Fie
Harney County Grcut Court
Shawna Cox SEP 26 2016
113 East Adams St.
Burns, Oregon 97720 Time: Saal 0
Phone: 435-899-0300
Fax: 435-644-5371
In Propria Persona, Sui Juris
IN THE HARNEY COUNTY CIRCUIT COURT
STATE OF OREGON
coseno, (WeCV5|3lal
Shawna Cox, and those similarly)
situated, and those real partiesto—)
bejoined astheirnames become ) 1) VERIFIED-COMPLAINT TO UN-CLOUD AND QUIET
know, ) OWENERSHIP RIGHTS; AND
2
Plaintiff, ) 2) DECLARATORY RELIEF REGARDING FEDERAL vs
)_ STATE CRIMINAL JURISDICTION; NOTARIZED
v. ) VERIFICATION
2
United States of American, and does.) (Note all answers to be verified in like kind)
1-100, )
)
Defendants. ,
1) VERIFIED-COMPLAINT TO IN-CLOUD AND QUIET OWENERSHIP RIGHTS; AND 2)
DECLARATORY RELIEF REGARDING FEDERAL vs STATE CRIMINAL JURISDICTION
Venue and Jurisdiction
Venue is state of Oregon, 24 Judicial District, as the land subject to this quiet tile is Malheur
ildlife Refuge at 36391 Sodhouse Lane, Princeton. The Legal description per the Harney
County Tax assessor is as follows:
1 26S., R31 E,W.M. TL 100; LAND IN HARNEY COUNTY, OREGON, AS FOLLOWS:
IN TOWNSHIP 26 S., RANGE 31 E.,W.M.
SOUTH OF MALHEUR LAKE
: LOTS 1, 2, 3 & 4; SW1/Aswi/4
oT.
SECTION 35: NE1/4; SE1/4NW1/4; LOTS 2, 3, 4, 5, 6 & 7; S1/2SE1/4
SECTION 36: LOTS 1, 2, 3, 4, 5, 6, 7,8, 9, 10, 11 & 12; W1/2NW41/4; SE1/4NW1/4; S1/2SW1/4;
NE1/ASE1/4
1) COMPLAINT TO UN-CLOUD AND QUIET OWNERSHIP RIGHTS; AND 2) PAGE, 1
DECLARATORY RELIEF REGARDING FEDERAL VS, STATE CRIMINAL JURISDICTIONFIRST CAUSE OF ACTION
1. Plaintiff re-alleges the foregoing Venue and Jurisdiction, allegations and general factual
allegations and incorporates herein.
2. Defendant will add additional plaintiffs and Does 1-100, as they become known,
3. This complaint is brought in accordance with ORS § 12.050 and a jury trial demand has been
made and paid for in accordance with ORS § 52.570.
4. Shawna Cox am an individual who took hostile adverse possession of the Malheur Wildlife
Refuge in hope to show the people of Harney County how Federal Government is involved
in taking their lands and opportunities from them.
5. As described in ORS | am an interested party who is motivated to assist the people of
Harney County to recover lands involved in the Malheur that has wrongfully been taken
from them.
6. It appears section 36 has been wrongfully taken from the Harney County schools and any
and all funds generated from section 36 have been embezzled from Hamey county schools.
7. Ihave had many expert witnesses examine the chain of title to the Malheur and the laws of
our federal government and state governments, and their conclusion is the land titles to the
‘Malheur is seriously clouded, federal government overreach is involved and oppressive
government tactics Is involved in covering-up and concealing the government overreach
involved.
8. 1am challenging the manner in which the Federal Government obtained title to the
Malheur,
9. lam challenging the capacity in which the federal government holds the title to the
Malheur.
10. | am challenging the Federal Government's capacity to have continued to hold title to the
Malheur.
11. 1am challenging the federal Government's capacity to continue to hold title to the Malheur.
12. 1am challenging the ability of the people of Harney County to be able to govern themselves.
1) COMPLAINT TO UN-CLOUD AND QUIET OWNERSHIP RIGHTS; AND 2) PAGE. 2
DECLARATORY RELIEF REGARDING FEDERAL VS. STATE CRIMINAL JURISDICTION13, This complaint is intended to restore domestic tranquility to Harney County that has been
seriously damaged by federal government overreach and oppression.
‘SECOND CAUSE OF ACTION
iff re-alleges the foregoing
14, Plaintiff re-alleges the foregoing Venue and Jurisdiction Plait
Venue and Jurisdiction, and FIRST CAUSE OF ACTION and incorporates herein.
15. A Request for declaratory relief is made for a declaratory judgment defining Venue and
Jurisdiction regarding any alleged acts or omissions (criminal violation(s)) of federal or state
laws for any acts committed on the subject property at the Malheur Wildlife Refuge, at
36391 Sodhouse Lane, Princeton, near Burns, Oregon.
Dated this 24" day of September 2016.
Respectfully Submitted 7
Shawna Cox, In Propria Person, Sul Juris,
All Rights & Protections Reserved
1) Comptaint To UN-C.ouD AND QuiET OwNeRSHP RIGHTS; AND 2) PAGE. 3
DECLARATORY RELIEF REGARDING FEDERAL VS, STATE CRIMINAL JURISDICTIONVERIFICATION
‘Sue of Oregon
eee
‘Coany of Harney
rest Copy of Orig
Shawna Cox, being duly sworn, deposes, and says:
lam an accused defendant in error and Affiant herein regarding thee above-enttitled
action. | have read the foregoing “1) VERIFIED-COMPLAINT TO UN-CLOUD AND QUIET
OWENERSHIP RIGHTS; AND 2) DECLARATORY RELIEF REGARDING FEDERAL vs STATE CRIMINAL
JURISDICTION; VERIFICATION” and knows the contents thereof. The same is true of my own
knowledge and, except as to matters therein stated on information and belief, and as to those
matters, | believes it to be true also.
| declare under penalty of perjury of the laws of the states of Oregon, one of the several
States of the United States of America.
Qe Cox, Affiant
In Propria Persona, Sui Juris
All Rights & Protections Reserved
Subscribed and sworn to beforeme tis_27Y day of september 206.
Notary Publio—regn
Notary Public “ome _
State of Washington >
Mercedes Ortega =
lommission Expires 04-16-1 My commission expires:_OM\U\__
| (Or see attached Notary Page)
1) COMPLAINT TO UN-CLOUD AND QUIET OWNERSHIP RIGHTS; AND 2) PAGE. 4
DECLARATORY RELIEF REGARDING FEDERAL VS. STATE CRIMINAL JURISDICTION