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REPLY TO:

Akil Asim Bey


c/o 360 Market St. #8641
Saddle Brook NJ [07663]

By Special & Restricted Visitation

TO AND FOR: Office of the County Prosecutor,

In re: Traffic Citations: 39:8-1; 3-29; 3-4; 3-10

In guaranteed direct exercise of the powers of sovereignty, and by the authority of and in
accordance with Section Four (The constitution shall be republican in form), Section Twelve
(for legislative, executive, and judicial purposes), and Section Twenty-four (last clause) of
the Enabling/Admission Act of AD 1889 as well as Articles I, III, IV, and XXVII of the organic
Constitution for the State of NEW JERSEY as established by the People of NEW JERSEY and
NEW JERSEY Sui Juris, this Questionnaire shall constitute Praecipe to your Office of public
trust for immediate and full disclosure of the information sought herein, as pertains to the
above referenced case, in order that the accused might be adequately informed to effectively
challenge jurisdiction and/or to effectively defend secured Rights, Immunities, and exhaustion
of administrative remedies from any stealthy encroachments thereon.

Full Disclosure Questionnaire

1. The above referenced cases are being brought against the accused as a:

(___) Criminal Action (___) Civil Action (___) Administrative action


(___) Other _______________________________________

2. The nature of the process by which these actions are being brought against the accused is:

(___) Criminal (___) Civil (___) Other ___________________

3. That with which the accused is being charged in these actions are:
(____) A crime, described as _______________________________________
(____) Not a crime, described as: ___________________________________

4. The organic constitution of (NEW JERSEY authorizes this particular application of armed, coercive
power against the accused:
___ Yes, under Article _____ Section ______ Clause ______ ___ No

5. The constitutionally authorized jurisdiction under which the above


referenced actions are being brought against the accused is:

(___) Law (in pursuance to the Constitution)


(___) Equity (___) Administrative (statutory)
(___) Admiralty (___) Quasi or colorable Admiralty (___) Military
(___) Other__________________________________________

6. The constitutionally cognizable body of law being applied to these actions against the accused
under the aforesaid (Juris-diction) is: (check one)
___Constitutional law ____ Contract law ______ Administrative Law
___ Martial law ____ Commercial law (domestic)
___ Statutory law generally classified as (check one):
( ) Remedial Code ( ) Civil code ( ) Penal code ( ) Political code
____Other _______________________________________________

7. The published rules governing this type of action under the above indicated jurisdiction are entitled
_______________________________________ and are available for public inspection at
________________________________.

8. This action is being brought against the accused by:


( ) The State of NEW JERSEY in its servitor to the People capacity
( ) THE STATE OF NEW JERSEY in its corporate/commercial capacity
( ) The state of NEW JERSEY as an agent for an unregistered foreign principal
( ) Other ______________________________________________

9. The corpus delicti of this action against the accused is:


( ) An actual injury or damage to the protected Rights of another, under Law
( ) Fictional Injury, under color of law
( ) Other ________________________________________________

10. The nature of the actual damage or injury alleged by the prosecuting witness in support of this
action by the accused is:
( ) Bodily injury ( ) Property damage ( ) Violation of private rights
( ) Libel ( ) Breach of a valid, binding and subsisting contract
( ) Breach of a voluntary consent agreement
( ) Other _______________________________________________

11. The name of the prosecuting witness claiming and possessing evidence of the actual damage or
injury in support of this action is named as:
________________________________________________________

12. Said prosecuting witness alleges a violation of $______________ in actual damages or injury
against the accused in these actions.

13. If different than the said prosecuting witness, the real parties of or in interest to this action against
the accused are: _____________________, which interest is evidenced by:
_________________________.

14. The elements which, in the face of challenge, the Fundamental Law obligates your Office of public
trust to prove in the action against the accused are:
( ) Jurisdiction over the subject matter ( ) Jurisdiction over in personam
( ) Political jurisdiction over the natural body
( ) Proper venue (territorial jurisdiction)
( ) The constitutional authority of the law alleged to have been violated by the accused.
( ) The actual harm, damages, or injury being alleged as a violation of Law by the prosecuting witness
( ) Positive identification of the prosecuting witness, victim, injured party in Fact, real party in interest,
or holder in due course who gave you (or any other office of person) authority to bring this action
against the accused in the name of public authority.
( ) Culpability (intent) of the accused.
( ) Other _______________________________________________
( ) None of the above

15. This action is in Fact being brought against the accused in order to:
( ) Redress actual injury to constitutionally secured private Rights.
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( ) Enforce political/administrative codes to collect revenue
( ) Arbitrarily and capriciously to compel specific performance of purely political
codes regardless of individual status and standing in Fact.
( ) Silence political dissidence.
( ) Protect the purely commercial interests of the corporate STATE OF
NEW JERSEY
( ) Diminish or abrogate the true character, status, standing and/or reputation of
the accused.
( ) Retaliation against the accused using color of authority and color of law
( ) Covertly wage mixed war upon the accused
( ) Other _________________________________________________

16. This action is being brought or will be brought into a tribunal that is acting:
( ) Under qualified fidelity Oath and Bond to protect life, liberty, and property
( ) Judicially with trial by jury
( ) Ministerially under the presumption of correctness (administratively)
( ) Politically
( ) Other __________________________________________________

17. In the event of conviction or award of judgment against the accused in this action, the tribunal in
which this action is brought or will be brought possesses the Lawful capacity to grant pecuniary
award/relief in full compliance with the mandates of Article VI and Article I, Section 10 of the supreme
law of the Land
Yes ____ No ___

18. The above referenced account/cause no. that is being brought against the
accused is:
( ) Bonded ( ) Bonded by the City of HASBROUCK HEIGHTS
( ) Bonded by the City of HASBROUCK HEIGHTS or Bonded by the County of BERGEN
( ) Bonded by the STATE of NEW JERSEY ( ) Bonded by the State of NEW JERSEY
Policy No. ______________________ underwritten by ______________
Whose principal place of business is _____________________________
( ) Not bonded

19. Your office has in actual possession any registration document or similar item bearing the
unrestricted signature/autograph of Keith H Byrd, which evidences his voluntary and affirmative
Consent to or authorization of majority (mob) rule or public policy
Yes ____ No ______

20. Your office has in its actual possession conclusive evidence that one Keith H Byrd: is other
than a natural born, flesh and blood in-spirit man, long since past the age of Consent:
No. ____ Yes __ Explain __________________________________

21. Your office has in actual possession conclusive evidence that one Keith H Byrd: has, at any
time, affirmatively and voluntarily surrendered, waived or in any way and to any degree impaired the
exercise of any secured Rights, Privileges, Immunities, and Remedies:
No ____ Yes ____ Explain: ___________________________________

22. Your office has in actual possession conclusive evidence that one Keith H Byrd: is in Fact a
trustee, assumpsits or surety or any other similar characterization in connection with any state
created legal fiction entity.
No ___ Yes ____ Explain: _____________________________________

23. That the state district attorney as office of public trust is obligated to perform duties of a
Constitutional nature as well as those imposed by mere statutes:

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Yes _____ No _____ Explain __________________________________

24. That in the event of the conflict of statutory codes, regulations, and civil and criminal
procedures, the duties imposed upon your said office of public trust by Constitutional authority are to
supersede those duties imposed by mere statutes?
Yes ____ No ____ Explain ___________________________________

25. The separation of powers prohibits the judicial branch from enforcing legislated law against the
accused, one of the People.
Yes ___ No ___ Explain _____________________________________

26. Trial by government is prohibited by the NEW JERSEY Constitution.


Yes ____ No___ Explain ____________________________________

27. The NEW JERSEY Uniform Traffic Citations entered by Officer Colaneri Jr d/b/a HASBROUCK
HEIGHTS Police Officer, BERGEN COUNTY, State of NEW JERSEY, are supported by sworn
affidavit(s) of the prosecuting witness (injured party) as against Keith H Byrd.
Yes ____ No ____ Explain___________________________________________

28. The delegation of authority for Annmarie Cozzi and/or John L. Molinelli, acting on behalf of the
STATE of NEW JERSEY, to bring a claim against the accused, one of the People, and to gain political
jurisdiction over the natural body, is established in law, fact, and evidence, to wit:
________________________________________

29. Denial of bail. Unless the offense with which the accused is charged is shown to be an offense
punishable by death or life imprisonment under the laws of the state in which it was committed, such a
judge in this state may admit the accused arrested to bail by bond, with sufficient sureties, and in such
sum as he deems proper, conditioned for his appearance before him at a specified time in such bond,
and for his surrender, to be arrested upon the warrant of the Governor of this state.
Accused was denied bail based on what substantial evidence in the record:
________________________________________________________
________________________________________________________

30. Your office of person, as the moving party, carries the burden of proof in this action, including proof
of jurisdiction. Your office has in actual possession conclusive evidence that Keith Byrd: has waived
or has otherwise relieved your office of that burden.
No __ Yes __ Explain ______________________________________

31. Other heretofore undisclosed assumptions, presumptions, hypothecations, and similar tacitly
noticed fictions of law affecting or material to the status, standing, and/or capacity of Keith Byrd:, in
the above referenced case are fully disclosed as follows:
___________________________________________________________________
___________________________________________________________________
___________________________________________________________________
___________________________________________________________________
___________________________________________________________________

The disclosures provided herein above are hereby Certified to be true, complete, and correct,
and signed under penalties of perjury, under the jurisdiction of the united states of America,
without the United States to facilitate prosecution for perjury.

Answers to this interrogatory questionnaire are expected within 10 days of the


receipt of this document and must be addressed to Akil Asim Bey.
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