WESTERN DISTRICT OF WASHINGTON
REBECCA EM CAMPBELL ,
Plaintiff, Civil Action No. C09-1515
vs. Jury Trial Demanded
KATHLEEN SEBELIUS, Secretary,
States Department of Health and Human
Services; THOMAS R. FRIEDEN, M.D., M.P.H.,
Director, United States Centers for Disease
Control and Prevention; FRANCIS S.
COLLINS, M.D., Ph.D., Director,
United States National Institutes of
Health; and MARGARET ANN HAMBURG , M.D.,
Commissioner, United States Food and
COMPLAINT FOR DECLARATORY
AND INJUNCTIVE RELIEF
Plaintiff alleges the following in support of her claim for declaratory and injunctive relief and damages:
JURISDICTION AND VENUE
1. This is a claim for declaratory and injunctive relief and damages with jurisdiction in this court based upon 28 U.S.C. § 1331 with issues arising under the Constitution and laws of the United States .
2. Venue is proper in this district pursuant to 28 U.S.C. § 1391(e) because this is a civil action in which the defendants are officers or employees of the United States acting in their official capacity or under color of legal authority, plaintiff resides in this district and no real property is involved in the action.
3. Plaintiff Rebecca Em Campbell is a universal sovereign being, a citizen of the United States and a resident of Seattle , King County , Washington .
4. Defendant Kathleen Sebelius (hereafter “defendant Sebelius”) is an adult resident of the state of Kansas with a professional address of 200 Independence Avenue, S.W. , Washington , D.C. 20201 . Defendant Sebelius is the secretary of the United States Department of Health and Human Services.
5. Defendant Thomas R. Frieden, M.D., M.P.H. (hereafter “defendant Frieden”) is an adult resident of the state of New York with a professional address of 1600 Clifton Road , Atlanta , GA 30333 . Defendant Frieden is the director of the United States Centers for Disease Control and Prevention.
6. Defendant Francis S. Collins, M.D., Ph.D. (hereafter “defendant Collins”) is an adult resident of the state of Virginia with a professional address of 9000 Rockville Pike, Bethesda, MD 20892. Defendant Collins is the director of the United States National Institutes of Health.
7. Defendant Margaret Ann Hamburg , M.D. (hereafter “defendant Hamburg ”) is an adult resident of the state of New York with a professional address of 10903 New Hampshire Avenue , Silver Spring , MD 20903 . Defendant Hamburg is the commissioner of the United States Food and Drug Administration.
8. There presently exists a bank-based transnational corporate criminal conspiracy to violate the fundamental constitutional rights and wellbeing of the American people, including those of the plaintiff, through fraudulent political, legal and financial contracts in the form of surreptitiously signed/enacted international treaties and federal laws/executive orders enabling the mandated imposition of bioweaponized H1N1 influenza vaccinations and quarantines/detentions through martial law. The aforementioned measures, being fraudulent, are therefore null and void, with no legitimate power to be enforced by any government, national or international, upon the American people.
9. Controlled by the same bank-based transnational corporate crime syndicate that now controls the United States government and virtually all of the national governments of the world, the United Nations World Health Organization (UN/WHO) has fraudulently declared, without any scientific justification, the highest possible Level 6 Pandemic for an indefinite period of time, which is akin to a medical "war on terror".
10. Level 6 Pandemic status gives the UN/WHO, by various international agreements signed by the US government and by various federal executive orders, as well by various laws surreptitiously approved by the US Congress and supported by the US Supreme Court, indefinite control over this nation and its people that subsumes the US Constitution, the US Bill of Rights, the American Declaration of Independence and all federal, state and local laws.
11. Level 6 Pandemic status may generate, via the aforementioned planned mandated martial law, quarantines/detentions and enforced bioweaponized H1N1 influenza vaccinations, massive profits for this bank-based transnational corporate crime syndicate through the hugely profitable sale of said vaccinations to the US and other national governments, as well as through massive confiscation of private property through coordinated medical genocide and disablement of the American people.
12. There is an urgent need to return to, reconsider and reapply those fundamental declarations of universal and national law that have so eloquently set forth the basis of our freedom and wellbeing, both as singular sovereign beings, and as a people, which this federal legal action seeks to remedy.
13. Rockefeller / Rothschild family interests have for the past century dominated the allopathic healthcare sector throughout the world, particularly in America , remaking it into a ruthless, profit- and depopulation-oriented industry that suppresses natural healthcare and its beneficial innovations, rather than it being a field of service to humanity.
14. The Rockefeller Foundation is the single biggest funder of the United Nations (UN) and its World Health Organization (WHO), donated the land on which the UN World Headquarters Building was built and initially funded the US Public Health Service (USPHS), thereby indicating substantial influence with each of these institutions.
15. Rockefeller family interests are a major player in the Partnership for New York City (PNYC), where they intersect with the Murdoch media cartel, the East Coast academic medical, financial and banking establishments, as well as with the Federal Reserve Bank of New York through many interlocking boards of directors.
16. The headquarters for this Rockefeller medical operation is at New York’s World Trade Center, site of the New York 9/11 terrorist attacks, whose public ownership was transferred to private developer Larry Silverstein, another of the partners in PNYC, just seven weeks before these attacks occurred, to his substantial profit through exorbitant property insurance claims.
17. Through their parent UniCredit Group, three preeminent Austrian Banks, whose Unicredit holding company is linked to pharmaceutical corporation Baxter International, these banks are also linked to Rothschild family interests by UniCredit being the principal shareholder in Banco de Medici AG of Florence , Italy , a private bank founded and controlled by the Rothschilds since 1855.
18. Through their being the principal shareholder through UniCredit in the Rothschild-controlled Banco de Medici, these three preeminent Austrian Baxter-linked banks are also implicated in the recent Madoff scandal, in which at least $50 billion dollars of client investment funds were secretly siphoned into Israeli banks to be laundered for the bank-based transnational corporate crime syndicate's secret illegal drug operations, in addition to those in which it is more legitimately engaged. Following news on January 2, 2009 that Banco de Medici had invested $2 billion with Bernard Madoff, the Vienna headquarters of UniCredit Group appointed a special supervisor to run this private bank.
19. Approximately two-thirds of the tax and pension monies of the American people have, since approximately 1960, been systematically and surreptitiously diverted by their governments at all levels to purchase majority stock ownership of the pharmaceutical cartel via institutional investment firms privately owned by the bank-based transnational corporate crime syndicate.
20. The American people therefore unknowingly hold majority ownership of transnational pharmaceutical companies and their corporate co-conspirators. They are thereby being deceived into purchasing the shovels with which they will dig their own mass graves before their imminent execution, and have not been apprized of their ability to halt this process by exercising their rights as indirect principal shareholders of the pharmaceutical and other international corporate cartels.
21. Public health agencies of the US government, including the Centers for Disease Control (CDC), the Food and Drug Administration (FDA), the National Institutes of Health (NIH), the National Institute of Allergic and Infectious Diseases (NIAID), and the Institute of Medicine (IOM), as well as the United Nations World Health Organization (UN-WHO) and major transnational pharmaceutical corporations met at the Simpsonwood Retreat Center in Norcross, Georgia in June 2000 to listen to the research findings of a CDC epidemiologist as to his findings, derived from the CDC's own comprehensive national database, that vaccines are not only ineffective in protecting the public against the diseases they are supposedly designed to curtail, but that they are actively harmful, causing other serious chronic disease conditions and death long-term, and sometimes soon after their administration.
22. The rest of that weekend was spent by officials of these government public health agencies conspiring with those representatives of transnational pharmaceutical corporations present to actively suppress in the future all scientific research disproving the safety and efficacy of vaccinations as a public health measure.
23. On June 11, 2009, the World Health Organization (WHO) of the United Nations (UN) declared -- without any scientific justification whatsoever -- attracting much criticism from medical experts -- a worldwide highest possible "Level 6 Pandemic," thereby triggering deliberately unpublicized US presidential executive orders and UN treaties that place all US military, law enforcement and health services under the control of WHO and UN.
24. According to the International Health Regulations of 2005 (IHR 2005), which have been incorporated into legislation also in the International Partnership on Avian Influenza of 2005 (IPAI 2005), as well as numerous US presidential directives, the WHO and the UN become the controlling agencies of the US in the event of a declared Level 6 Pandemic, and are entitled to control of this country under martial law, with obvious implications for all of the above, under the pretext of dealing with a pandemic emergency.
25. Since refusing a WHO-mandated vaccination has been criminalized by these, and various other state laws derived from the Model State Emergency Health Powers Act, (MEHPA) members of law enforcement/the military can use bodily/deadly force against “criminal suspects” refusing these mandated vaccinations or resulting order of quarantine.
26. Immediately following the abovementioned announcement by the WHO in June 2009, all signatory nations of the International Health Regulations of 2005, including the US, are obliged to give mass mandatory vaccinations and prepare for other measures such as quarantines, as/when mandated by the WHO.
27. The United States may then be controlled via various international agreements and executive orders by the United Nations (UN)/World Health Organization (WHO), now in turn controlled by the abovementioned bank-based transnational corporate crime syndicate through national governments and major nonprofit funding foundations that it presently controls.
28. There exists evidence from a WHO Memo dated from 1972, in which the WHO describes a method for using injections/vaccines to kill those injected in three steps: first, by weakening the immune system; second, by injecting a huge dose of virus into the body, which the weakened immune system cannot fight; and third, by injecting an adjuvant that triggers a massive an inflammatory reaction with an ensuing cytokine storm. There is evidence that the H1N1 influenza vaccinations recently mandated by the WHO follow that same three-step process outlined in the aforementioned WHO memos, and so intentionally cause damage and death.
29. There is evidence that the WHO is systematically concealing evidence of the lethality/morbidity of these vaccines, classified as bioweapons by US and EU regulators, in an act of fraudulent misrepresentation, to induce the populations of these countries to take said vaccines of their own free will, even while putting in place measures to make these vaccinations mandatory.
30. Now-FDA Director Margaret Hamburg publicly conferred with David Nabarro, key official with the UN/WHO and others as to how exactly such a pandemic would occur at a conference at Colorado's Aspen Institute on October 13, 2007, discussing with suspiciously precise prescience a future WHO-declared pandemic emergency eerily resembling the one it has declared at present.
31. The United States government has begun actively planning for mass forced vaccinations, detainment and quarantine of American citizens, including surreptitiously excavating mass gravesites in diverse locations.
32. There is evidence that in February 2009, the WHO was involved in nearly triggering a pandemic in Austria , by supplying Baxter’s Austrian subsidiary with a H1N1 virus that Baxter then used to contaminate 72 kilos of vaccine material.
33. The Baxter laboratory in Orth von der Donau manufactured and distributed 72 kilos of vaccine material contaminated with a H1N1 virus, to sixteen laboratories in four countries, including Austria , thereby nearly triggering a pandemic.