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Case 3:16-cr-00051-BR

Document 840-1

Filed 07/06/16

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Tiffany A. Harris
Attorney at Law
811 SW Naito Pkwy
Suite 500
Portland, Oregon 97204

May 17, 2016


As my Attorney and as your client, I, Shawna Cox, am instructing you to make the
following motions to the court within 10 days from the date of this letter, or document it
with the court in writing that I ordered you to make the following :
1 - Make a motion to the court that I am demanding to be tried in a common law court,
and that l am arguing that l am being tried in a corporate court of the Corporate United
States that is operating under Admiralty Law. Explain in my motion that I am restricting
the judicial powers of any Judge as identified in USC Article 11 to make this extremely
important factual determination. Explain in my motion that I am identifying the
following witnesses to testify to the factual matters involved in this matter.
Bruce Doucette
Anna von Rietz
Charles B Stewart
Krisanne Hall and others.
I am determined to be tried in a Common Law Court and will accept NO OTHER!!
2 - Make a motion to challenge the Grand Jury that indicted all of us. Demand to know
how many individuals who were on the Grand Jury that indicted us were sitting Grand
Jury members who sat on any Federal Grand Juries for more than 18 months or
consecutively sat on Grand Juries.
Demand to know if any of James O' Hagan' s documents or any other documents written
while we were protesting the prosecutorial misconduct and ineffective council of the
Hammond' s and the illegal ownership of the Mahuler Wild Life Refuge property was
presented t-o the Grand Jury that indicted us.
(If NOT then following the "Federal Rule of Criminal Procedure Rule 6" I want a
MOTION to throw out the Indictment!)
Demand to know if the prosecutor presented laws that were established to protect us, to
the Grand Jury that indicted us.
Demand to know if the prosecutor presented laws that were established to protect us, to
the Grand-Jury that indicted us, such as 18 USC section 1512, 1513, 1514, and 18 USC
section 3 and 4 Misprision of felony and accessory after the fact and other laws such as
our right to Redress of Grievance such as the fact the BLM and the Judicial Branch are
out of control.
In your motion identify each and every criminal code that was violated with the selective

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Case 3:16-cr-00051-BR

Document 840-1

Filed 07/06/16

Page 2 of 2

prosecution of the Hammond's and us by the State and Federal Investigators, Prosecutors
and Judges involved including but not limited to RICO organized crimes interference
with commerce, thefts, and robbery.
3- Make it known to the court that when I go to testify I am going to ask the Jury to
examine all laws that were provided for our protection from this form of harassment,
threats and intimidation and I am going to ask the Jury to indict each and every person
involved in attacking our life, liberty and property.
I want you to make the Motions within 10 days from the date you leave here (being the
17th of May, 2016) or I will make a declaration for the Court and Document that I am not
waiving these rights!

Sincerely,

Shawna Cox

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