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Dr Horowitz's Affidavit Claiming 'H1N1'
Genocide Conspiracy
Dr Horowitz claims - using supported evidence - that H1N1
'Swine Flu' and its associated vaccine is a conspiracy
that was created for the purpose of genocide by certain
people in power. |
AFFIDAVIT OF LEONARD G. HOROWITZ
1. This Affidavit is based on my personal
knowledge, except where otherwise stated, and, if called upon to
do so, I could and would competently testify to the matters
herein stated.
2. I am a Harvard University trained certified expert in the
fields of behavioral science, health education/health promotion,
media persuasion, medical sociology, public health, and emerging
diseases. I have additional expertise in natural healing
methods and materials, including genetics and electro-genetics,
by reason of my academic training, scientific publications, and
internationally recognized authority and celebrity in these
fields.
3. I openly disclose my bias and conflicting interests as a
leading author, personal health care educator, consumer
protector, alternative and complementary health care specialist,
and formulator of natural remedies for public protection and
remediation of diseases. I hold trademarks covering several
products that compete directly with the drug industry’s
monopolization of medicine as described herein. This competitive
vantage enables me to critically assess elements and actions
within “BigPharma” that few people perceive. My sponsorships by
natural products companies, including those that manufacture and
distribute
OxySilver and Liquid Dentist,
help pay for my expenses in serving as I have for thirty years
without grants or academic/institutional restraints providing
the freedom to simply “tell it like it is” based on science and
researched evidence. Without sponsors, radio and television
networks would cease operations, and so would I. The critical
difference between BigPharma and its products, versus the
natural health products industry and my endorsements, is the
former is criminally operating and killing people as evidenced
herein, whereas my colleagues and I are persecuted by the powers
exposed herein, and continue helping people heal naturally
nonetheless.
4. I further disclose that I am a Levite priest by virtue of my
bloodline, spiritual direction, and ecclesiastical commitments.
I am the body corporate and Overseer of The Royal Bloodline of
David, an omni-denominational healing ministry established in
the State of Washington and certified by the Secretary of State
therein in 2000; and was the pro se counsel in Horowitz v. The
State of Hawaii, Department of Health et al. (Civ. No.
06-1-0296).
5. Compelled by God and my responsibilities in these positions,
I have sought on several occasions, by whatever lawful means, to
protect the U.S. Constitutional right of every American to be
exempt from risky vaccinations for religious, philosophical, and
medical reasons; and protect Americans’ bodies as absolute
personal properties for which compensation must be paid if and
when taken, according to the Fifth Amendment of the
Constitution.
6. I understand that substantial historical evidence exists
proving unequivocally the Rockefeller family’s monopolistic
influence over American medicine and public health that is
material to this affidavit and related complaint. David
Rockefeller’s powerful influence over the Council on Foreign
Relations, geopolitics, and global economics is solidly
established.
7. I have reviewed the records and files cited herein and attest
to the following facts that evidence fraud, official
malfeasance, organized crime, and the administration of genocide
(i.e., iatro-genocide) operating under the guise of “public
health” within a trust organization established by David
Rockefeller called “Partnership for New York City” involving the
U.S. Federal Government, and New York State Government,
pertaining to the 2009 H1N1 Swine Flu “outbreak,” “pandemic,”
and advancing vaccination campaign.
8. I conclude that this subject is a matter of extreme urgency,
threatening national security, thus demanding the immediate
scrutiny of lawmakers and Justice Department officials, as well
as the public-at-large.
9. It is a well-established fact that “outbreaks” have been
caused by laboratory “accidents.” For instance, the 1977
Influenza A outbreak of human (“swine flu”) H1N1 that went
extinct for twenty years between 1957 and 1977 suddenly
re-emerged immediately following: a. the suspicious unexplained
1976 military outbreak at Fort Dix, New Jersey, of this strain
that was most likely a covert military experiment; and b. the
subsequent swine flu deadly vaccination program that followed
the Fort Dix outbreak, and media-driven fright, that has been
attributed to a “laboratory source” according to doctors Zimmer
and Burke in the New England Journal of Medicine (July 16, 2009;
Vol.361:279-285). (See EXHIBIT 1.)
10. The November 1977 sudden reemergence of this Influenza A
H1N1 strain in the former Soviet Union is best explained by the
National Cancer Institute’s 1978 publication titled Special
Virus Cancer Program (Library call number: E20.3152;V81/977 and
78-21195). This report revealed the June 15, 1976 contract
(N01-CP-6-1047) with the American Type Culture Collection to
supply “virus materials ... to investigators throughout the
world” via a “US-USSR Agreement” (a dangerous breach of Cold War
national security). (See:
EXHIBITS_2-3.pdf.) Virus
materials cited in this document included numerous infectious
agents including influenza, parainfluenza, and even laboratory
recombinations of influenza with acute lymphocytic leukemia
viruses that might spread quick acting lymphatic cancers by
sneezing. (See:
EXHIBIT_4.pdf.)
11. The April 2009 “outbreak” of the H1N1 “swine flu” is like
the 1976 Fort Dix and 1977 general “outbreaks,” highly
suspicious according to genetic analysts and leading
virologists. The rapid mutation rates of the novel agent
circulating and feared as the 2009 “swine flu” strongly suggest
a laboratory source, either intentionally or accidentally
released.
12. To make it more difficult for the public to comprehend what
is ongoing in flu labs, according to
EXHIBIT_5.pdf, World Health
Organization officials developed new terminology to describe
viruses used in vaccinations, gene therapies, and advancing
biotechnologies. The new terms “reference materials,” “biosimilars,”
“data packages,” and “mock-up files,” each designate viruses
and/or viral materials including gene sequences that cause
disease and immune system reactions.
13. According to
EXHIBIT_6.pdf, World Health
Organization officials in charge of developing influenza
vaccines, Dr. James Robertson and Dr. John Wood, of the National
Institute for Biological Standards and Control (“NIBSC”) in the
UK, testified (April 2006) that “if a pandemic is imminent... A
stockpile of live vaccine... could be used to prime the
population in advance.....”
14. According to this document, these doctors are the “Principal
Scientists in the Division of Virology at NIBSC. Dr. Wood and
Dr. Robertson lead the NIBSC’s influenza group. Their
responsibilities include the control and standardization of
influenza vaccines. On behalf of the United Nations’ World
Health Organization (“WHO”) the NIBSC is involved in the
serological testing of vaccine trials; the preparation and
distribution of influenza viruses to vaccine manufacturers; and
the coordination of EU strain selection process (i.e., the
selection of viruses that shall be used by governments
worldwide, and their “vaccine pipelines”).
15. Dr. Robertson also testified that “there is a lack of
vaccine research in the UK compared with the U.S.,” and that he
and Dr. Wood “consider that pandemic vaccine development in the
EU has been slow due to limited public funding. This is in
contrast to the situation in the USA. Dr. Wood told the group
that the NIBSC collaborate with the vaccine industry... The EMEA
have helped to persuade industry to invest in pandemic vaccines
with the introduction of the mock up files and by waiving the
regulatory fees....” [emphasis added].
16. The
European Medicines Agency (EMEA)
is a decentralized body of the European Union with headquarters
in London. Its main responsibility is, according to its website,
“the protection and promotion of public and animal health,
through the evaluation and supervision of medicines for human
and veterinary use.”
17. Thus, it is certain that when the Mexican Swine Flu 2009
“outbreak” occurred in mid-April 2009, first in the United
States in two unrelated children living approximately 100 miles
apart in southern California, then soon after in Mexico among
people who had not been exposed to these two children, that foul
play is a most reasonable explanation, especially since this
unique virus held genes from avian, swine, Spanish, and regular
flu strains -- unprecedented in the history of “natural
selection” health science addressing evolution of the species.
18.
Occam’s Razor analysis holds
that, "Of several acceptable explanations for a mysterious
phenomenon, the simplest is preferable, provided that it does
not contradict the observed facts."
19. Accountable U.S. Federal officials overseeing America’s
“biopreparedness” response against this mutant H1N1 flu,
including vaccinations and predicted quarantines, offer no
definitive explanation for the initial outbreak of this
laboratory sourced recombinant; nor does the mainstream media.
So-called “experts” accept and regurgitate the lame explanation
of “somehow” and “somewhere” bird, pig, and 1918 Spanish flu
viruses mated curiously synchronously with the first
availability of biotechnology to produce vaccines alleged to be
safe and effective against this precise new H1N1 and H5N1
genetic recombinant.
20. Alternatively, the following substantial evidence indicts
David Rockefeller et al., including celebrated Federal agents,
agencies, and vaccine makers that control the mainstream media
and the practice of medicine in an organized criminal conspiracy
to profit by generating and promoting this pandemic:
a. Days before the media’s first reported swine flu cases
in April 2009, Novavax Corporation, partnered with the
General Electric (“GE”) company that co-owns NewCo with
media mogul Rupert Murdoch, issued
press releases generating
widespread publicity.
b. Thus, America’s most powerful news media consortium,
and cable television conglomerate, publicized Novavax’s
vaccine research in collaboration with CDC officials,
alleging their vaccine protected against this
unprecedented recombination of flu stains -- avian,
Spanish flu, and regular flu infections. (See
EXHIBIT_7.pdf.)
c. According to Dr. Robertson’s testimony presented above,
Novavax received its “biosimulars” through CDC Influenza
Branch director, Ruben O. Donis, and Dr. Rick Bright. Dr.
Bright previously worked with Dr. Donis at the CDC. In
April 2009, Dr. Bright was Novavax’s Vice President of
Global Influenza Programs.
d. The publicized outbreak caused Novavax’s stock to soar.
Novavax’s CEO, Rahul Singhvi, and his previous corporate
affiliate, the Merck Pharmaceutical company that
manufactures the flu-related pneumonia vaccine (Pneumovax),
both profited heavily from the “outbreak,” media coverage,
and declared advancing pandemic. |
Rest of Dr Horowitz's affidavit is
available here:
http://www.supremelaw.org/authors/horowitz/affidavit.htm
http://www.supremelaw.org/authors/horowitz/AFFIDAVIT.pdf
http://www.supremelaw.org/authors/horowitz/affidavit.doc
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http://www.supremelaw.org/authors/horowitz
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