common / Legals

LEGAL NOTICES

RE: Jason Paul Arnold V. Michigan
Department of Human
Services, et al.
Case No.: 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
Hello to my community, my name is
Jason Paul Arnold and I swear to the
following statement of facts to be the
truth under the penalties of perjury
so help me God.
The plaintiff is a victim of political and economic elite; whom have
shaped decisions to be against me
at any expense; with malice; and
have never had to account for their
mistakes; nor have they ever had to
suffer from injustices.
“Not to oppose error is to approve
it, and indeed to neglect to confound
evil men; when we can do it, is less
sin than to encourage them.”
(6/25)(7/9)

LEGAL NOTICES

RE: Jason Paul Arnold V. Michigan
Department of Human
Services, et al.
Case No.: 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
To whom this may concern at the
Schoolcraft Memorial Hospital of
Manistique, MI.
You are being sued in the United
States Supreme Court of America
on multiple constitutional and statutory violations of the law regarding
the illegal kidnapping of Carter J.
Arnold and Aidan L. Arnold, minor
children of Jason Paul Arnold and
Kristy R. Arnold. This plaintiff is also
pursuing multiple felony and misdemeanor charges against you with
the United States Solicitor Generals
Office regarding the ongoing criminal

conspiracy against Jason Paul
Arnold, and his family unit: Also for
your role in the unlawful arrest, assault, and four day false imprisonment on the night of January 24,
2013. Your response is required
and shall be submitted to:

The United States Supreme Court
1 First Street, North/East
Washington, DC 20543

The Solicitor General of the
United States
Room 5616, U.S. DepartmentJustice
950 Pennsylvania Avenue, N.W.
Washington, DC 20530-0001

Jason Paul Arnold, Plaintiff
(6/25)(7/2)

LEGAL NOTICES

DUE TO THE HOLIDAY THE
CIRCUIT COURT SALE BELOW
WILL BE ADJOURNED FROM
06/26/2015 TO 07/02/2015;
07/02/2015 TO 07/09/2015;
07/09/2015 TO 07/10/2015
NOTICE OF JUDICIAL FORECLOSURE SALE THIS FIRM IS A
DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT. ANY
INFORMATION WE OBTAIN WILL
BE USED FOR THAT PURPOSE.
PLEASE CONTACT OUR OFFICE
IF YOU ARE A BORROWER ON
ACTIVE MILITARY DUTY. ATTENTION PURCHASERS: This sale
may be rescinded by the circuit
court at the request of the Plaintiff. In that event, your damages, if
any, shall be limited solely to the
return of the bid amount tendered
at sale, plus interest, as determined
by the court. Schoolcraft County
Circuit Court Case No. 14-4794-
CH NOTICE OF JUDICIAL SALE
JUDICIAL SALE IN PURSUANCE
and by virtue of Judgment(s) and/or
Order(s) of foreclosure in the Circuit
Court for the County of Schoolcraft,
State of Michigan, made and entered on the 19th day of February,
2015, in a certain cause therein

pending, wherein Wells Fargo
Bank, N.A. was the Plaintiff and the
Unknown Heirs, Devisees, or Assigns of Fred Cornish, deceased,
was a Defendant. The aforementioned Judgment(s) and/or Order(s)
established a debt owing to Plaintiff in the amount of $133,458.02,
plus post-judgment interest at an
annual rate of 3.170% and other
amounts recoverable pursuant to
said Judgment(s) and/or Order(s).
NOTICE IS HEREBY GIVEN that
in order to satisfy said Judgment(s)
and/or Order(s), in whole or in part,
the property described below shall
be sold at public auction, by an
authorized sheriff/deputy sheriff or
county clerk/deputy county clerk,
to the highest bidder, at the Circuit
Court for the County of Schoolcraft,
on the 15th of May, 2015 at 10:00
am, local time. On said day at said
time, the following described property shall be sold: property located
in the Township of Inwood, County
of Schoolcraft, State of Michigan,
particularly described as Part of
Government Lot 1, or Northwest
1/4 of the Northwest 1/4, Section 7,
Township 44 North, Range 18 West,
Township of Inwood, Schoolcraft
County, State of Michigan more

particularly described as follows:
Commencing at the Northwest
corner of said Section 7; thence
South, along the West line, 608.39
feet; thence South 85 degrees 36
minutes 30 seconds East, 150.44
feet to the point of beginning of the
parcel hereby described; thence
continuing South 85 degrees 36
minutes 30 seconds East, 150.44
feet; thence South, parallel with the
West line, 367.49 feet to the shore
of Town Lake, a/k/a Townline Lake;
thence North 69 degrees 18 minutes West 111.34 feet; thence North
48 degrees 18 minutes West, along
the shore, 61.4 feet; thence North,
parallel with the West line, 298.81
feet to said point of beginning. Tax
Parcel ID: 004-407-003-50. More
commonly known as: 7579N Federal Forest Highway 13, REDEMPTION PERIOD IS SIX MONTHS.
For more information please call
248.642.2515.
Trott Law, P.C. Attorneys
for Plaintiff
31440 Northwestern Hwy
Ste 200
Farmington Hills, MI 48334-5422
T# 440070L02
(06-25)

FORECLOSURE NOTICE RANDALL S. MILLER & ASSOCIATES,
P.C. MAY BE A DEBT COLLECTOR ATTEMPTING TO COLLECT
A DEBT AND ANY INFORMATION
OBTAINED MAY BE USED FOR
THAT PURPOSE. IF YOU ARE A
MILITARY SERVICEMEMBER ON
ACTIVE DUTY NOW OR IN THE
PRIOR NINE MONTHS, PLEASE
CONTACT OUR OFFICE. Mortgage Sale - Default has been made
in the conditions of a certain mortgage made by Stacey M. Damer,
a single woman to United States
of America acting through the Rural Housing Service or successor
agency, United States Department
of Agriculture, Mortgagee, dated
August 15, 2005, and recorded on
August 17, 2005, in Liber 214, Page
405, Schoolcraft County Records,
on which mortgage there is claimed
to be due at the date hereof the
sum of Forty-Two Thousand Four
Hundred Sixty-Two and 87/100
($42,462.87) including interest at
the rate of 5.73560% per annum.
Under the power of sale contained
in said mortgage and the statute in
such case made and provided, notice is hereby given that said mortgage

will be foreclosed by a sale of
the mortgaged premises, or some
part of them, at public venue, at the
place of holding the Circuit Court in
said Schoolcraft County, where the
premises to be sold or some part of
them are situated, at 10:00 AM on
July 10, 2015 Said premises are situated in the Village of Manistique,
Schoolcraft County, Michigan, and
are described as: Lot 13 and the
North half of Lot 14, Block 2, Henry
McCanna`s Addition to the Village
of Manistique, Schoolcraft County,
Michigan. Commonly known as:
142 North Third Street, Manistique, MI 49854 If the property is
eventually sold at foreclosure sale,
the redemption period will be 6.00
months from the date of sale unless
the property is abandoned or used
for agricultural purposes. If the
property is determined abandoned
in accordance with MCL 600.3241
and/or 600.3241a, the redemption period will be 30 days from
the date of sale, or 15 days after
statutory notice, whichever is later.
If the property is presumed to be
used for agricultural purposes prior
to the date of the foreclosure sale
pursuant to MCL 600.3240, the redemption

period is 1 year. Pursuant
to MCL 600.3278, if the property
is sold at a foreclosure sale, the
borrower(s) will be held responsible
to the person who buys the property at the mortgage foreclosure
sale or to the mortgage holder for
damaging the property during the
redemption period. TO ALL PURCHASERS: The foreclosing mortgagee can rescind the sale. In that
event, your damages are, if any,
limited solely to the return of the
bid amount tendered at sale, plus
interest. If you are a tenant in the
property, please contact our office
as you may have certain rights.
Dated: June 4, 2015

Randall S. Miller &
Associates, P.C.
Attorneys for United States of
America acting through the Rural
Housing Service or successor
agency, United States Department
of Agriculture
43252 Woodward Avenue,
Suite 180
Bloomfield Hills, MI 48302
(248) 335-9200
Case No. 15MI00688-1
(06-04)(06-25)

RE: Jason Paul Arnold V.
Michigan Department of Human
Services, et al.
Case No.: 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
To whom this may concern at the
State of Michigan Department of
Human Services,
You are being sued in the United
States Supreme Court of America
on multiple constitutional, and statutory violations of the law regarding
the illegal kidnapping of Carter J.
Arnold and Aidan L. Arnold, minor
children of Jason Paul Arnold and
Kristy R. Arnold. This plaintiff is also
pursuing multiple felony and misdemeanor charges against you with
the United States Solicitor Generals
Office regarding the ongoing criminal

conspiracy against Jason Paul
Arnold, and his family unit: Also for
your role in the unlawful arrest, assault, and four day false imprisonment on the night of January 24,
2013. Your response is required
and shall be submitted to:
The United States Supreme Court
1 First Street, North/East
Washington, DC 20543

The Solicitor General of the
United States
Room 5616,
U.S. Department of Justice
950 Pennsylvania Avenue, N.W.
Washington, DC 20530-0001

Jason Paul Arnold, Plaintiff
(6/25) (7/9)

RE: Jason Paul Arnold V.
Michigan Department of Human
Services, et al.
Case No.: 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
To whom this may concern at the
Delta County Sheriff Department,
You are being sued in the United
States Supreme Court of America
on multiple constitutional and statutory violations of the law regarding
the illegal kidnapping of Carter J.
Arnold and Aidan L. Arnold, minor
children of Jason Paul Arnold and
Kristy R. Arnold. This plaintiff is also
pursuing multiple felony and misdemeanor charges against you with
the United States Solicitor Generals
Office regarding the ongoing criminal conspiracy against Jason Paul

Arnold, and his family unit: Also for
your role in the unlawful arrest, assault, and four day false imprisonment on the night of January 24,
2013. Your response is required
and shall be submitted to:
The United States Supreme Court
1 First Street, North/East
Washington, DC 20543

The Solicitor General of the
United States
Room 5616,
U.S. Department of Justice
950 Pennsylvania Avenue, N.W.
Washington, DC 20530-0001

Jason Paul Arnold, Plaintiff
(6/25)(7/9)

RE: Jason Paul Arnold V. Michigan
Department of Human
Services, et al.
Case No.: 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
To Mr. Paul A. Peterson and his
assistant Dale A. of the Federal
Public Defenders Office, Marquette,
Michigan,
You are being sued in the United
States Supreme Court for legal malpractice and for your role(s) in the
ongoing conspiracy against Jason
Paul Arnold, his minor children, and
his family unit. You are being sued
for threatening this plaintiff in an attempt to force him to accept a pleabargain by stating to this plaintiff’s
aunt via telephone “If Jason refuses
to take a two-year plea-bargain, he
will be sent to a psychiatric facility
and then go to prison for a very long
time.”
This was done in a gross attempt
to deprive this plaintiff of his constitutional right to a jury trial regarding the firearm that he purchased

to commit suicide after he laid in
a coma for five days at Marquette
General Hospital. The appeal in
that case no.: 14-1956 (2:13-cr-
00006RHB W.D. Michigan) is currently ongoing in the Sixth Circuit
Court of Appeals/Ohio. The appeal
in that case was written by Dennis
C. Belli, Attorney at Law of Columbus, Ohio, and clearly states that
6th Amendment violations have occurred and that this plaintiff was illegally sentenced over the guidelines
range to 60 months in prison. This
plaintiff also swears under the penalty of perjury that multiple due-process violations have also occurred
in that case. Your response is required and shall be submitted to:

The United States Supreme Court
1 First Street, North/East
Washington, DC 20543

Jason Paul Arnold, Plaintiff
(6/25)(7/9)

RE: Jason Paul Arnold V.
Michigan Department of Human
Services, et al.
Case No.: 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
To whom this may concern at the
Manistique MI. City Police Department, You are being sued in the United
States Supreme Court of America
on multiple constitutional and statutory violations of the law regarding
the illegal kidnapping of Carter J.
Arnold and Aidan L. Arnold, minor
children of Jason Paul Arnold and
Kristy R. Arnold. This plaintiff is also
pursuing multiple felony and misdemeanor charges against you with
the United States Solicitor Generals
Office regarding the ongoing criminal conspiracy against Jason Paul

Arnold, and his family unit: Also for
your role in the unlawful arrest, assault, and four day false imprisonment on the night of January 24,
2013. Your response is required
and shall be submitted to:

The United States Supreme Court
1 First Street, North/East
Washington, DC 20543

The Solicitor General of the
United States
Room 5616,
U.S. Department of Justice
950 Pennsylvania Avenue, N.W.
Washington, DC 20530-0001

Jason Paul Arnold, Plaintiff
(6/25)(7/9)

RE: Jason Paul Arnold V. Michigan
Department of Human
Services, et al.
Case No. : 14-2096 (2:13-cv-
00353RAE W.D. Michigan)
To whom this may concern at the
Michigan State Police Department,
On the night of January 20, 2012
Trooper Keith Carlson broke this
plaintiff’s right arm via excessive
force, until now this has been covered up. You are being sued in the
United States Supreme Court of
America on multiple constitutional
and statutory violations of the law
regarding the illegal kidnapping of
Carter J. Arnold and Aidan L. Arnold, minor children of Jason Paul
Arnold and Kristy R. Arnold. This
plaintiff is also pursuing multiple
felony and misdemeanor charges
against you with the United States
Solicitor Generals Office regarding

the ongoing criminal conspiracy
against Jason Paul Arnold, and his
family unit: Also for your role in the
unlawful arrest, assault, and four
day false imprisonment on the night
of January 24, 2013. Your response
is required and shall be submitted
to:

The United States Supreme Court
1 First Street, North/East
Washington, DC 20543

The Solicitor General of the
United States
Room 5616,
U.S. Department of Justice
950 Pennsylvania Avenue, N.W.
Washington, DC 20530-0001

Jason Paul Arnold, Plaintiff
(6/25)(7/9)

Return to top

Poll

Do you agree with Friday's Supreme Court ruling legalizing same-sex marriage?