The Paul-Joseph: Ricci Statement Of Claim

The following STATEMENT OF CLAIM  was filed at 11:00AM and served at 12:00 noon January 16, 2002.

We look forward to the  Defendant's  reply and proposed course of action.
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ONTARIO Superior Court Of Justice

B E T W E E N:

Paul-Joseph: Ricci
Plaintiff

-AND-

Her Majesty The Queen
Defendant

STATEMENT OF CLAIM

TO THE DEFENDANT(S)

           A LEGAL PROCEEDING HAS BEEN COMMENCED AGAINST YOU by the Plaintiff(s). The claim made against you is set out in the following pages. 

            IF YOU WISH TO DEFEND THIS PROCEEDING, you or an Ontario lawyer acting for you must prepare a statement of defence in Form 18A prescribed by the Rules of Civil Procedure, serve it on the plaintiff(s) lawyer(s) or, where the plaintiff(s) do(es) not have a lawyer, serve it on the plaintiff(s), and file it, with proof of service, in this court office, WITHIN TWENTY DAYS after this statement of claim is served on you, if you are served in Ontario. 

              If you are served in another province or territory of Canada or in the United States of America, the period for serving and filing your statement of defence is forty days. If you are served outside Canada and the United States of America, the period is sixty days. 

              IF YOU FAIL TO DEFEND THIS PROCEEDING, JUDGMENT MAY BE GIVEN AGAINST YOU IN YOUR ABSENCE AND WITHOUT FURTHER NOTICE TO YOU. 

              If you wish to defend this proceeding but are unable to pay legal fees, legal aid may be available to you by contacting a local Legal Aid office. 

Date_________________________Issued 

by                                                               

Registrar
393 University Avenue
10th Floor
Toronto, Ontario
M5G  1E6

TO:  Her Majesty The Queen
C/O Gary Caracciolo, Department Of Justice
Ontario Regional Office
Suite 3400,  Box 36, 130 King Street West
Toronto, Ontario, Canada
M5X 1K6 
         Defendant

1. The plaintiff claims: 

Damages in the sum of  One Million Dollars ($1,000,000.00).

2. The plaintiff seeks:

a. An order directing the Defendant to recognize and respect the right and duty of the Plaintiff to refuse to support a society that participates in plans and preparations that are predicated on a sure and certain will and
capacity to commit Mass Murder.

b. An order directing the Defendant to cease its misuse of Canada's Courts and Judges to satisfy its attempt to collect taxes from those who are aware of their lawful right and lawfully compellable duty to refuse to support a
society that participates in plans and preparations that are predicated on a sure and certain
will and capacity to commit Mass Murder.

c. An order directing the Defendant to purge its Contempt of Canada's Courts and Judges as it attempts, contrary to "The Rule Of Law", to misuse Canada's Courts and Judges to satisfy its attempt to collect taxes
from those who are aware of their lawful right and lawfully compellable duty to refuse to support a society that participates in plans and preparations that are predicated on a sure and certain will and capacity to commit Mass Murder.

d. An order directing the Defendant to withdraw a garnishment order issued to Super Seal Mfg Ltd. directing it to withhold 60% of each and every payment to the Plaintiff's of wages, bonuses or otherwise.

e. An order declaring null and void a "Writ Of Execution" secured against the Plaintiff's personal property by Canada Customs And Revenue Agency

f.  Such further and other relief as the nature of this case may require and the Honourable Court deems just.

CAUSE OF ACTION

3. a. The Defendant has harassed and continues to harass the Plaintiff and to threaten him with Judicially imposed fines and / or terms of imprisonment because of the Plaintiff's actions in keeping with "The Rule Of Law" to recognize, respect and act on his lawful right and lawfully compellable duty to refuse to pay taxes to, and to otherwise refuse to aid, abet or support, a society that participates in plans and preparations that are predicated on a sure and certain will and capacity to commit Mass Murder.

b. The Defendant has wilfully misused Canada's Courts, Judicial processes and collection procedures, including the wilfull misuse of a distant Court, being the Federal Court Of Canada - Trial Division in Ottawa, Ontario to secure a "Writ Of Execution" against the Plaintiff's personal property and has done so without notice to the defendant.

4. The Defendant, having charged the Plaintiff with Tax Evasion, is aware that no Judge in Canada is prepared to rule that Canada's citizens do, or do not, have a lawful right and lawfully compellable duty to refuse to pay taxes to, and to otherwise refuse to aid, abet or support, a  society that participates in plans and preparations that are predicated on a sure and certain will and capacity to commit Mass Murder, continues to harass and mentally
torture the Plaintiff, and his family; causing the Plaintiff to waste prodigious amounts of time explaining the lawfulness of his actions to his family and his employer by continuing to charge him and further causing him to appear in Court and, when he does so appear, no Judge is present to hear the matter, contrary to prior agreement as to date, time and location.

5.  The Plaintiff proposes that this action be tried at Toronto. 

Mr. Paul-Joseph: Ricci
Plaintiff
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