again).
Exhibit I. (https://www.scribd.com/document/785258214/Certified-Copy-UCC-1-West-Virginia-File-
20240706330965-Judge-Edward-C-Spaight-Christopher-Runnels-the-State-of-Florida).

CAVEAT

1. Whenever the complainant can show title to the subject matter in himself and also an interest in the
defendant and an apparent legal matter against the latter concerning it which cannot be enforced without
the aid of discovery a court of equity will compel it.

Exhibit J. Institute of American Law John Bouvier.


(https://archive.org/details/institutesameri01bouvgoog/page/n28/mode/2up).

2. Whoever, being an officer, clerk, agent, or other employee of the United States or any of its agencies,
charged with the duty of keeping accounts or records of any kind, with intent to deceive, mislead, injure,
or defraud, makes in any such account or record any false or fictitious entry or record of any matter
relating to or connected with his duties; or Whoever, being an officer, clerk, agent, or other employee of
the United States or any of its agencies, charged with the duty of receiving, holding, or paying over
moneys or securities to, for, or on behalf of the United States, or of receiving or holding in trust for any
person any moneys or securities, with like intent, makes a false report of such moneys or securities;
Shall be fined under this title or imprisoned not more than ten years, or both.

Exhibit K. 18 U.S. Code § 2073 - False entries and reports of moneys or securities.
(https://www.law.cornell.edu/uscode/text/18/2073).

3. Each deputy sheriff who is appointed shall give bond as required by the board of county commissioners.
The amount of the bond and the bond must be approved by the board of county commissioners. The
bond must be filed with the clerk of the circuit court and be conditioned upon the faithful performance
of the duties of his or her office. A deputy sheriff may not perform any services as deputy until he or she
subscribes to the oath prescribed for sheriffs. Sureties are liable for all fines and amercements imposed
upon their principal.

Exhibit L. Bid Bond Performance Bond & Payment Bond SF24, SF25, SF25A Delivery Confirmation
to Angela Vick for Citation #AIESILE / Case #2023-TR-11218.

(https://opensea.io/assets/ethereum/0x495f947276749ce646f68ac8c248420045cb7b5e/92260078088747920
483222669951440758055412540951508038808659642852921193891488).

Exhibit M. Florida Statue 30.09. (https://www.law.cornell.edu/uscode/text/28/1737).

4. 5th Judicial Circuit Court Judge Charles L. W. Helm’s decision in case #2023-TR-11218 was defective
and a complete Nullity with no legal effect. He had no personal jurisdiction, territorial jurisdiction or
subject matter jurisdiction which violated the Plaintiff’s due process with no entry of order. A void
judgment can be attacked at any time, even collaterally.

Exhibit N. U.S.C.A. Const. Amend. 5 - Triad Energy Corp. v. McNell 110 F.R.D. 382 (S.D.N.Y. 1986).
(http://www.voidjudgements.net/suedc/WhatMakesAJudgmentVoid.pdf).
UCC FINANCING STATEMENT
FOLLOW INSTRUCTIONS
A. NAME & PHONE OF CONTACT AT FILER (optional)
State of West Virginia
A'AFERTI MA'AT AMUN RE-EL ®©™ 8137935641
Secretary of State
B. E-MAIL CONTACT AT FILER (optional) Business and Licensing Division
[email protected] UCC Section
C. SEND ACKNOWLEDGMENT TO: (Name and Address) Filed
A'AFERTI MA'AT AMUN RE EL ®©™ 2024E070500036
PO BOX 166 07/05/2024 7:04:08 PM
HOLDER, FL 34445
USA

THE ABOVE SPACE IS FOR FILING OFFICE USE ONLY


1. DEBTOR'S NAME: Provide only one Debtor name (1a or 1b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor’s name); if any part of the Individual Debtor’s
name will not fit in line 1b, leave all of item 1 blank, check here and provide the Individual Debtor information in item 10 of the Financing Statement Addendum (Form UCC1Ad)

1a. ORGANIZATION'S NAME

OR
1b. INDIVIDUAL'S SURNAME FIRST PERSONAL NAME ADDITIONAL NAME(S)/INITIAL(S) SUFFIX

SPAIGHT EDWARD C
1c. MAILING ADDRESS CITY STATE POSTAL CODE COUNTRY

110 North Apopka Ave Inverness FL 34450 USA


2. DEBTOR'S NAME: Provide only one Debtor name (2a or 2b) (use exact, full name; do not omit, modify, or abbreviate any part of the Debtor’s name); if any part of the Individual Debtor’s
name will not fit in line 2b, leave all of item 2 blank, check here and provide the Individual Debtor information in item 10 of the Financing Statement Addendum (Form UCC1Ad)

2a. ORGANIZATION'S NAME

OR
2b. INDIVIDUAL'S SURNAME FIRST PERSONAL NAME ADDITIONAL NAME(S)/INITIAL(S) SUFFIX

RUNNELLS CHRISTOPHER
2c. MAILING ADDRESS CITY STATE POSTAL CODE COUNTRY

1 Dr Martin Luther King Drive Inverness FL 34450 USA


3. SECURED PARTY'S NAME (or NAME of ASSIGNEE of ASSIGNOR SECURED PARTY): Provide only one Secured Party name (3a or 3b)
3a. ORGANIZATION'S NAME

OR
3b. INDIVIDUAL'S SURNAME FIRST PERSONAL NAME ADDITIONAL NAME(S)/INITIAL(S) SUFFIX

EL ®©™ A'AFERTI MA'AT AMUN RE


3c. MAILING ADDRESS CITY STATE POSTAL CODE COUNTRY

PO BOX 166 Holder FL 34445 USA


4. COLLATERAL: This financing statement covers the following collateral:

UPS Courier Tracking #1Z3V88060375877950, Judicial Notice of Indigenous Standing Delivery Confirmation 10/10/2023,
USPS Priority Signature Mail Receipt #9510810408274103654721. Judicial Notice of Indigenous Standing Delivery
Confirmation 4/15/2024, USPS Priority Signature Mail Receipt #9510810408274103654684 State of Florida Judicial
Qualifications Commission Delivery Confirmation 4/15/2024.UCC-1 Financing Statement Instrument #2023035728, UCC-1
Financing Statement Instrument #202302684380.
1. Oath of Office for Judge Edward C Spaight/ Blockchain (https://opensea.io/collection/oath-of-office-for-judge-edward-c-
spaight-5th-judi).
2. Oath of Office Judge Charles L.W. Helm/ Blockchain (https://opensea.io/collection/nft-certified-copy-of-the-oath-of-office-
for-citru).
4. The Bar Treaty of 1947 (https://www.scribd.com/document/238841286/The-Bar-Treaty-of-1947).
5. The 1948 United Nations Charter (https://www.un.org/en/about-us/un-charter).
4. Proceedings in which State immunity cannot be invoked Commercial transactions
See attachment.
5. Check only if applicable and check only one box: Collateral is held in a Trust (see UCC1Ad, item 17 and Instructions) ✘ being administered by a Decedent’s Personal Representative
6a. Check only if applicable and check only one box: 6b. Check only if applicable and check only one box:
Public-Finance Transaction Manufactured-Home Transaction A Debtor is a Transmitting Utility ✘ Agricultural Lien Non-UCC Filing

7. ALTERNATIVE DESIGNATION (if applicable): Lessee/Lessor Consignee/Consignor Seller/Buyer ✘ Bailee/Bailor Licensee/Licensor

8. OPTIONAL FILER REFERENCE DATA:


https://youtu.be/E2GEyA1xrZU?si=bO6OeDv_l14Uo2CM
International Association of Commercial Administrators (IACA)
FILING OFFICE COPY — UCC FINANCING STATEMENT (Form UCC1) (Rev. 04/20/11)
1/55
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IN THE COUNTY COURT OF THE FIFTH JUDICIAL CIRCUIT
IN AND FOR CITRUS COUNTY, FLORIDA

Plaintiff

A’aferti Ma’at Amun Re-El ®©™ Case # 2023-TR-11218

Defendants

Charles Lawrence Wayne Helm


in his official capacity as County Judge for the Fifth Judicial Court of

Citrus County Florida, Angela Vick


in her official capacity as Citrus County Florida Clerk of the
Court & Comptroller

Mike Pendergrast
in his official capacity as Citrus County Florida Sheriff.

Christopher Runnels Badge #1717


in his official capacity as Sheriff’s Deputy,

Joseph Amigliore III Badge #1606


in his official capacity as Sheriff’s Deputy

Robert R. Kynoch
in his official capacity as FLHMSV Director of Motor Services

David Kerner
in his official capacity as FLHMSV Executive Director.

Janice A. Warren in her official capacity Citrus County Tax Collector C.F.C.

Santander Consumer USA in their official capacity as a Debt Collector.

Valley Collection Service LLC in their official capacity as a Debt Collector.

The Florida Department of Transportation in their official capacity as a Debt Collector.

The Tampa Hillsborough Expressway Authority in their official capacity as a Debt Collector.
Judicial Notice of Indigenous Standing

In accord with Florida Statues §90.201, §90.202(12) and §775.01, the Defendants have a contractual

obligation to receive the facts in this Judicial Notice of Indigenous Standing regarding Libel, Genocide

and Human Rights Violations perpetrated on the Plaintiff. These are matters which must be adhered to Judge

Charles L.W. Helm in the Fifth Judicial Circuit Court in and for Citrus County Florida.

The Plaintiff A’aferti Ma’at Amun Re-El ®©™ Authorized Representative for Cestui Que Vie Trust

REGINALD OWENS ©™. is competent to state the matters included in this apprehensible

Judicial Notice of Indigenous Standing and has knowledge of the facts, and declares that to the

best of his knowledge, the statements made in this Judicial Notice of Indigenous Standing are true,

correct and not meant to mislead.

1. This Judicial Notice is in joinder based on Florida Statues §90.201, §202(12), §775.01 and Title 28 U.S.

Code § 453 - Oaths of justices and judges, on the grounds that the Defendant(s) committed wrongful

acts of libel, genocide, and Human Rights violations neglecting to give the Plaintiff his due process in

which the Defendant(s) have a legal obligation to adhere.

See: Exhibit A. (https://www.law.cornell.edu/uscode/text/28/453).

2. The Defendant(s) had knowledge that libel, genocide, and Human Rights violations were being

committed on the Plaintiff. Having the power to prevent the commission of such wrongful neglects

and refusing to do so, makes them liable for economic and punitive damages to the Plaintiff, who was damaged

by their wrongful acts.

See: Exhibit B. (https://www.law.cornell.edu/uscode/text/42/1986).

3. The following Royal Proclamations, International, Federal, and State Laws were also violated by the

Defendants. The Royal Proclamations of 1763 & 1784, John Jay’s Treaty 1794, Florida Statue §671.207,

§673.401, Title 18 U.S. Code §1091, the Federal Rules of Civil Procedure(s) Rule 8, Title 39 Title U.S.
Code §601, Title 15 U.S. Code §1 - Obstruction of Commerce, the United Nations Declaration on

the Rights of Indigenous People, the American Declaration on the Rights of Indigenous People, the 1948

U.N. Charter, Title 28 U.S. Code §1360 - State Civil jurisdiction in actions to which Indians are Parties,

Pope Paul III -1537 Sublimis Deus, on the Enslavement and Evangelization of Indians, Title 18 U.S.

Code § 241 - Conspiracy against rights, Title18 U.S. Code §242 – Deprivation of Rights Under the Color

of Law, Title 12 U.S. Code §1431, UCC-1 Financing Statement File # 2018037763, Commercial Security

Agreement 030919642018, and active UCC-1 Lien # 202302684380 for Commercial Dishonor.

See: Exhibit C. (https://www.justice.gov/crt/statutes-enforced-criminal-


section#:~:text=18%20U.S.C.%20%C2%A7%20241&text=Section%20241%20makes%20it%20unlawfu
l,having%20exercised%20such%20a%20right).

4. Judge Charles L.W. Helm willfully committed genocide on the Plaintiff violating his Oath of

Office pursuant to Title 28 U.S. Code § 453, Title 15 U.S Code §1, the Florida Constitution Article II §5(b), and

Title 18 U.S. Code §1091. His response to the Plaintiff’s Judicial Notice contradicts the Oath that he swore to

on the 22nd day of October 2021, in the State of Florida. His response was libel, dishonorable, false, misleading,

and unconstitutional. His action caused the Plaintiff to suffer stress, duress, and anxiety. His Racial

Profiling of the Plaintiff identifying him as a “Sovereign Citizen” for asserting his eternal Indigenous Rights in

Commerce in accord with the United Nations Declaration on the Rights of Indigenous People and the Uniform

Commercial Codes has damaged the reputation and Copyright Trademark Name REGINALD OWENS ©™.

See: Exhibit D. (https://opensea.io/assets/matic/0x041b1fe87df273bc706873a81e29c7af2b0b7811/1).

5. Citrus County Clerk of Courts & Comptroller Angela Vick willfully committed genocide on the Plaintiff

with knowledge of the Plaintiffs Indigenous and Commercial Standing filed and recorded with her office on

July 26th, 2018. She violated her Oath of Office pursuant to Title 28 U.S. Code § 453, the Florida Constitution

Article II §5(b), Title 18 U.S. Code §1091 and Title 15 U.S. Code §1. Her refusal to accept Plaintiff’s Bid

Bond, Performance Bond, and Payment Bond to Post Full Settlement, Discharge and Closure to alleged
Account # AIESILE contradicts the Oath that she swore to on the 5th day of January 2021 in the State of

Florida, by neglecting the Plaintiffs due process.

See Exhibit E. (https://opensea.io/collection/certified-copy-of-the-oath-of-office-for-citrus-co).

6. Pursuant to House Joint Resolution HJR-192, Public Law 73-10, Title 31 U.S. Code §5118(d)2 & the

Fair Debt Collection Practices Act §1692, Angela Vick has Defaulted in this case due to her lack of jurisdiction

over the Plaintiff. When she contracted with a Third-Party Intervenor, VALLEY COLLECTION SERVICES

LLC to collect payment from the Plaintiff in connection with Case # 2023-TR-11218 for the alleged Account #

AIESILE. See Exhibit F.

(http://www.leg.state.fl.us/Statutes./index.cfm?App_mode=Display_Statute&Search_String=&URL=0800-
0899/0876/Sections/0876.05.html).

7. The Plaintiff is not a “Sovereign citizen”. The Plaintiff is a White Indigenous

Autochthon American Indian of Aniyunwiya Descent, We the People, in Accord with the United Nations

Declaration on the Rights of Indigenous People. He is an Honorable member of the At-sik-hata Nation of

Yamassee Moors ©™ an International Indigenous People Organization IPO #2718.

See Exhibit G. (https://www.linkedin.com/posts/a-ferti-ma-at-amun-re-el-075b64269_1i-am-a-white-


indigenous-autochthon-activity-7171509415798386688-
oPEM?utm_source=share&utm_medium=member_desktop).

8. For the Record and may the Record show that the Plaintiff is a Secured Party (UCC §3-

306), Holder in Due Course, Lienholder, Bailor, Judge, Private Banker, and Indigenous Postmaster with

a Security Interest in REGINALD OWENS ©™.

See Exhibit H. (https://www.linkedin.com/posts/a-ferti-ma-at-amun-re-el-075b64269_i-am-aaferti-maat-amun-


re-el-secured-activity-7171512350208839682-dOa-?utm_source=share&utm_medium=member_desktop).
9. The legal sovereignty of a nation may be considered as manifested either internally or externally.

Thus, the internal sovereignty of a nation is its legal authority, over actions

within it, whereas its external sovereignty is its legal authority to enter and perform international

obligations. As a concept of international law, sovereignty is freedom from foreign control

recognized by other nations.

See Exhibit I. (https://archive.org/details/ElementaryLawSmith1939/page/n15/mode/2up?view=theater).

10. The Plaintiff will now submit a letter into Case No: 2023-TR-11218. Emailed November

7th, 2023, to Nancy Gugliotta, assistant to Judge Charles L.W. Helm, Pope Francis at the Vatican,

and several International Human Rights Organizations on the behalf of A’aferti Ma'at Amun Re El

®©™ with Power of Attorney for REGINALD OWENS ©™,

from the Autochthon Chief Plenipotentiary Magister in Right of the United Kingdom & The

Commonwealth and the Planet Tiamat / Ta / Zurrukiyya [Misnomer: Earth]

Chief Nanya Shaabu Eil ©™ of the At-sik-hata Nation of Yamassee Moors, Treaty Territory 6

Alberta Canada, IPO #2718.

See: Exhibit J. (https://www.linkedin.com/posts/a-ferti-ma-at-amun-re-el-075b64269_letter-to-judge-charles-


lw-helm-on-behalf-activity-7170291249910894592-iIsv?utm_source=share&utm_medium=member_desktop).

11. Judge Charles L. W. Helm ORDER TO DISMISS Case No: 2023-TR-11218 dated

October 26, 2023, violated Title 42 U.S. Code §1985 and §1986. He was aware of his actions,

with bona fide proof filed with the Citrus County Clerk of Courts and Comptroller Angela Vick on July

26th, 2018, that the Plaintiff is Indigenous.

See: Exhibit K. (https://www.law.cornell.edu/uscode/text/42/1985).


12. On August 9th the Plaintiff was detained and issued Citation #AIESILE by Citrus County Sheriff’s

Deputy Christopher Runnels, badge #1717, and Citrus County Sheriff’s

Deputy Joseph Amigliore III badge #1606 for operating a conveyance without a

(valid) Registration. This unlawful traffic stop was a violation of People v. Nothaus, 147 Colo. 210.

See: Exhibit L. (https://case-law.vlex.com/vid/people-v-nothaus-no-894689439).

13. This illegal, predatory action by Deputies Runnels and Amigliore trafficking in Human Cargo

contradicts Title 28 U.S. Code §1360.

See: Exhibit M.
(https://www.law.cornell.edu/uscode/text/28/1360#:~:text=%E2%80%9CNotwithstanding%20the%20provision
s%20of%20any,the%20assumption%20of%20civil%20and).

14. In a presentment dated 11/29/2023 there was a demand for payment addressed to the Plaintiff for an

alleged Creditor Reference #2023 TR 011218 & alleged Account #03395-008384 with the Citrus

County Clerk of Court from VALLEY COLLECTION SERVICE LLC, P.O. Box 10130 Glendale

Arizona 85318 in violation of Title 15 U.S. Code §1, and the Fair Debt Collection Practices Act-Title 15

US Code §1692 et. This action indicates that case #2023-TR-11218 has Defaulted for lack of

Jurisdiction over the Plaintiff. (Title 28 U.S. Code §1360).

See Exhibit N. (https://www.law.cornell.edu/uscode/text/15/1).

15. The Citrus County Court House, Clerk of Court are transmitting utilities and absconding debtors

of the Plaintiff, the Secured Party. Furthermore, 3rd Party Intervenors are Barred from intervening

with Active Adverse Claim’s, UCC-1 Lien #2023035728.

(https://opensea.io/assets/ethereum/0x495f947276749ce646f68ac8c248420045cb7b5e/92260078088747920483
222669951440758055412540951508038808659642837528031102624).
16. The Plaintiff’s Indigenous Standing and Royal Assent are irrefutable. In accord with

Pope Paul III 1537 Sublimis Deus, the Royal Proclamation of 1763, the

Royal Proclamation 1784, the United Nations Declaration on the Rights of Indigenous People and the

dissolution of Cestui Que Vie Trust REGINALD OWENS ©™ by the Bona Vacantia Crown

Agent, David Harvie, in the United Kingdom.

See: Exhibit P. (https://opensea.io/assets/matic/0x184715ef0b35ac42dfb274abef70bb589e059bd5/1).

17. The Defendants are operating outside of their limits of liability,

committing Statues of fraud, interfering in a private contract with an Adverse Claims that has a Priority

Security Interest in the Plaintiff. This Instrument was presented to the public on June 20th, 2023, File

#2023035728 BK: 3388 Page: 865 Filed with the Citrus County Court Clerk of Courts Angela Vick.

See: Exhibit Q. (https://melbournelegalteam.com/statute-of-


frauds/#:~:text=Statute%20of%20Frauds%20in%20Florida&text=The%20state%20law%20requires%20a,know
n%20as%20an%20Affirmative%20Defense.).

DEMAND FOR RELIEF

1. Pursuant Florida Rule 1.442 I, A’aferti Ma’at Amun Re-El ®©™ demand that Automobile Title,

#151090974 VIN# KL77LFE21RC003677 be released to the Plaintiff, the bona fide owner of said Title,

by the FLHSMV Robert Kynoch and David Kerner who are in violation of Title 15 U.S. Code

§1, Title 31 U.S. Code §5118(d)(2) and 12 U.S. Code §1431, (Bank Fraud) in collusion with Santander

Consumer USA, the alleged Lien Creditor, concerning the theft of my Title. See: Exhibit R.

2. Driver’s License # O520-720-634-0990 is to be released from suspension and restored to

good standing by the FLHSMV Robert Kynoch and David Kerner on behalf of the Plaintiff who has been

damaged.
3. Traffic Citation AIESILE and Case NO: 2023-TR-11218 shall be dismissed With Prejudice for lack of

Jurisdiction (Title 28 U.S. Code §1360).

4. The Plaintiff, in accord with F.S. §90.201, §202 and F.S. §876.05(1), compels

Judge Charles Lawrence Wayne Helm as Trustee to perform his duties owed to the Plaintiff in his capacity

as beneficiary.

5. An apology from Judge Charles Lawrence Wayne Helm for his egregious and

libel statement that the Plaintiff is an Indigenous American Indian and not a “Sovereign Citizen.”

6. Forms SF24, SF25 & SF25A (Bid Bond, Performance Bond and Payment Bond), tendered to the Court

on September 11th, 2023, on behalf of the Plaintiff are to be processed by the Defendant(s) who

have the knowledge to do so, which requires case #2023 TR 11218 to be closed for lack of jurisdiction.

7. Pursuant to Title 15 U.S. Code §1, F.S. §673.3061, and the Florida Rules of Civil Procedure, Rule

1.570(a)(b)(c)1, the Plaintiff having rights of a holder in due course takes free of the claim to the

instrument having possessory right in the instrument and/or its proceeds, including the claim to

rescind any negotiation to recover the instrument or its proceeds.

See: Exhibit (https://casetext.com/statute/florida-statutes/title-xxxix-commercial-relations/chapter-673-


uniform-commercial-code-negotiable-instruments/part-iii-enforcement-of-instruments/section-6733061-claims-
to-an-instrument).

8. The Plaintiff shall be awarded immediate monetary relief for the intentional wrongful acts of libel,

genocide, and commercial crimes committed by the Defendant(s).

The amount to be awarded for non-economic and punitive damages by the Defendant(s) on

behalf of the Plaintiff is $13,305,000.00 (Thirteen Million Three Hundred Five

Thousand) Functional Currency. Gold /and or silver equivalent by the ounce at the current market value
\
rate. Penalties accruing. All Calculations are in accord with Caveat on Filed UCC-1

Commercial Lien #202302684380. See: Exhibit T. (https://www.flsenate.gov/Laws/Statutes/2023/0002.01).

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