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EMANUEL MCCRAY, and All People

of the United States of America,


similarly situated, LEGAL NOTICE
Petitioners,

JOSEPH ROBINETTE BIDEN JR., In His DEMAND FOR VOLUNTARY


Official Capacity as President of the WITHDRAWAL FROM
United States of America, and PANDEMIC HOAX
MIGUEL A. CARDONA, In His Official
Capacity as United States Secretary of
Education,
Respondents.

BACKGROUND

On or about August 2, 2021, Lead Republican Michael McCaul (“McCaul”),


U.S. House of Representatives Committee on Foreign Affairs, released an
Addendum to his Origins of COVID-19 report released earlier in September 2020.
This Addendum is largely consistent with the intelligence analysis and conclusions
in McCray’s Affidavit.

The Addendum found that “the preponderance of evidence suggests SARS-


CoV-2 was accidentally released from a Wuhan Institute of Virology laboratory
sometime prior to September 12, 2019”. If true, this evidence brings all COVID-19
deaths, and all vaccine deaths, within the legal definition of “homicide”:1

1
McCaul Releases Addendum to Origins of COVID-19 Report. Press Release 08.01.21. Available from https://gop-
foreignaffairs.house.gov/press-release/mccaul-releases-addendum-to-origins-of-covid-19-report/; Available from
https://gop-foreignaffairs.house.gov/wp-content/uploads/2021/08/ORIGINS-OF-COVID-19-REPORT.pdf.

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Representative McCaul’s Committee has Congressional jurisdiction that
includes “international law”; “national security developments affecting foreign
policy”; the “United States Agency for International Development; activities and
policies of the State, Commerce, and Defense Departments.2

Representative McCaul’s findings that “SARS-CoV-2” was “accidentally


released”, corroborates McCray’s independent investigation which found the CDC
had instructed all COVID-19 Death Certificates be falsified to reflect “Natural” as
the cause of death, rather than “Homicide” arising from SARS-CoV-2 as the
“Underlying Cause”.

On information and belief, on or about August 22, 2021, the COVID-19


Dashboard of the World Health Organization reported the following statistics: 3

Globally, as of 5:22pm CEST, 20 August 2021, there have been


209,876,613 confirmed cases of COVID-19, including 4,400,284
deaths, reported to WHO. As of 20 August 2021, a total of
4,562,256,778 vaccine doses have been administered.

Representative McCaul’s Addendum, together with McCray’s Affidavit,


converts the WHO’s COVID-19 data, into the following actionable legal causes:

(A) 209,876,613 confirmed assaults with a biological agent


(SARS-CoV-2 infections)

(B) 4,400,284 confirmed homicides using a biological agent


(SARS-CoV-2 infections/COVID-19 Deaths)

(C) 4,562,256,778 confirmed assaults with a biological agent


(Emergency Use of a Vaccine)

(D) Unknown number of homicides due to vaccine data


Corruption

(E) Unknown number of assaults (Lack of SARS-CoV-2


Diagnostic testing/asymptomatic infections)

2
Available from https://foreignaffairs.house.gov/about.
3
WHO Coronavirus (COVID-19) Dashboard. Available from https://covid19.who.int/.

2
On or about July 26, 2021, Congresswoman Debbie Lesko (AZ-08), sent a
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letter to Centers for Disease Control and Prevention (CDC) Director Dr. Rochelle
Walensky and Food and Drug Administration (FDA) Acting Commissioner Dr.
Janet Woodcock requesting a briefing to clarify the number of deaths due to
COVID-19 vaccines:

“Over the last several months, I have received many inquiries from
my constituents concerned about the side effects—including a
number of deaths—caused by COVID-19 vaccines,” said
Congresswoman Lesko. “Their concerns are primarily based on
reports on the CDC’s and FDA’s Vaccine Adverse Event Report
System (VAERS) database. Since anyone can file a report with
VAERS, it is imperative that the CDC and/or the FDA also inform
the public about how many of these reports have actually been
verified. The American people deserve full accuracy and
transparency that can only be provided by verified data. I want to
know what the CDC and FDA are doing to verify and not verify the
reported deaths, how many vaccine-caused deaths have actually
been verified, and how they plan to report verified deaths and side
effects to the American public.”

The following signs, among others, were on display at a recent anti-


mandatory vaccination protest rally:

RELATED CASES

The following cases are related to this Notice currently include:

(1) Alters et al v. People’s Republic of China et al, (“Alters”) Case No. 1:20-cv-
21108-AMC (Federal District Court at Miami)
Plaintiff’s Counsel: BERMAN LAW GROUP
P.O. Box 272789, Boca Raton, FL 33427
Tel: (561) 826-5200; Fax: (561) 826-5201

(2) Trump et al., v. Facebook, Inc., et al., Case No. 1:21-cv-22440-XXXX (Federal
District Court at Miami)

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Lesko Requests Answers on Reported COVID-19 Vaccine Deaths. Available from
https://lesko.house.gov/news/documentsingle.aspx?DocumentID=2616; https://lesko.house.gov/UploadedFiles/Ltr-
CDL-CDC-VAERS-cpyFDA-7-26-21.pdf.

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Plaintiff’s Counsel: VARGAS GONZALEZ BALDWIN DELOMBARD, LLP
815 Ponce de Leon Blvd., Third Floor, Coral Gables, FL 33134
Tel: (305) 631-2528
E-mail: [email protected]; E-service:
[email protected]

(3) Trump et al., v. Twitter, Inc., et al., Case No. 1:21-cv-22441-XXXX (Federal
District Court at Miami)
Plaintiff’s Counsel: VARGAS GONZALEZ BALDWIN DELOMBARD, LLP

(4) Trump et al., v. YouTube, LLC, et al., Case No. 0:21-cv-61384-XXXX (Federal
District Court at Miami)
Plaintiff’s Counsel: VARGAS GONZALEZ BALDWIN DELOMBARD, LLP

(5) Pelekai et al., v. State of Hawai’I, et al., Case No. 1:21-cv-00343-DKW-RT.


Filed 08/13/21. (Federal District Court Hawai’i)
Plaintiff’s Counsel:
SHAWN A. LUIZ. 841 Bishop Street, Suite 200; Honolulu, Hawaii 96813
Telephone: (808) 538 – 0500; Facsimile: (808) 564 - 0010
E - mail: [email protected]
MICHAEL JAY GREEN
Michael Jay Green & Associates, Inc.; 841 Bishop Street, Suite 2201; Honolulu,
Hawaii 96813
Telephone: (808) 521-3336; Fax: (808) 566-0347
E - mail: [email protected]
KRISTIN COCCARO, ESQ. Empire Law, LLLC;
PO Box 880831, Pukalani, HI 96788
808.633.8542 Office; 808.466.3622 Fax
[email protected]

The Petitioners are also putative class plaintiffs in the related actions. In or

about 2020, several putative class members executed contracts with the Berman

Law Group in the Alters class action directed at defendants in China.

On or about April 28, 2021, the Plaintiffs in Alters filed a “MOTION FOR

EXTENSION OF TIME TO FILE AN AMENDED COMPLAINT” to discover

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“additional U.S. based defendants who acted on behalf of or in aid of China to

further the pandemic”:

On or about June 11, 2021, the Plaintiffs in Alters filed “SUPPLEMENTAL

BRIEFING PURSUANT TO COURT’S ORDER”, ECF No. 157, wherein these

Plaintiffs, citing the “recent ruling from Missouri”, indicated alternative service

may be necessary to complete service against the China-based Defendants. The

Plaintiffs in Alters further informed the Court that the contemplated “amendments

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may add additional U.S. defendants who can be served here in the U.S. with the

amended complaint….”

Petitioners allege the current “pandemic” and the “Capitol Hill” riots and

“insurrection” fit the statutory definition of a “hoax”, as that term is codified, and

proscribed under subsection (b) of 18 U.S. Code §1038, which in part provides:

“Civil Action.—Whoever engages in any conduct with intent to


convey false or misleading information under circumstances where
such information may reasonably be believed and where such
information indicates that an activity has taken, is taking, or will take
place that would constitute a violation of chapter…10,… or 113B of
this title,… is liable in a civil action to any party incurring expenses
incident to any emergency or investigative response to that conduct,
for those expenses.”

I have quietly, and politely, asked all States and their Governors, and the
HHS and its agencies, to also withdraw from the SARS-CoV-2/COVID-19
International Criminal Conspiracy with China and other countries before it
becomes too late for withdrawal, i.e., litigation in a future competent Federal court.

DEMAND

Petitioners hereby Demand President Biden and Secretary Cardona, and

their Officers, employees, and agents:

1. End their participation in the current emergency.

2. Cease and desist participation in all mandates for masks,

vaccine, social distancing, and other countermeasures set in motion to

pursue the current pandemic hoax and conspiracy.

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RESPONSE

If you disagree with the parameters or scope of this Legal Notice, please say

so. We will accordingly take account of your concerns.

While a response letter is not legally required, one will provide you the

opportunity to establish the parameters of what you consider relevant to the

issues you believe are involved in potential litigation before a Court of competent

jurisdiction.

If you remain dissatisfied with this determination, you may seek a

Declaration of your rights in a Court of competent jurisdiction, and you may name

the undersigned as the Respondent in any such action. In any case, you must act

with dispatch.

Links to the original Petitions are here presented:

(1) https://www.scribd.com/document/520765967/Letter-to-State-Officials-
to-Cease-and-Desist-Pandemic;

(2) https://www.scribd.com/document/521220518/Press-Release-Notice-of-
Letter-to-State-Officials.

YOUR POINT OF CONTACT

The undersigned shall serve as your contact, and may be reached, and

addressed as follows:

7
EMANUEL MCCRAY
400 W McLoughlin Blvd. Apt 5
Vancouver, WA 98660
Tel: (360) 448-3563
Email: [email protected]

Truly yours,

____________________________
Emanuel McCray

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