Ozaukee MOB
  • Ozaukee MOB
    • Prologue
    • The Government Can - Tim Hawkins
    • Did they die in vain
    • We're the Gov't, You're Not
    • Whatever Happened to Freedom?
  • Shyster Resigns
    • Exhibit N, 2011 Criminal Report #3, Dec 9
    • 2003 Criminal Report, filed with D.A. Williams
    • 2011 First Criminal Report, July 13
    • 2011 Second Criminal Report, October 28
  • Lawless Sheriff
    • Mad Maury
    • Greg Evensen & Coach Dave
    • Straub letter, 8-11-2011
  • Quislings
    • Traitors, Quislings, Main Page >
      • Restoration - Lawful & Moral Duty
    • Corrupt Judges, DA, & Attys >
      • Animal Farm
      • Fair enough odds
    • Evil Sandy A. Williams >
      • Verified Motion For A Determination of Probable Cause
    • Evil Adam Y. Gerol >
      • Proofs
    • "MT" Andrew T. Gonring >
      • Affidavit in Support Motion Vacate Void Judgment
    • Reprobate Gus Wirth
    • Hall of Shame Quislings of 2001 - 2002
    • Karen L. Makoutz
  • 800 Lb Gorilla
    • Table of Contents, All Court Documents
    • Complaint
    • Affidavit in Support of Complaint
    • Exhibit O, Memorandum of Law
    • List of Documents filed with Complaint >
      • Mandatory Judicial Notice
      • Exhibit A, Confirmation Deed
      • Exhibit B, UCC Secured Interest
      • Exhibit C, Defendants Residence Addresses
      • Exhibit D, Senate Debate, March 6, 1820
      • Exhibit E, Act of Congress, April 24, 1820
      • Exhibit F, Notary Affidavit & Admin Process – certified from United States District Court, Eastern District of Wisconsin
      • Exhibit G, Magritz’s private land declared public park
      • Exhibit H, Affidavit of Publication, Liquidated damages - Notice of Remedy
      • Exhibit I, Erection of county of Ozaukee - certified from Wisconsin Supreme Court Law Library
      • Exhibit J, Declaration & Claim of Rights - Land Patents, recorded Register Of Deeds 1994
      • Exhibit K, Notice & Claim to Private Land Rights, recorded in Register of Deeds April 1997
      • Exhibit L, Affidavit of Publication, Notice of Claim, July 1997
      • Exhibit M, Selected relevant pages, Abstract of Title, 6 pages only
      • Exhibit N, 2011 Criminal Report #3
    • Motions to corrupt court for Justice, not "Just-Us" >
      • Praecipe, & Notice, & Demand, & Req Docs
      • MTS Interloper Baum
      • MTS Interlopers Van Hollen & Rice MTD
      • Verified Motion Part SJ
      • Judicial Notice
      • Rule Constitutionally Compliant
      • Verified Bill Quia Timet
      • Non-Acquiescence, Non-Consent, Non-Acceptance of Abnegation
  • Investigator's Reports
    • Summaries + audio
    • Transcripts + audio
    • Audio Downloads
    • Presstitutes
    • Bunker Buster Letter
    • Forte letter to D.A. Williams office
    • VCY America, Inc. >
      • Roy Korte, AAG
      • Bob Braun Affidavit
  • Habeas Corpus
  • Informant's Criminal Report
  • Land Patent Research Cases
  • Tribute - An Honorable Man
  • Tribute - A Kindred Spirit
  • Definitions
  • Declaration of Rights
  • Remedy & research
  • So Help Me God
  • The American Justice System
  • Quiet title
  • The Key to Peace
  • Contact & About Us

Corruption in Government Must STOP -
Obey the Constitution

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Exhibit N,  Magritz’s Criminal Report - certified out of the Ozaukee County Circuit Court

Take a real close look at the seven pages of this Exhibit.  The reason will be explained in the last paragraph below, just above links and the first page marked Exhibit N.  This Criminal Report filed by Magritz regarding specifically named Public Officers of The Ozaukee County MOB was the last Criminal Report submitted to authorities before the "800 Lb Gorilla" lawsuit was filed.  Magritz previously filed other Affidavits of Criminal Activity beginning in 2003.  The 2003 Affidavit was filed with then District Attorney Sandy A. Williams, who refused to prosecute her buddy, Corporation Counsel Dennis E. Kenealy.  Sandy A. Williams is now a local circuit court "judge" in Ozaukee County, a position in which she continues to prove her loyalty to The Ozaukee County MOB by concealing ongoing criminal activity of MOB members. 
    

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Exhibit N.pdf
File Size: 880 kb
File Type: pdf
Download File

On July 13, 2011 Magritz filed a "Report of Criminal Activity by Victim/Witness" dated July 12, 2011 with both Maurice A. Straub, d/b/a Sheriff and Adam Y. Gerol, d/b/a District Attorney.  When Straub refused to arrest Dennis E. Kenealy, Magritz filed a "Verified Motion For Determination of Probable Cause" with the Ozaukee County Circuit Court along with the "Report of Criminal Activity by Victim/Witness" which Straub refused to act upon. The "Verified Motion" was assigned to Sandy A. Williams, former D.A., now d/b/a judge, who refused to issue a determination. 

On October 28, 2011 Magritz filed an expanded Criminal Report with both the Court and the Sheriff's Department titled "10/28/2011 Report of Criminal Activity by Victim/Witness".  The "judicial" system had turned a blind eye and a deaf ear.  This Affidavit included the misprision of felony committed by Sandy A. Williams in 2003 when she was District Attorney.


Magritz then turned his attention to obtaining pre-lawsuit discovery from members of The Ozaukee County MOB.  The admissions obtained are set forth in Exhibit F.  After obtaining the admissions from The Ozaukee County MOB, Magritz then recorded a correction deed which corrected the public record, as required when one discovers a mistake. 


At that point, on December 1, 2011 corrupt Corporate Counsel Dennis E. Kenealy teamed up with corrupt District Attorney Adam Y. Gerol in an attempt to shut Magritz up for good.  Kenealy filed a civil suit to prohibit Magritz from contacting the members of The Ozaukee County MOB, which although it was an abuse of legal process by Kenealy, it really was no big deal since Magritz already had the admissions for the lawsuit from The Ozaukee County MOB.  On the very same day, Adam Y. Gerol, good "team player" that he is, maliciously filed a "criminal" Complaint against Magritz for Magritz slandering title to Magritz's own property by filing the correction deed as evidenced in Exhibit A.  The Ozaukee County MOB was getting real worried about being exposed and were attempting to permanently ice Property Rights Advocate Steven Alan Magritz before Magritz could get the lawsuit filed in federal court.


Magritz then filed with the local Court the Criminal Report shown below titled "12/09/2011 Report of Criminal Activity By Victim/Witness".  In addition to filing the Affidavit with the court, original signature Affidavits were mailed to Governor Scott Walker, Lieutenant Governor Rebecca Kleefisch, Senator Glenn Grothman, Representative Daniel R. LeMahieu, Wisconsin Attorney General J.B. Van Hollen, Director of State Courts John A. Voelker, chief judge J. Mac Davis, clerk of court Marylou Mueller, circuit court judges Paul V. Malloy, Tom R. Wolfgram, and Sandy A. Williams, and, Sheriff's Department Lt. Jeff Taylor, among others.  The court record sheet or docket sheet does not evidence the Affidavit being filed, only "other papers".  Also, TAKE NOTICE that although this Affidavit, pages 3, 4, 5, 6, and 7 of Exhibit N, is certified out of the office of the clerk of court of Ozaukee County, it does not bear a time and date stamp evidencing that it was received by the court.  So now, instead of blatantly stealing documents as soon as they are filed like Kenealy did in 2001, these "honorable" Public Officers merely "fail" to time and date stamp the documents and "fail" to properly record them on the docket record.  Mary Lou Mueller, the current Clerk of Court, is a good "team player" member of, or with, The Ozaukee County MOB.  When the documents later "disappear", there will have been no record of them ever having been received.  The Ozaukee County MOB in action.  But caught again.  Don't they learn?


Click here for one of the earlier Criminal Reports, filed in 2003 with D.A. Sandy A. Williams.  
        Click here for the First Criminal Report filed in 2011 with "Maury" Straub, DA Adam Y. Gerol, & the Court. 
        Click here for the "Verified Motion for Determination of Probable Cause filed with the Court in 2011.           
       
Click here for the Second Criminal Report filed in 2011 with Straub, Gerol, & the Court.

Return to List of Documents
Did they die in vain?

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OzaukeeMOB.org, January 4, 2012, Steven Alan Magritz, C/o Notary, P.O. Box 342443, Milwaukee, Wisconsin 53234, TO:  Marylou Mueller, Clerk of Court, Ozaukee County Justice Center, 1201 S. Spring St., Port Washington, WI 53074, Dear Marylou Mueller, Herewith this letter transmitted to you via private courier please find documents for filing in case no. 2011CF000236:  1.  A NOTICE OF FILING OF AFFIDAVIT, 2.  An AFFIDAVIT (5 pages plus attachments).  I request you provide my courier with certified copies of the Notice and the 5 pages of Affidavit (not the attachments).  	Further, I have requested the courier exam the aforesaid case file and obtain certified copies of specific documents therein.  Thank you for your assistance.  Very truly, Steven Alan Magritz, victim and witness of crime.
OzaukeeMOB.org, NOTICE OF FILING OF AFFIDAVIT:  To:   Ozaukee County Circuit Court, Branch III, 1201 S. Spring Street, Port Washington, Wisconsin 53074.  NOTICE IS HEREBY GIVEN that on December 9, 2011, Steven Alan Magritz, did file with the Ozaukee County Circuit Court, Branch III, 1201 S. Spring Street, Port Washington, Wisconsin 53074, Case Number 2011CF000236 an AFFIDAVIT titled 12/09/2011 REPORT OF CRIMINAL ACTIVITY BY VICTIM/WITNESS a copy of which is attached hereto and incorporated herein by reference.  Further NOTICE is hereby given that you have 10 days from January 5, 2012 to rebut said Affidavit, point by point, lest you be deemed to accept and assent to the facts contained therein.  Dated: January 4, 2012. Steven Alan Magritz,  Mailing in care of:  Notary, P.O. Box 342443, Milwaukee, Wisconsin 53234
OzaukeeMOB.org, Steven Alan Magritz, victim and witness of crime, December 9, 2011, Re: Ongoing Criminal Activity by Public Officers, To:  Governor Scott Walker;  Lieutenant Governor Rebecca Kleefisch; Senator Glenn Grothman;  Representative Daniel R. LeMahieu; J. B. Van Hollen, Attorney General;  A. John Voelker, Director of State Courts; J. Mac Davis, chief judge;  Marylou Mueller, Clerk of Court;  Paul V. Malloy,  Tom R. Wolfgram,  Sandy A. Williams, circuit court judges; Lt. Jeff Taylor;  and Unnamed Others Dear Public Officers and Fiduciaries of the Public Trust: I have previously filed two (2) Affidavits of criminal activity by a victim and witness of crime, the first dated July 12, 2011, and an updated October 28 Affidavit adding paragraphs 13 and 14.  Both Affidavits were filed with the Ozaukee County Sheriff, the Ozaukee County District Attorney, and the Ozaukee County Circuit Court (case number 2011JD0001). BOTH Affidavits remain unrebutted. The criminal acts complained of began in 2001, have been ongoing, and continue to this present day. The most recent acts were committed on or about December 1, 2011 and consist of tampering with and retaliating against a victim, witness, or informant in violation of 18 U.S.C. §§ 1512 and 1513 and Wis. Stats. §§ 943.43 and 943.45. The original perpetrator of the criminal acts in 2001, Dennis E. Kenealy, has enlisted the aid of another attorney, Adam Y. Gerol, in perpetrating the latest criminal acts. Both Kenealy and Gerol are attempting to unlawfully use the force of violence inherent in the police power of the state in retaliation against your Affiant. Attached please find an updated Affidavit adding paragraphs 15 and 16. Sincerely, Steven Alan Magritz, victim and witness of crime
OzaukeeMOB.org, 12/09/2011 REPORT OF CRIMINAL ACTIVITY BY VICTIM/WITNESS,  Re: Criminal Activity on the part of Dennis E. Kenealy, corporation counsel of Ozaukee County, Wisconsin I, Affiant herein, Steven Alan Magritz, state that I am competent and being of the age of majority affirm that my
OzaukeeMOB.org, record sheet or docket sheet, as evidenced by certified copy of court record, in violation of Wis. Stat. § 943.20 Theft, as well as in violation of Wis. Stat. § 946.72 Tampering with public records and notices.   On August 8, 2001, in a hearing before judge Joseph D. McCormack, the Accused, in furtherance of his scheme to injure or defraud Affiant and steal Affiant’s property, and while in possession of Affiant’s payment as well as Affiant’s Answer that the Accused had stolen from the court files, intentionally, purposely, knowingly, falsely represented to the judge that Affiant had not paid the tax and falsely represented to the judge that Affiant had not filed an Answer to the Complaint, and, submitted to the judge for signing an Order and Judgment with the false representations, in violation of Wis. Stat. § 946.65 Obstructing justice, Wis. Stat. § 943.39 Fraudulent writings, Wis. Stat. §  946.12 Misconduct in public office, Wis. Stat. § 946.32 False swearing. On August 10, 2001, the Accused, in furtherance if his scheme to wrongfully deprive Affiant of his property, recorded with the Register of Deeds two documents (no. 684564 and no. 684565) relating to a security interest in or title to Affiant’s private property, knowing that the contents or any part of the contents were false, a sham, or frivolous, in violation of Wis. Stat. § 943.60 Criminal slander of title. On or about September 24, 2001, the Accused, in furtherance of scheme to injure or defraud or wrongfully deprive Affiant of his property, removed and thereafter concealed, Affiant’s Claim against Ozaukee County (and report of criminal activity of the Accused) that had been served upon Ozaukee County Clerk Dobberpuhl by Sheriff’s Deputy G. L. Speth, in violation of Wis. Stat. § 943.20 Theft, Wis. Stat. § 946.72 Tampering with public records and notices.   On December 11, 2001, three others and Affiant visited the office of the clerk of court to inspect the case file to determine how judge Joseph D. McCormack could have legally granted a default judgment against Affiant when Affiant had not only filed a Verified Answer and Counterclaim, but Affiant also had paid in full the alleged taxes. Affiant confronted clerk Schmidt with the Postal Service “green card” evidencing receipt of the Answer and Counterclaim, and demanded to know why the Answer was not in the file and why the court record sheet did not reflect receipt of the Answer by the court.  Schmidt immediately reached down, grabbed a phone, called Kenealy, and stated, “Dennis, Steve Magritz is here looking for the Answer to the Summons and Complaint on the foreclosure.  Would you look for it in your office?” After Affiant’s December 11, 2001 confrontation with Jeffrey S. Schmidt, Affiant’s Verified Answer and Counterclaim, which had been “missing” from the court file for over six (6) months, and which Dennis E. Kenealy had concealed from judge McCormack, and by which concealment Kenealy had fraudulently obtained a default judgment, mysteriously “reappeared” in the court file without any explanation whatsoever, as evidenced by court certified copies of the envelope and Answer and Counterclaim. On October 20, 2003, Affiant filed with Ozaukee County District Attorney Sandy A. Williams an “Affidavit of Criminal Report and Probable Cause By Witness and Victim of Criminal Activity” regarding the crimes against Affiant perpetrated by public officers.  Sandy A. Williams refused to investigate and refused to prosecute the crimes perpetrated by her fellow public officers, a dereliction of duty in violation of Wis. Stat. § 946.12 Misconduct in public office, and Misprision of felony in violation of 18 U.S.C. § 4.
OzaukeeMOB.org, On November 5, 2007, Affiant’s “Verified Amended Motion To Vacate A Void Judgment”, (the Judgment entered on August 9, 2001 by Joseph D. McCormack) was “heard” by Judge Andrew T. Gonring.  Affiant gave testimony under penalty of perjury regarding the crimes of Dennis E. Kenealy.  Both Kenealy and Karen Makoutz were present, and neither rebutted Affiant’s sworn testimony.  Prior to the hearing, Gonring’s clerk refused to allow Affiant to file a written, sworn affidavit in support of Affiant’s Verified Motion.  During the hearing Gonring himself refused to allow Affiant to file the written, sworn affidavit, and further, denied a motion moving Gonring to perform his required duties as judge, a dereliction of duty in violation of Wis. Stat. § 946.12 Misconduct in public office, and Misprision of felony in violation of 18 U.S.C. § 4. Affiant paid Court Reporter Tamara A. Hardy valuable consideration for a transcript of the aforesaid November 7, 2007 hearing.  Affiant praeciped Hardy to make thirty-six (36) corrections to the official transcript.  Hardy refused to make the corrections to the transcript, in violation of Wis. Stat. § 946.72 Tampering with public records and notices and in violation of Wis. Stat. § 946.12 Misconduct in public office.  On or about December 1, 2011, the Accused, Dennis E. Kenealy, caused to be filed in Ozaukee County Circuit Court a petition for injunction against Affiant who has been exhausting administrative remedies for a pending lawsuit in the federal venue.  Kenealy has thus provided evidence of his ongoing scheme to steal Affiant’s private property by tampering with and retaliating against a victim, witness and informant in violation of Wis. Stats. §§ 943.43 and 943.45, and, 18 U.S.C. §§ 1512 and 1513, Tampering with a witness, victim, or an informant and Retaliation against a witness, victim, or an informant.   On or about December 1, 2011, Adam Y. Gerol, d/b/a district attorney, acting in concert with Dennis E. Kenealy, caused to be filed in Ozaukee County Circuit Court a malicious prosecution against your Affiant by attempting to convert Affiant’s right to correct the public record into a crime.  Gerol, who is highly trained in the law, knows, should know, or has reason to know that Affiant has the right, and the duty, to correct the public record by way of filing a Confirmation Deed regarding Affiant’s purchase of Affiant’s private property.  A Confirmation Deed is used for the correction of mistakes in prior deeds, 23 Am Jur 2nd Deeds § 11 Confirmation Deeds (Online Edition November 2011).  The purpose of a correction deed is to admit mutual error and change the original instrument to conform to the true intent of the parties, Neblett v. Placid Oil Co., 257 So. 2d 167 (La. Ct. App. 3d Cir. 1971).  A mistake in the omission of parties may be corrected by a deed of correction to effectuate the intention of the parties. Cox v. Tanner, 229 S.C. 568, 93 S.E.2d 905 (1956).  Further, “Acceptance of a confirmation deed may be shown by the acts of the grantee clearly indicating an intent to accept.” 23 Am Jur 2nd Deeds § 151 (Online Edition November 2011).  Further, the Wisconsin Department of Revenue states, “If you need to re-record your deed at the Register of Deeds to correct error(s) on the deed, then you will need to complete a new eRETR in order for you (sic) documents to be accepted” (http://www.dor.state.wi.us/ust/retn3.html).  The Wisconsin Department of Revenue requires that the previous deed being corrected be re-recorded with the confirmation (corrected) Deed, which Affiant did, and which Gerol omitted in his Complaint.   Gerol’s evil intent is thus evidenced by his purposely withholding information from the court and public officials by “failing” to file the entire 4 page Confirmation Deed with his Complaint against your Affiant.  Adam Y. Gerol is tampering with, and retaliating against, a victim, witness and informant in violation of Wis. Stats. §§ 943.43 and 943.45, and, 18 U.S.C. §§ 1512 and 1513, Tampering with a witness, victim, or an informant and Retaliation against a witness, victim, or an informant.
OzaukeeMOB.org, Affiant promises to work with local prosecutors prosecuting this case in bringing prosecution against the Accused, Dennis E. Kenealy. Further Affiant saith not, As an interested party, and Victim, Non-attorney, Witness:  Steven Alan Magritz, victim and witness of crime, C/o Notary, P.O. Box 342443, Milwaukee, Wisconsin 53234. I, a Notary Public in and for the State of Wisconsin, certify that Steven Alan Magritz did appear before me and being sworn upon oath and in my presence did affix his signature to this 12/09/2011 Report of Criminal Activity By Victim/Witness, at Milwaukee, Wisconsin on this the ____ day of December, 2011. Kenneth A. Kraucunas - Notary Public

  • Go to the Prologue page for a timeline and summary description of what this website is about
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  •                         Go to the "800 Lb Gorilla" lawsuit for Breach of Fiduciary Duty 
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