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John Henry Smith

C/o Box 123


Anywhere, Utah
_______________________________________________________________________
_

district court for the United States

c/o UNITED STATES DISTRICT COURT

DISTRICT OF UTAH, CENTRAL DIVISION


_______________________________________________________________________

UNITED STATES OF AMERICA ) in Admiralty


Plaintiff ) Case No.: 2:03cr123 ABC
)
v. ) AFFIDAVIT OF SPECIFIC
) NEGATIVE AVERMENT
JOHN H SMITH )
Defendant )
___________________________________ )
John Henry Smith, agent, lawful man, )
Creditor, injured third party intervenor )
_______________________________________________________________________

AFFIDAVIT OF SPECIFIC NEGATIVE AVERMENT

This is a verified plain statement of facts

I, John Henry Smith, Affiant, being over the age of twenty-one years, competent to
testify, with first hand knowledge do affirm and say that:

1. Affiant denies that the UNITED STATES DISTRICT COURT is the district court
for the United States.
2. There is no evidence in fact that the UNITED STATES DISTRICT COURT is
the district court for the United States, and Affiant believes that none exists.
3. Affiant denies that the UNITED STATES OF AMERICA has standing to sue in
the UNITED STATES DISTRICT COURT.
4. There is no evidence in fact that the UNITED STATES OF AMERICA has
standing to sue in the UNITED STATES DISTRICT COURT, and Affiant
believes that none exists.
5. Affiant denies that William Jones (dba WILLIAM JONES #1234) has authority to
represent UNITED STATES OF AMERICA in UNITED STATES DISTRICT
COURT.
6. There is no evidence in fact that William Jones (dba WILLIAM JONES #1234)
has authority to represent UNITED STATES OF AMERICA in UNITED
STATES DISTRICT COURT, and Affiant believes that none exists.
7. Affiant denies that Case No.: 2:03cr123 ABC, INDICTMENT is a verified
indictment.
8. There is no evidence in fact that Case No.: 2:03cr123 ABC is a verified
indictment, and Affiant believes that none exists.
9. Affiant denies that UNITED STATES DISTRICT COURT has injunctive power.
10. There is no evidence in fact that UNITED STATES DISTRICT COURT has
injunctive power, and Affiant believes that none exists.
11. Affiant denies that UNITED STATES DISTRICT COURT has capacity for
substantive due process.
12. There is no evidence in fact that UNITED STATES DISTRICT COURT has
capacity for substantive due process, and Affiant believes that none exists.
13. Affiant denies that there are any contracts, express or implied, between JOHN H
SMITH and UNITED STATES DISTRICT COURT, UNITED STATES OF
AMERICA, WILLIAM JONES, or any other party, real or pretended, in the
matter of Case No.: 2:03cr123 ABC.
14. There is no evidence in fact that there are any contracts, express or implied,
between JOHN H SMITH and UNITED STATES DISTRICT COURT, UNITED
STATES OF AMERICA, WILLIAM JONES, or any other party, real or
pretended, in the matter of Case No.: 2:03cr123 ABC, and Affiant believes that
none exists.
15. Affiant denies that John Henry Smith and JOHN H SMITH are co-business
partners.
16. There is no evidence in fact that John Henry Smith and JOHN H SMITH are co-
business partners, and Affiant believes that none exists.
17. Affiant denies that John Henry Smith is a surety for JOHN H SMITH.
18. There is no evidence in fact that John Henry Smith is a surety for JOHN H
SMITH and Affiant believes that none exists.
19. Affiant denies that John Henry Smith is a citizen of the UNITED STATES, or the
UNITED STATES OF AMERICA, or the USA, or any Federal Government
entity.
20. There is no evidence in fact that John Henry Smith is a citizen of the UNITED
STATES, or the UNITED STATES OF AMERICA, or the USA, or any Federal
Government entity, and Affiant believes that none exists.
21. Affiant denies that John Henry Smith is a resident of the UNITED STATES, or
the UNITED STATES OF AMERICA, or the USA, or any Federal Government
entity.
22. There is no evidence in fact that John Henry Smith is a resident of the UNITED
STATES, or the UNITED STATES OF AMERICA, of the USA, or any Federal
Government entity, and Affiant believes that none exists.
23. Affiant denies that John Henry Smith has any fiduciary duty to or for JOHN H
SMITH.
24. There is no evidence in fact that John Henry Smith has any fiduciary duty to or
for JOHN H SMITH, and Affiant believes that none exists.
25. Affiant denies that John Henry Smith is the trustee in any foreign situs trust, or
constructive trust, or a trustee in any way for JOHN H SMITH.
26. There is no evidence in fact that John Henry Smith is the trustee in any foreign
situs trust, or constructive trust, or a trustee in any way for JOHN H SMITH, and
Affiant believes that none exists.
27. Affiant denies that John Henry Smith has granted power of attorney to the
UNITED STATES, or the UNITED STATES OF AMERICA, or the USA, or to
any Federal entity, or to any BAR attorney.
28. There is no evidence in fact that John Henry Smith has granted power of attorney
to the UNITED STATES, or the UNITED STATES OF AMERICA, or the USA,
or to any Federal entity, or to any BAR attorney, and Affiant believes that none
exists.
29. Affiant denies that John Henry Smith is liable to or for any of the Federal
Government statutes or codes, such as the UNITED STATES CODE, or the
CODE OF FEDERAL REGULATIONS.
30. There is no evidence in fact that John Henry Smith is liable to or for any of the
Federal Government statutes or codes, such as the UNITED STATES CODE, or
the CODE OF FEDERAL REGULATIONS, and Affiant believes that none exist.
31. Affiant denies that John Henry Smith or any of his concerns of property are the
subject of jurisdiction of any Federal, State, or municipal officers.
32. There is no evidence in fact that John Henry Smith or any of his concerns of
property are the subject of jurisdiction of any Federal, State, or municipal officers,
and Affiant believes that none exist.
33. Affiant denies that John Henry Smith, his property or concerns, is a vessel of the
UNITED STATES, either documented or undocumented under 22 CFR.
34. There is no evidence in fact that John Henry Smith, his property or concerns, is a
vessel of the UNITED STATES, either documented or undocumented under 22
CFR, and Affiant believes that none exists.
35. Affiant denies that John Henry Smith is the beneficiary of any admiralty
insurance scheme, tontine scheme, or Federal support pyramid/insurance scheme,
such as, but not limited to, the FEDERAL RESERVE SYSTEM.
36. There is no evidence in fact that John Henry Smith is the beneficiary of any
admiralty insurance scheme, tontine scheme, or Federal support
pyramid/insurance scheme, such as, but not limited to, the FEDERAL RESERVE
SYSTEM, and Affiant believes that none exists.
37. Affiant denies that John Henry Smith is involved in any use of Federal Reserve
Notes, interstate banking, or any benefit privilege involving the discharge or debt
under public policy.
38. There is no evidence in fact that John Henry Smith is involved in any use of
Federal Reserve Notes, interstate banking, or any benefit privilege involving the
discharge or debt under public policy.
39. Affiant denies that there is any valid TRUE BILL from a valid GRAND JURY in
Case No.:2:03cr123 ABC.
40. There is no evidence in fact that there is any valid TRUE BILL from a valid
GRAND JURY in Case No.: 2:03cr123 ABC, and Affiant believes that none
exists.
41. Affiant denies that John Henry Smith is liable on Case No.: 2:03cr123 ABC either
civilly or criminally.
42. There is no evidence in fact that John Henry Smith is liable on Case No.:
2:03cr123 ABC either civilly or criminally, and Affiant believes that none exists.
43. Affiant denies that John Henry Smith is a BAR attorney with license to represent
JOHN H SMITH.
44. There is no evidence in fact that John Henry Smith is a BAR attorney with
license to represent JOHN H SMITH, and Affiant believes that none exists.
45. Affiant denies that there is any criminal act described in Case No.: 2:03cr123
ABC.
46. There is no evidence in fact that there is any criminal act described in Case No.:
2:03cr123 ABC, and Affiant believes that none exists.
47. Affiant denies that there is any verified claim on JOHN H SMITH.
48. There is no evidence in fact that there is any verified claim on JOHN H SMITH,
and Affiant believes that none exists.
49. Affiant denies that the UNITED STATES DISTRICT COURT, DISTRICT OF
UTAH, CENTRAL DIVISION, a fictional corporate entity for profit and gain,
exists.
50. There is no evidence in fact that the UNITED STATES DISTRICT COURT,
DISTRICT OF UTAH, CENTRAL DIVISION, a fictional corporate entity for
profit and gain exists, and Affiant believes that none exists.
51. Affiant denies that UNITED STATES OF AMERICA, a fictional corporate entity
for profit and gain, exists.
52. There is no evidence in fact that UNITED STATES OF AMERICA, a fictional
corporate entity for profit and gain exists, and Affiant believes that none exists.
53. Affiant denies that JOHN H SMITH , a fictional corporate entity for profit and
gain, exists.
54. There is no evidence in fact that JOHN H SMITH, a fictinal corporate entity for
profit and gain exists, and Affiant believes that none exists.
55. Affiant denies that UNITED STATES CODE exists.
56. There is no evidence in fact that UNITED STATES CODE exists, and Affiant
believes that none exists.
57. Affiant denies that INDICTMENT in Case No.: 2:03cr123 ABC exists.
58. There is no evidence in fact that INDICTMENT in Case No.: 2:03cr123 ABC
exists, and Affiant believes that none exists.

By ________________________________ agent, UCC 3-402 (b) (1)


John Henry Smith, Lawful man
COMMERCIAL OATH AND VERIFICATION

I, John Henry Smith, certify under my unlimited liability Commercial Oath and having
first hand knowledge of the facts with competence that the statements and facts are, true,
correct, complete and certain, and the truth the whole truth and nothing but the truth.

By _________________________________ ,
John Henry Smith, Lawful man

Utah state )
) affirmed under oath
Washington county )

The above affiant, John Henry Smith appeared before me a Notary in his true character
and affixed his signature to the above document and affirmed under oath this ______ day
of ___________ month, 2003.

___________________________
NOTARY

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