VERIFIED STATEMENT OF DISQUALIFICATION

OF JUDGE ASSIGNED TO CIVIL RICO #GIC807057:

CCP 170.3

The Undersigned Plaintiff hereby objects formally to any further proceedings conducted by Janis L. Sammartino in the above entitled matter. A great multitude of facts are already certified and well documented in the official record of the Superior Court, and that entire record is hereby incorporated by reference, as if set forth fully here including but not limited to all documents at Internet URL:

Likewise, all documents attached hereto are also incorporated by reference, as if set forth fully here (see LIST OF ATTACHMENTS infra).

Briefly summarizing, the INITIAL COMPLAINT in the instant case contained the following essential and important verified allegations:

In anticipation of probable obstruction by federal officers and employees of the United States District Court in Sacramento (“USDC”), Plaintiff reserved COUNT SIX: Civil RICO for adjudication by this Superior Court of California. This action is COUNT SIX+, in effect. [bold emphasis added]

The obstruction anticipated by Plaintiff has now occurred in that federal case, in part by impersonation of Article III federal judges in violation of 18 U.S.C. 912 (a federal felony) and of numerous Ninth Circuit precedentsin re civil jurisdiction of U.S. magistrate judges. [boldemphasis added]

As such, federal officers and employees are now among the probable causes that threaten further continuation of the severe economic hardship and other wrongs described above.

In view of the obstruction thus anticipated in writing, Plaintiff timely filed a MOTION FOR PRELIMINARY INJUNCTION BARRING REMOVAL. Then, the Superior Court scheduled a hearing on that MOTION, but that hearing was never held and the Superior Court never notified Plaintiff the hearing had been cancelled. Plaintiff appeared at Department 71, only to be told, at that time, that the hearing had been cancelled.

If Janis Sammartino had performed her duty to give the INITIAL COMPLAINT a fair and impartial reading, she would and should have known that obstruction of justice is ongoing in this case, and very likely to continue unabated in the absence of timely procedural relief issued by the Superior Court. That relief was not forthcoming.

Therefore, Plaintiff’s MOTION sought to prevent the very kinds of obstruction and further organized crimes which have now occurred and continue to occur. Janis Sammartino has been negligent in the extreme by not preventing that obstruction and further organized crimes, when it was within her power and authority to enjoin same.

In particular, Plaintiff has been retained by various private clients to conduct a Statewide investigation of infiltration of the federal courts throughout California State. With assistance from the U.S. Department of Justice in Washington, D.C., Plaintiff obtained material proof that the United States District Courts in San Diego and in Sacramento both harbor proven impostors who consistently refuse to produce the four (4) credentials required of them by applicable federal laws, namely, Senate Confirmation, Presidential Commission, Appointment Affidavit and Oath of Office.

Plaintiff has requested investigations by all 58county grand juries and by the San Diego County District Attorney. In the few replies Plaintiff received from county grand juries, it is apparent that grand jurors are being told false and misleading statements about jurisdiction in racketeering (“RICO”) cases. Plaintiff also presented employees of the District Attorney’s office with evidence that perjury was committed by a named Defendant in the instant case, and most recently Plaintiff was informed by telephone that there is now no record of that evidence in the District Attorney’s computer database.

More to the merits, attorneys lacking licenses to practice law in the State of California conspired to create the appearance that the instant case was “removed” [sic] into the USDC in downtown San Diego. There, employees of the federal judiciary who also lack credentials attempted to transfer this Civil RICO case to the USDC in Sacramento. In Sacramento, further bogus proceedings were conducted by other employees of the federal judiciary who also lack credentials, as proven by written admissions which Plaintiff has received from the U.S. Department of Justice in response to proper requests submitted by Plaintiff under the federal Freedom of Information Act (“FOIA”). Plaintiff protested those bogus proceedings in a distant city by not appearing and by refusing all consequent acts of mail fraud.

Plaintiff went out of his way to share copies of important documents with Janis Sammartino and with the Clerk of Court, but insteadJanis Sammartino chose to fall completely and totally silent throughout this entire case, beginning the day it was first filed, right up to the present time. Silence is fraud. See U.S. v. Tweel.

One of the key documents which Plaintiff addressed and mailed to Janis Sammartino, on more than one occasion, was Plaintiff’s FINAL NOTICE AND DEMAND FOR EXHIBITION OF MISSING CREDENTIALS. Plaintiff mailed the same NOTICE AND DEMAND to all Presidents of University Defendants, and to all Governors of the State University Defendants. Of the six or so replies received by Plaintiff, not one was able to locate any of the missing credentials for the federal employees now implicated in this widespread conspiracy to infiltrate the federal judiciary, and repeatedly to infringe Plaintiff’s fundamental Rights to equal protection and due process of law. The office of Governor of California admitted that no such credentials were in their custody. This FINAL NOTICE AND DEMAND to Janis Sammartino should have provided more than enough information to confirm the specific damages alleged in Plaintiff’s INITIAL COMPLAINT, and to justify a PRELIMINARY INJUNCTION, at least, if not also sanctions for contempt of court.

Her negligence thus violates several provisions of the California Code of Judicial Ethics, e.g.performing duties impartially and diligently as opposed to doing nothing, and warrants her immediate disqualification and replacement by a fair and impartial Judge of the Superior Court who has no conflicts of interest, and no motive to aid or abet any further obstruction or the statewide protection rackets which this case appears to have exposed and now documented in detail.

Finally, I have also investigated Janis Sammartino’s State Bar membership. I then presented her with a separate demand that she exhibit the certificate of oath that must be indorsed upon the license to practice law that was required of her by sections 6067 and 6068 of the California Business and Professions Code. Her failure to produce that certificate of oath further supports my conclusion that she has been actively protecting all other unlicensed attorneys who attempted to appear on behalf of named Defendants in the instant case.

Janis Sammartino has no right or authority to assist protection rackets, or to engage in obstruction of justice of any kind. And, her failure to indorse a certificate of oath upon the license to practice law required of her by sections 6067 and 6068 supra constitutes fraud upon this Plaintiff and upon the Superior Court, for which there is no statute of limitations.

In conclusion, Plaintiff is frankly disgusted with the abusive negligence which Janis Sammartino has repeatedly and consistently demonstrated in the instant case. If this conduct is typical of any other Superior Court judges anywhere else in California at the present time, then justice is on the brink of extinction in this State and isnow being replaced with a cruel joke upon all Citizens of California.

LIST OF ATTACHMENTS

See the following Internet URLs:

NOTICE OF PUBLICATION ON THE INTERNET

IN ORDER TO CONSERVE PAPER AND POSTAGE

The complete version of this VERIFIED STATEMENT, including also the PROOF OF SERVICE, can be obtained at the following Internet URL:

VERIFICATION

I, Paul Andrew Mitchell, Sui Juris, Plaintiff in the above entitled action, hereby verify under penalty of perjury, under the laws of the United States of America, without the “United States” (federal government), that the above statement of facts and laws is true and correct, according to the best of My current information, knowledge, and belief, so help me God, pursuant to 28 U.S.C. 1746(1). See the Supremacy Clause in the Constitution for the United States of America, as lawfully amended (hereinafter “U.S. Constitution”).

Dated: June 9, 2006 A.D.

Signed: /s/ Paul Andrew Mitchell

______

Printed: Paul Andrew Mitchell, B.A., M.S., PlaintiffSui Juris

PROOF OF SERVICE

I, Paul Andrew Mitchell, Sui Juris, hereby certify, under penalty of perjury, under the laws of the United States of America, without the “United States” (federal government), that I am at least 18 years of age, a Citizen of ONE OF the United States of America, and that I personally served the following document(s):

VERIFIED STATEMENT OF OBJECTIONS

TO JUDGE ASSIGNED TO CIVIL RICO #GIC807057:

CCP 170.3

by placing one true and correct copy of said document(s) in first class United States Mail, with postage prepaid and properly addressed to the following:

AOL Time Warner, Inc. Adit Seth

Attn: Legal Department 3830 N. 9th St., #104W

22000 AOL Way Arlington 22203

Sterling 20166 VIRGINIA, USA

VIRGINIA, USA

Alias “Dimitri” Anthony L. Hargis

c/o Levity dba ALH

P.O. Box 1013, Cooper Station 17220 Newhope St., Ste. 201

New York City 10276-1013 Fountain Valley 92708-4261

NEW YORK STATE, USA CALIFORNIA, USA

AOL Prime Host Bob Isaacson

c/o AOL Time Warner, Inc. c/o 502 Watson Library

22020 Broderick Drive University of Kansas

Sterling 20166-9323 Lawrence 66045

VIRGINIA, USA KANSAS, USA

Burntfork Rural Systems C I Host

c/o Leander Pearson Attn: Legal Department

P.O. Box 8810 1851 Central Drive, #110

McKinnon 82938-8810 Bedford 76021

WYOMING, USA TEXAS, USA

David Baltimore, President Jared L. Cohon, President

Office of the President Office of the President

California Institute of Technology Carnegie Mellon University

1200 E. California Blvd., #204-31 5000 Forbes Avenue

Pasadena 91125 Pittsburgh 15213

CALIFORNIA, USA PENNSYLVANIA, USA

Carrie Malcolm Christopher M. Hansen dba:

c/o Levity Internet Domain FAMGUARDIAN.ORG

P.O. Box 1013, Cooper Station 10654 – 82nd Ave., Suite 600

New York City 10276-1013 Edmonton, Alberta T6E 2A7

NEW YORK STATE, USA CANADA

Christopher Kankel c/o Clairvoyance Corporation

California Institute of Technology Attn: Legal Department

1200 E. California Blvd., #201-85 5301 Fifth Avenue

Pasadena 91125 Pittsburgh 15232

CALIFORNIA, USA PENNSYLVANIA, USA

Cornell University Cosmic Awareness Communications

Office of University Counsel Attn: Legal Department

Ithaca 14853-2801 P.O. Box 115

NEW YORK STATE, USA Olympia 98507

WASHINGTON STATE, USA

Cybergate, Inc. c/o Cyborganic Media

Commonwealth Legal Svcs. Corp. c/o Jonathan Steuer

4701 Cox Road, Suite 301 P.O. Box 1423

Glen Allen 23060-6802 New York City 10276-1423

VIRGINIA, USA NEW YORK STATE, USA

Dan Turkette Daniel Levy dba Levity

c/o TEKnology.Net P.O. Box 1013, Cooper Station

P.O. Box 8368 New York City 10276-1013

Fort Wayne 46808 NEW YORK STATE, USA

INDIANA, USA

Daniel Schmidt Darren B. Pocsik

(last address bounced) c/o The Thomson Corporation

Metro Center, 1 Station Place

Stamford 06902

CONNECTICUT, USA

Dave Alexander David A. Evans

Cosmic Awareness Communications c/o Clairvoyance Corporation

P.O. Box 115 5301 Fifth Avenue

Olympia 98507 Pittsburgh 15232

WASHINGTON STATE, USA PENNSYLVANIA, USA

David Feustel David Thorburn-Gundlach

c/o TEKnology.Net c/o 562 Lakeland Plaza, Ste. 226

P.O. Box 8368 Cumming 30040

Fort Wayne 46808 GEORGIA, USA

INDIANA, USA

David W. Starr Donald D. Hoffman

c/o Anthony L. Hargis dba ALH c/o Dept. of Cognitive Sciences

17220 Newhope St., Suite 201 University of California

Fountain Valley 92708-4261 Irvine 92697

CALIFORNIA, USA CALIFORNIA, USA

Donald E. Wishart #99636-011 Earthlink Network, Inc.

3600 Guard Road Attn: Chief Executive Officer

Lompoc 93436 3100 New York Drive

CALIFORNIA, USA Pasadena 91107

CALIFORNIA, USA

Easylink Services Corp. Elizabeth Broderick #07018-112 GN

c/o NYS Dept. of State P.O. Box 5700

41 State Street Adelanto 92301

Albany 12231-0001 CALIFORNIA, USA

NEW YORK STATE, USA

Embry-Riddle Aeronautical Univ. Eugene A. Burns

Office of University Counsel c/o New Life Health Center

600 S. Clyde Morris Blvd. 4841 E. Speedway Blvd.

Daytona Beach 32114 Tucson 85712

FLORIDA, USA ARIZONA, USA

Anthony James Catanese Floyd W. Shackelford

Office of the President c/o Four Peaks Technology Groups

Florida Institute of Technology P.O. Box 27740

150 W. University Boulevard Las Vegas 89126

Melbourne 32901 NEVADA, USA

FLORIDA, USA

Four Peaks Technology Groups Gary L.Huss

P.O. Box 27740 246 West Shaw Avenue

Las Vegas 89126 Fresno 93755

NEVADA, USA CALIFORNIA, USA

George R. Boyce Herbert Merrill Crawford

c/o Latham & Watkins (reportedly deceased)

633 West Fifth St., Ste. 4000

Los Angeles 90071-2007

CALIFORNIA, USA

Image’FX Productions, Inc. Indiana University

Attn: Legal Department Office of University Counsel

10 Fiske Place, Suite 233 2711 East 10th Street

Mount Vernon 10550 Bloomington 47408

NEW YORK STATE, USA INDIANA, USA

INTAC Internet Access Corp. Internet Domain DEOXY.ORG

c/o Robert A. Kaye, Agent Attn: Chief Executive Officer

300 Harmon Meadow Blvd. c/o Levity

Secaucus 07094 P.O. Box 1013, Cooper Station

NEW JERSEY, USA New York City 10276-1013

NEW YORK STATE, USA

Internet Domain NEBONET.COM Internet Online Services

Attn: Legal Department Attn: Legal Department

656 North Main 520 Broad Street

Nephi 84648 Newark 07102

UTAH, USA NEW JERSEY, USA

Irvin H. Paugh James H. Daugherty

HC 63, Box 12-AA P.O. Box 20273

Nettie 26681 Ferndale 48220-0273

WEST VIRGINIA, USA MICHIGAN, USA

James R. Bramson Jason Scott

c/o AOL Time Warner, Inc. c/o The Thomson Corporation

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Sterling 20166 Stamford 06902

VIRGINIA, USA CONNECTICUT, USA

Jeff Head Joe Szemiot

c/o Internet Domain NEBONET.COM c/o INTAC Internet Access Corp.

656 North Main 256 Broad Avenue

Nephi 84648 Palisades Park 07650

UTAH, USA NEW JERSEY, USA

John L. Dortch John Kechejian

c/o Steinhart & Falconer LLP c/o The Thompson Corporation

333 Market Street, 32nd Floor Metro Center, 1 Station Place

San Francisco 94105-2150 Stamford 06906

CALIFORNIA, USA CONNECTICUT, USA

Jonathan Steuer Joseph E. Lepetich

P.O. Box 1423 (last address bounced)

New York City 10276-1423

NEW YORK STATE, USA

Joseph Farah Josh Bempechat

c/o WorldNetDaily.com, Inc. 484 Lake Park Ave., Ste. 81

P.O. Box 1627 Oakland 94610

Medford 97501 CALIFORNIA, USA

OREGON, USA

Chief Executive Officer Justsystem Pittsburgh Research Ctr.

Justsystem Corporation c/o Scott Fahlman, C.E.O.

c/o Clairvoyance Corporation 5259 Fair Oaks Street

5301 Fifth Avenue Pittsburgh 15217

Pittsburgh 15232 PENNSYLVANIA, USA

PENNSYLVANIA, USA

Karl Kleinpaste John B. Kearney

P.O. Box 1551 210 White Horse Pike

Beaver Falls 15010 P.O. Box 279

PENNSYLVANIA, USA Haddon Heights 08035

NEW JERSEY, USA

David Larry Smith #12385-097 Lawrence E. Condit

CI Taft Correctional Institution 376 South Stone Avenue

1500 Cadet Road Tucson 85701

Taft 93268 ARIZONA, USA

CALIFORNIA, USA

Leander Pearson dba Lennert Leader

Burntfork Rural Systems c/o AOL Time Warner, Inc.

P.O. Box 8810 22000 AOL Way

McKinnon 82938-8810 Sterling 20166

WYOMING, USA VIRGINIA, USA

Lonnie Glen Schmidt #03909-097 Bonita Lynne Meredith #24001-112

FCI Seagoville, Satellite Camp P.O. Box 5700

P.O. Box 9000 Adelanto 92301

Seagoville 75159 CALIFORNIA, USA

TEXAS, USA

Mark Keller Maui Global Communications

P.O. Box 370 Attn: Chief Executive Officer

Sunset Beach 90742 360 Hoohana St., Ste. A-104

CALIFORNIA, USA Kahului 96732

HAWAII, USA

Miami University of Ohio Midwest Internet Exchange

Office of University Counsel c/o P.O. Box 8368

c/o 340 Gaskill Hall Fort Wayne 46808

Oxford 45056 INDIANA, USA

OHIO, USA

Michael McFarland Mike McArthur

Comm. Studies & Theatre Arts c/o Provide Net

Stetson University 663 S. Hewitt

Deland 32720 Ypsilanti 48197

FLORIDA, USA MICHIGAN, USA

Mitchell A. Goodkin MSEN, Inc.

Office of General Counsel c/o Harvey Siskind Jacobs LLP

The University of Michigan 4 Embarcadero Center, 39th Floor

Ann Arbor 48103 San Francisco 94111

MICHIGAN, USA CALIFORNIA, USA

Neil T. Nordbrock Network Solutions, Inc. c/o

6642 E. Calle de San Alberto Commonwealth Legal Svcs. Corp.

Tucson 85710 4701 Cox Road, Suite 301

ARIZONA, USA Glen Allen 23060

VIRGINIA, USA

Northeastern University Parabola X Research Group

115 Churchill Hall 510 West 123 Terr.

360 Huntington Avenue Kansas City 64114

Boston 02115 MISSOURI, USA

MASSACHUSETTS, USA

Parascope, Inc. Paul Southworth

Attn: Chief Executive Officer 2018 N. New Hampshire Ave.

11288 Ventura Blvd., Ste. 904 Los Angeles 90027

Studio City 91604 CALIFORNIA, USA

CALIFORNIA, USA

Pennsylvania State University Princeton University

Office of University Counsel Office of General Counsel

c/o 117 Univ. Support Bldg. 2 120 Alexander Street

University Park 16802 Princeton 08544

PENNSYLVANIA, USA NEW JERSEY, USA

Provide Net Ram Samudrala

Attn: Legal Department UW Micro Box 357242

663 S. Hewitt Seattle 98195-7242

Ypsilanti 48197 WASHINGTON STATE, USA

MICHIGAN, USA

Randall J. Boe Richard J. Harrington

c/o AOL Time Warner, Inc. c/o The Thomson Corporation

22000 AOL Way Metro Center, 1 Station Place

Sterling 20166 Stamford 06902

VIRGINIA, USA CONNECTICUT, USA

Rob Martin Ruffin Prevost

424 W. Main Street dba Avalon Tech

Palmyra 53156 11288 Ventura Blvd., Ste. 904

WISCONSIN, USA Studio City 91604

CALIFORNIA, USA

Scott Fahlman Sean Strasburg

c/o 5259 Fair Oaks Street c/o Office of University Counsel

Pittsburgh 15217 Princeton University

PENNSYLVANIA, USA 120 Alexander Street

Princeton 08544

NEW JERSEY, USA

Sheila T. Wallen Simple Network Comm., Inc.

(last address bounced) Attn: Legal Department

225 Broadway, 13th Floor

San Diego 92101

CALIFORNIA, USA

Snow Hill Enterprises, Inc. Sprawlnet.com, Inc.

c/o Graceba Total Communications c/o RN WEBREG

401 Third Avenue 4200 Wisconsin Ave. NW, #106-190

Ashford 36312 Washington 20016

ALABAMA, USA DISTRICT OF COLUMBIA, USA

John L. Hennessy, President Stetson University

Office of the President Office of General Counsel

Stanford University, Bldg. 10 Deland 32720

Stanford 94305-2061 FLORIDA, USA

CALIFORNIA, USA

Steve Case TEKnology.Net

c/o AOL Time Warner, Inc. P.O. Box 8368

22000 AOL Way Fort Wayne 46898-8368

Sterling 20166 INDIANA, USA

VIRGINIA, USA

Telalink Corporation Teresa Giordano

c/o Steinhart & Falconer (last address bounced)

333 Market St., 32nd Floor

San Francisco 94105-2150

CALIFORNIA, USA

The Thomson Corporation Thirteen Technologies, LLC

Attn: Legal Department c/o Jason Morrill

Metro Center, 1 Station Place 1182 Racebrook Road