THE UNITED STATES DISTRICT COURT

DISTRICT OF MINNESOTA

      
UNITED STATES OF AMERICA,        ) Civil Action No. 05-CV-0258 
                                 )                                        
   Petitioner,                   )  
                                 ) Request for production                                                                                                   
                                 )   of Documents
KEN PATRIOT,                     )
   Respondent.                   )

To: United States of America, Respondent (or it’s attorney)

Petitioner(s), pursuant to Rule 34 FRCivP, requests that you allow the inspection and copying of the following documents and other items at your Minneapolis, Minnesota office at 10:00 A.M. on or before the thirtieth (30th) day after service of this document upon you:

 1. All documents, records and materials of the IRS pertaining to Petitioner especially those forms and reports of the Criminal Investigation Division and Form 3949, Intelligence Information Sheet, and pertaining to this case.

2. All documents, copies and memoranda pertaining to those persons classified by the IRS as “Tax Protestors,” the IRS National Office Project 30, or pertaining to Manual Supplement 9G-93, its subsequent and preceding manuals. Further, all records, papers and memoranda pertaining to IRM 9383.6 and the IRS “Tax Protestor” or the Tax Protest Coordinator for the IRS District, Regional and National Office.

3. All policy guidelines, manuals and documents of the Department of Justice and of the U.S. Attorney for this District pertaining to the subject “Tax Protestor” or “Non-Filer” or any of the above categories, all correspondence to and from the IRS pertaining to Petitioner or the Tax Protest project.

4. All documents, records and papers of the Department of Justice or in their files, pertaining to Petitioner or his activities and this case.

5. All documents and Memorandums in the complete IRS administrative file of Respondent. This request is continuing in nature and applies to documents as described above that hereafter are obtained by you.

Persons Likely to Have Discoverable Information

Pursuant to Rule 26(a)(1)(A), the following listed persons are likely to have discoverable information for obtaining the items listed above, as well as information to answer the interrogatories in the ensuing section.

Revenue Agent Robert Teague
Agent Teague’s Supervisor(s)
Area Director

I certify that on this date, copy of this pleading was sent properly to opposing counsel properly.

____________________________           Date: _________________                             
KEN PATRIOT, Respondent pro se
Address: