in Re Jack H. Meyer

CourtCourt of Criminal Appeals of Texas
DecidedOctober 15, 2015
Docket06-15-00180-CR
StatusPublished

This text of in Re Jack H. Meyer (in Re Jack H. Meyer) is published on Counsel Stack Legal Research, covering Court of Criminal Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
in Re Jack H. Meyer, (Tex. 2015).

Opinion

ACCEPTED 06-15-00180-CR SIXTH COURT OF APPEALS TEXARKANA, TEXAS 10/15/2015 8:33:36 AM DEBBIE AUTREY 10/ 14/2015 Efile # unknown at this time CLERK

AFFIDAVIT OF FACT STATE OF TEXAS FILED IN 6th COURT OF APPEALS COUNTY OF MARION TEXARKANA, TEXAS 10/15/2015 8:33:36 AM BEFORE ME, the undersigned Notary, ______Robin J. Moore_________________, on this day DEBBIE AUTREY Clerk personally appeared Jack H. Meyer, of 403 Houston st. Jefferson, Texas 75657, personally

known to me to be a credible person and of lawful age, who being by me first duly sworn, on his

oath, deposes and says:

This affidavit covers all statements made by Jack H. Meyer in all documents that

follow and are part of and attached to this affidavit (page 1 of 24).

Those documents are a Motion and Petition dated 10/7/2015 to the Appellate Court of the

6th Appellate District of the State of Texas containing pages 2 through 24 and all

attachments being Exhibits #1 - #5 via Efile.

Jack H. Meyer, Pro Se 403 Houston st. Jefferson, Tx. 75657 903-665-4677

All Right Reserved Without Prejudice All of the statements contained in these documents are made by me from my own

personal knowledge of the facts stated therein and are true and correct to the best of my ability.

Sworn to and subscribed before me on the ____14th.______ day of _____Oct.__________, 2015, by

_\S\ Jack H.Meyer_________________________________ (affiant)

\S\ Robin J. Moore_____________________ Seal Notary Public's Signature

Page 1 of 24 10/ 14/2015 Efile # unknown at this time

IN THE INTEREST OF § Jack H. Meyer, Pro Se § IN THE § Harrison Co. COURT at Law § Harrison Co. Justice Court Prct. 4, Place 1 § Harrison County § Marshall, Texas

MOTION FOR LEAVE TO FILE

In the Cause # 2014-0801-CCL, and 2015-9859-CCL, In the Cause # 41-72002, 41-72003, 41-73221, Justice Court Prct. 4, Place 1

IN SUPPORT FOR MOTION

I. The matters I, Jack H. Meyer, bring before you today are CONSTITUTIONAL

and of such immense gravity to the people of this state as to require your intervention.

II. The Movant, Jack H. Meyer, Pro Se, in an effort to know and obey the

laws of this nation and state has for over a decade now asked many questions of my

government employees, legal professionals, and anyone learned in the law so that I

may know the law and understand the apparent conflicts I find in its administration and

the written law.

The result of the above has forced me to seek my own personal knowledge

of the laws by a great deal of self-study. As I learned, my questions to my employees

became more specific and direct, not to mention more serious. Now, to my shock, I have

discovered my employees want nothing to do with speaking truthfully to anyone about

our law or government. To the contrary, they have made it absolutely clear they want us

to shut up, go away and do only as they instruct, that is to say, pay their price.

Page 2 of 24 Accordingly, I began challenging their authority to do what I could clearly see is

not allowed. Each time, my government charged me with violating their law and jailed

me, Texas Appellate Case # 06-11-00205-CR. Subsequently I replied with a formal

“Challenge of Jurisdiction”. Initially no challenge was even acknowledged by my

executive or judicial employees, As this continued I provided them with abundant and

clear rulings of the Supreme Court of the United States of America showing their

responsibilities and duties. The result of this was their unwillingness to prosecute or hold

any further hearings on the matter. Today, after making my objection to their failure to do

their duty known to them they now deny the challenge outright and or convict me on the

spot of something I never did, Again!

This is the case I place before you today. The courts of Harrison County, Texas

are now acting without authority, enforcing matters of State internal administration on the

sovereign people who employ them. For a fact Sirs, our government employees have

turned on us and using the power of our government to force our surrender to their

extortion. The facts in the Petition for Writ of Mandamus leave no other conclusion to

any rational man.

I, Jack H. Meyer, a God fearing, law abiding man. A patriotic sovereign citizen

(Exhibit 1) loyal to the Supreme law of this land and its people now ask you to be the

same and do your duty. Grant this leave for filing and the Writ of Mandamus.

Page 3 of 24 III. PRAYER

WHEREFORE, PREMISES CONSIDERED, Movant herein prays for leave to

Petition for a Writ of Mandamus ordering the courts to do their ministerial duty

and prove their jurisdiction or dismiss all charges before that court.

RESPECTFULLY SUBMITTED,

______\S\ Jack H.Meyer_______________Movant, Jack H. Meyer, Pro Se 403 Houston st. Jefferson, Tx. 75657 903-665-4677

WITHOUT PURJUDICE ALL RIGHT RESERVED

Page 4 of 24 ______________________________

IN THE COURT OF APPEALS

SIXTH DISTRICT

TEXARKANA, TEXAS ______________________________

Jack H. Meyer

PETITIONER, REALTOR

-VS-

THE STATE OF TEXAS

HARRISON COUNTY COURT AT LAW

HARRISON COUNTY JUSTICE COURT PRCT. 4, PLACE 1

--RESPONDENT--

______________________________

WRIT OF MANDAMUS

TO COMPELL A MISISTERIAL DUTY

By: Pro Se Jack H. Meyer 403 Houston st. Jefferson, Texas 75657 903-665-4677

page 5 of 24 Jack H. Meyer is not an attorney. I have done a great deal of study of law and

have defended himself with little success in a number of courts of Marion and Harrison

Cos. I have not the resources to gain assistance of counsel and consequently forced

by my condition to defend myself against overwhelming opposition in my pursuit of my

rights and justice. I therefore pray the Court hold me under far lower standards of

knowledge, skill, form, procedure and time than is required of an experienced practitioner

of law.

_JURISDICTION_

By Constitutional authority and statutory grant, The Courts of Appeal have the

authority to issue all extraordinary writs and authority over all extraordinary matters

within their appellate district. The Constitution of the State of Texas, Article V., § 1, 5, 6,

12; Rule 72, Texas Rules of Appellate Procedures.

_PARTIES_

RELATOR: RESPONDENT:

Jack H. Meyer, Pro Se STATE OF TEXAS 402 Houston st. Jefferson, Texas 75657 HARRISON CO. COURT at LAW 903-665-4677 Judge Joe Black 200 W. Houston Marshall, Texas 75670

HARRISON CO. JUSTICE of PEACE Prct 4, Place 1, Justice Nancy S. George 200 W. Houston Marshall, Texas 75670

HARRISON CO. DISTRICT ATTORNEY Mr. Coke Soloman Po. Bx. 776 Marshall, Texas 75671-0776

Page 6 of 24 _TABLE OF CONTENTS_

1. Affidavit of Fact Page 1

2. Motion for Leave to File Page 2 - 4

3. Title Page 5

4. Jurisdiction Page 6

5. Identification of Parties and Counsel Page 6

6. Table of Contents Page 7

7. Index of Authorities Page 8

8. Petition Page 9

9. Issues Presented Page 10

10. Statement of the Case Page 11 - 18

11. Statement of the Facts Page 18

12. Argument Thereon Page 19 - 21

13. Prayer Page 21

14. Declaration Page 22

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