received, 07/10/2017 02:08:29 pm, clerk, supreme court · pdf fileaffidavit of jurisdiction...
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Filing # 58785039 E-Filed 07/10/2017 02:07:32 PMR
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Affidavit of Jurisdiction and Rehearing
1, TO ALL PARTIES AND TO THEIR CONSUL(S) OF RECORD TAKE NOTlCE that On the
Record and for the Record, present is Taquan Rahshe Gullett-El, also alled Maalik Rahshe El.
Divine Irnmortal Spirit in Live Flesh and Blood Natu ral Man of majority on the Land, In Propria
Persona by Sui Juris capacity, Jus Sanguinis, Heir Apparent by Freehold of inheritance,
Original Autochthonous American Moor Alien (Friend) Republican Universal Government
Form and Testamentary Style [AAMARUW], a people of Our state and of sound
firm mind; Competent by Conduct and Virtue for Moral Integrity and Upright Character,
Honor, Fidelity, Respect, Courage, Temperance, Faith, Hope, Wisdom, Will, Love, Truth, Peace,
Freedom, Justice, Prudence, Humility, and Service, guided only by Our Most High Creator
Divine Source for the Force Universal Allah (All-Law) whom sustains all protection and
provision for Life, Liberty, Property, Family, Natural Environment, and Cultural Heritage.
2. One, the Original Autochthonous American Moor Alien (Friend) Ilepublican Universal
Government Form and Testamentary Style [AAMARUr"W], hereinafter, "declarant," rises and
gives honor and recognition to The Holy Koran Circle 7, The Zodiac
Constitution (Registration No. AA222141 Truth Al-Class A)and all
annexes thereto, The Holy Qur'an, The Great Law of Peace, The
Iroquois Constitution, The American Declaration of Independence
(1776), The Treaty of Peace and Friendship (1787), The Madrid Convention on Protection in
Morocco (July 3, 1880), Articles of united states for America Organic Constitution (1787), Bill of
Rights of united states for America Organic Constitution (1787), The Universal Declaration on
lluman Rights (1948), The American Declaration of the Rights and Duties of Man (1948)
inclusive without limitation all annexes thereto, T h e U n i t e d N a t i o n s D e c 1 a r a t i o n o f
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - Ipso jure - Fourth Judicial Circuit Duval County Florida
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the Rights of the Child (1959), The Universal Declaration on the Rights of
Indigenous Peoples (2006), The International Proclamation for the Original Autochthonous
American Moor Alien (Friend) Republican Universal Government Form and Testamentary Style
[AAMARUb"4](2016), The International Resolution For Competence By
Conduct and Virtue - Affidavit of Bona Fide Moral Integrity and
Upright Character Lawful Status (2016), United Nations General
Assembly Declaration on the Granting of Independence to Colonial
Countries (Countees) and Peoples 1514 (XV) 947th Plenary Meeting
(14 December 1960), the Hugue conventions and the Geneva
Conventions inclusive without limitation of all annexes thereto.
3. The declarant is General Executor / Caveator-Creditor by testamentary style trust
conveyancing of Caveat: Declaration of Final Default Judgment 16-2017-CP-lo25 (
] (Registrar (Probate Court) Recorder Doc # 2017104658, OR BK
17971, Pages 674-680), TAQUAN RASHIE GULLETT"* Estate Authenticated Birth
Certificate, Registered Copyright, Registered Trademark (united states for America Post Office
No. RE246590423US), Copyright / Trade-Name / Trademark Contract, Registered Fictitious
Name (Florida Department of State No. G15000018576), Registered Surety Bond with Collateral
(EL 156253975 US), Fiduciary Appointment Contract (EL 156253975 US), Taquan Rashie
Gullett Estate Allodial Cost Schedule 16-2017-CA-2142 [ ] (Registrar
(Probate Court) Recorder Doc #2017082163, OR BK 17940, Page 1662),
Paramount Security Interest Holder (Maritime Lien No. RE246590573US Putnam County
Florida Inst. No. 201054714241, California UCC 10-7228787860, California UCC 10-
7253610631, California UCC 13-7375042214, California UCC 13-73750423, California UCC 14-
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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7415317710, Kentucky UCC 2014-2695084-41.01), over all alphabetical and/or numerical
derivations and/or variations of TAQUAN RASHIE GULLE'ITW Estate Letters Patent, Sign
Manuals, Rights, Titles, and Interests inclusive without limitation of all annexes thereto.
4. Thedeclarantdoes hereby reserve all Natural rights, all Human rights,
a nd in accord with International (Transnational) Humanitarian Law, the Law of Nations, the
International (Transnational) Law of Peace, and the International (Transnational) Law of War,
and for good cause, no dolus, and in the interest of Taquan Rashie
Gullett© * Estate, does hereby give Affidavit of Jurisdiction and
Rehearing together with declarant's timely filed Affidavit of
Jurisdiction including Certificate of Service (Proof of Service) and
eFiling Confirmation mistakenly filed in 1" DCA Appeal Case ID17-1699
on or about [G.C.Y. 2017 - June, 23] is annexed and appended hereto in full.
Rehearing
5. On or about [G.C.Y. April 19, 2017], in their 7-1 precedent ruling
on Nelson v. Colorado (No. 15-1256), the Supreme Court of the
United States defended and reaffirmed a people's constitutionally
protected Natural right and Human right to due process of law in
filing a civil claim for a redress of grievances stemming from
wrongful acts committed by judges, court officers, and the court in an
(alleged) civil matter and/or an (alleged) criminal matter.
6. The unlawful actions of the Court are not in accord with the rules,
the procedure, or the customary standard of international law.Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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7. It is also declarant's assertion that the Court has overlooked or
misapprehended in its decision and a review on the merits is
warranted. Further, it is declarant's assertion that based upon the
foregoing, a clarification by the issuance of a written opinion to
provide a legitimate basis for supreme court review on the merits is
warranted. It is declarant's belief, based upon a reasoned and
studied judgment, that a written opinion will provide a legitimate
basis for supreme court review on the merits of the issues mentioned
herein, and the supreme court is likely to grant review if an opinion
were written.
Jurisdiction
8. The court should speedily and expeditiously strike Sean Patrick
Flynn's and W. Stephen Muldrow's, hereinafter, "Trespassers," listing
as attorney on A ppeal Number ID17-1699, and strike Trespassers'unauthorized
and unlawful Notice of Removal, which, in bad faith, purports to have
removed this action to the United States District Court. Trespassers
did file or cause to be filed a purported notice of removal as a Notice
( Event), not only for Appeal Number ID17-1699, but also for Fourth Judicial
Circuit Case Number 16-2017-CA-2142. This is error The Fourth Judicial Circuit Clerk of
Court did rely upon Trespassers' unlawful and unauthorized purported notice of removal in
closing Fourth Judicial Circuit Case Number 16-2017-CA-2142 (which is error), and this
aforementioned subject-matter is the cause for this Appeal Number 1D17-1699 (see Notice of
Appeal Doc # 2017o95681, OR BK 17958, Page 1475 - Docket Entry 33. Notice of
Removal To Federal Court).
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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9. First, it is declarant's assertion that Trespassers' unlawful and unauthorized purported notice
and purported action of removal in Case Number 16-2017-CA-2142 and Appeal Number ID17-
1699 is not merely defeasible, but wholly void ab initio. It is Trespassers' unlawful and
unauthorized purported notice and purported action of removal which caused Case Number 16-
2017-CA-2142 to close, and it was not closed by any rendition of any order (see Notice of
Appeal Doc # 2017095681, OR BK 17958, Page 1475 - Docket Entry w. Notice of
Removal To Federal Court). This is error. As such, with the cause of closure for Case Number
16-2017-CA-2142 being Trespassers' unlawful and unauthorized purported notice and purported
action of removal, conformed copies of the Trespassers' unlawful and unauthorized purported
notice and purported action of removal are exhibited hereinafter, and certißcates of service and
the lower tribunal docket are filed and recorded in declarant's Notice of Appeal [1D17-1699] (see
Notice of Appeal Doc # 2017095681, OR BK 17958, Pages 1461-1477). Also, conformed
copies of declarant's timely negative averment Affidavit(s) for Denial of
Consent To Removal To United States District Court, Notice of
Default and Estoppel, and Caveat: Declaration of Final Default
Judgment in defeasance are annexed hereto in full by this reference
(see Case Number 16-2017-CA-2142 Notice of Appeal Doc # 2017095681, OR BK
17958, Pages 1464-1465 - Docket Entry 34; see Notice of Appeal Doc # 2017o95681,
OR BK 17958, Pages 1466-147o; see Caveat: Declaration of Final Default Judgment
Doc # 2017104658, OR BK 17971, Pages 674-680).
10. Additionally, original dated certificates of service are included
therein and conformed copies with a notice of filing containing a
certificate of service reflecting service on all parties is included
herein and herewith.
Affidavit of Jurisdiction and RehearingSupreme Court of Florida -ipso jure - Fourth Judicial Circuit Duval County Florida
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11. Second, on or about the Twentieth Day of the Fourth Month Fourteen Thirty Seven
(1437) [G.C.Y. 2017 - April, 20], Trespassers did file an unauthorized, unlawful, wholly void ab
initio, purported Notice of Removal To United States District Court (see Notice of Appeal Doc
# 2017095681, OR BK 17958, Page 1475 - Docket Entry_33). On or about the Twentv-
Fifth Day of the Fourth Month Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April, 25], declarant
did file a timely negative averment Affidavit for Denial of Consent To
Removal To United States District Court [dated 4-21-2017] in
d e f e a s a n c e t o T r e s p a s s e r s ' unauthorized, unlawful, wholly void ab initio, purported
Notice of Removal To United States District Court. On or about the Twenty-First Day of the
Fourth Month Fourteen Thirty Seven (1437) (G.C.Y. 2017 - April 21], the Fourth Judicial Circuit
Clerk closed Case Number 16-2017-CA-2142 without rendition of any order and based solelv
upon Trespasser's unauthorized, unlawful, wholly void ab initio, purported Notice of Removal
To United States District Court . This is error. The foregoing is grammar, logic, rhetoric, and
reason why this is error and why there is not any rendition of any order.
12. Third, there is no evidence that Trespassers have any capacity or any standing to speak, act,
file, or cause a tiling for respondent(s) in and for Fourth Judicial Circuit Case Number 16-2017-
CA-2142 or Appeal Number I D17-1699 as:
(A) Case Number 16-2017-CA-2142 is a private matter between the declarant and those therein-
listed as respondent(s) in their private capacity, and there is no evidence that Trespassers are
either therein-listed or acting for respondent(s) in their private capacity (see Notice of Appeal
Doc # 2017095681, OR BK 17958, Page 1461 - "a private person / a privately held
company"); and
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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(B) Trespassers purport to be acting for United States, but there is no evidence that United
States is therein-listed as a private respondent(s) or that this action is a public or official matter
involving United States (see Notice of Appeal Doc # 2o17o95681, OR BK 17958, Page
1461 - "a private person / a privately held company"); and
(C) Trespasser(s) purport to be acting in their public or official capacity as attorneys for the
United States, and not as private attorneys for the private respondent(s) therein-listed, and
there is no evidence to suggest otherwise (see Notice of Appeal Doc # 2017095681, OR BK
17958, Pages 1461-1477); and
(D) It is declarant's assertion that Trespassers have absolutely no right of entry into Fourth
Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number ID17-1699, but further, there
is no evidence that Trespassers have ever made a required Entry of Appearance in Fourth
Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number 1D17-1699 (see Notice of
Appeal Doc # 2017095681, OR BK 17958, Page 1472 - "Attornevs. No attorneys were
found on this case"); and
(E) There is no evidence that the required bond (warrant of removal) is filed, accepted, and
approved in support of the purported notice and purported action of removal (see Notice of
Appeal Doc # 2017o95681, OR BK 17958, Page 1475 - Docket Entry 33. Notice of
Removal To Federal Court); and
(F) There is no evidence that respondent(s) have not been served (see Notice of Appeal Doc #
2017095681, OR BK 17958, Page 1474 - Docket Entry 18 & 23. Certificates of Service)(see
3rd Addendum Notice of Lis Pendens # 2017o85165, OR BK 17944, Pages 1451 -
1454; 4ui Addendum Notice of Lis Pendens # 2017086513, OR BK 17946, Page 587 -
Certificates of Service). Further, Trespassers did ipsofacto and ipso jure act De Son Tort and
didfileoreausetobefiledanunauthorized, unlawful, void ab initio Notice ofAffidavit of Juriscfiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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Removal in bad faith which purports to have removed this action to
the United States District Court, which is evidence and Trespassers
confession in judgment, on and for the record, that respondent(s) are
served; and
(G) declarant does by negative averment affidavit deny consent to removal of Fourth Judicial
Circuit Case Number 16-2017-CA-2142 in defeasance one time (see Notice of Appeal Doc #
2017095681, OR BK 17958, Page 1475- Docket Entry 34; see Notice of Appeal Doc #
2017o95681, OR BK 17958, Pages 1464-1465), declarant does by negative averment
affidavit deny consent to removal of Fourth Judicial Circuit Case Number 16-2017-CA-2142 in
defeasance two times (see annexed Appeal Number 1D17-1699 Docket Entry 5 - Judicial
Notice Affidavit for Denial of Consent To Removal To United States District Court), and
declarant does by annexed hereto in full negative averment affidavit Declaration To Strike and
Writ of Error To Remand, hereby deny consent to removal of Fourth Judicial Circuit Case
Number 16-2017-CA-2142 in defeasance for the third and final time:
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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13. Fourth, in further defeasance, the recording and publication of
declarant's Notice of Default and Estoppel, and Caveat: Declaration
of Final Default Judgment against respondent(s) is found at the following
Registrar (Probate Court) / Recorder location:
�042Notice of Default and Estoppel see Notice of Appeal Doc # 2017095681,
OR BK 17958, Pages 1466-1470;
�042Caveat: Declaration of Final Default Judgment see Doc # 2017104658,
OR BK 17971, Pages 674-680).
14. The foregoing is grammar, logic, rhetoric, and reason not only why there is not any
rendition of any order, and why Trespasser's unauthorized, unlawful, purported Notice of
Removal is wholly void ab initio, and why there is no evidence that Trespassers have any
capacity or any standing to speak, act, file, or cause a filing for respondent(s) in and for Fourth
Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number ID17-1699, and why
Trespassers have absolutely no right of entry into Fourth Judicial Circuit Case Number 16-2017-
CA-2142 or Appeal Number ID17-1699, but also why the herein aforementioned is error.
15. Fifth, declarant asserts that herein is highly probative evidence,
that by their actions and conduct, Trespassers (remitters) are fully
and immediately liable ipso facto and ipso jure for quasi divers
offenses of fraud, contempt of court, acts in bad faith, meddling in an
officious manner, trespass, and acts of Executor De Son Tort. As
such, Trespassers (remitters) are subject to sanctions, remit
compensation to Taquan Rashie Gullett©"® Estate, remit damages toAffidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso fure - Fourth Judicial Circuit Duval County Florida
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Taquan Rashie Gullett Estate, and ecclesiastical censure of
excommunication (see Taquan Rashie Gulletto"#Estate Allodial
Cost Schedu1e 16-2017-CA-2142 [ ] (Registrar (Probate Court)
RecorderDoc #2017082163, OR BK 17940, Page 1662).
1 6. S i x t h a n d F i n a 1, the foregoing is grammar, logic, rhetoric, and reason why the
herein aforementioned is error and declarant obliges the court to speedily and
expeditiously strike Trespassers' (remitters') listing as attorney on
A p p e a 1 N u m b e r i D17-1699, and strike Trespassers' (remitters') u n a u t h o r i z e d a n d
unlawful Notice of Removal, which, in bad faith, purports to have
removed this action to the United States District Court, absolutelv
without any right of entry, absolutely without any capacity,
absolutely without any standing, absolutely without any bond
(warrant) to speak, act, file, or cause a filing for respondent(s) (remitter(s)) in and for
Fourth Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number ID17-1699. Further,
declarant obliges the court to speedily and expeditiously remand (remitment) this action back to
the Fourth Judicial Circuit Court so that judgment may he entered in declarant's favor and
against respondent(s) (remitter(s)) for absolute possession of declarant's body, estate, and
collateral free and clear of any distresses, constrains, restraints, or detainments. Also, so that
judgment may be entered in declarant's favor and against respondent(s) (remitter(s)) for
remittance of compensation and remittance of damages for maximum maintenance, maximum
cure, and maximum remedy for T a q u a n R a s h i e G u11e t t < �442* Estate. Lastly, declarant
obliges the court to grant all such further, intermediate, and other relief as is just and proper
for good cause, no dolus, and in the interest of Taquan Rashie
Gullett÷�442®Estate.
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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CERTIFICATE OF SERVICE (PROOF OF SERVICE)
iar: city. e lami. ||| Pnipcia !4N>:u h) H:1: Jniis capatà a Iriinis. !!cir p t hy
| rech nhernarce. (Jri na (Ini,sinus \mer¯ca;i Tiro,e \ h (i riendl Re H Ni<.an rsa
n eron en no and l e'..tafimillary ty le 1 \ V T R . hereby certify under penalty of bearing false witness that on
or about this Tenth Day of the Seventh Month in the Year of Our Universal Allah (All-Law) Fourteen Hundred Thirty-SevenGregorian Calendar Year 2017 - July. to], I caused to be hand-delivered and/or emailed and/or placed in the U.S. Registered or
Certified Mail (First Class postage, pre-paid) and/or placed in Fed Ex and/or UPS delivety (First Class postage, pre-paid) one (1)original and/or one (i) copy of the following:
1. Affidavit of Jurisdiction and Rehearing (27 pagesh and
2. Reference copy of this Certificate of Service ( PROOF OF SERVICE) (signed original on file) (1 page).
All parties required to be served have been served at the following mailing location:
Nean Patrick Flynn and W. Stephen Muldron, .300 North I ampu Ntreet. Nuite 320(L Lampa. Horida 33602
Pamela Jo Hondi. I he Capitol Suite Pl.-01. Tallahassee, Florida 32399 1050
Kim 1.cc M atson, 300 North Ilogan Strect, Suite 2-200. Jacksons ille, Florida 32202
Jim llaskett, 300 North llogan Street. Suite 2-200, Jacksons ille. Florida 32202
Patrick Sheridan, 300 North Hogan Street, Nuite 2-200, Jacksons ille, Florida 32202Jorge I.. Pastrana. N46 NF 54* I errace, ( oleman, Florida 33521
l.arry Hrow n. 300 Nor1h llogan street, suite 2-450,.lacksons ille, Horida 32202Arnold ( onmeier, 300 North Ilogan Street. Suite 71Hl. Jacksons iHe, Florida 32202
Patricia D. Barksdale, 300 North Hogan Nt reet, Chamtæn 5-3 i 1. Courtroom SH, Jacksons ille. Horidu 32202
Paul shontein, 6550 St. Augustine Road #303, Jacksons ille, Morida 32217Sam liernander.312 North Spring Street, Room 754, l.os \ngeles California Wl012
\ndrew ( owan,315 west 9* Street, Suite 501, l.os Angeles.( alifornin WHH5
Kim Cassolo. 6W I S. Courthouse, 312 North Spring Street. Im Angeles, ( A WHil2-470M
( hristina A. Snyder. 350 West First Street. ( ourtroom MD. 8* Hoor, im ngeks ( alifornia WHH2Jacqueline ( hooljian, 312 North Spring Street, ( ourtroom 20, 3"' Ekior, Los Angeles. California W1012
Su/.anneSegaL255East TempleStreet.Courtroom5Ht,5' ½mimAWat Wmèmm2Julian 1.. Andre. 312 North Spring Street, Suite 1200. I os Angekas, California 90012
Eddic Jauregui, 312 North Spring Street, Suite 1200, im Angeles. California 90012
( athy Ostiller,312 North Spring Street, Suile 1200, l.o', Angeln, ( alifornia WWil2
I crri Nafisi. 312 North Spring Stnet, Hoom G-8, l.os Angeles, ( alifamia 90012
foriah Radin,321 East 2"d Ntreet, I os Angeln, California W1012
1.iHiana ( ornnado.321 Fast 2'"' Street, I os Angeles. ( alifornia 90012
Hrad ( oo per, 6265 Gun barrel As enue, Suite H. Houlder, ( olo rado M0301Thomas Kane, 320 First Street, Washington, D.( ,, 20534
FCI Coleman Medium, M46 NE 54* Terrace, Numten iHe, Sumter Counth Florida 3352 iBI Incorporated. 6265 Gunbarrel Asenue, Nuite H, Houlder. Houlder County, ( 'olorado XD301
I .N. Manhah Nervice, 300 North llogan Street, Nuite 2-150, Jachons ille, Duval ( ountµ Horida 32202
I .N. Probation and Pretrial Services. 300 North llogan Street, Nuite 2-200 and Nuite 6350, .lacksons ille, Dmal ( ounty Horida 32202I ,S, Department of Justice, 300 North llogan Street, Suite 700, .lacksons inc. Dus al ( ounth Horida 32202
li.S. Attorney's Office, 3oo North f logan Street, Suite 700, Jacksonvine, Duval County, Florida 32202li.S. Department of Justice, 300 North llogan Street, Suite 700, Jacksonville, Duval County, Florida 32202Federal Bureau of Prisons, 32o First Street, Washington, District of Columbia, 20534
o ura m o be mui. In Po i Juris capac . !ir e pparen!
Affidavit of Jurisdiction and Reheanng
Supreme Court of Florida - ipso jure - Fourth Judicial Circuit Duval County Florida
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Verification
I, Taquan Rahshe Gullett-El,alsocalled Maalik RahsheEl, Divine ImmortalSpiritin Live Flesh and Blood
N atu ra l Man of majority on the Land, In Propria Persona by Sui,luris capacity, Jus Sanguinis,
Heir Apparent by Freehold of Inheritance, Original Autochthonous American Moor Alien
(Friend) Republican llniversal Government Form and Testamentary Style [AAMARU"�442],do
hereby declare and affirm by virtue of Divine Law, under penalties of perjury under the laws of Our
Most High Creator Divine Source for the Force Universal Allah (All-Law), Th e H o1 y Ko r a n
Circle 7, The Zodiac Constitution, the laws of the State of Florida, and the
laws of the United States of America, that I am competent to state the matters set forth, and herein,
and that all of the facts stated are true, correct, complete, certain, not misleading, admissible as
evidence, in accordance with declarant's best first-hand knowledge, understanding, and honorable
intent, and if called upon for rhetoric as a witness to the veracity of evidence preferred and proffered,
declarant shall so state.
[State e. Shearer, 617 So.2d (Fla. App. 5 Dist. 1993)3
This Affidavit is dated the Tenth Day of the Seventh Monthin the Year of Our Universal Allah (All-Law)
Fourteen Hundred Thirty-Seven [Gregorian Calendar Year 2017 - July, to]
I attuait U.ahshe (1olleit-lj u calh d Ma.. L Rah-.he I 1. (mm u1a! Spir.1 in i he i le .tod Bhu>d
Affidavit of Jurisdiction and Rehearing
Supreme Court of Florida - Ipso jure - Fourth Judicial Circuit Duval County Florida
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Affidavit ofJurisdiction1. TO ALL PARTIES AND TO THEIR CONSUL(S) OF RECORD TAKE NOTICE that On the
Record and for the Record, present is Taquan Rahshe Gullett-El, also called Maalik Rahshe El,
DivinelmmortalSpiritin Live Flesh and Blood Natural Man of majority on the Land, In Propria
Persona by Sui Juris capacity, Jus Sanguinis, Heir Apparent by Freehold of Inheritance,
Original Autochthonous American Moor Alien (Friend) Republican Universal Government
Form and Testamentary Style [AAMARF�442*],a peo pl e of O u r st a te a n d of s o u n d
f i r m m i n d ; Competent by Conduct and Virtue for Moral I ntegrity and Upright Character,
Honor, Fidelity, Respect, Courage, Temperance, Faith, Hope, Wisdom, Will, Love, Truth, Peace,
Freedom, Justice, Prudence, Humility, and Sertice, guided only by Our Most Ifigh Creator
Divine Source for the Force Universal Allah (All-Law) whom sustains all protection and
provision for Life, Liberty, Propertv, Family, Natural Environment, and Cultural Heritage.
2. One, the Original Autochthonous American Moor Alien (Friend) Republican Universal
Government Form and Testamentary Style [AAMARU*N], hereinafter, "declarant," rises and
gives honor and recognition to The Holy Koran Circle 7, The Zodiac
Constitution (Registration No. AA222141 Truth Al-Class A)and all
annexes thereto, The Holy Qur'an, The Great Law of Peace, The
Iroquois Constitution, The American Declaration of Independence
(1776), The Treaty of Peace and Friendship (1787), The Madrid Convention on Protection in
Morocco (July 3, 1880), Articles of united states for America Organic Constitution (1787), Bill of
Rights of united states for America Organic Constitution (1787), The Universal Declaration on
Human Rights (1948), The American Declaration of the Rights and Duties of Man (1948)
Affidavit of Jurisdiction
Supreme Court of Florida - Ipsolure - Fourth Judicial Circuit Duval County Florida
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inclusive without limitation all annexes thereto, T h e U n i t e d N a t i o n s D e c1 a r a t i o n o f
t h e R i g h t s o f t h e C h i l d ( 19 59 ), The Universal Declaration on the Rights of
Indigenous Peoples (2006), The International Proclamation for the Original Autochthonous
American Moor Alien (Friend) Republican Universal Government Form and Testamentary Style
[AAMARUN](2016), The International Resolution For Competence By
Conduct and Virtue - Affidavit of Bona Fide Moral Integrity and
Upright Character Lawful Status (2016), United Nations General
Assembly Declaration on the Granting of Independence to Colonial
Countries (Countees) and Peoples 1514 (XV) 947th Plenary Meeting
(14 December 1960), the Hugue Conventions and the Geneva
Conventions inclusive without limitation of all annexes thereto.
3. The declarant is General Executor / Caveator-Creditor by testamentary style trust
conveyancing of Caveat: Declaration of Final Default Judgrnent 16-2017-CP-to25 I
] (Registrar (Probate Court) Recorder Doc # 2017104658, OR BK
17971, Pages 674-680), TAQUAN RASHIE GULLETFW"* Estate Authenticated Birth
Certificate, Registered Copyright, Registered Trademark (united states for America Post Office
No. RE246590423US), Copyright / Trade-Name / Trademark Contract, Registered Fictitious
Name (Florida Department of State No. G15000018576), Registered Surety Bond with Collateral
(EL 156253975 US), Fiduciarv Appointment Contract (EL 156253975 US), Taquan Rashie
GullettWS Estate Allodial Cost Schedule 16-2017-CA-2142 [ ] (Registrar
(Probate Court) Recorder Doc #2017082163, OR BK 17940, Page 1662),
Paramount Security Interest Holder (Maritime Lien No. RE246590573US Putnam County
Florida Inst. No. 201054714241, California UCC 10-7228787860, California UCC to-
Affidavit of Jurisdiction
Supreme Court of Florida - ipso fure - Fourth Judicial Circuit Duval County Florida
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7253610631, California UCC 13-7375042214, California UCC 13-73750423, California UCC 14-
7415317710, Kentucky UCC 2014-2695084-4toi), over all alphabetical and/or numerical
derivations and/or variations of TAQUAN RASHIE GULLETr©N Estate Letters Patent, Sign
Manuals, Rights, Titles, and Interests inclusive without limitation of all annexes thereto.
4. The declamntdoes hereby reserve all Natural rights, all IIuman rights,
a nd in accord with International (Transnational) Humanitarian Law, the Law of Nations, the
international (Transnational) Law of Peace, and the International (Transnational) Law of War,
and for good cause, no dolus, and in the interest of Taquan Rashie
Gullettt�442®Estate, does hereby give Affidavit of Jurisdiction together
with declarant's timely negative averment Affidavit(s) for Denial of
Consent To Removal To United States District Court, Notice of
Default and Estoppel, and Caveat: Declaration of Final Default
J u d g m e n t i n d e f e a s a n e e (see Case Number 16-2017-CA-2142 Notice of Appeal
Doc # 2017095681, OR BK 17958, Pages 1464-1465 - Docket Entry 34; see Notice of
Appeal Doc # 2017095681, OR BK 17958, Pages 1466-1470; see Caveat: Declaration
of Final Default Judgment Doc # 2o171o4658, OR BK 17971, Pages 674-680).
5. The court should speedily and expeditiously strike Sean Patrick
Flynn's and W. Stephen Muldrow's, hereinafter, "Trespassers," listing
as attor ney o n Appeal Nu mber ID17-1699, and strike Trespassers' unauthorized
and unlawful Notice of Removal, which, in bad faith, purports to have
removed this action to the United States District Court. Trespassers
did file or cause to be filed a purported notice of removal as a NoticeAffidavit of Jurisdiction
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( Event), not on ly for A ppeal N um be r 1D17-1699, but also for Fourth Judicial
Circuit Case Number 16-2017-CA-2142. This is error The Fourth Judicial Circuit Clerk of
Court did rely upon Trespassers' unlawful and unauthorized purported notice of removal in
closing Fourth Judicial Circuit Case Number 16-2017-CA-2142 (which is error), and this
aforementioned subject-matter is the cause for this Appeal Number 1D17-1699 (see Notice of
Appeal Doc # 2017095681, OR BK 17958, Page 1475 - Docket FaltrL33. Notice of
Removal To Federal Court).
6. First, it is declarant's assertion that Trespassers' unlawful and unauthorized purported notice
and purported action of removal in Case Number 16-2017-CA-2142 and Appeal Number 1D17-
1699 is not merely defeasible, but wholly void ab initio. It is Trespassers' unlawful and
unauthorized purported notice and purported action of removal which caused Case Number 16-
2017-CA-2142 to close, and it was not closed by any rendition of any order (see Notice of
Appeal Doc # 2017095681, OR BK 17958, Page 1475 - Docket Entry n Notice of
Removal To Federal Court). This is error. As such, with the cause of closure for Case Number
16-2017-CA-2142 being Trespassers' unlawful and unauthorized purported notice and purported
action of removal, conformed copies of the Trespassers' unlawful and unauthorized purported
notice and purported action of removal are exhibited hereinafter, and certificates of service and
the lower tribunal docket are filed and recorded in declarant's Notice of Appeal [1D17-1699] (see
Notice of Appeal Doc # 2017095681, OR BK 17958, Pages 1461-1477). Also, conformed
copies of declarant's timely negative averment Affidavit(s) for Denial of
Consent To Removal To United States District Court, Notice of
Default and Estoppel, and Caveat: Declaration of Final Default
Judgment in defeasance are annexed hereto in full by this reference
Affidavit of Jurisdiction
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(see Case Number 16-2017-CA-2142 Notice of Appeal Doc # 2017095681, OR BK
17958, Pages 1464-1465 - Docket Entry 34; see Notice of Appeal Doc # 2017095681,
OR BK 17958, Pages 1466-147o; see Caveat: Declaration of Final Default Judgment
Doc # 2017104658, OR BK 17971, Pages 674-680).
7. Additionally, original dated certificates of service are included
therein and conformed copies with a notice of filing containing a
certificate of service reflecting service on all parties is included
herein and herewith.
8. Second, on or about the Twentieth Day of the Fourth Month Fourteen Thirty Seven
(1437) [G.C.Y. 2017 - April, 20], Trespassers did file an unauthorized, unlawful, wholh· void ab
initio, purported Notice of Removal To United States District Court (see Notice of Appeal Doc
# 2017095681, OR BK 17958, Page 1475 - Docket Entry 33). On or about the Twenty-
Fifth Day of the Fourth Month Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April, 25], declarant
did file a timely negative averment Affidavit for Denial of Consent To
Removal To United States District Court [dated 4-21-2017] in
d e f e a s a n e e t o T r e s p a s s e r s' unauthorized, unlawful, wholly void ab initio, purported
Notice of Removal To United States District Court. On or about the Twenty-First Day of the
Fourth Month Fourteen Thirty Seven (1437) [G.C.Y. 2017 - April 21], the Fourth Judicial Circuit
Clerk closed Case Number 16-2017-CA-2142 without rendition of any order and based solelv
upon Trespasser's unauthorized, unlawful, wholly void ab initio, purported Notice of Removal
To United States District Court . This is error. The foregoing is grammar, logic, rhetoric, and
reason why this is error and why there is not any rendition of any order.Affidavit of Jurisdiction
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9. Third, there is no evidence that Trespassers have any capacity or any standing to speak, act,
file, or cause a filing for respondent(s) in and for Fourth Judicial Circuit Case Number 16-2017-
CA-2142 or Appeal Number i D17-1699 as:
(A) Case Number 16-2017-CA-2142 is a private matter between the declarant and those therein-
listed as respondent(s) in their private capacity, and there is no evidence that Trespassers are
either therein-listed or acting for respondent(s) in their private capacity (see Notice of Appeal
Doc # 2017095681, OR BK 17958, Page 1461 - "a private person / a privately held
company"); and
(B) Trespassers purport to be acting for United States, but there is no evidence that United
States is therein-listed as a private respondent(s) or that this action is a public or official matter
involving United States (see Notice of Appeal Doc # 2017095681, OR BK 17958, Page
1461 - "a private person / a privately held company"); and
(C) Trespasser(s) purport to be acting in their public or official capacity as attorneys for the
United States, and not as private attorneys for the private respondent(s) therein-listed, and
there is no evidence to suggest otherwise (see Notice of Appeal Doc # 2017095681, OR BK
17958, Pages 1461-1477); and
(D) It is declarant's assertion that Trespassers have absolutely no right of entry into Fourth
Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number 1D17-1699, but further, there
is no evidence that Trespassers have ever made a required Entry of Appearance in Fourth
Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number 1D17-1699 (see Notice of
Appeal Doc # 2017095681, OR BK 17958, Page 1472 - "Attorneys. No attorneys were
found on this case"); and
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(E) There is no evidence that the required bond (warrant of removal) is filed, accepted, and
approved in support of the purported notice and purported action of removal (see Notice of
Appeal Doc # 2017095681, OR BK 17958, Page 1475 - Docket Entry 33. Notice of
Removal To Federal Court); and
(F) There is no evidence that respondent(s) have not been served (see Notice of Appeal Doc #
2017095681, OR BK 17958, Page 1474 - Docket Entry 18 & 23. Certificates of Service)(see
3rd Addendum Notice of Lis Pendens # 2017085165, OR BK 17944, Pages 1451 -
1454; 4th Addendum Notice of Lis Pendens # 2017o86513, OR BK 17946, Page 587 -
Certificates of Service). Further, Trespassers did ipsofacto and ipso jure act De Son Tort and
didfileoreausetobefiledanunauthorized, unlawful, void ab initio Notice of
Removal in bad faith which purports to have removed this action to
the United States District Court, which is evidence and Trespassers
confession in judgment, on and for the record, that respondent(s) are
served; and
(G) declarant does by negative averment affidavit deny consent to removal of Fourth Judicial
Circuit Case Number 16-2017-CA-2142 in defeasance one time (see Notice of Appeal Doc #
2017095681, OR BK 17958, Page 1475- Docket Entry 34; see Notice of Appeal Doc #
2017095681, OR BK 17958, Pages 1464-1465), declarant does by negative averment
affidavit deny consent to removal of Fourth Judicial Circuit Case Number 16-2017-CA-2142 in
defeasance two times (see annexed Appeal Number ID17-1699 Docket Entry 5 - Judicial
Notice Affidavit for Denial of Consent To Removal To United States District Court), and
declarant does by annexed hereto in full negative averment affidavit Declaration To Strike and
Writ of Error To Remand, hereby deny consent to removal of Fourth Judicial Circuit Case
Number 16-2017-CA-2142 in defeasance for the third and final time:
Affidavit of Jurisdiction
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10. Fourth, in further defeasance, the recording and publication of
declarant's Notice of Default and Estoppel, and Caveat: Declaration
of Final Default Judgment against respondent(s) is found at the following
Registrar (Probate Court) / Recorder location:
�042Notice of Default and Estoppel see Notice of Appeal Doc # 2017o95681,
OR BK 17958, Pages 1466-1470;
�042Caveat: Declaration of Final Default Judgment see Doc # 2017104658,
OR BK 17971, Pages 674-680).
11. The foregoing is grammar, logic, rhetoric, and reason not only why there is not any
rendition of any order, and why Trespasser's unauthorized, unlawful, purported Notice of
Removal is wholly void ab initio, and why there is no evidence that Trespassers have any
capacity or any standing to speak, act, file, or cause a filing for respondent(s) in and for Fourth
Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number 1D17-1699, and why
Trespassers have absolutely no right of entry into Fourth Judicial Circuit Case Number 16-2017-
CA-2142 or Appeal Number ID17-1699, but also why the herein aforementioned is error.Affidavit of Jurisdiction
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12. Fifth, declarant asserts that herein is highly probative evidence,
that by their actions and conduct, Trespassers (remitters) are fully
and immediately liable ipso facto and ipso jure for quasi divers
offenses of fraud, contempt of court, acts in bad faith, meddling in an
officious manner, trespass, and acts of Executor De Son Tort. As
such, Trespassers (remitters) are subject to sanctions, remit
compensation to Taquan Rashie Gullett Estate, remit damages to
Taquan Rashie Gullettt�442®Estate, and ecclesiastical censure of
excommunication (see Taquan Rashie Gullettt Estate Allodial
C o s t S c h e d u 1 e 16-2017-CA-2142 [ . ] ( Registrar (Probate Cou rt)
Recorder Doc #2017082163, OR BK 17940, Page 1662).
13. S i x t h a n d F i n a 1, the foregoing is grammar, logic, rhetoric, and reason why the
herein aforementioned is error and declarant obliges the court to speedily and
expeditiously strike Trespassers' (remitters') listing as attorney on
A p p e a 1 N u m b e r 1D17-1699, and strike Trespassers' (remitters') u n a u t h o r i z e d a n d
unlawful Notice of Removal, which, in bad faith, purports to have
removed this action to the United States District Court, absolutely
without any right of entry, absolutely without any capacity,
absolutely without any standing, absolutely without any bond
( w a r r a n t ) to speak, act, file, or cause a filing for respondent(s) (remitter(s)) in and for
Fourth Judicial Circuit Case Number 16-2017-CA-2142 or Appeal Number 1D17-1699. Further,
declarant obliges the court to speedily and expeditiously remand (remitment) this action hack to
the Fourth Judicial Circuit Court so that judgment may be entered in declarant's favor and
Affidavit of JurisdictionSupreme Court of Florida - ipso fure - Fourth Judicial Circuit Duval County Florida
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against respondent(s) (remitter(s)) for absolute possession of declarant's body, estate, and
collateral free and clear of any distresses, constrains, restraints, or detainments. Also, so that
judgment may be entered in declarant's favor and against respondent(s) (remitter(s)) for
remittance of compensation and remittance of damages for maximum maintenance, maximum
cure, and maximum remedy for Taquan Rash ie G u11eti �442*Estate. Lastly, declarant
obliges the court to grant all such fuither, intermediate, and other relief as is just and proper
for good cause, no dolus, and in the interest of Taquan Rashie
Gullette Estate.
Affidavit of Jurisdiction
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CERTIFICATE OF SERVICE (PROOF OF SERVICE)
hereby certify under penalty of hearing false witness that on
or about this Twenty-Second Dav of the Sixth Month in the Year of Our Universal Allah (All-Law) Fourteen Hundred Thint-
Seven |Gregorian Calendar Year 2017 - June, 22], I caused to be hand-delivered and/or emailed and/or placed in the U.S.
Registered or Certified Mail (First Class postage. pre-paid) and/or placed in Fed Ex and/or UPS delivery (First Class postage,
pre-paid) one (1) original and/or one (1) copy of the following:
1. Affidavit of Jurisdiction (13 pages); and
2. Reference copy of this Certincate of Service (PROOF OF SERVICE) (signed original on file) (1 page).
All parties required to be served have been served at the following mailing location:
Scan Patrick Hynn and ½ . Stephen Muld row, 400 Nor1h 'I ampa Street, Nuite 32(Mt Tampa. Horida 33602
Pamela Jo Hondi, I he ( 'apitol, Suite Pl.-01, f allahassee. Morida 32399.1050
Kim 1.ce M atson. 3(M) North flogan Street, suite 2-200, Jacksons ille, Horida 32202
Jim llaskets. 300 North Flogan Street, Suite 2-200, Jack.ums ille, Horida 32202Patrick Sheridan, 300 North Hogan Street, Sulte 2-200, Jacksams Hle. Merida 32202Jorge |- Pastrana, St6 NE 54* Terrace. Coleman, Florida 33521
I,arn Brown. 300 North Ilogan Street, Suite 2450, Jacksons ille. Horida 32202rnold ( orsmeier, 300 North Hogan Street, Nuite 700, Jacksonville, Florida 32202
Patricia D. Barksdale. 300 Not1h llogan Street, Chambers 5.311, (:ourtroom SR, Jackums ille, Horida 32202
Paul Sherstein, 6550 St. Augustine Road #303. Jacksonville, Horida 32217
Sam Hernandez, 312 North Spring Street, Roorn 754, I os Angeles ( alifornia 9(HH2
Andrew ( on art. 315 west 9"' Street. Nuite 501, I os Angeles ( xlifornia 9(MHS
Kim ( assulo, 600 1¯.S. Courthouse, 312 Nor1h Npring Street, Los Angeles, CA 90012-4708
Christina . Nuyder, 350 West First Nt reet ( ourtroom BD, N* Hoor. Los Angeles, Californin 90012
Jacqueline Chooljian, 312 North Spring Street, Courtroom 20. 3* Hoor. I os Angeles.. ( alifornia 90012Nuranne Segal 255 East Temple Ntreet, ( 'ourtroom 590, 5 F kn Im A Wm ( dhe WW
Julian t.. Andre, 312 North Spring Street. Suite 1200. 1.0% Angeles, California 90012
Eddic Jauregui. 312 North Spring Street. Nuite 1200. I os Angeles. ('ulifornia 90012
('athy Ostiller, 312 North Spring Street. Nuite 1200. Im Angeles ( alifornia 90012
Ferri Nafisi. 312 North Spring Street. Room G-8. l.os Angeles ( alifornia 90062
Mariah Radin. 321 Last 2"' Street, las Angeles ('alifornia 90012
1.Ulianu ( oroundo. 321 East 2"' Street, I os Angeles ( alifornia 90012Brad Cooper, 6265 (;unharrel Avenue, Suite B. Boulder. ( olorado 80301
Thomas Kane. 320 First Street, Washington, D.C., 20534
FCI f. oleman Medium, 846 NE 54* Terrace, samterville, Numter County, Horida 3352 IB1 Incorporated, 6265 Gunharrel Asenue. Suite B. H<mkler. Boulder County, ( ulorado NO3011LS. Marshats Sen ice, 300 North Hogan Ntreet, Suite 245(L Jacksonville, Duval County, Horida 32202
.S. Probation and Pretrial 5crvices, 300 North lingan Street, Nuite 2-200 and Suite 6350, Jacksorn ille, Duval ( 'ounty. Horida 32202
.S. Department of Justice, 300 North Hogan Street, Suite 700, Jacks<ms ille, Duval County, Hmida 32202
l .S. Attorney's Office, 300 North Hogan Street, suite 700, Jacksonville, Duval County, Florida 322o2S. Department of Justice, 300 North Hogan Street, Suite 700, Jacksonville, Duval County, Florida 322o2
Federal Bureau of Prisons, 320 First Street, Washington, District of Columbia, 20534
Affidavit of Jurisdiction
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Verification
I, Taquan Rahshe Gullett-El, alsomlled Maalik Rahshe El, Divine Immortal Spint in Live Flesh and Blood
N at ural Man of majority on the Land, In Propria Persona by Sui Juris capacity, Jus Sanguinis,
Heir Apparent by Freehold of Inheritance, O rigin al Autochthonous American Moor Alien
(Friend) Republican _Universal Government Form and Testamentary Style [AAMARUW'], do
hereby declare and affirm by virtue of Divine Law, under penalties of perjurv under the laws of Our
Most High Creator Divine Source for the Force Universal Allah (All-Law), Th e H ol y Ko ra n
Circle 7. The Zodiac Constitution, the laws of the State of Florida, and the
laws of the United States of America, that I am competent to state the matters set forth, and herein,
and that all of the facts stated are true, correct, complete, certain, not misleading, admissible as
evidence, in accordance with declarant's best first-hand knowledge, understanding, and honorable
intent, and if called upon for rhetoric as a witness to the veracity of evidence preferred and proffered,
declarant shall so state.
[State v. Shearer, 617 So.2d (Fla. App- 5 Dist. 1993)l
This Affidavit is dated the Twenty-Second Day of the Sixth Monthin the Year of Our Universal Allah (All-Law)
Fourteen Hundred Thirty-Seven [Gregorian Calendar Year 2017 - June, 22]
Affidavit of Jurisdiction
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onfirmation Page https://edca.Idca.org/Success.aspx?CaseID=70945&FOBO=Taquan R..
N r A
e
First District Court of Appeal
eFiling ConfirmationYour Document has been received.
The Clerk of the Court will process the document during regular business hours. Once processed you willbe notified via email.
You may print this page for your records.
vs
Jon S. Wheeler, ClerkFiler: Taquan Gullett-El
Bar No.:
EMail: [email protected]
Type: Response
Document: Response
Title: Affidavit of Jurisdiction
On Behalf of: Taquan Rahshe Gullett-El, General Executor
Date Filed: 06/23/2017
Time Filed. 04:03
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