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Will: Motion For Discovery - Conditional Acceptance - Motion To Dismiss

[1] The document is a "Motion for Discovery - Conditional Acceptance - Motion to Dismiss" filed by Jana Grzych in a court case. [2] Jana Grzych requests 10 items of discovery from the opposing party, including evidence that she is the decedent in the case, accepted liability as a surety, and that the judges and attorneys involved have proper authorization and insurance. [3] She conditions her acceptance in the case on receiving the requested discovery. Failure to provide it within 14 days will result in dismissal of the case for failure to state a claim.

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Brad Grzych
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100% found this document useful (2 votes)
369 views4 pages

Will: Motion For Discovery - Conditional Acceptance - Motion To Dismiss

[1] The document is a "Motion for Discovery - Conditional Acceptance - Motion to Dismiss" filed by Jana Grzych in a court case. [2] Jana Grzych requests 10 items of discovery from the opposing party, including evidence that she is the decedent in the case, accepted liability as a surety, and that the judges and attorneys involved have proper authorization and insurance. [3] She conditions her acceptance in the case on receiving the requested discovery. Failure to provide it within 14 days will result in dismissal of the case for failure to state a claim.

Uploaded by

Brad Grzych
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Download as PDF, TXT or read online on Scribd
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IN THE FIRST JUDICIAL DISTRICT COURT

IN AND FOR THE PARISH OF EAST FELECIANA, STATE OF LOUISIANA

A Private for profit government services Corporation

STATE OF LOUISIANA- DUN AND BRAD# ) Case#


A private registered legal business entity ) Case#
A subsidiary corporation of the UNITED STATES Corporation )
A De Facto for Profit Governmental Services Corporation )

vs
JANA ELIZABETH GRZYCH dba

An artificial entity created through fraud,


And Unlawful Conversion of natural Name
By the STATE OF LOUISIANA
A living Woman unlawfully Convicted,
A Woman being involuntarily held as surety
Appearing By special appearance of Jana, Elizabeth; of family of Desalvo
A Living Soul, A woman of GOD, Bondservant of Christ, Non-Personam, Sui Juris
a Non-representative/Non-agent
CC: US Army Provost Marshal General, Notified in Writing
CC: US Commerce Secretary, Notified in Writing
CC: UN Secretary of Human Rights, Notified in Writing

MOTION FOR DISCOVERY - CONDITIONAL ACCEPTANCE - MOTION TO DISMISS

1accept everything you have offered upon the following conditions:


1 can offer a plea of "guilty to the facts," but innocent of a crime, upon proof of
claim by the complete answers to these discovery items:

1. Provide admissible evidence and the name of a witness who will testify that
I am a decedent .
2. Provide admissible evidence and the name of a witness who will testify that
my given original name is not DeSalvo, Jana-Elizabeth or Grzych, Jana-
Elizabeth, as opposed to the estate or trust name on the documents listed
as JANA GRZYCH.

3. Provide admissible evidence and the name of a witness who will testify that
I have accepted liability for the named decedent, as surety.

4. Provide admissible evidence and the name of a witness who will testify that
I, Grzych, Jana-Elizabeth am not only the beneficial interest holder of the
estate named in this matter. Lack of providing this would stand as evidence
of a wrong party named.

5. Provide admissible evidence and the name of a witness who will testify that
the judge and/or prosecutor(s) in this matter are in fact not the trustees
and liable sureties for settling and closing this account upon my
acceptance. I rebut any previous assumptions to the contrary based on
previous appearances of filings and disclaim being trustee/defendant as
named.

6. Provide admissible evidence and the name of a witness who will testify that
the prosecutor and parties such as judges, magistrates, clerks, and other
court related employees do not have a reportable tax liability for the
Alternate Valuation on their Carryover Basis in the matter. This will stand as
evidence that all attorney's agents, and prosecutors, must submit their
bond and/or insurance information for the record, and thus disclose their
indemnity insurance carrier information to me, in the event that I am
harmed. That bond they provide shall be further backed by lawful money,
according to Article 1 Section 10 of the US Constitution.

7. Provide certified copies of the Congressional Authorization over a Man or


Woman, oath of office, bonds, and insurance policy claim information, for
all of the judges, magistrates, my own attorney, prosecuting attorneys, and

1111111111
all other attorneys, clerks, bailiffs and notaries involved in this matter. All
attorneys must provide "license" not BAR union membership.

8. Provide a written guarantee that judges, magistrates, my own attorney,


prosecuting attorneys, and all other attorneys, clerks, bailiffs and notaries
involved in this matter guarantee to uphold all of my GOD given and
Constitutional rights. Those rights should be listed and guaranteed in
writing by all parties.

9. Proof of authority showing where any parties making a claim on the estate
JANA E GRZYCH or trying to administer are done so with the express written
permission as beneficiary.

10.To assist the issues and before proceding, I require the 1099 OID from all
parties for the tax due. Failing to provide this, I have no choice but to report
this matter to the Treasury Inspector General, the IRS CID on a form 4490
and 8281 or otherwise, as a report of a [potential tax evasion and further
inform the Postal Service and Universal Postal Union of such issues. I am
duty bound as a private American to report such issues when I become
aware of a public servant engaged in money laundering, mail fraud, and/or
fictitious conveyance of language under 18 USC 1001, and as otherwise
necessary.

1 have presented and registered this document vessel under the jurisdiction of the
Universal Postal Union by paying the transit fee of Sl as the postmaster cancelling
the stamp of this vessel, for this vessel's delivery and peaceful protection under
registered mail # US.

Failing to provide these discovery items and proofs within the time specified, this
document will also stand as a Motion to Dismiss for failure to state a claim for
which relief can be granted, with prejudice. As a Cease and Desist order of my
son, Ezekiel-James, Grzych from the kidnappers Lucas Scott Long and Tammie
Long. 1order him to be returned to my custody immediately as well as all of his
belongings to be in effect immediately following the effect of this motion. This

I
i,

motion goes into effect if all matters are not fully disclosed with supporting
evidence within 14 days of receipt by the court and responded to under oath by
the responded parties.

Until such time all conditions above are proven and authenticated on the record,
all previous actions, orders, signatures, judgements, and pleas are now void, until
jurisdiction is proven on the record by the plaintiffs/attorneys.

At any proceeding, I will require all parties speaking to swear in, under penalties
of perjury, or the court agrees only speak hearsay.

Notice to principle is notice to agent, notice to agent is notice to principle.

Without Prejudice, All Rights Reserved, Autographed in wet ink,

Grzych, Jana-Elizabeth

Submitted with assistance of counsel, from The Most High, above the firmament.

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