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FILE-TK NO/ 2010-100005

IN THE PROVINCIAL COURT OF ALBERTA

JUDICIAL DISTRICT OF ST.ALBERT

BETWEEN:

THE CROWN

KENYOUTH LUCIEN HENRY

PRIVATE ENFORCEMENT AGENCY Plaintiffs

- and -
Defendant

HENRY, SEAN
NOTICE OF MOTION

TAKE NOTICE that an application will be made by the Secured party/ Authorized Representative /
counsel for the Defendant HENRY, SEAN before the presiding Master in Chambers at the law Courts,
in Court Room # 1 at 4711-44 Avenue, in the City of Stony Plain, in the Province of Alberta, on
_____th day of ___________________, 2010 at the hour of ______ AM or so soon thereafter as this
counsel/agent/authorized representative may be heard, for an Order for:

(a) Summary Judgment dismissing, with prejudice, this criminal charge of the Crown against the
Defendant. Alberta Rules of Court Rule 384, Article 15 of the International Criminal Court.
TAKE FURTHER NOTICE that in support of the within application will be presented and read the
Affidavit of Kenyouth Lucien Henry attached with this affidavit as Exhibit “A”; Alberta Government
Services Land Titles Office document 072481372 signed by the Complainant on August 2 2007 attached
as Exhibit “B”; February 28 2008 Letter from the City of Edmonton Office of the City Clerk Attached
“C” ; Letter of January 7 2010 to Judge Nemirsky of St. Albert Provincial Court attached as Exhibit“D”;
Authorization for Release of Information signed by Merle Henry on May 5 2008 attached as Exhibit “E”
filed herewith the presentments filed in this action, and such further and relevant material as the
applicant may present to this Honorable Court for its knowledge as required in accord with International
Law and the Alberta Queen’s Printer, Section 35 Canada Constitution Act, United Nations Charter Art.
55 & 56, United Nations Declaration on Human Rights, Edmonton Aboriginal Declaration, Edmonton
Aboriginal Accord, Treaty 6 with Queen Elizabeth I, 1812 Treaty of Ghent with Great Britain. Alberta
Court Rules: 261(1)-(3), 261.1; 264, 729.5
AND FURTHER TAKE NOTICE that the grounds for the within application are as follows:
(b) There is no genuine issue to be tried and there is no controversy. There is no merit and foundation to
the complaint filed by Kenyouth Lucien Henry who has relinquished his capacity to act for himself via
his will dated October 28, 2004 ; Such Knowledge and prima facie evidence, Uniform Commercial
Code §1-202, The Hague Statute on Private International Law( in effect in Canada since January 1
2007) and the certified commercial contract is agreed to by the complainant, Kenyouth Lucien Henry,
prior to the filing of this criminal charge. Alberta Court Rules 389, 484, 729.5.

(c) The Hague Statute on Private International Law, which the complainant has agreed to by his
acquiescence and refusal to respond, and which the Crown is obligated to obey, makes this criminal
action filed in this provincial Court which the Crown Attorney proceeds, Ultra Vires. The complainant
in this matter, Kenyouth Lucien Henry via stare decisis et non quieta movere and stare enim religioni
debet, made Mrs. Merle Henry his sole heir, personal representative and trustee. Mrs. Merle Henry
transferred the responsibility of handling Mr. Kenyouth Henry’s Affairs over to her son, :Nanya-
Shaabu:El, in accord with the Law of Property Act §69 § “O” which was notarized before a public
Notary and Authenticated by the Province of Alberta – Department of Justice. Alberta Court Rule 231.

(d) The complaint filed by the complainant, against the defendant, contradicts the complainants Transfer
of Land and Dower Affidavit Filed of August 2, 2007 ( Registration Number: 072481372) with the
Alberta Land Titles containing the Secured party/ Creditor/ Authorized representative with Power of
Attorney for the Complainant, Authenticated by the Province of Alberta, as the witness for the
complainant and available for viewing on the Internet at the website of Abbey Road registries:
www.abbeyroadreg.com as a legal document identifying all parties to the contract. Alberta Court Rules
231, 261(1)-(3), 261.1; 264, 389.

(e) Sections 139, 140.(1), 141.(1) and 405 of the Canada Criminal Code have been violated by the
complainant, Kenyouth Lucien Henry, who has not denied the correct name of the secured party and
authorized representative, and deliberately, maliciously, mischievously and falsely accusing the Secured
Party ( P.P.S.A.) , Power of Attorney and Chief :Nanya-Shaabu:El of the At-sik-hata Nation of
Yamassee Moors as HENRY, SEAN. Mr. Kenyouth Lucien Henry has signed legal documents, and has
also contradicted his original criminal complaint, by admitting in on legal documents, affidavits and in
the presence of: Notary Publics, Commissioners, and an Assistant Deputy Registrar that my name is in
fact :Nanya-Shaabu:El. I also have Power of Attorney for the Complainant, Authenticated by the
Province of Alberta for the Complainant, and Mr. Kenyouth Lucien Henry has also contradicted his
complaint numerous times via his affidavits filed in Alberta Court of Queen’s Bench in Edmonton ,
Alberta.

(e) The complaint filed and this criminal proceeding conducted is fraud, collusion, conspiracy and fruit
of a poisonous tree. The legal Maxim is: Fraud voids a contract ab initio, see Canada Criminal Code
Section 139.

Dated at the City of Edmonton, in the Province of Alberta, this _____th day of May 2010.

:NANYA-SHAABU:EL – Secured Party


Creditor / Bailor and Postmaster

Per: _________________________________
:Nanya-Shaabu:El – United Nations IPO #2718
Indigenous / Authochthonous Man
Chief of the At-sik-hata Nation of Yamassee Moors
Authorized Representative /Creditor of
HENRY, SEAN©TM (CCC §621.1

TO: CLERK OF THE COURT FOR STPONY PLAIN


AND TO: The Crown Attorney – Jeffrey Morrison
Kenyouth Lucien Henry
PRIV Agency.
Rav Bains – Stony Plain Probation Officer
FILE-TK NO/ 2010-100005

_____________________________________________________

IN THE PROVINCIAL COURT OF ALBERTA

JUDICIAL DISTRICT OF STONY PLAIN

______________________________________________________
BETWEEN:

THE CROWN

KENYOUTH LUCIEN HENRY

PRIVATE ENFORCEMENT AGENCY Plaintiffs


- and –
HENRY, SEAN Defendant
_____________________________________________________
_

NOTICE OF MOTION

______________________________________________________

:NANYA-SHAABU:EL-CHIEF OF THE AT-SIK-HATA


NATION OF YAMASSEE MOORS, SECURED PARTY
POWER OF ATTORNEY AND CREDITOR OF
HENRY, SEAN AND KENYOUTH LUCIEN HENRY
GD STN MAIN, EDMONTON, AB T5J 2G8
780-271-9199

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