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Filing # 58784174 E-Filed 07/10/2017 02:00:03 PM RECEIVED, 07/10/2017 02:03:33 PM, Clerk, Supreme Court

RECEIVED, 07/10/2017 02:03:33 PM, Clerk, Supreme Court · PDF fileAffidavit of Jurisdiction and Rehearing ... declarant did file a timely negative averment Affidavit for Denial of

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Page 1: RECEIVED, 07/10/2017 02:03:33 PM, Clerk, Supreme Court · PDF fileAffidavit of Jurisdiction and Rehearing ... declarant did file a timely negative averment Affidavit for Denial of

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Page 2: RECEIVED, 07/10/2017 02:03:33 PM, Clerk, Supreme Court · PDF fileAffidavit of Jurisdiction and Rehearing ... declarant did file a timely negative averment Affidavit for Denial of

Affidavit of Jurisdiction and Rehearing

1. TO ALL PARTIES AND TO THEIR CONSUL(S) OF RECORD TAKE NOTICE that On the

Record and for the Record, present is Syteria Hephzibah-El, also called Highly Favored Shekinah El,

Divine Immortal Spirit in Live Flesh and Blood Natural Woman of majority on the Land, In

Propria Persona by Sui Juris capacity, Jus Sanguinis, Heir Apparent by Freehold of Inheritance,

Original Autochthonous American Moor Alien (Friend) Republican Universal Government

Form and Testamentary Style [AAMARUt"*], a people of Our state and of sound

firm mind; Competent by Conduct and Virtue for Moral Integrity and Upright Character,

Honor, Fidelity, Respect, Courage, Temperance, Faith, Hope, Wisdom, Will, Love, Truth, Peace,

Freedom, Justice, Prudence, Humility, and Service, guided only by Our Most High Creator

Divine Source for the Force Universal Allah (All-Law) whom sustains all protection and

provision for Life, Liberty, Property, Family, Natural Environment, and Cultural Heritage.

2. One, the Original Autochthonous American Moor Alien (Friend) Republican Universal

Government Form and Testamentary Style [AAMARU©"'K], hereinafter, "declarant," rises and

gives honor and recognition to The Holy Koran Circle 7, The Zodiac

Constitution (Registration No. AA222141 Truth Al-Class A)and all

annexes thereto, The IIoly Qur'an, The Great Law of Peace, The

Iroquois Constitution, The American Declaration of Independence

(1776), The Treaty of Peace and Friendship (1787), The Madrid Convention on Protection in

Morocco (July 3, 1880), Articles of united states for America Organic Constitution (1787), Bill of

Rights of united states for America Organic Constitution (1787), The Universal Declaration on

Human Rights (1948), The American Declaration of the Rights and Duties of Man (1948)

Affidavit of Jurisdiction and Rehearing

Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida

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inclusive without limitation all annexes thereto, T h e U n i t e d N a t i o n s D e c 1 a r a t i o n o f

the R ig his of t h e C h il d (1959), The Universal Declaration on the Rights of

Indigenous Peoples (2006), The International Proclamation for the Original Autochthonous

American Moor Alien (Friend) Republican Universal Government Form and Testamentary Style

[AAMARUt"®](2016), The International Resolution For Competence By

Conduct and Virtue - Affidavit of Bona Fide Moral Integrity and

Upright Character Lawful Status (2016), United Nations General

Assembly Declaration on the Granting of Independence to Colonial

Countries (Countees) and Peoples 1514 (XV) 947th Plenary Meeting

(14 December 1960), the Hague Conventions and the Geneva

Conventions inclusive without limitation of all annexes thereto.

3. The declarant is General Executrix / Caveator-Creditor by testamentary style trust

conveyancing of Caveat: Declaration of Final Default Judginent 16-2017-CP-1020

[ ] (Registrar (Probate Court) Recorder Doc # 2017104679, OR BK

17971, Pages 808-814), SYTERIA LAWRENCEW Estate Authenticated Birth Certificate,

Registered Copyright, Registered Trademark (Copyright Deposit No. 0031755), Copyright /

Trade-Name / Trademark Contract, Registered Fictitious Name (Florida Department of State

No. G15000000753), Registered Surety Bond with Collateral (3:15-00016), Fiduciary

Appointment Contract (3:15-00016), Syteria HephzibahW Estate Allodial Cost Schedule

16-2017-CA-2144 [ ] (Registrar (Probate Court) Recorder Doc

#2017082126, O R B K 17940, Page 1509), Paramount Security Interest Holder

(Maritime Lien No. RE603617867US Putnam County Florida Inst. No. 201054713722; Maritime

Lien No. RE603617765US Putnam County Florida Intr. No. 201054710187; State of Florida UCC

No. 2010053308; State of Florida UCC No. 201104871708; and Kentucky Secretary of State UCC

Affidavit of Jurisdiction and Rehearing

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Filing No. 2014-2695071-97.01, Duval County Recorder UCC Filing # 2015153501, Duval County

Recorder UCC Filing # 2015185625), over all alphabetical and/or nurnerical derivations and/or

variations of SYTERIA LAWRENCEW Estate Letters Patent, Sign Manuals, Rights, Titles, and

Interests inclusive without limitation of all annexes thereto.

4. The declarantdoes hereby reserve all Natural rights, all Human rights,

and in accord with International (Transnational) Humanitarian Law, the Law of Nations, the

International (Transnational) Law of Peace, and the International (Transnational) Law of War,

and for good cause, no dolus, and in the interest of Syteria Lawrence

Estate, does hereby give Affidavit of Jurisdiction and Rehearing

together with declarant's timely filed Affidavit of Jurisdiction

including Certificate of Service (Proof of Service) and eFiling

Confirmation mistakenly filed in Id DCA Appeal Case ID17-1538 on or

about [ G.C.Y. 2017 - June, 23] is annexed and appended hereto in full.

Rehearing

5. On or about [G.C.Y. April 19, 2017], in their 7-1 precedent ruling

on Nelson v. Colorado (No. 15-1256), the Supreme Court of the

United States defended and reaffirmed a people's constitutionally

protected Natural right and Human right to due process of law in

filing a civil claim for a redress of grievances stemming from

wrongful acts committed by judges, court officers, and the court in an

(alleged) civil matter and/or an (alleged) criminal matter.

6. The unlawful actions of the Court are not in accord with the rules,

the procedure, or the customary standard of international law.Affidavit of Jurisdiction and Rehearing

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7. It is also declarant's assertion that the Court has overlooked or

misapprehended in its decision and a review on the merits is

warranted. Further, it is declarant's assertion that based upon the

foregoing, a clarification by the issuance of a written opinion to

provide a legitimate basis for supreme court review on the merits is

warranted. It is declarant's belief, based upon a reasoned and

studied judgment, that a written opinion will provide a legitimate

basis for supreme court review on the merits of the issues mentioned

herein, and the supreme court is likely to grant review if an opinion

were written.

Jurisdiction

8. The court should speedily and expeditiously strike Sean Patrick

Flynn's and W. Stephen Muldrow's, hereinafter, "Trespassers," listing

as attorney on Appeal Num ber 1D17-1538, and strike Trespassers'unauthorized

and unlawful Notice of Removal, which, in bad faith, purports to have

removed this action to the United States District Court. Trespassers

did file or cause to be filed a purported notice of removal as a

Miscellaneous Docket Entry (Event), not only for Appeal Number ID17-

1538, but also for Fourth Judicial Circuit Case Number 16-2017-CA-2144 (see Petition (for Writ

of Error) To Strike page 3; see Notice of Appeal Doc # 2o17088472, OR BK 17948, Page

2477 - Docket Entry 28). This is error. The Fourth Judicial Circuit Clerk of Court did rely upon

Trespassers' unlawful and unauthorized purported notice of removal in closing Fourth Judicial

Circuit Case Number 16-2017-CA-2144 (which is error), and this aforementioned subject-matterAffidavit of Jurisdiction and Rehearing

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is the cause for this Appeal Number ID17-1538 (see Petition (for Writ of Error) To Strike page 3;

see Notice of Appeal Doc # 2017088472, OR BK 17948, Page 2478 - Docket Entry 18.

Notice of Removal To Federal Court).

9. First, it is declarant's assertion that Trespassers' unlawful and unauthorized purported notice

and purported action of removal in Case Number 16-2017-CA-2144 and Appeal Number ID17-

1538 is not merely defeasible, but wholly void ab initio. It is Trespassers' unlawful and

unauthorized purported notice and purported action of removal which caused Case Number 16-

2017-CA-2144 to close, and it was not closed by any rendition of any order (see Petition (for Writ

of Error) To Strike page 3; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page

2478 - Docket Entry 38. Notice of Removal To Federal Court). This is error. As such, with the

cause of closure for Case Number 16-2017-CA-2144 being Trespassers' unlawful and

unauthorized purported notice and purported action of removal, conformed copies of the

Trespassers' unlawful and unauthorized purported notice and purported action of removal,

certificates of service, and the lower tribunal docket are filed in declarant's Notice of Appeal

[1D17-1538] (see Petition (for Writ of Error) To Strike pages 1-75; see Notice of Appeal Doc #

2017088472, OR BK 17948, Pages 2478-2483L Also, conformed copies of declarant's

timely negative averment Affidavit(s) for Denial of Consent To

Removal To United States District Court and Petition (for Writ of

Error) To Strike Trespassers' Miscellaneous Docket Entry in

defeasance, along with original dated certificate of service are

included therein. Additionally, conformed copies with a notice of

filing containing a certificate of service reflecting service on all

parties is included herein and herewith.

Affidavit of Jurisdiction and Rehearing

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to. Second, if any evidence of any rendition of order from the Fourth

Judicial Circuit or Adrian G. Soud exists, such order is not only unauthorized and unlawful, but

wholly void ab initio. On or about the Seventh Day of the Fourth Month Fourteen Thirty Seven

(1437) [Gregorian Calendar Year (G.C.Y.) 2017 - April 7], declarant did file Petition for

Disqualification against Adrian G. Soud (see Notice of Appeal Doc # 2017088472, OR BK

17948, Page 2477 - Docket Entry 19). On or about the Thirteenth Day of the Fourth Month

Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April 13], Trespassers did file an unauthorized,

unlawful, wholly void ab initio, purported Notice of Removal To United States District Court (see

Notice of Appeal Doc # 2017088472, OR BK 17948, Page 2477 - Docket Entry 28). On or

about the Seventeenth Day of the Fourth Month Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April

17), declarant did file a timely negative averment Affidavit for Denial of

Consent To Removal To United States District Court [dated 4-14-2017]

i n d e f e a s a n c e t o T r e s p a s s e r s ' unauthorized, unlawful, wholly void ab initio, purported

Notice of Removal To United States District Court (see Notice of Appeal Doc # 2017088472,

OR BK 17948, Page 2478 - Docket Entry 34). On or about the Seventeenth Day of the Fourth

Month Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April 17], the Fourth Judicial Circuit Clerk

closed Case Number 16-2017-CA-2144 without rendition of any order and based solely upon

Trespasser's unauthorized, unlawful, wholly void ab initio, purported Notice of Removal To United

States District Court (see Notice of Appeal Doc # 2017o88472, OR BK 17948, Page 2478 -

Docket Entry 34 & 38). This is error.

11. Third, if any evidence of any rendition o f o r d e r f r o m the Fourth Judicial Circuit or Adrian

G. Soud exists, this would also be error as there is a Petition for Disqualification before the Fourth

Judicial Circuit prior to any rendition of any order, and any rendition of any order post Petition for

Disqualification is void ab initio. The foregoing is grammar, logic, rhetoric, and reason why any

rendition of any order is void ab inito and why there is not any rendition of any order.

Affidavit of Jurisdiction and Rehearing

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12. Fourth, there is no evidence that Trespassers have any capacity or any standing to speak,

act, file, or cause a filing for respondent(s) in and for Fourth Judicial Circuit Case Number 16-

2017-CA-2144 or Appeal Number ID17-1538 as:

(A) Case Number 16-2017-CA-2144 is a private matter between the declarant and those therein-

listed as respondent(s) in their private capacity, and there is no evidence that Trespassers are

either therein-listed or acting for respondent(s) in their private capacity (see Petition (for Writ of

Error) To Strike page 4; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page

2469 - "a private person / a privately held company"); and

(B) Trespassers purport to be acting for United States, but there is no evidence that United

States is therein-listed as a private respondent(s) or that this action is a public or official matter

involving United States (see Petition (for Writ of Error) To Strike page 4; see Notice ofAppeal

Doc # 2017o88472, OR BK 17948, Page 2469 - "a private person / a privately held

company"); and

(C) Trespasser(s) purport to be acting in their public or official capacity as attorneys for the

United States, and not as private attorneys for the private respondent(s) therein-listed, and

there is no evidence to suggest otherwise (see Petition (for Writ of Error) To Strike page 4; see

Notice of Appeal Doc # 2017088472, OR BK 17948, Pages 2479 - 2483); and

(D) It is declarant's assertion that Trespassers have absolutely no right of entry into Fourth

Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number 1D17-1538, but further, there

is no evidence that Trespassers have ever made a required Entry of Appearance in Fourth

Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number 1D17-1538 (see Petition (for

Writ of Error) To Strike page 4; see Notice of Appeal Doc # 2017088472, OR BK 17948,

Page 2475 - "Attorneys. No attorneys were found on this case"); and

Affidavit of Jurisdiction and Rehearing

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(E) There is no evidence that the required bond (warrant of removal) is filed, accepted, and

approved in support of the purported notice and purported action of removal (see Petition (for

Writ of Error) To Strike page 4; see Notice of Appeal Doc # 2017o88472, OR BK 17948,

Page 2478 - Docket Entry 38. Notice of Removal To Federal Court); and

(F) There is no evidence that respondent(s) have not been served (see Petition (for Writ of

Error) To Strike page 5; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page

2481 - "The United States has not been served.")(see Notice of Appeal Doc # 2o17088472,

OR BK 17948, Page 2477 - Docket Entry 20 & 26. Certificates of Service)(see 3"'

Addendum Notice of Lis Pendens # 2017085161, OR BK 17944, Pages 1432 - 1435;

4th Addendum Notice of Lis Pendens # 2017086521, OR BK 17946, Page 642 -

Certificates of Service). Further, Trespassers did ipso facto and ipso jure act De Son Tort and

didfileorcausetobefiledanunauthorized, unlawful, void ab initio Notice of

Removal in bad faith which purports to have removed this action to

the United States District Court, which is evidence and Trespassers

confession on and for the record that respondent(s) have been served;

and

(G) declarant does by negative averment affidavit deny consent to removal of Fourth Judicial

Circuit Case Number 16-2017-CA-2144 in defeasance one time (see Petition (for Writ of Error)

To Strike page 5; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page 2478 -

Docket Entry 34), declarant does by negative averment affidavit deny consent to removal of

Fourth Judicial Circuit Case Number 16-2017-CA-2144 in defeasance two times (see annexed

Appeal Number 1D17-1538 - Judicial Notice Affidavit for Denial of Consent To Removal To

United States District Court), and declarant does by annexed hereto in full negative averment

affidavit Petition (for Writ of Error) To Strike Trespassers' Miscellaneous Docket Entry, hereby

Affidavit of Jurisdiction and Rehearing

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deny consent to removal of Fourth Judicial Circuit Case Number 16-2017-CA-2144 in defeasance

for the third and final time:

13. In further defeasance, the recording and publication of

declarant's Notice of Default and Estoppel, and Caveat: Declaration

of Final Default Judgment against respondent(s) is found at the following

Registrar (Probate Court) / Recorder location:

�042Notice ofAppeal Doc # 2o17095681, OR BK 17948, Page 2478 - Docket Entrv 42;

�042Caveat: Declaration of Final Default Judgment Doc # 2017104679, OR BK

17971, Pages 805-818);

14. The foregoing is grammar, logic, rhetoric, and reason not only why any rendition of any

order is void ab inito, and why there is not any rendition of any order, and why Trespasser's

unauthorized, unlawful, purported Notice of Removal is wholly void ab initio, and why there is

no evidence that Trespassers have any capacity or any standing to speak, act, file, or cause a

filing for respondent(s) in and for Fourth Judicial Circuit Case Number 16-2017-CA-2144 or

Affidavit of Jurisdiction and Rehearing

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Appeal Number ID17-1538, and why Trespassers have absolutely no right of entry into Fourth

Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number 1D17-1538, but also why the

herein aforementioned is error (see Petition (for Writ of Error) To Strike pages 4-5)·

15. Fifth, declarant asserts that herein is highly probative evidence

that by their actions and conduct, Trespassers (remitters) are fully

and immediately liable ipso facto and ipso jure for quasi divers

offenses of fraud, contempt of court, acts in bad faith, meddling in an

officious manner, trespass, and acts of Executor De Son Tort. As

such, Trespassers (remitters) are subject to sanctions, remit

compensation to Syteria Lawrence Estate, remit damages to Syteria

Lawrence Estate, and ecclesiastical censure of excommunication(see

Syteria Hephzibalrc"* Estate Allodial Cost Schedule 16-2017-CA-2144 [

] (Registrar (Probate Court) Recorder D o e # 2 0 1 7 o 8 2 1 2 6, O R B K 179 4 0, P a g e

1509).

t 6. S i x t h a n d F i n a1, the foregoing is grammar, logic, rhetoric, and reason why the

herein aforementioned is error and declarant obliges the court to speedily and

expeditiously strike Trespassers' (remitters') listing as attorney on

A p p e a 1 N u m b e r I D17-1538, and strike Trespassers' (remitters') u n a u t h o r i z e d a n d

unlawful Notice of Removal, which, in bad faith, purports to have

removed this action to the United States District Court, absolutely

without any right of entry, absolutely without any capacity,

absolutely without any standing, absolutely without any bond

Affidavit of Jurisdiction and Rehearing

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(warrant) to speak, act, file, or cause a filing for respondent(s) (remitter(s)) in and for

Fourth Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number 1D17-1538. Further,

declarant obliges the court to speedily and expeditiously remand (remitment) this action back to

the Fourth Judicial Circuit Court so that judgment may be entered in declarant's favor and

against respondent(s) (remitter(s)) for absolute possession of declarant's body, estate, and

collateral free and clear of any distresses, constrains, restraints, or detainments. Also, so that

judgment may be entered in declarant's favor and against respondent(s) (remitter(s)) for

remittance of compensation and remittance of damages for maximum maintenance, maximum

cure, and maximum remedy for Svteria Lawrence Estate. Lastly, declarant obliges the court to

grant all such further, intermediate, and other relief as is just and proper for good cause,

no dolus, and in the interest of Syteria Lawrence Estate(see Petition (for

Writ of Error) To Strike page 6).

Affidavit of Jurisdiction and Rehearing

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CERTIFICATE OF SERVICE (PROOF OF SERVICE)

emmem 2 orm ano esimuen R hereby certify under penalty of bearing false

witness that on or about this Tenth Day of the Seventh Month in the Year of Our Universal Allah (All-Law) Fourteen Ilundred

Thirty-Seven [Gregorian Calendar Year 2017 - July, 101. I caused to be band-delivered and/or emailed and/or placed in the U.S.

Registered or Certified Mail (First Class postage, pre-paid) and/or placed in Fed Ex and/or UPS delivery (First Class postage,

pre-paid) one (1) original and/or one (1) copy of tlie following

1. Affidavit of Jurisdiction and Rehearing (28 pages): and

2. Reference copy of this Certificate of Service (PROOF OF SERVICE) (signed original on file) h page).

All parties required to be served have been served at the following mailing location:

Sean Patrick Flynn and W. Stephen \luldrow, JOH North I ampa Ntreet, Suite 3200. I ampa, Florida 33602Irish 4 nder on. 300 N orth li ogan Street, Suite 6350, .fucksonville, Florida 32202( cd ric Donar, 300 North Hogan street, Suite 6350. Jacksonville. Florida 32202

Kim I.cc ½ arson. 300 North llogan Street, Suite 2-200, Jacksons ille, Florida 32202Jim llasketk 3HU North Hogan 5treet, 5uite 2-200, Jacksons ille. Florida 32202Patrick Sheridan, 300 North Ilagan Ntrect. Suite 2-200, Jacksons iHe, Florida 32202

\larcia \1orales llunard. ( hamben I l-350, ( ouriroom 10H, 300 Norlh Ilogan Street. Jacksons ille, Florida 32202Arnold ( orsmeier. 300 North flogan Street. Suite 700, Jacksons iHe, Florida 32202

\lonte ( . Richardson. ( hamhen 5411, ( ourtroom 5( , 3H0 ½rth flogan tact, JacksonviHe, Florida 32202Patricia D. Harksdale, 300 North llogan Street, ( ham hen 5 311, ( ourtroom 58, Jacksons ille, Florida 32202.lodi I.. W iles. (imrtroom 10H, 300 North Hogan Street, Jacksons iHe, Florida 32202Nhen i 1 ocsch, 400 ½rth I am pa Nt reet, Nuite 3200. Tampa, Florida 33602Penelope Knos 300 ½rth llogan NI reet, Nuite 2-450, 3acksonsille, Florida 31202A, I ec Henticy. 30H North Hogan treet. Nuite 700, Jacksons iHe, Florida 32202\lac D. Heasener. 400 Norlh I ampa Nirect, Suite 3200, Tampa, Florida 33602

\laurice Grant, 200 ¼ est Fonyth Street. Nuite 1240. Jacksonville Florida 32202Ramon De I.con, 1645 Hiscayne Boules ard. Suite 310, \liami, Florida 33132

Donald \lairs, 1035 1.asalle Streel, Jacksons iHe, Florida 32207Donna I.ee llelm, 200 ½ est I orsy th Street. Suite 1240. Jacksomille Florida 32202Germaine Neider, 400 North I ampa Street, Nuite 320tl. I ampa, I forida 33602

Dasid P. Rhodes. 400 North Tampa Street, suite 3200. Tampa, I lorida 33602Hrad ( ouper. 6265 Gunharrel Asenue, Suite H, Huulder, ( olorado 803H1

I homas Kane, 320 First Street, ¼ ashington, D.( ., 20534\ngela ( -ote Dem psey . 301 �060mthlon roe Si rect, ( 'ourtroom 3H, Talla hassee. Florida 32301

Nara Hassler, 301 South \!anroc Ntreet, I aHahassee. Florida 32301Hradley R. Johnson, 2900 Apalachec Parkway. 1aHahassee, Florida 32399Gwen \larshall,301 south \lonroc Street. # 100, lallahassee, Florida 32301Jesse Haskins. I he ( apitol Pl.-01. Tallahav.ec, Florida 32399-6507Peter Ngoumbelis, 10565 ( reston Glen ('ircle East, JacksonviHe, Florida 32256

Richie Hinnco, 7322 hrmandy Ikulevard, Jacksons iHe. lorida 32205-6261kenneth I.. Green. 7322 ½rmandy Houlesard, Jacksomille, Florida 32205-6261Jon S. W heeler. 2000 Drayton Drive, l aHahassee, Florida 32399-0950Pa meia Jo Hundi, fhe Capi tol PI -01. TaHahassee. I lo rida 32399- 105HHk incorporated. 6265 Gunharrel Asenue, Nuile H, Houlder, Houlder ( ounty. ( olorado 80301I .N. \larshals Nervice. 300 North Hogan Street, Suite 2-450, JacksumiHe. Dmal ( ounty, l·lorida 32202I . . Prohalion and Pretrial Nen ices, 300 ½rth Hogan Street, 5uite 2-200 and Suite 6350. Jacksumille, Duval ( ounty. Florida 322H2

I .5. Attornes's office, 300 ½rth llegan Street, Suite 700, Jacksonville, Duval ( ounty, Florida 32202I . . Department of Justice, 300 ½rth Hogan Nirect. Suite 700, Jackson ille, Duval ( ounty, Florida 32202Federal Hureau of Prisons, 320 Fint Street, Washington, District of( -olumbia, 20534Florida Department of Highway Nufety and \1otor Vehicles, 2900 Apalachec Parkway. laHahassee. Florida 32399Florida liighway Patrol. 2900 palachec Parkway. I allahassee, Florida 32399Icon(-ounty Jail,535 \ppleyard Drive.TaHahasser Florida32304

OAffidavit of Jurisdiction and Rehearing

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Verification

I, SyteriaHephzibah-ElalsomlledHighlyFavolulShekinahEl,DivinelmmortalSpiritinLive Flesh and Blood

Natural Woman of majority on the Land, In Propria Persona by Sui Juris capacity, Jus Sanguinis,

Heir Apparent by Freehold of Inheritance, Original Autochthonous American Moor Alien

(Friend) Republican Universal Government Form and Testamentary Style [AAMARUV�442],do

hereby declare and affirm by virtue of Divine Law, under penalties of perjury under the laws of Our

Most High Creator Divine Source for the Force Universal Allah (All-Law), Th e H o1y K o r a n

Circle 7, The Zodiac Constitution, the laws of the State of Florida, and the

laws of the United States of America, that I am competent to state the matters set forth, and herein,

and that all of the facts stated are true, correct, complete, certain, not misleading, admissible as

evidence, in accordance with declarant's best first-hand knowledge, understanding, and honorable

intent, and if called upon for rhetoric as a witness to the veracity of evidence preferred and proffered,

declarant shall so state.

[State v. Shearer, 617 So.2d (Fla. App. 5 Dist. 1993)]

This Affidavit is dated the Tenth Day of the Seventh Monthin the Year ofOur Universal Allah (All-Law)

Fourteen Hundred Thirty-Seven [Gregorian Calendar Year 2017 - July, 1o]

O

Affidavit of Jurisdiction and Rehearing

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Affidavit of Jurisdiction

1. TO ALL PARTIES AND TO THEIR CONSUL(S) OF RECORD TAKE NOTICE that On the

Record and for the Record, present is Syteria Hephzibah-El, also called Highly Favored Shekinah El,

Divine Immortal Spirit in Live Flesh and Blood Natural Woman of majority on the Land, in

Propria Persona by Sui Juris capacity, Jus Sanguinis, Heir Apparent by Freehold of Inheritance,

Original Autochthonous American Moor Alien (Friend) Republican Universal Government

Form and Testamentary Style [AAMARUUV], a people of Our state and of sound

firm mind; Competent by Conduct and Virtue for Moral Integrity and Upright Character,

Honor, Fidelity, Respect, Courage, Temperance, Faith, Hope, Wisdom, Will, Love, Truth, Peace,

Freedom, Justice, Prudence, Humility, and Service, guided only by Our Most High Creator

Divine Source for the Force Universal Allah (All-Law) whom sustains all protection and

provision for Life, Liberty, Property, Family, Natural Environment, and Cultural Heritage.

2. One, the Original Autochthonous American Moor Alien (Friend) Republican Universal

Government Form and Testamentary Style [AAMARUW], hereinafter, "declarant," rises and

gives honor and recognition to The Holy Koran Circle 7, The Zodiac

Constitution (Registration No. AA222141 Truth Al-Class A)and all

annexes thereto, The Holy Qur'an, The Great Law of Peace, The

Iroquois Constitution, The American Declaration of Independence

(1776), T h e Treaty of Peace and Friendship (1787), The Madrid Convention on Protection in

Morocco (July 3, 1880), Articles of united states for America Organic Constitution (1787), Bill of

Rights of united states for America Organic Constitution (1787), The Universal Declaration on

Human Rights (1948), The American Declaration of the Rights and Duties of Man (1948)

Affidavit of Jurisdiction

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inclusive without limitation all annexes thereto, T h e U n i t e d N a t i o n s D e c 1 a r a t i o n o f

t h e R i g h ts o f t b e C h il d (1959), The Universal Declaration on the Rights of

Indigenous Peoples (2006), The International Proclamation for the Original Autochthonous

American Moor Alien (Friend) Republican Universal Government Form and Testamentary Style

[AAMARUW](2016), The International Resolution For Competence By

Conduct and Virtue - Affidavit of Bona Fide Moral Integrity and

Upright Character Lawful Status (2016), United Nations General

Assembly Declaration on the Granting of Independence to Colonial

Countries (Countees) and Peoples 1514 (XV) 947th Plenary Meeting

(14 December 1960), the Hague Conventions and the Geneva

Conventions inclusive without limitation of all annexes thereto.

3. The declarant is General Executrix / Caveator-Creditor by testamentary style trust

conveyancing of Caveat: Declaration of Final Default Judginent 16-2017-CP-to2O

[ . ] (Registrar (Probate Court) Recorder Doc # 2o171o4679, OR BK

17971, Pages 808-814), SYTERIA LAWRENCEW Estate Authenticated Birth Certificate,

Registered Copyright, Registered Trademark (Copyright Deposit No. 0031755), Copyright /

Trade-Name / Trademark Contract, Registered Fictitious Name (Florida Department of State

No. G15000000753), Registered Surety Bond with Collateral (3:15-00016), Fiduciary

Appointment Contract (3:15-00016), Svteria Hephzibah©�442®Estate Allodial Cost Schedule

16-2017-CA-2144 [ ] (Registrar (Probate Court) Recorder Doc

#2017082126, O R BK 17940, Page 1509), Paramount Security Interest Holder

(Maritime Lien No. RE603617867US Putnam County Florida Inst. No. 201054713722; Maritime

Lien No. RE603617765US Putnam County Florida Intr. No. 201054710187; State of Florida UCC

No. 2010053308; State of Florida UCC No. 201104871708; and Kentucky Secretary of State UCC

Affidavit of Jurisdiction

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Filing No. 2014-2695071-97.01, Duval County Recorder UCC Filing # 2015153501, Duval County

Recorder UCC Filing # 2015185625), over all alphabetical and/or numerical derivations and/or

variations of SYTERIA LAWRENCE©�442®Estate Letters Patent, Sign Manuals, Rights, Titles, and

Interests inclusive without limitation of all annexes thereto.

4. The declarantdoes hereby reserve all Natural rights, all Human rights,

a n d in accord with International (Transnational) Humanitarian Law, the Law of Nations, the

International (Transnational) Iany of Peace, and the International (Transnational) Law of War,

and for good cause, no dolus, and in the interest of Syteria Lawrence

Estate, does hereby give Affidavit of Jurisdiction together with

declarant's timely negative averment Affidavit(s) for Denial of

Consent To Removal To United States District Court, Notice of

Default and Estoppel, and Caveat: Declaration of Final Default

J u d g m e n t i n d e f e a s a n c e (see Case Number 16-2017-CA-2144 Notice of Appeal

Doc # 2o17o88472, OR BK 17948, Page 2478 - Docket Entry 34; see Notice of Appeal

Doc # 2017o95681, OR BK 17948, Page 2478 - Docket Entry 42; see Caveat:

Declaration of Final Default Judgment Doc # 2017104679, OR BK 17971, Pages 805-

818).

5. The court should speedily and expeditiously strike Sean Patrick

Flynn's and W. Stephen Muldrow's, hereinafter, "Trespassers," listing

as attor ney a n Appeal Number ID17-1538, and strike Trespassers' unauthorized

and unlawful Notice of Removal, which, in bad faith, purports to have

removed this action to the United States District Court. Trespassers

Affidavit of jurisdiction

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did file or cause to be filed a purported notice of removal as a

Miscellaneous Docket Entry (Event), not only for Appeal Number ID17-

1538, but also for Fourth Judicial Circuit Case Number 16-2017-CA-2144 (see Petition (for Writ

of Error) To Strike page 3; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page

2477 - Docket Entry 28). This is error. The Fourth Judicial Circuit Clerk of Court did rely upon

Trespassers' unlawful and unauthorized purported notice of removal in closing Fourth Judicial

Circuit Case Number 16-2017-CA-2144 (which is error), and this aforementioned subject-matter

is the cause for this Appeal Number ID17-1538 (see Petition (for Writ of Error) To Strike page 3;

see Notice of Appeal Doc # 2017088472, OR BK 17948, Page 2478 - Docket Entrv 38.

Notice of Removal To Federal Court).

6. First, it is declarant's assertion that Trespassers' unlawful and unauthorized purported notice

and purported action of removal in Case Number 16-2017-CA-2144 and Appeal Number ID17-

1538 is not merely defeasible, but wholly void ab initio. It is Trespassers' unlawful and

unauthorized purported notice and purported action of removal which caused Case Number 16-

2017-CA-2144 to close, and it was not closed by any rendition of any order (see Petition (for Writ

of Error) To Strike page 3; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page

2478 - Docket Entrv 38. Notice of Removal To Federal Court). This is error. As such, with the

cause of closure for Case Number 16-2017-CA-2144 being Trespassers' unlawful and

unauthorized purported notice and purported action of removal, conformed copies of the

Trespassers' unlawful and unauthorized purported notice and purported action of removal,

certificates of service, and the lower tribunal docket are filed in declarant's Notice of Appeal

[1D17-1538] (see Petition (for Writ of Error) To Strike pages 1-75; see Notice of Appeal Doc #

2017088472, OR BK 17948, Pages 2478-2483). Also, conformed copies of declarant's

timely negative averment Affidavit(s) for Denial of Consent To

Affidavit of Jurisdiction

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Removal To United States District Court and Petition (for Writ of

Error) To Strike Trespassers' Miscellaneous Docket Entry in

defeasance, along with original dated certificate of service are

included therein. Additionally, conformed copies with a notice of

filing containing a certificate of service reflecting service on all

parties is included herein and herewith.

7. Second, if any evidence of any rendition of order from the Fourth

Judicial Circuit or Adrian G. Soud exists, such order is not only unauthorized and unlawful, but

wholly void ab initio. On or about the Seventh Day of the Fourth Month Fourteen Thirty Seven

(1437) [Gregorian Calendar Year (G.C.Y.) 2017 - April 7], declarant did file Petition for

Disqualification against Adrian G. Soud (see Notice of Appeal Doc # 2017088472, OR BK

17948, Page 2477 - Docket Entry 19). On or about the Thirteenth Day of the Fourth Month

Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April 13], Trespassers did file an unauthorized,

unlawful, wholly void ab initio, purported Notice of Removal To United States District Court

(see Notice of Appeal Doc # 2017o88472, OR BK 17948, Page 2477 - Docket Entry 28).

On or about the Seventeenth Day of the Fourth Month Fourteen Thirty Seven (1437) [G.C.Y.

2017 - April 17], declarant did file a timely negative averme nt Affidavit for

Denial of Consent To Removal To United States District Court [dated

4-14-2017] in defeasance to Trespassers' unauthorized, unlawful, wholly void ab

initio, purported Notice of Removal To United States District Court (see Notice of Appeal Doc

# 2017o88472, OR BK 17948, Page 2478 - Docket Entry 34). On or about the Seventeenth

Day of the Fourth Month Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April 17], the Fourth

Judicial Circuit Clerk closed Case Number 16-2017-CA-2144 without rendition of any order and

based solely upon Trespasser's unauthorized, unlawful, wholly void ab initio, purported Notice

Affidavit of Jurisdiction

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of Removal To United States District Court (see Notice of Appeal Doc # 2017088472, OR

BK 17948, Page 2478 - Docket Entry 34 & 38). This is error.

8. Third, if any evidence of any rendition of order from the Fourth Judicial Circuit or

Adrian G. Soud exists, this would also be error as there is a Petition for Disqualification before

the Fourth Judicial Circuit prior to any rendition of any order, and any rendition of any order

post Petition for Disqualification is void ab initio. The foregoing is grammar, logic, rhetoric, and

reason why any rendition of any order is void ab inito and why there is not any rendition of any

order.

9. Fourth, there is no evidence that Trespassers have any capacity or any standing to speak, act,

file, or cause a filing for respondent(s) in and for Fourth Judicial Circuit Case Number 16-2017-

CA-2144 or Appeal Number ID17-1538 as:

(A) Case Number 16-2017-CA-2144 is a private matter between the declarant and those therein-

listed as respondent(s) in their private capacity, and there is no evidence that Trespassers are

either therein-listed or acting for respondent(s) in their private capacity (see Petition (for Writ of

Error) To Strike page 4; see Notice of Appeal Doc # 2017088472, OR BK 17948, Page

2469 - "a private person / a privately held company"); and

(B) Trespassers purport to be acting for United States, but there is no evidence that United

States is therein-listed as a private respondent(s) or that this action is a public or official matter

involving United States (see Petition (for Writ of Error) To Strike page 4; see Notice ofAppeal

Doc # 2017088472, OR BK 17948, Page 2469 - "a private person / a privately held

company"); and

Affidavit of Jurisdiction

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(C) Trespasser(s) purport to be acting in their public or official capacity as attorneys for the

United States, and not as private attorneys for the private respondent(s) therein-listed, and

there is no evidence to suggest othenvise (see Petition (for Writ of Error) To Strike page 4; see

Notice ofAppeal Doc # 2017o88472, OR BK 17948, Pages 2479 - 2483); and

(D) It is declarant's assertion that Trespassers have absolutely no right of entry into Fourth

Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number 1D17-1538, but further, there

is no evidence that Trespassers have ever made a required Entry of Appearance in Fourth

Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number ID17-1538 (see Petition (for

Writ of Error) To Strike page 4; see Notice of Appeal Doc # 2017088472, OR BK 17948,

Page 2475 - "Attorneys. No attorneys were found on this case"); and

(E) There is no evidence that the required bond (warrant of removal) is filed, accepted, and

approved in support of the purported notice and purported action of removal (see Petition (for

Writ of Error) To Strike page 4; see Notice of Appeal Doc # 2017088472, OR BK 17948,

Page 2478 - Docket Entry 38. Notice of Removal To Federal Court); and

(F) There is no evidence that respondent(s) have not been served (see Petition (for Writ of

Error) To Strike page 5; see Notice of Appeal Doc # 2o17o88472, OR BK 17948, Page

2481 - "The United States has not been served.")(see Notice ofAppeal Doc # 2017088472,

OR BK 17948, Page 2477 - Docket Entry 20 & 26. Certificates of Service)(see 3"'

Addendum Notice of Lis Pendens # 2017085161, OR BK 17944, Pages 1432 - 1435;

4th Addendum Notice of Lis Pendens # 2017o86521, OR BK 17946, Page 642 -

Certificates of Service). Further, Trespassers did ipsofacto and ipso jure act De Son Tort and

didfileoreausetobefiledanunauthorized, unlawful, void ab initio Notice of

Removal in bad faith which purports to have removed this action to

the United States District Court, which is evidence and Trespassers

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confession on and for the record that respondent(s) have been served;

and

(G) declarant does by negative averment affidavit deny consent to removal of Fourth Judicial

Circuit Case Number 16-2017-CA-2144 in defeasance one time (see Petition (for Writ of Error)

To Strike page 5; see Notice of Appeal Doc # 2017o88472, OR BK 17948, Page 2478 -

Docket Entry 34), declarant does by negative averment affidavit deny consent to removal of

Fourth Judicial Circuit Case Number 16-2017-CA-2144 in defeasance two times (see annexed

Appeal Number ID17-1538 - Judicial Notice Affidavit for Denial of Consent To Removal To

United States District Court), and declarant does by annexed hereto in full negative averment

affidavit Petition (for Writ of Error) To Strike Trespassers' Miscellaneous Docket Entry, hereby

deny consent to removal of Fourth Judicial Circuit Case Number 16-2017-CA-2144 in defeasance

for the third and final time:

10. In further defeasance, the recording and publication of

declarant's Notice of Default and Estoppel, and Caveat: Declaration

of Final Default Judgment against respondent(s) is found at the following

Registrar (Probate Court) / Recorder location:

Affidavit of Jurisdiction

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�042Notice ofAppeal Doc # 2017095681, OR BK 17948, Page 2478 - Docket Entry 42;

�042Caveat: Declaration of Final Default Judgment Doc # 2017104679, OR BK

17971,Pages805-818);

11. The foregoing is grammar, logic, rhetoric, and reason not only why any rendition of any

order is void ab inito, and why there is not any rendition of any order, and why Trespasser's

unauthorized, unlawful, purported Notice of Removal is wholly void ab initio, and why there is

no evidence that Trespassers have any capacity or any standing to speak, act, file, or cause a

filing for respondent(s) in and for Fourth Judicial Circuit Case Number 16-2017-CA-2144 or

Appeal Number ID17-1538, and why Trespassers have absolutely no right of entry into Fourth

Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number ID17-1538, but also why the

herein aforementioned is error (see Petition (for Writ of Error) To Strike pages 4-5).

12. Fifth, declarant asserts that herein is highly probative evidence

that by their actions and conduct, Trespassers (remitters) are fully

and immediately liable ipso facto and ipso jure for quasi divers

offenses of fraud, contempt of court, acts in bad faith, meddling in an

officious manner, trespass, and acts of Executor De Son Tort. As

such, Trespassers (remitters) are subject to sanctions, remit

compensation to Syteria Lawrence Estate, remit damages to Syteria

Lawrence Estate, and ecclesiastical censure of excommunication(see

Syteria HephzibahC"% Estate Allodial Cost Schedule 16-2017-CA-2144 [

] (Registrar (Probate Court) Recorder D o e # 2 0 1 7 0 8 2 1 2 6, O R B K 1 7 9 4 o , P a g e

1509).

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1 3 · S i x t h a n d F i n a 1, the foregoing is grammar, logic, rhetoric, and reason why the

herein aforementioned is error and declarant obliges the court to speedily and

expeditiously strike Trespassers' (remitters') listing as attorney on

A p p e a 1 N u m b e r I D17-1538, and strike Trespassers' (remitters') u n a u t h o r i z e d a n d

unlawful Notice of Removal, which, in bad faith, purports to have

removed this action to the United States District Court, absolutely

without any right of entry, absolutely without any capacity,

absolutely without any standing, absolutely without any bond

(warrant) to speak, act, file, or cause a filing for respondent(s) (remitter(s)) in and for

Fourth Judicial Circuit Case Number 16-2017-CA-2144 or Appeal Number ID17-1538. Further,

declarant obliges the court to speedily and expeditiously remand (remitment) this action back to

the Fourth Judicial Circuit Court so that judgment may be entered in declarant's favor and

against respondent(s) (remitter(s)) for absolute possession of declarant's body, estate, and

collateral free and clear of any distresses, constrains, restraints, or detainments. Also, so that

judgment may be entered in declarant's favor and against respondent(s) (remitter(s)) for

remittance of compensation and remittance of damages for maximum maintenance, maximum

cure, and maximum remedy for Syteria Lawrence Estate. Lastly, declarant obliges the court to

grant all such further, intermediate, and other relief as is just and proper f o r g o o d c a o s e ,

no dolus, and in the interest of Syteria Lawrence Estate(see Petition (for

Writ of Error) To Strike page 6).

Affidavit of Jurisdiction

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CERTIFICATE OF SERVICE (PROOF OF SERVICE)

nwnt 1 . hereby certify under penalty of bearing falNe

witness that on or about this Twenty-Second 1)ay of the Sixth Month in the Year of Our Universal Allah (All-Law) Fourteen

Hundred Thirty-Seven [Gregorian Calendar Year 20U - June, 22l, I caused to be hand-delivered and/or emailed and/or placed

in the U.S. Registered or Cedified Mail (First Class postage, pre-paid) and/or placed in Fed Ex and/or UPS delively (First ClaNN

postage, pre-paid) one (t) original and/or one ( t) copy of the following:

1. Affidavit of Jurisdiction (13 pages): and

2. Reference copy of this Certificate of Service (PROOF OF SERVICE) (signed original on file) (1 page).

All parties required to be served have been served at the following mailing location:

Neun Patrick Hynn and ¼. Siephen Muldron. 400 ½rth I ampa Street. Suite 3200, l ampa, Horida 33602trish ndemon. 300 ½rth Hogan Streel, Nuite 6350, JacksomiHe, Horida 32202Cedric Donar, 300 ½rth Hogan Street, Nuite 6350, Jacbon ille, Horida 32202Kim f.cc Wahon, 300 ½rth Hogan Ntreet, Nuite 2-200, Jackson ille, Horida 32202Jim Haskett, 300 ½rth flugan Street, Suite 2-200, Jacksumille, Horida 32202Patrick Sheridan, 300 ½rth 11ogan Si reet. Suite 2-200, Jacksonville. Horida 32202Marcia Morales Howard,( hambers 11-350,( ourtroom 10H, 300 Mrth Hogan Sirect. JacbomiHe, Horida 32202Arnold ( orsmeier, 300 ½rth llogan Ntreet, Nuite 700, Jack.somille, Horida 32202

Monte ( . Richa rd son. Chambers 5-4 1 1. Coudroom 5( 300 ½rth 11onan Streci, Jacksonvine. Horida 32202Patricia D. Barbdale, 300 hrth Hogan Street, ( hambers �060Jll.( ourtroom 511, Jacksomille, Horida 31202Jodi I., ¼ iles, ('ourtroom 10H, 300 ½rth Hogan Street, Jacksomille, Horida 32202Sheryl 1.oesch, 400 ½rth I ampa Ntreet. Nuite 3200, I ampa, Horida 33602Penelope Know 3m ½rth Hogan Ntreet, Nuite 2-450, JacksomiHe, Horida 32202A. I.ee Bentley, 300 ½rth Hogan N1reet, Nuite 700, Jacksomille, Horida 32202Mac D. llenvener, 400 ½rth Tampa Street, uite 3200, I ampa, Fionda 33602Maurice Grant, 200 West Forsyth Street Suite 1240, JacksonviHe Horida 32202Ramon De I.ctm, 1645 Hiscayne Boulevard, Nuite 310, Miami, Horida 33132Ikmaid Mairs. 1035 LaNaile Street. Jacksonville, Horida 32207Donna I.ce Helm, 200 ½ est Forsyth Street, Suite 1240. Jacksomille Horida 32202Germaine Neider, 400 ½rth I ampa Street, Nuite 3200. I ampa. Horida 33602David P, Rhudes, 400 ½rth I-ampa Nirect, Suite 3200, Tampa, Horida 33602

Hrad ( ooper, 6265 Gunharrel Asenue. Suite H, Houlder. Colorado 80301I homas Kane, 320 First Ntreet ¼2.hington. D.( .. 20534·\ngela ( ore Dempsey, 301 South Monroe Street, ( ourtroom 3H. I aHahassee. Horida 32301Nara Hawter. 301 Nouth Monroe Street, lallahawce, Horida 32301Bradley R. Johnson. 2900 Apalachec Parkway, I aHahassee. Horida 32399Gwen ManhaH, 301 South Monroe Street, # 100. TaHahassee. Merida 32301Jesse f la skins, I he Capitol PI -01, TaHahance, Hodda 32399-6507Peler Ntoumbelis, f 0565 t resion Glen ( -ircle East Jackson viBe, Horida 32256Richie Htanco. 7322 ½rmandy Houlesard, Jacksonville, Horida 3220N6261Kenneth I.. (;reen, 7322 ½rmandy Houlesard, JacksonviHe, Horida 32205-6261Jon N. ½ heeler. 2000 Drayton Drive, TaHahassee, Horida 32399-0950

Pamela Jo Hondi. The ( apitol Ptr01, TaHahassee, Horida 32399-1050HI, incorporated, 6265 Gunharrei Avenue. Suite H, Houlder, Houlder ( uunts. ('olorado 80301l .N. Marshals Ners ice, 300 ½rth Hogan Street, Nuite 2-450, Jacksom ille, Duval County, Horida 32102i .N. Probation and Pretrial Nerdces, 300 ½rth Hogan Street, Suite 2-200 and Nuíte 6350, JacksomiHe, Deal Counti, Horida 32202l .N. Iturnry's office, 300 ½rth Hogao Street, Suite 700. Jacksonvine. Dusal ( ountt Hurida 322021 5. Department of Ju tice, 30H North Hogan Nireet. Nuite 700, JacksonviHe. Duval ( ounty. Horida 32202Eederal Hureau of Prisons, 320 First Street. ½ ashington. District oI( olumbia, 20534

Horida Departmeni of Ilighway Nafely and Motor Vehicles, 2900 \palarhee Parkway, TaHahassee, Honda 32399Honda Highway Patrol, 2900 Apalachee Parkway. I aHahassee, Horida 323991 con ( ounty Jail, 535 Appleyard Drive, I allahawee, Horida 32304

OAffidavit of Jurisdiction

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Verification

I, Syteria Hephzibah-El also called Highlv Favored Shekinah El, Disine Immortal Spirit in Li ve Flesh a nd Blood

Nat u ral Woman of majority on the Land, In Propria Persona by Sui Juris capacity, Jus Sanguinis,

Heir Apparent by Freehold of Inheritance, O ri gin a1 Autochthonous American Moor Alien

(Friend) Republican Universal Government Form and Testamentary Style [AAMARUCN], do

hereby declare and affirm by virtue of Divine Law, under penalties of perjury under the laws of Our

Most High Creator Divine Source for the Force Universal Allah (All-Law), Th e H o1 y K o r a n

Circle 7, The Zodiac Constitution, the laws of the State of Florida, and the

laws of the United States of America, that I am competent to state the matters set forth, and herein,

and that all of the facts stated are true, correct, complete, certain, not misleading, admissible as

evidence, in accordance with declarant's best first-hand knowledge, understanding, and honorable

intent, and if called upon for rhetoric as a witness to the veracity of evidence preferred and proffered,

declarant shall so state.

(State v. Shearer, 617 So.2d (Fla. App· 5 Dist. 1993)]

This Affidavit is dated the Twenty-Second Day of the Sixth Monthin the Year of Our Universal Allah (All-Law)

Fourteen Hundred Thirty-Seven [Gregorian Calendar Year 2o17 - June, 22]

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onfirmation Page https://edca.ldca.org/Success.aspx?CaselD=70777&FOBO- Syteria I1...

First District Court of Appeal

eFiling ConfirmationYour Document has been received.

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VS

Jon S. Wheeler, ClerkFiler: Syteira Hephzibah

Bar No.: 0000000

EMail: [email protected]

Type: Response

Document: Response

Title: Affidavit of Jurisdiction

On Behalf of: Syteria Hephzibah-El, General Execurrix

Date Filed: 06/23/2017

Time Filed: 04:12

of 1 6/23/2017 4: 12 PM