UNCLASSIFIED
CLICK ON THE WARRIOR CARE PROGRAM / UNITED STATES SPECIAL OPERATIONS COMMAND SEAL TO DONATE
https://www.loc.gov/flicc/contracts/VendorDirectory/aq_compusearchvaollc_M.html?web=1&wdLOR=cB9F6D379-3546-45BF-86D4-A528DD7C4F24
https://www.gotovao.com/
https://www.gsaelibrary.gsa.gov/ElibMain/contractorInfo.do?contractNumber=GS-35F-131GA&contractorName=UNISON+VIRTUAL+ACQUISITION+OFFICE%2C+LLC&executeQuery=YES
https://www.fedconnect.net/FedConnect/Default.htm
CLICK THE WARRIOR CARE PROGRAM / SPECIAL OERATIONS COMMAND SEAL TO DONATE
https://audiohunter.ru/?song=L+i+s+a+M+i+s+k+o+v+s+k+y+%E2%80%93+7+S+t+i+l+l+A+l+i+v+e+%28+I+n+s+t+r+u+m+e+n+t+a+l+%29
7284:22
file:///C:/Users/willi/Downloads/7284_22_Federal_Election_Commission.pdf
AIDED AND ABETTED THE JUDICIAL MURDER OF OTTO WARMBIER IN NORTH KOREA
https://www.youngpioneertours.com/pioneer-projects/
https://caprovservice.state.gov/c1/www/customer-portal/home
CIGIE
https://www.stateoig.gov/
https://www.ignet.gov/content/cigie-training-institute
https://www.ignet.gov/aie
https://app.smartsheetgov.com/b/publish?EQBCT=d1dd7def2318470dbf49c1670f6a3f7d
https://www.ignet.gov/content/inspectors-general-directory
DBA
CLICK ON THE WARRIOR CARE PROGRAM / SPECIAL OPERATIONS COMMAND SEAL TO DONATE
GSA 8(a) STARS IILearn moreFor more details on the GSA 8(a) STARS II contract please visit their website or select a Microsoft Partner below.
Who can place orders?
Federal government wide
What type of contract is this?
IDIQ
Products that can be purchased off of this contract:
Software, Services, Hardware
Select a Microsoft Partner below to get started. ADTECH LLC Ampcus Inc. Anvaya Solutions, Inc. ArcSource Group, Inc Ardent Technologies, Inc. Ascent Innovations LLC Castalia Systems LLC Federal Resources Corporation InquisIT LLC Intellect Solutions, LLC Jasper Solutions Inc LanTech Inc. MetroStar Systems (Inc.) NARTech, Inc. Neotech Solutions, Inc. NewWave Telecom & Technologies, Inc. Pitech Solutions Redhorse Corporation TechTrend, Inc. TekSynap Texcel, Inc. The Informatics Applications Group, Inc. Trigent Solutions Inc. UniTech SoftSolutions Inc VSolvit LLC VVL Systems & Consulting, LLC Vana Solutions LLC Ventech Solutions Inc. Zentech cFocus Software Incorporated
Who can place orders?
Federal government wide
What type of contract is this?
IDIQ
Products that can be purchased off of this contract:
Software, Services, Hardware
Select a Microsoft Partner below to get started. ADTECH LLC Ampcus Inc. Anvaya Solutions, Inc. ArcSource Group, Inc Ardent Technologies, Inc. Ascent Innovations LLC Castalia Systems LLC Federal Resources Corporation InquisIT LLC Intellect Solutions, LLC Jasper Solutions Inc LanTech Inc. MetroStar Systems (Inc.) NARTech, Inc. Neotech Solutions, Inc. NewWave Telecom & Technologies, Inc. Pitech Solutions Redhorse Corporation TechTrend, Inc. TekSynap Texcel, Inc. The Informatics Applications Group, Inc. Trigent Solutions Inc. UniTech SoftSolutions Inc VSolvit LLC VVL Systems & Consulting, LLC Vana Solutions LLC Ventech Solutions Inc. Zentech cFocus Software Incorporated
https://audiohunter.ru/?song=T+R+A+P+x+V+I+D+E+O+226
05:06
https://www.faa.gov/regulations_policies/airworthiness_directives/search/models/?id=B016B4D1605588CB86256E520053A810
IAI North America is the U.S subsidiary of Israel Aerospace Industries Ltd. (IAI), Israel’s largest aerospace and defense company.
https://www.iai.co.il/ https://iainorthamerica.com/#
https://www.constellationenergy.com/our-work/what-we-do/generation/nuclear.html
National Hud Housing Listings https://www.hud.com/
https://www.fanniemae.com/?_ga=2.268704881.187707944.1665085763-1212572916.1663164865
https://www.hud.gov/program_offices
https://www.ginniemae.gov/pages/default.aspx
https://www.freddiemac.com/
https://www.arounddeal.com/company-list/
https://www.chisholmranchapts.com/incomelimitsaffordablehousinbg
https://www.foreclosure.com/
https://www.forsalebyowner.com/property
https://tarrant.tx.publicsearch.us/results?department=RP&limit=100&offset=100&recordedDateRange=19000101%2C20221003&searchOcrText=false&searchType=quickSearch&searchValue=OFFERPAD
https://www.calc.ru/rekvizity-organizacii.html#google_vignette
https://www.calc.ru/bik-banka.html
https://www.gunswrap.com/?yclid=7016027483737221405
https://www.gunswrap.com/contact
https://www.gunswrap.com/ar-15-m4
Mary Lynn Ln, Carmichael
https://www.rent.com/california/carmichael-houses
https://buy.offerpad.com/
https://www.airbnb.com/
https://www.coldwellbankerhomes.com/sitemap/real-estate/
Vacation Rental Management
https://www.vacasa.com/sitemap/1
https://www.apartmentlist.com/states
https://www.zillow.com/
https://www.homes.com
https://inlandgroup.com/irea/property-portfolio
LGBTQ=https://realestatealliance.org/about/corporate-partners/
https://berkshirehathaway.com/subs/sublinks.html
https://www.mansionglobal.com/losangeles/6953187-2442-crest-view-drive-90046?mod=search
https://www.luxuryportfolio.com/
https://www.luxuryportfolio.com/brokers?
https://www.apartmentguide.com/
https://www.compass.com/
https://www.sfproperties.com/compass/compass-team/
https://www.mansionglobal.com/ https://www.paramountplus.com/brands/
Sky | Luxury Apartments Midtown West NYC for Renthttps://images.ctfassets.net/0pnkpx3hfneg/6cuGi93EQZY3Fm5OrYcAJC/3dd7af30416b3bc8f03c05bef23a1876/Robert-Reffkin-_cropped_300x300_square__saved_for_web_-JTG_0179.jpg
http://ctfassets.net/
ctfassetsThe Moinian Grouphttps://www.moinian.com › sky//images.ctfassets.net/5npcn9fnorqc/4GjD9rN1KF8L01WUPAb8kQ/9771ca054e254301141f651b92
https://www.moinian.com/sky
https://www.moinian.com/about-capital
https://www.paramountplus.com/brands/
https://www-us.computershare.com/Investor/#DirectStock
Mike McConnell
https://nationalsecurity.gmu.edu/mike-mcconnell/
https://www.financialdiagnosticsgroup.com/Meet-Our-Team.1.htm
NYLIFE Securities LLC
Helena Montgomery - New York Life Insurance Company
http://www.777main.com/ FORT WORTH TX.
http://www.777main.com/home/contactus.html
https://transwestern.com/
https://transwestern.com/properties
https://www.blockchain.com/about
https://louisbacon.com/
https://landtrustalliance.org/land-trusts/gaining-ground/united-states#land-trusts
https://www.moneymetals.com/1-kilo-gold-bars/135?keycode=CRITEO-DYN-PROSPECT&utm_medium=cpc&utm_source=criteo&utm_campaign=criteocampaign2&criteo-ref=criteotraffic
https://learn.apmex.com/
https://www.apmex.com/storage/gold-and-silver-storage
https://brinksglobal.com/
https://investors.brinks.com/
https://www.megamillions.com/Media-Center.aspx
https://bullionmax.com/ https://theohiomint.com/
https://crea.coop/about/industry-partners/
https://www.electric.coop/
Global Operations Center =
https://www.stratcom.mil/About/About-Us/Global-Operations-Center/
REFERENCE "GOVERNOR PETE RICKETTS, NEBRASKA (PHOTO)
https://www.secretservice.gov/investigation/cyber
https://www.ncfi.usss.gov/ncfi/index.xhtml;jsessionid=kxcd0vsqAjw69E5T_NTAfW6uZVMiVv2iSH6mtaaY.master:ncfi-server-one?dswid=-2915
https://www.ncfi.usss.gov/ncfi/pages/partners.xhtml?dswid=-6942
https://www.dhs.gov/websites / LOGIN SITES
REFERENCE TO "ALIEN" ACTIVITY
https://cohengroup.net/
https://www.gob.mx/sedena/estructuras/general-luis-cresencio-sandoval-gonzalez
https://www.ndu.edu/About/NDU-Foundation/
Center for Strategic and International Studies
https://missilethreat.csis.org/defsys/sm-6/
https://uroki5.ru/biologiya/question36684653
https://www.propertyshark.com/mason/
https://www.tornstats.com/companies/38
https://theminingcorporation.com/
ttps://www.nvidia.com/en-us/about-nvidia/partners/partner-locator/
https://www.xicomputer.com/
https://smartasset.com/financial-advisor/austin-tx-top-financial-advisors
tcg administrators
https://tcgservices.com/
https://www.apax.com/
https://www.hubinternational.com/#
Cannabis Insurance
https://www.hubinternational.com/industries/cannabis-insurance/
https://www.hubinternational.com/offices/us/
https://www.hubinternational.com/offices/us/alabama/mobile/
Hibernia National Bank
https://www.hibernia.bank/
https://www.register.bank/customerfaq/
https://www.register.bank/registrars/
https://bank.sfn.cn/about
Hellman & Friedman LLC
ttps://clubmadrid.org/who/?fwp_categories=full-members
Dr. Robert Gates
Robert Gates served as the 22nd Secretary of Defense (2006-2011). He is the only Secretary of Defense in U.S. history to be asked to remain in office by a newly elected President. Dr. Gates served eight U.S. presidents in total across both parties. He has led a distinguished career of service and institutional reform both in and out of government. Gates began his career at the Central Intelligence Agency in 1966 and spent nearly 27 years as an intelligence professional, including 9 years on the National Security Council. He is the only career officer in CIA’s history to rise from entry-level employee to director. He served as Director of Central Intelligence from 1991 until 1993 and, through the collapse of the Soviet Union, restructured the intelligence community for a post-Cold War world.
https://www.rhgm.com/robert-gates/
https://www.rhgm.com/our-associates/
Ms. Tiffany Frisa = click on photo, hold on photo, move photo to address bar
http://rhgm2017/01/
r h g m2017/01/
https://www.aerospaceexchange.com/manufacturers/r-h-g-electronics-laboratory-inc/
https://www.aerospaceexchange.com/cage-code/00006/
https://www.fallenheroesfund.org/
https://www.fallenheroesfund.org/intrepid-spirit
https://www.fallenheroesfund.org/about-us/national-intrepid-center-of-excellence
2022-10-30T15:39:08Z
THE NATIONAL ARTIFICIAL INTELLIGENCE RESEARCH RESOURCE TASK FORCE (NAIRRTF)
THE NATIONAL ARTIFICIAL INTELLIGENCE RESEARCH …https://www.ai.gov/nairrtfThe National AI Initiative Act of 2020 calls for the National Science Foundation (NSF), in coordination with the White House Office of Science and Technology Policy (OSTP), to form a National AI Research Resource (NAIRR) Task Force to investigate the feasibility of establishing a NAIRR, and develop a roadmap detailing how such a resource could be established and …
https://www.ai.gov/nairrtf/
AI World Government 2022
https://www.aiworldgov.com/
f r a n k-z a h i r i
MASHA KUZNETSOVA - RUSSIAN FEDERATION AGENT(S)
https://kauai.ccmc.gsfc.nasa.gov/CMEscoreboard/
https://www.iswat-cospar.org/mkuznetsova
MASHA KUZNETSOVA - RUSSIAN FEDERATION AGENT(S)
https://kauai.ccmc.gsfc.nasa.gov/CMEscoreboard/
https://ccmc.gsfc.nasa.gov/staff/masha-kuznetsova/
https://www.iswat-cospar.org/mkuznetsova
https://www.iswat-cospar.org/view_participating_organizationsAberystwyth University, UK
https://www.iswat-cospar.org/taxonomy/term/118
iswat-cospar118
https://training.fema.gov/is/courseoverview.aspx?code=IS-100.c&lang=en
https://www.firstrespondertraining.gov/frts/statecontacts
Dr. Kuznetsova earned her PhD in theoretical and mathematical physics from the Space Research Institute (IKI) in Moscow, Russia in 1987 and an M.S. in Physics, Physics of Plasma from Moscow State University in 1981. She has worked at the theoretical physics department of Space Research Institute from 1981-1993. In 1993 she joined NASA/GSFC as a National Research Council Research Associate. After the NRC fellowship, Dr. Kuznetsova became a Raytheon principal scientist. She reunited with GSFC as civil service astrophysicist in 2004.
Curator: Chiu Wiegand | NASA Official: Dr. Masha Kuznetsova
https://www.csis.org/
https://www.csis.org/experts
https://www.csis.org/people/gabriella-bolstad
MFA-funded research project on transatlantic security
https://www.cnas.org/research/transatlantic-security
THIS PAGE IS UNDER CONSTRUCTION, SUBJECT TO CHANGE WITHOUT NOTICE UNTIL FINAL APPROVAL.
TITLE 18 U.S. CODE SECTIONS 1961-68. CHAPTER 215, SECTIONS 3321, 3322, CHAPTER 216, SECTIONS 3331, 3332, 3333, 3334, OF TITLE 8 U.S.C. 22 U.S.C. 661. 28 C.F.R. SECTION 5.1 et seq. (FARA) "Q" RICO18 U.S.C. Sections 242, 245, 371, 792, 793, 794, 831, 1341, 1343, 1346 Honest Service Fraud. Conspiracy to Defraud the United States, Title 18 U.S.C. Section 371, Title 50 U.S.C. Chapter 13
WILLIAM MAVERICK WINSLOW'S DEFENSE SECURITY SERVICE (DSS) DEFENSE COUNTERINTELLIGENCE AND SECURITY https://
www.iaea.org/resources/nucleus-information-resources
THIS PAGE CONTAINS THE FOLLOWING-
EVIDENCE-PROOF OF A CONSPIRACY AGAINST RIGHTS, IN VIOLATION OF § 241 OF TITLE 18 U.S.C. DEPRIVATION OF RIGHTS UNDER COLOR OF LAW, IN VIOLATION OF § 242 OF TITLE 18 U.S.C.; VIOLATION(S) OF § 245(b)(1)(c) (FORCIBLE INTERFERENCE AGAINST A FEDERAL OFFICER BECAUSE OF HIS/HER OFFICIAL DUTIES); VIOLATION(S) OF § 372 OF TITLE 18 U.S.C. (CONSPIRACY TO IMPEDE OR INJURE A FEDERAL OFFICER); ONGOING RICO CONSPIRACY/OPERATING A RICO ENTERPRISE, IN VIOLATION OF TITLE 18 U.S.C. SECTION 1962.
STATUTES ENFORCED BY THE CRIMINAL SECTION
https://www.justice.gov/crt/statutes-enforced-criminal-section
CIVIL RIGHTS CONSPIRACY
Conspiracy Against Rights
18 U.S.C. § 241
LAW ENFORCEMENT MISCONDUCT
Deprivation of Rights Under Color of Law
18 U.S.C. § 242
ENFORCEMENT OF CIVIL RIGHTS CRIMINAL STATUTES
https://www.justice.gov/jm/jm-8-3000-enforcement-civil-rights-criminal-statutes
ASSAULTS ON SPECIFIC OFFICIALS
https://www.justice.gov/archives/jm/criminal-resource-manual-1568-assaults-specific-officials-18-usc-1114
ASSAULTS AGAINST FEDERAL OFFICIALS-111-1114
https://www.justice.gov/archives/jm/criminal-resource-manual-1564-assaults-general-18-usc-111-and-1114
FOREIGN AGENT REGISTRATION ACT OF 1938 (FARA) VIOLATIONS
https://www.justice.gov/nsd-fara
VIOLATION OF TITLE 18 U.S.C. SECTION 1114, AND TITLE 18 U.S.C. SECTION 1201(a)(5)
https://www.compasscommunitycareinc.org/
https://www.linkedin.com/company/wix-com
https://www.mossad.gov.il/eng/Pages/default.aspx
FURTHER DISCOVERY INVESTIGATION FROM JUNE 15, 2022, UNTIL PRESENT 6/24/2022 OF PERPATRATOR, GODDY O EJUWA, CO-CONSPIRATOR, AND AIDER AND ABETTOR, AN ILLEGAL AGENT OF A FOREIGN GOVERNMENT, ACTING IN CONCERT AND DIRECT PARTICIPATION WITH OTHERS, INCLUDING BUT NOT LIMITED TO, JUDGE RALPH SWEARINGIN, JR., JUSTICE COURT PRECINCT 1, TARRANT COUNTY, TEXAS, AND ROBERT BENNETT, M.D. FROM ON OR ABOUT, JUNE 15, 2022, UNTIL PRESENT, DID ENGAGE IN A CONSPIRACY, AND CONTINUE TO CONSPIRE WITH GODDY O EJUWA, ACTING IN CONCERT AND DIRECT PARTICIPATION OTHERS, DID WILLINGLY, KNOWINGLY, AND INTENTIONALLY, WITH MALICE AND AFORETHOUGHT, DID ASSAULT, WITHIN THE MEANING OF TITLE 18 U.S.C. SECTION 111, 1114, AND DID KIDNAPP, WITHIN THE MEANING OF TITLE 18 U.S.C. SECTION 1201(a(5), AND ATTEMPTED TO MURDER WITH POISON (CARDIOVASCULAR AGENTS, AND CENTRAL NERVOUS SYSTEM AGENTS), "MEDICATION" WITH THE INTENT TO CAUSE "FATAL HEART ATTACK OR STROKE" OF A FEDERAL OFFICER WILLIAM M. WINSLOW, COVERED BY TITLE 18 U.S.C. SECTION 1114, IN VIOLATION OF TITLE 18 U.S.C. SECTION 1201(a)(5), AND THIS CONSPIRACY IS ONGOING, AND CONTINUES TO THIS DATE.
https://www.compasscommunitycareinc.org/
https://www.compasscommunitycareinc.org/referral-enrollment
Blessed Business Branding--WEBSITE CREATOR
https://static.wixstatic.com/media/11062b_4b7c9a8e48334d5aad2fd274fddba3bc~mv2.jpg/v1/fill/w_1349,h_657,al_c,q_85,usm_0.66_1.00_0.01,enc_auto/11062b_4b7c9a8e48334d5aad2fd274fddba3bc~mv2.jpg
wixstatic
https://support.wix.com/en/article/wix-editor-staticwixstaticcommedia-appears-in-url-of-wix-images
https://www.wix.com/
COMPANY
Investor Relations
https://investors.wix.com/
https://investors.wix.com/board-of-directors
Avishai Abrahami
Israeli Defense Forces’ elite computer intelligence unit
https://israeldefense.co.il/en/content/peek-inside-idf-8200s-combat-intelligence-unit
ISRAELI DEFENSE FORCES
https://www.idf.il/en
WEBSITE CREATOR
ACTIVE REGISTRATION IN SAM
GREAT R TOURS LLC
CAGE: 8CMK1 DUNS: 088840796
ADDRESS OF REGISTRATION: 515 MEADOWBROOK DR. ARLINGTON, TX. 76010-7543
https://cage.dla.mil/Search/Details?id=12565121
TARRANT COUNTY PROPERTY RECORDS
https://tarrant.tx.publicsearch.us/
U.S. ATTORNEYS' MANUAL FOR PROSECUTION
https://www.justice.gov/jm/justice-manual
2474. ELEMENTS OF AIDING AND ABETTING
https://www.justice.gov/archives/jm/criminal-resource-manual-2474-elements-aiding-and-abetting
CONSPIRACY TO DEFRAUD THE UNITED STATES-371
https://www.justice.gov/archives/jm/criminal-resource-manual-923-18-usc-371-conspiracy-defraud-us
ECONOMIC ESPIONAGE ACT OF 1996-1831-1887
https://www.justice.gov/jm/jm-9-59000-economic-espionage
FEDERAL CIVIL RIGHTS STATUTES
https://www.fbi.gov/investigate/civil-rights/federal-civil-rights-statutes
THE FOLLOWING DOCUMENT(S) SIGNED BY LYNN W. KELLY, NELDA T. CACCIOTTI AND GLYNIS A. MCGINTY, PERPETRATORS, CO-CONSPIRATORS, AND AIDERS AND ABETTORS, AND FARA AGENTS, DID ATTEMPT TO KILL, AND CONTINUE TO ATTEMPT TO MURDER WITH POISON, SPECIAL AGENT WILLIAM MAVERICK WINSLOW, AN OFFICER AND EMPLOYEE OF THE UNITED STATES GOVERNMENT, WHILE SUCH OFFICER AND EMPLOYEE WAS ENGAGED IN, AND ON ACCOUNT OF HIS PERFORMANCE OF OFFICIAL DUTIES, IN VIOLATION OF 18 U.S.C. SECTION 1114. AND ARE PROVIDING MATERIAL SUPPORT TO TERRORISTS (18 U.S.C. SECTION 2339A), ANTITERRORISM AND EFFECTIVE DEATH PENALTY ACT OF 1996, AS AMENDED, SUSPECT EDE EJUWA AKA GODDEY EJUWA, AND OTHER PERPETRATORS, CO-CONSPIRATORS, AND AIDERS AND ABETTORS. KNOWN AND UNKNOWN, THE PERPETRATORS CONTINUE TO ENGAGE IN A PATTERN OF RACKETEERING ACTIVITY, IN VIOLATION OF 18 U.S.C. SECTION 1962. (18 U.S.C. SECTIONS 1961-68.)
COMPLAINT
On information and belief, since at least January 2013, date(s) for completion of Department of Defense Certification for (Defense Security Service Certification-Sensitive Compartmented Information Refresher Course, Dated 1/04/2013), attached file has been downloaded direcly from dss.mil active account on 3/21/2022), completion of (Defense Security Service Certification-Counterintelligence Awareness And Reporting Course For DOD Employees, Dated 1/06), attached file has been downloaded directly from dss.mil active account on 3/21/2022), completion of (Defense Security Service Certification-Cybersecurity Awareness Course, Dated 1/07/2013), Attached file has been downloaded directly from dss.mil active account on 3/21/2022), completion of (Defense Security Service Certification-OPSEC Awareness for Military Members, DOD Employees and Contractors Course, Dated 1/11/2013), attached file has been downloaded directly from dss.mil active account on 3/21/2022), completion of (Defense Security Service Certification-Naval Sea Systems Command (NAVSEA) Operations Security (OPSEC) Awareness Course, Dated 1/11/2013), attached file has been downloaded directly from the dss.mil active account on 3/21/2022), completion of (Defense Security Service Certification-CYBERPROTECT course, Dated 1/11/2013), attached file has been downloaded directly from dss.mil active account on 3/21/2022), completion of (Defense Security Service Certification-DCIPS 101 Course, Dated 1/13/2013), attached file has been downloaded directly from dss.mil active account on 3/21/2022), until present,
The State of Texas, State Bar of Texas https://www.texasbar.com/, Department of State Health Services, Texas Health and Human Services, JPS Health Network, County of Tarrant, Tarrant County Bar Association, https://www.tarrantbar.org, City of Fort Worth, City of Arlington, Compass Community Care, Incorporated, acting by and through their Directors, Officers, Employees, Agents, Attorneys, Contractors, Servants and Assigns, acting in concert and direct participation with others, acting under color of state or federal law, including, but not limited to,
RICHARD WAYNE PERRY, an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an officer, employee, and (FARA AGENT) of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 15803800, having an office address or place of business located at 7703 Stuyvesant Ave, Amarillo, Texas 79121, and
GREGORY W. ABBOTT, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18U.S.C. Section 2.), and in his official capacity as Governor of the State of Texas, as an officer, employee, and (FARA AGENT) of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 00794500, having an office address or place of business located at 1010 Colorado St. Austin, Texas 8701-2334, and as a member and agent of the National Governors Association, address of which is 444 N. Capital St. NW, Ste. 267, Washington, D.C. 20001, and
WARREN KENNETH PAXTON, JR. as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and in his official capacity as Attorney General of the State of Texas, as an officer, employee and (FARA AGENT) of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 15649200, having an office address or place of business located at 209 W. 14th St. Austin, Texas 78701, and as a member and agent of the National Association of Attorneys General, address of which is 1850 M Street NW, 12th floor, Washington, D.C. 20036, and as an officer, member, and agent of the International Association of Prosecutors, with offices located at Hartogstraat 13, 2514 EP The Hague, and Konnogvardeysky Boulevard 7, 190000, Saint-Petersburg, Russian Federation, and
WAYNE F. SALVANT, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and in his official capacity as a judge of the Tarrant County Criminal District Court NO. 2., as an officer, employee, and agent of the County of Tarrant, Texas, and as an officer, employee, and (FARA AGENT) of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 17548300, having an office address or place of business located at 401 W. Belknap St. 6th Floor, Fort Worth, Texas 76196-0214, and
DAVID SCOTT WISCH, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and in his official capacity as a judge of the Texas 372nd District Court of Tarrant County, and as an officer, employee, and (FARA AGENT) of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 21819400, having an office address or place of business located at 401 W. Belknap St. Fort Worth, Texas 76196-0214, and
NELDA TALAMANTES CACCIOTTI, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and in her official capacity as an attorney of the Office of Judicial Staff Counsel and Special Magistration for Tarrant County, in the position of Judicial Staff Counsel Mental Health Magistrate. And as an officer, employee, and (FARA AGENT) of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 24033252, having an office address or place of business located at 401 W. Belknap St. Fl 7, Fort Worth, Texas 76196-0200, Aided and abetted by https://www.justice.gov/jm/jm-9-23000-witness-immunity Charles P. Reynolds-Chief Judicial Staff Counsel, post-conviction Magistrate, and https://www.justice.gov/jm/jm-9-2300-witness-immunity Jacob Mitchell, Judicial Staff Counsel, and https://www.justice.gov/jm/jm-9-23000-witness-immunity Joyce L. Meyers, Paralegal, and
SHAREN WILSON, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an officer, employee and (FARA AGENT) of the County of Tarrant, and as an officer, employee, and agent of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 21721200, having an office address or place of business located at 401 W. Belknap St. Fort Worth, Texas 76196, and
JOE SHANNON JR., as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an officer, employee and (FARA AGENT) of the County of Tarrant, and as an officer, employee, and agent of the State of Texas, and an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 18107000, having an address listed as P.O. Box 101115, Fort Worth, Texas 76185, and
TYANTHONY DWAYNE STIMPSON aka TY STIMPSON, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), in the official capacity as Assistant District Attorney (FARA AGENT) for Tarrant County, Texas. And as an officer, employee and agent of the County of Tarrant, and as an officer, employee, and agent of the State of Texas, and as an officer, employee, agent, and member of the State Bar of Texas, Bar Card Number 24077464, having an office address or place of business located at 2409 Forest Park Blvd. Fort Worth, Texas 76110-1774, and
GLYNIS A. MCGINTY as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), as "Lawyer" (FARA AGENT), appointed agent of Tarrant County Judge David Scott Wisch, to represent Pro Se Defendant, the "Accused" Special Agent William Maverick Winslow, an officer of the United States Government, (Defense Security Service), (Committee on National Security Systems, National Sedurity Agency), active duty member of the United States Armed Forces (U.S.Army-FDO), employee of the Department of Defense, (Office of the Secretary of Defense), (Defense Counterintelligence and Security Agency/Counterintelligence Awareness and Reporting for DOD Certificate--Dated-June 22, 2021), (Defense Counterintelligence and Security Agency/Active Shooter Certificate--Dated July 15, 2021), (Defense Counterintelligence and Security Agency/Adverse Information Reporting Certificate--Dated July 15, 2021), (Defense Counterintelligence and Security Agency/Behavioral Science in Insider Threat Certificate--Dated July 16, 2021), (Defense Counterintelligence and Security Agency/Classification Conflict and Evaluations Certificate--Dated July 25, 2021), (Defense Counterintelligence and Security Agency/Counterintelligence Concerns for National Security Adjudicators Certificate--Dated August 04, 2021), (Department of Defense, registration for us-armedforces-foundation.army), (Department of Defense, registration for maverickranchfoundation.org), (Department of Defense, registration for deltaforce12333.army), (DCMA.MIL/EWAM Communication Confirmation Email, Dated April 16, 2022), Department of Energy (National Nuclear Security Administration),( https://www.nts-ctos.com/rules_of_behavior.k2), (Administrator of CAGE CODE 99994), protected under Title 18 U.S.C. Section 1114, in Case No. 1470318D in the 372nd District Court of Tarrant County, Texas.
On information and belief, on or about December 05, 2016, Glynis A. McGinty purporting to be the "court appointed attorney" called Special Agent William M. Winslow, Defendant Pro Se, the "Accused" from the Tarrant County Jail, (MHMR solitary confinement), to the 372nd District Court, David Scott Wisch presiding Judge. She communicated a plea bargain offer from the District Attorneys Office, Sharen Wilson, and co-conspirators, and aiders and abettors, (within the meaning of Title 18 U.S.C. Section 2.) operating within the District Attorneys Office, of Tarrant County, Texas. The terms and conditions of said "offer" was to confess and plead guilty to a felony charge of Aggravated Assault With a Deadly Weapon, in exchange for a sentence of ten (10) years probation, with ajudication of guilt withheld after ten (10) years. Special Agent William M. Winslow, protected under Title 18 U.S.C. Section 1114, (Defense Security Service), (Committee on National Security Systems, National Security Systems), active duty member of the United States Armed Forces (U.S. Army-FDO), employee of the Department of Defense,(Office of the Secretary of Defense), (Defense Contract Management Agency), Defendant Pro Se, the "Accused", refused the "offer" and once again demanded a Trial by Jury.
On information and belief, on or about December 05, 2016, Glynis A. McGinty, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.) began to inquire as to whether Special Agent William Maverick Winslow, protected under Title 18 U.S.C. Section 1114, the Defendant Pro Se, the "Accused", suffers from mental illness, whether the accused ever suffered from a head injury, etc... Within approximately 2 weeks, Glynis A. McGinty filed a "Motion for Psychiatric Examination", suggesting that Special Agent William Maverick Winslow, (Defense Security Service), (Committee on National Security Systems, National Security Systems), active duty member of the United States Armed Forces (U.S.Army-FDO), employee of the Department of Defense, (Office of the Secretary of Defense), (Defense Contract Management Agency), (Administrator of CAGE CODE 99994), Defendant Pro Se, the "Accused" may be incompetent to stand trial, under Article 46B. of the Texas Code of Criminal Procedure, claiming that the Defendant does not have sufficient present ability to consult with his "lawyer" with a reasonable degree of rational understanding, and does not have a rational as well as a factual understanding of the proceedings against him.
On or about, December 05, 2016, Glynis A. McGinty, a co-conspirator and aider and abettor, did engage in, and continues to engage in, bad faith acts, conspiracy to defraud the United States, (within the meaning of Title 18 U.S.C. Section 371), and knowingly and willingly participated in the scheme, and devised a scheme or artifice to defraud the victim, Special Agent William Maverick Winslow, an officer and employee of the United States Government, (Defense Security Service), active duty member of the United States Armed Forces, (U.S. Army-FDO), (Committee on National Security Systems, National Security Agency), active duty member of the United States Armed Forces (U.S. Army-FDO), employee of the Department of Defense, (Office of the Secretary of Defense), (Defense Contract Management Agency), (Administrator of CAGE CODE 99994), of money and property, and had actual knowledge of the scheme, as defined in Title 18 U.S.C. Section 1346, and that the scheme involved interstate wire communications. See eg. g., United States v. Wiehoff, 748 F.2d 1158, 1161 (7th Cir. 1984).
Glynis A. McGinty, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), did engage in, and continues to engage in, predicate felony acts, acting in concert and direct participation with others, in the conduct of a RICO enterprise, and did violate the protections contained within Title 18 U.S.C. Section 1114, and did engage in, and continues to engage in, a pattern of racketeering activity related to violations of the Racketeer Influenced and Corrupt Organizations Act (RICO), 18 U.S.C. §§ 1961-1968. And did engage in, and continues to engage in, a scheme or artifice to defraud, the victim, Special Agent William Maverick Winslow, Defendant Pro Se, the "Accused", and did deprive the victim Special Agent William Maverick Winslow, an officer and employee of the United States Government, active duty member of the United States Armed Forces, Department of the Army-FDO, employee of the Department of Defense, of his intangible right of honest service, in violation of Title 18 U.S.C. Section 1346.
On information and belief, David Scott Wisch, presiding Judge of the Texas 372nd District Court of Tarrant County, Texas, co-conspirator and aider and abettor, (within the Meaning of Title 18 U.S.C. Section 2.), signed an Order of Commitment, and "Ordered" Special Agent William Maverick Winslow, Defendant Pro Se, the "Accused" to be treated in a compency restoration program and be committed to a mental hospital for competency restoration, after having been fraudulently diagnosed by his court, as delusional and psychotic, which is defined as, and is characterized by or holding "idiosyncratic beliefs or impressions that are contradicted by reality or rational argument", typically as a sympton of a serious mental disorder, having difficulty thinking and understanding, and certain limitations in cognitive functioning and skills, including communication, social and self care skills, with a significant limitation in intellectual functioning and difficulties in general mental abilities. And a diagnoses of schizoid effective personality disorder. The recommended treatment, "hospitalization for schizophrenia and delusional paranoia".
On information and belief, since at least January of 2013, until present, David Scott Wisch, as an individual, and in his official capacity as Judge of the Texas 372nd District Court of Tarrant County, Texas, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), had knowledge, and was made aware of the fact, the victim, Special Agent William Maverick Winslow, the Defendant Pro Se, the "Accused", was an officer and employee of the United States Goverrnment, (Defense Security Security), (Committee on National Security Systems/National Security Agency), (Defense Counterintelligence and Security Agency), active duty member of the United States Armed Forces, (Office of the Secretary of Defense), (Department of the Army-FDO), employee of the Department of Defense (Defense Contract Management Agency), (DCMA), protected under Title 18 U.S.C. Section 1114.
On information and belief, since least January 04, 2013, through June 13, 2016, until present, David Scott Wisch, an individual, and in his official capacity as Judge of the Texas 372nd District Court of Tarrant County, Texas, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), did enter into a conspiracy, and did conspire with others, to defraud the United States of money and property, in violation of Title 18 U.S.C. Section 371, and did engage in, and continues to engage in, a pattern of racketeering activity relating to violations of the Racketeer Influenced and Corrupt Organizations Act (RICO), 18 U.S.C. §§ 1961-1968.
On information and belief, since January, 2013 through June 13, 2016, until present, David Scott Wisch, an individual, and in his official capacity as Judge of the Texas 372nd District Court of Tarrant County, Texas, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), entered into a conspiracy, and did conspire with others, and did engage in, and continues to engage in, and knowingly and willingly, participated in the scheme, and devised a scheme or artifice to defraud the victim, Special Agent William Maverick Winslow, an officer and employee of the United States Government, active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense, of money and property, and had actual knowledge and awareness of the existence of the scheme, as defined in Title 18 U.S.C. Section 1346. The scheme or artifice, involved interstate wire communications. See eg. g. United States v. Wiehoff, 748 F.2d 1158, 1161 (7th Cir. 1984). David Scott Wisch, an individual, and in his official capacity as Judge of the Texas 372nd District Court of Tarrant County, Texas, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C Section 2) did engage in, and continues to engage in, predicate felony acts, acting in concert and direct participation with others, in the conduct of a RICO enterprise. And did violate the protections contained within Title 18 U.S.C. Section 1114, and did violate the Racketeer Influenced and Corrupt Organizations Act (RICO), 18 U.S.C. §§ 1961-1968, and did engage in, and continues to engage in, a scheme or artifice to defraud the victim, and did deprive the victim, Special Agent William Maverick Winslow, Defendant Pro Se, the "Accused", an officer and employee of the United States Government, active duty member of the United States Armed Forces, Department of the Army-FDO, employee of the Department of Defense, of his intangible right of honest service to the Government of the United States, United States Armed Forces, Department of the Army, the Department of Defense, in violation of Title 18 U.S.C. Section1346.
On information and belief, on or about June 14, 2017, Special Agent William Maverick Winslow, Defendant Pro Se, the "Accused", was transported to Vernon State Hospital, Maximum Security Facility, Vernon, Texas, where he remained imprisoned approximately one (1) year. The State of Texas, acting by and through its Directors, Officers, Employees, Agents, Attorneys, Contractors, Servants, and Assigns, brought the Defendant Pro Se, the "Accused", before a State of Texas, Dangerousness Review Board, (not a Trial by Jury, Article 1.12 T.C.C.P), which determined him not "manifestly dangerous" and recommended transfering him to a less restrictive facility, North Texas State Hospital-Wichita Falls Campus, Wichita Falls, Texas. The State of Texas, acting by and through its Directors, Officers, Employees, Agents, Attorneys, Contractors, Servants, and Assigns, did engage in, and continued to engage in, a conspiracy to deprive Special Agent William Maverick Winslow, the Defendany, Pro Se, the "Accused" of his rights, powers, privileges, and immunities secured, protected, guaranteed, under the TEXAS CODE OF CRIMINAL PROCEDURE: ARTICLE 1.04-DUE COURSE OF LAW., ARTICLE 1.06-SEARCHES AND SEIZURES., ARTICLE 1.08-HABEAS CORPUS., ARTICLE 1.12-RIGHT TO JURY., ARTICLE 1.24-PUBLIC TRIAL., ARTICLE 1.25-CONFRONTED BY WITNESSES., ARTICLE 2.01-DUTY OF DISTRICT ATTORNEYS., ARTICLE 2.03-NEGLECT OF DUTY.
Glynis A. McGinty, co-conspirator and aider and abettor, (within the meaning of (Titie 18 U.S.C. Section 2.), does not represent Special Agent William Maverick Winslow in any capacity, and is not his attorney or agent, and is in fact and in truth acting as an agent for the District Attorneys Office, including, but not limited to Sharen Wilson, and Tyanthony Dwayne Stimpson,aka Ty Stimpson, and are acting as an agent for David Scott Wisch and Nelda Talamantes Cacciotti, and are active (FARA AGENTS) of the State of Texas, and is an officer, employee, agent, and member of the State Bar of Texas , Bar Card Number 13633350. Glynis A. McGinty did engage in, and continues to engage in, a pattern of racketeering activity, constituting a violation of the Racketeer Influenced and Corrupt Organizations Act (RICO), 18 U.S.C. §§ 1961-1968 , and did aid and abett the assault, kidnapping, and attempted murder of Spcial Agent William Maverick Winslow, an officer of the United States Government, active duty member of the United States Armed Forces, employee of the Department of Defense, in violation of Title 18 U.S.C. Section 1114 and did conspire to defraud the United States, in violation of Title 18 U.S.C. Section 371. Glynis A. McGinty, a co-conspirator and aider and abettor, has an office address or place of business located at 2238 E Loop 820, Fort Worth, Texas 6112-4013, active website address: https://www.mcgintyandassoc.com/gmc.html.
Attached hereto this MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION website, is the Defense Counterintelligence and Security Agency issued certifications- Certificate-CI Foreign Travel Briefing, Dated October 16, 2018, and Certificate-Counterintelligence Concerns for National Security Adjudicators, Dated October 16, 2018, these certificates were completed by Special Agent William Maverick Winslow, the Defendant Pro Se, the "Accused", while being illegally imprisoned as an Article 46B Incompetent To Stand Trial Person, at North Texas State Hospital-Wichita Falls Campus, Wichita Falls, Texas 76038. These attached files have been downloaded directly from dss.mil active account on 3/24/2022, and made a part of this MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION-COMPLAINT PROGRAM, for all purposes. See eg.g., United States v. Stull, 743 F.2d 439, 442 n.2 (6th Cir. 1984); United States v. Halbert, 640 F. 2d 1000, 1008 (9th Cir. 1981); United States v. Jordan, 626 F. 2d 928, 930 (D.C. Cir. 1980); United States v. Amrep Corp., 560 f. 2d 539, 546 (2d Cir. 1977); Anderson v. United States, 369 F. 2d 11, 15 (8th Cir. 1966); United States v. Maxwell, 920 F. 2d 1028, 1036 (D.C. Cir. 1990).
TEXAS CODE OF CRIMINAL PROCEDURE
ARTICLE 1.04-DUE COURSE OF LAW.
No citizen of this State shall be deprived of life, liberty, property, privileges or immunities, or in any manner disfranchised, except by the due course of the law of the land.
ARTICLE 1.06-SEARCHES AND SEIZURES.
The people shall be secure in their persons, houses, papers and possessions from all unreasonable seizures or searches. No warrant to search any place or to seize any person or thing shall issue without describing them as near as may be, nor without probable cause supported by oath or affirmation.
ARTICLE 1.08-HABEAS CORPUS.
The writ of habeas corpus is a writ of right and shall never be suspended.
ARTICLE 1.09-CRUELTY FORBIDDEN.
Excessive bail shall not be required, nor excessive fines imposed, nor cruel or unusual punishment inflicted.
ARTICLE 1.12-RIGHT TO JURY.
The right of trial by jury shall remain inviolate.
ARTICLE 1.24-PUBLIC TRIAL.
The proceeding and trial in all courts shall be public.
ARTICLE 1.25-CONFRONTED BY WITNESSES.
The defendant, upon a trial, shall be confronted with the witnesses, except in certain cases provided for in this code where depositions have been taken.
ARTICLE 2.01-DUTY OF DISTRICT ATTORNEYS.
The primary duty of all prosecuting attorneys, including any special prosecutors, not to convict, but to see that justice is done. They shall not suppress facts or secrete witnesses capable of establishing the innocence of the accused.
ARTICLE 2.02-DUTIES OF COUNTY ATTORNEYS.
The county attorney shall attend the terms of court in his county below the drade of district court, and shall represent the State in all criminal cases under examination or prosecution in said county; and inb the absence of the district attorney he shall represent the State alone and, when requested, shall aid the district attorney in the prosecution of any case in behalf of the State in cases he has prosecuted which are appealed.
ARTICLE 2.03-NEGLECT OF DUTY.
(a) It shall be the duty of the attorney representing the State to present by information to the court having jurisdiction, any officer for neglect or failure of any duty enjoined upon such officer, when such neglect or failure can be presented by information, whenever it shall come to the knowledge of said attorney that there has been a neglect or failure of duty upon the part of said officer; and he shall bring to the notice of the grand jury any act of violation of law or neglect or failure of duty upon the part of any officer, when such violation, neglect or failure is not presented by information, and whenever the same may come to his knowledge.
(b) It is the duty of the trial court, the attorney representing the accused, the attorney representing the State and all peace officers to so conduct themselves as to insure a fair trial for both the state and the defendant, not to impair the presumption of innocence, and at the same time afford the public the benefits of a free press.
JAMES E. SMITH, an individual, co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.) and an employee, and (FARA AGENT) for the State of Texas, and employee and agent for the Department of State Health Services Commission, and in the official capacity as Superintendent.
Dr. Courtney N. Phillips, an individual, co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.) and an employee, and (FARA AGENT)) for the State of Texas, an employee and agent for the Department of State Health Services Commission, and in the official capacity as Executive Commissioner. Having an office address or place of business located at
Dr. THU T. LE, AKA SANDY LE, an individual, co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and an employee, and (FARA AGENT) for the State of Texas, an employee and agent for the Department of State Health Services Commission, working at both Vernon Campus and Wichita Falls campus, having an office address or place of business located at 6515 Kemp Blvd. Wichita Falls, Texas 76038, and
JEANETTE C. GUNN, an individual, co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and an employee, and (FARA AGENT) for the State of Texas, an employee, and agent for the Department of State Health Services Commission, working at the North Texas State Hospital-Wichita Falls Campus, Wichita Falls, Texas 76038, having an office address or place of business located at 6515 Kemp Blvd. Wichita Falls, Texas 76038, and
CHARLES R. STAATS JR., an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), an employee and (FARA AGENT) for the State of Texas, an employee and agent for the Department of State Health Services Commission, working at the North Texas State Hospital-Wichita Falls Campus, Wichita Falls, Texas 76038, having an office address or place of business located at 6515 Kemp Blvd. Wichita Falls, Texas 76038, and
EDE GODDEY O EJUWA, an individual, co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services (HCBS) Group Home, Texas Health and Human Services, and as an employee, and agent for the County of Tarrant MHA, and as an employee, and agent for MHMR of Tarrant County, acting in the capacity of an Administrator, Director, and Registered Agent of Compass Community Care, Incorporated, a Texas for profit corporation, having its Registered Office located at 4841 Rum St. Fort Worth, Texas 76244-76244, active website address: https;//www.compasscommunitycareinc.org, and
BRITA PHILLIPS, an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) of the State of Texas, and as an employee, and agent for the Department of State Health Services (HCBS) Group Home, and as an employee, and agent for the County of Tarrant MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, an employee, and agent for Compass Community Care, Incorporated, aTexas for profit corporation, having its Registered Office located at 4841 Rum St. Fort Worth, Texas 76244-76244. and as an aider and abettor, within the meaning of Title 18 U.S.C. Section 2. Attached hereto, and made a part of this MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION website, and "COMPLAINT" for all purposes, is a copy of actual email communication from Compass Community Care, Incorporated email account: Brita Phillips to williamwinslow@deltaforce12333.army, dated January 14, 2022, acknowledging a teleconference meeting with agents of Compass Community Care, Incorporated, and MHMR of Tarrant County (FARA AGENT) Corey Raines, a co-conspirator and aider and abettor, and other Title 18 U.S.C. Section 1114, (FARA), and RICO offenders.• bphillips@compasscommunitycareinc.com - organizer (FARA AGENT)• ade.esho@compasscommunitycareinc.com (FARA AGENT)• gejuwa@compasscommunitycareinc.com (FARA AGENT)• sweeden@compasscommunitycareinc.com (FARA AGENT)• cyril.ileso@compasscommunitycareinc.com (FARA AGENT)
andLISA BORING, an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services, and as an employee, and agent of Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107.
AUSTA SPEARMAN, an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services, Texas Health and Human Services, and as an employee, and agent for Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107.
PATRICIA BOISSE, an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services, Texas Health and Human Services, and as an employee, and agent for Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107, and
BRIAN SOSEBEE, an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services, Texas Health and Human Services, and as an employee, and agent for Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107.
TARA HOLLIE, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services, Texas health and Human Services, and as an employee, and agent for Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107, and 1200 Circle Dr. #400B, Fort Worth, Texas 76119, email address tara.hollie@mhmrtc.org, and
COREY RAINES, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the state of Texas, and as an employee, and agent for the Department of State Health Services, Texas Health and Human Services, and as an employee, and agent for Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107, and 1200 Circle Dr. #400B, Fort Worth, Texas 76119, and
EVAN WALKER, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), and as an employee, and (FARA AGENT) for the State of Texas, and as an employee, and agent for the Department of State Health Services, Texas Health and Human Services, and as an employee, and agent for Tarrant County MHA, and as an employee, and agent for MHMR of Tarrant County, Texas, having an office address or place of business located at 3840 N. Hulen Street, North Tower, Fort Worth, Texas 76107, and 1200 Circle Dr. #400B, Fort Worth, Texas 76119, and
MASHEIKA JACKSON, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), an employee, and (FARA AGENT) for the State of Texas, Department of State Health Services, Texas Health and Human Services, an employee and agent of the JPS Health Network, having an office address or place of business located at Stop Six-Walter B. Barbour Health Center, 3301 Stalcup Road, Fort Worth, Texas 76119, and
VINU ALEXANDER, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), an employee, and (FARA AGENT) for the State of Texas, Department of State Health Services, Texas Health and Human Services, and an employee, and agent of the JPS Health Network, having an office address or place of business located at Stop Six-Walter B. Barbour Health Center, 3301 Stalcup Road, Fort Worth, Texas 76119, and
PATRICIA ANN MOHLER, as an individual, a co-conspirator and aider and abettor, (within the meaning of 18 U.S.C. Section 2.), an employee and (FARA AGENT) for the State of Texas, Department of State Health Services, Texas Health and Human Services, and an employee, and agent of JPS Health Network, having an office address or place of business located at Stop Six-Walter B. Barbour Health Center, 3301 Stalcup Road, Fort Worth, Texas 76119, and
MARK J. NELSON, as an individual, a co-conspirator and aider and abettor, (within the meaning of Title 18 U.S.C. Section 2.), as an employee, and (FARA AGENT) for the State of Texas, Department of State Health Services, Texas Health and Human Services, and an employee and agent of JPS Health Network, having an office address or place of business located at Stop Six-Walter B. Barbour Health Center, 3301 Stalcup Road, Fort Worth, Texas 76119,
and others, not yet named, did willingly, knowingly, and intentionally, with malice and aforethought, did engage in, and continue to engage in, a malicious and vindictive prosecution, and adversarial governmental proceeding(s). And did enter into a conspiracy, in furerance of the object of the conspiracy, did conspire and collude, and have continued to conspire and collude with the communist, within the meaning of Title 8 U.S.C. Section 1182, their illegal agents of foreign prinicpal, illegal agents of foreign governments, foreign corporations, and enterprises, serving the interest of foreign powers. And did aid, abet, counsel, command, induce, and did procure the commission of the assault(s), search(s), seizure(s), kidnapping(s), false imprisonment, and attempted murder, of Special Agent, William Maverick Winslow, an officer, and employee of the United States Government, protected under 18 U.S.C. Section 1114, a citizen of the United States, a citizen of the State of Texas, an active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense. And did willfully cause the acts to be done in violation of Title 18 U.S.C. Section 2. The predicate acts, in furtherance of a criminal organization and a RICO enterprise, has been done on account of Special Agent William Maverick Winslow's performance of his official duties as an officer and employee of the United States Government, active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense, and did willingly, knowingly, and intentionally impede, intimidate, and interfere with such officer and employee, with intent to retaliate against such officer and employee, and did willfully cause the commission of the predicate acts to be done, in violation of 18 U.S.C. Section 1114. The individuals named in this Military Whistleblower Protection Act Communication, have conducted the affairs of the enterprise affecting interstate or foreign commerce through a pattern of racketeering activity relating to assaulting, kidnapping, false imprisonment, and attempted murder of officers or employees of the United States Government, members of the United States Armed Forces, Department of the Army, and employees of the Department of Defense, in violation of Title 18 U.S.C. Section 1114. And did engage in, and continue to engage in a pattern of racketeering activity, relating to mail fraud, in violation of section 1341, relating to wire fraud, in violation of section 1343, relating to financial institution fraud, in violation of section 1344, relating to obstruction of justice, in violation of section 1503, relating to obstruction of criminal investigation, in violation of section 1510, relating to tampering with a witness, victim, or an informant, in violation of section 1512, relating to retaliating against a witness, victim, or an informant, in violation of section 1513, relating to racketeering, in violation of section 1952, relating to government property or contracts, in violation of section 1361, relating to national defense material, premises, or utilities, in violation of section 2156, relating to unlawful welfare fund payment, in violation of section 1954, relating to laundering of monetary instruments, relating to engaging in monetary transactions in property derived from specified unlawful activity, in violation of section 1957, or through the collection of an unlawful debt, and did conduct or participate in the conduct of the enterprise through a pattern of racketeering activity through the commission of at least two (2) acts of racketeering activity within ten (10) years, in violation of section 1962 of Title 18 U.S.C. The predicate acts are related and amount to, and pose a threat of continued criminal activity. See Ticor Title Ins. Co. v. Florida, 937 F. 2d 477, 450 (9th Cir. 1991). and United States v. Indelicato, 865 f. 2d 1370, 1382 (2d Cir), cert. denied, 493 U.S. 811, 110 S. Ct. 56, 107 L. Ed. 2d 24 (1989). The conspirators, co-conspirators, and aiders and abettors, (within the meaning of Title 18 U.S.C. Section 2.) did use interstate wire communications in furtherance of scheme and artifice to defraud Special Agent William Maverick Winslow, Maverick Ranch Foundation, Inc., and the United States Armed Forces Foundation, Inc., and the United States, of money and property, and deprived him of the intangible right of honest service to the United States Government, United States Armed Forces, and the Department of Defense, in violation of Title 18 U.S.C. Section 1346. And did
(a) unlawfully seize, confine, inveigle, decoy, kidnap, abduct, or carries away and holds for ransom or reward or otherwise any person, except in the case of a minor by the parent thereof, when—
(5) the person is among those officers and employees described in section 1114 of this title and any such act against the person is done while the person is engaged in, or on account of, the performance of official duties, and did violate Title 18 U.S.C. Section 1201 (a)(5).
https://www.justice.gov/archives/jm/criminal-resource-manual-6-crimes-against-select-us-officials-18-usc-111-351-1114-1201a5-175
CONSPIRACY TO DEFRAUD THE UNITED STATES
The person or persons named, and others, yet to be named in this MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION WEBSITE-COMPLAINT PROGRAM, entered into a conspiracy, and did conspire to commit offenses against the United States, and to defraud the United States of money and property, in violation of Title 18 U.S.C. Section 371. And did enter into a conspiracy, and did conspire to defraud the United States, United States Armed Forces, United states armed forces foundation, inc., the Department of the army, and the Department of Defense, in violation of the Major Fraud Act of 1988, as amended.
See eg.g., United States v. Stull, 743 F.2d 439, 442 n.2 (6th Cir. 1984); United States v. Halbert, 640 F. 2d 1000, 1008 (9th Cir. 1981); United States v. Jordan, 626 F. 2d 928, 930 (D.C. Cir. 1980); United States v. Amrep Corp., 560 f. 2d 539, 546 (2d Cir. 1977); Anderson v. United States, 369 F. 2d 11, 15 (8th Cir. 1966); United States v. Maxwell, 920 F. 2d 1028, 1036 (D.C. Cir. 1990).
The persons, , entities, and countries, named herein, acting in concert, did knowingly or recklessly contribute material support and resources, directly or indirectly, to persons or organizations that pose a significant risk of committing acts of terrorism that threaten the security of nationals of the United States, the national security, foreign policy, or economy of the United States, necessarily directed their conduct at the United States, within the meaning of Justice Against Sponsors of Terrorism Actof 2016. And did engage in, and continue to engage in, aiding and abetting and conspiracy (within the meaning of chapter 113B of Title 18 U.S.C.), as defined within the decision of the United States Court of Appeals for the District of Columbia in Halberstam v. Welch, 705 F. 2d 472 (D.C Cir. 1983).
I CERTIFY UNDER PENALTY OF PERJURY UNDER THE LAWS OF THE UNITED STATES OF AMERICA, I AM AN EMPLOYEE OF THE UNITED STATES GOVERNMENT (TITLE 18 U.S.C. SECTION 1114), (TITLE 18 U.S.C. SECTION 1961(10)), TITLE 18 U.S.C. SECTION 831, TITLE 50 U.S.C. CHAPTER 13, DEPARTMENT OF DEFENSE, UNITED STATES ARMED FORCES, UNITED STATES OF AMERICA. I AM A US ARMY SPECIAL OPERATIONS DELTA FORCE-NATIONAL NUCLEAR SECURITY OFFICER (NATIONAL NUCLEAR SECURITY ADMINISTRATION). I AM THE DEFENSE SECURITY SERVICE (DSS) CERTIFIED U.S. ARMY FOREIGN DISCLOSURE CONTACT OFFICER (FDO)_CERTIFICATE_DATED_06_24_2014. I AM A MEMBER IN GOOD STANDING OF THE NATIONAL TELECOMMUNICATIONS SECURITY WORKING GROUP, COMMITTEE ON NATIONAL SECURITY SYSTEMS, NATIONAL SECURITY AGENCY. I AM ASSIGNED TO THE OFFICE OF THE SECRETARY OF DEFENSE, DEFENSE INTELLIGENCE AGENCY, JOINT CHIEFS OF STAFF. I AM CERTIFYING OFFICER WITH THE UNITED STATES DEPARTMENT OF THE TREASURY_CERTIFICATE_DATED_12_16_2023. I AM A MEMBER IN GOOD STANDING WITH THE UNITED STATES SPECIAL OPERATIONS COMMAND. I AM MEMBER IN GOOD STANDING WITH THE NATIONAL_NUCLEAR_SECURITY_ADMINISTRATION_(NNSA)_DEPARTMENT OF HOMELAND SECURITY COUNTER-TERRORISM TASK FORCE_CERTIFICATE_DATED_04_07_2023. I AM A MEMBER IN GOOD STANDING WIH THE DEFENSE COUNTERINTELLIGENCE AND SECURITY AGENCY /NATIONAL SECURITY ADJUDICATORS_ DATED 08_04_2021 / DCSA / NATIONAL SECURITY ADJUDICATORS _DATED _10_16_2018 DCSA / NATIONAL SECURITY ADJUDICATORS CERTIFICATE_DATED_12_17_2015. I AM A MEMBER IN GOOD STANDING WITH THE DEFENSE SECURITY SERVICE / TELEWORK FOR MANAGERS_CERTIFICATE_dated_05_02_2013. I AM A MEMBER IN GOOD STANDING WITH THE MALITIA NATIONAL MILITARY FORCES OF THE UNITED STATES CHAPTER 13 OF TITLE 50 U.S.C. (BUY AMERICAN ACT) I AM IN AN EXCLUSIVE TREATY ALLIANCE WITH THE NATIONAL CONGRESS OF AMERICAN INDIANS (NATIVE INDIAN TRIBAL LAND RESTORATION ACT OF 1974, AS AMENDED ), (BUY INDIAN ACT), I HAVE PERSONAL KNOWLEDGE OF THE FACTS STATED IN THIS MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION WEBSITE-COMPLAINT PROGRAM. THAT THE FOREGOING DOCUMENT(S) ARE TRUE AND CORRECT, TO THE BEST OF MY KNOWLEDGE AND BELIEF, PURSUANT TO THE PROVISIONS OF TITLE 28 U.S.C. SECTION 1746. UPDATED AND EXECUTED ON 07/04/2024.
/s/WILLIAM MAVERICK WINSLOW AC 56 OFFICE OF THE SECRETARY OF DEFENSEUNITED STATES SEPCIAL OPERATIONS COMMANDU.S. ARMY SPECIAL OPERATION-DELTA FORCE NATIONAL NUCLEAR SECURITYNATIONAL NUCLEAR SECURITY ADMINISTRATION (CTOS), (DOE) - "Q"DEFENSE COUNTERINTELLIGENCE AND SECURITY AGENCY/DEFENSE SECURITY SERVICEDEFENSE SECURITY SERVICE (DSS) U.S. ARMY FDOUNITED STATES DEPARTMENT OF TREASURY CERTIFYING OFFICER
THIS WEB SITE AND ALL DOCUMENTATION CONTAINED HEREIN HAS BEEN RENDERED ADMISSIBLE FOR USE AT TRIAL, REGARDLESS OF HOW THE PROSECUTOR'S AQUIRED THE INFORMATION. AUTHORIZED FOR PUBLIC INSPECTION BY A BONA FIDE INTELLIGENCE OFFICER WITH THE GOVERNMENT OF THE UNITED STATES. THIS WEB SITE IS UNDER CONSTRUCTION, AND IS SUBJECT TO CHANGE WITHOUT NOTICE. DISCOVERY INVESTIGATION IS ON GOING AND SHALL CONTINUE...
THE ESPIONAGE ACT OF 1917, AS AMENDED. TITLE 18 U.S.C. SECTION 371. Title 18 U.S.C. Section 115. SECTION 831 831 OF TITLE 18 U.S.C., SECTION 1114 OF TITLE 18 U.S.C.
Title 18 U.S.C. Sections 1961-68-TITLE 18 U.S.C. SECTION 3331 TITLE 18 U.S.C. SECTION 1201 (5) (a); CHAPTER 13 OF TITLE 50 U.S.C.
AUTHORIZED FOR PUBLIC RELEASE-MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION
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On information and belief, since at least January 2013, until present, the conspirators, co-conspirators, and aiders and abettors within the meaning of Title 18 U.S.C. Section 2., willingly, knowingly, and intentionally, entered into a conspiracy, and did conspire with other conspirators, co-conspirators, aiders and abettors, and did engage in a conspiracy to deprive, Special Agent William Maverick Winslow, an Officer of the United States Government, under 18 U.S.C. Section 1114, a citizen of the United States of America, citizen of the State of Texas, an active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense, of his civil rights, and did cause him deprivation of his rights, powers, privileges, property, and immunities, secured, protected, guaranteed under the Constitution and laws of the United States, in violation of Section 1983 of Title 42 U.S.C. And did place him in illegal State custody at theTarrant County Jail solitary confinement section in or about, June 13, 2016 until June 2017. And did transport him to Vernon State Hospital Maximum Security Facility, Vernon Texas, and North Texas State Hospital-Wichita Falls Campus, Wichita Falls, Texas, until release on June 14, 2021. The Defendant Pro Se, the "Accused" was placed in a HCBS Group Home, for the mentally ill. Care to be provided by the Tarrant County MHA and "Compass Community Care" and Group Home Manager Ede Ejuwa, pursuant to felony fraudulent "order" of Nelda T. Cacciotti, Criminal Court Magistrate,Tarrant County, Texas. Said document dated May 27, and filed June 01, 2021, is not signed by Assistant District Attorney co-conspiritor Ty Stimpson, as attorney for the State of Texas. This document is a fraudulent false writing, and spurious article, in a scheme and artifice to defraud, Conspirator Nelda T. Cacciotti, further attempts to "order" Special Agent William Maverick Winslow, an officer of the United States Government, an active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense, to participate in a prescribed regimen of medical, psychiatric and psychological care recommended by North Texas State Hospital- Wichita Falls Campus and MHMR Tarrant. The State of Texas, County of Tarrant, City of Fort Worth, City of Arlington, acting by and through their Directors, Officers, Employees,Agents, Attorneys, Contractors, Servants, and Assigns, including but not limited to, conspirator Wayne F. Salvant, as an aider and abettor, and conspirator Scott Wisch, as an aider and abettor, and conspirator Nelda T Cacciotti, as an aider and abettor, and co-conspirator Sharen Wilson, as an aider and abettor, and co-conspirator Joe Shannon Jr., as an aider and abettor, and co-conspirator Ty Stimpson, as an aider and abettor, denied the "Accused" a jury trial after Defendant Pro Se, the "Accused", filed 2 Demands for Trial by Jury, which did enter into record of the Court. The State of Texas, County of Tarrant, City of Fort Worth, and City of Arlington, acting by and through their Directors, Officers, Employees, Agents, Attorneys, Contractors, and Assigns, acting in concert and direct participation with others, including but not limited to, conspirator Wayne F. Salvant, as an aider and abettor, and conspirator Scott Wisch, as an aider and abettor, and conspirator Nelda T. Cacciotti, as an aider and abettor, and co-conspirator Sharen Wilson, as an aider and abettor, and co-conspirator Joe Shannon Jr., as an aider and abettor, and co-conspirator Ty Stimpson, as an aider and abettor, and co-conspirator Ede Goddey O Ejuwa, as an aider and abettor, willingly, knowingly, and intentionally, violated the 4th Amendment to the Constitution of the United States, which provides for "the right of the people to be secure in their persons, houses, papers, and effects, against unreasonable searches and seizures, shall not be violated, and no Warrants shall issue, but upon probable cause, supported by Oath or affirmation, and particularly describing the place to be searched, and the persons or things, to be seized."
On information and belief, since at least January 2013, until present, the conspirators, co-conspirators, and aiders and abettors within the meaning of Title 18 U.S.C. Section 2., willingly, knowingly, and intentionally, violated the 6th, and 14th Amendments to the Constitution of the United States of America, and did violate U.S. Suspreme Court decision in Barker v. Wingo, 407 U.S. 514 (1972). The right to a speedy trial is guaranteed the accused by the Sixth Amendment to the Constitution, the Supreme Court of the United States of America has dealt with that right on infrequent occasions. See Beavers v. Haubert, 198 U. S. 77 (1905); Pollard v. United States, 352 U. S. 354 (1957); United States v. Ewell, 383 U. S. 116 (1966); United States v. Marion, 404 U. S. 307 (1971). See also United States v. Provoo, 17 F.R.D. 183 (D. Md.), aff'd, 30 U.S. 857 (1955). The Court's opinion in Klopfer v. North Carolina, 386 U. S. 213 (1967), established that the right to a speedy trial is "fundamental," and is imposed by the Due Process Clause of the Fourteenth Amendment on the States. See Smith v. Hooey, 393 U. S. 374 (1969); Dickey v. Florida, 398 U. S. 30 (1070). The State of Texas, County of Tarrant, City of Fort Worth, City of Arlington, acting by and through their Directors, Officers, Employees, Agents, Attorneys, Contractors, Servants, and Assigns, acting in concert and direct participation with others, including, but not limited to, conspirator Wayne F. Salvant, as an aider and abettor, and conspirator Scott Wisch, as an aider and abettor, and conspirator Nelda T. Cacciotti, as an aider and abettor, and co-conspirator Sharen Wilson, as an aider and abettor, and co-conspirator Joe Shannon Jr., as an aider and abettor, and co-conspirator Ty Stimpson, as an aider and abettor, and co-conspirator Ede Goddey O Ejuwa, as an aider and abettor, and others, did willingly, knowingly, and intentionally, violate the Texas Constitution, Section 9, which provides "the people shall be secure in their persons, houses, papers, and possessions, from all unreasonable seizures or searches, and no warrant to search any place, or to seize any person or thing, shall issue without describing thbem as near as may be, nor without probable cause, supported by oath or affirmation". (Feb. 15, 1887)
On information and belief, since at least January 2013, until present, the State of Texas, County of Tarrant, City of Fort Worth, and City of Arlington, acting by and through their Directors, Officers, Employees, Agents, Attorneys, Contractors, Servants, and Assigns, acting in concert and direct participation with others, including but not limited to, conspirator Wayne F. Salvant, as an aider and abettor, within the meaning of Title 18 U.S.C. Section 2., and conspirator Scott Wisch, as an aider and abettor, within the meaning of Title 18 U.S.C. Section 2., and conspirator Nelda T. Cacciotti, as an aider and abettor, within the meaning of Title 18 U.S.C. Section 2., and co-conspirator Sharen Wilson, as an aider and abettor, and co-conspiractor Joe Shannon Jr. , as an aider and abettor, and co-conspirator Ty Stimpson, as an aider and abettor, and co-conspirator Ede Goddey O Ejuwa, as an aider and abettor, and others, willingly, knowingly, and intentionally, did cause Special Agent William Maverick Winslow, a citizen of the United States, a citizen of the State of Texas, employee of the United States Government, an active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense, and all other members of the United States Armed Forces, similiary situated, to suffer deprivation of life, liberty, property, privileges, and immunities, secured, protected, guaranteed under the Constitution of the United States of America, Constitution of the State of Texas, U.S. Statutes, Codes, Rules, and Regulations. The State of Texas, County of Texas, City of Fort Worth, City of Arlington, acting by and through their Directors, Officers, Employees, Agents, Attorneys, Contractors, Servants, and Assigns, acting in concert and direct participation with others, including but not limited to, conspirator Wayne F. Salvant, as an aider and abettor, and conspirator Scott Wisch, as an aider and abettor, and conspirator Nelda T. Cacciotti, as an aider and abettor, and co-conspirator Sharen Wilson, as an aider and abettor, and co-conspirator Joe Shannon Jr., as an aider and abettor, and co-conspirator Ty Stimpson, as an aider and abettor, and co-conspirator Ede Goddey O Ejuwa, as an aider and abettor, willingly, knowingly, and intentionally, attempted to disfranchise Special Agent, William Maverick Winslow, a citizen of the United of the United States, a citizen of the State of Texas, officer of the
United States Government, an active duty member of the United States Armed Forces, Department of the Army, employee of the Department of Defense, and all other citizen(s) of the United States, citizen(s) of the State of Texas, and members of the United States Armed Forces, similarily situated, in violation of Section 19 of the Texas Constitution. And continue to engage in a criminal conspricy to violate Section 1114 of Title 18 U.S.C.
The persons, , entities, and countries, named herein, acting in concert, did knowingly or recklessly contribute material support and resources, directly or indirectly, to persons or organizations that pose a significant risk of committing acts of terrorism that threaten the security of nationals of the United States, the national security, foreign policy, or economy of the United States, necessarily directed their conduct at the United States, within the meaning of Justice Against Sponsors of Terrorism Actof 2016. And did engage in, and continue to engage in, aiding and abetting and conspiracy (within the meaning of chapter 113B of Title 18 U.S.C.), as defined within the decision of the United States Court of Appeals for the District of Columbia in Halberstam v. Welch, 705 F. 2d 472 (D.C Cir. 1983).
I CERTIFY UNDER PENALTY OF PERJURY UNDER THE LAWS OF THE UNITED STATES OF AMERICA, I AM AN EMPLOYEE OF THE UNITED STATES GOVERNMENT (TITLE 18 U.S.C. SECTION 1114), (TITLE 18 U.S.C. SECTION 1961(10)), TITLE 18 U.S.C. SECTION 831, TITLE 50 U.S.C. CHAPTER 13, DEPARTMENT OF DEFENSE, UNITED STATES ARMED FORCES, UNITED STATES OF AMERICA. I AM A US ARMY SPECIAL OPERATIONS DELTA FORCE-NATIONAL NUCLEAR SECURITY OFFICER (NATIONAL NUCLEAR SECURITY ADMINISTRATION). I AM THE DEFENSE SECURITY SERVICE (DSS) CERTIFIED U.S. ARMY FOREIGN DISCLOSURE CONTACT OFFICER (FDO). I AM A MEMBER IN GOOD STANDING OF THE NATIONAL TELECOMMUNICATIONS SECURITY WORKING GROUP, COMMITTEE ON NATIONAL SECURITY SYSTEMS, NATIONAL SECURITY AGENCY. I AM ASSIGNED TO THE OFFICE OF THE SECRETARY OF DEFENSE, DEFENSE INTELLIGENCE AGENCY, JOINT CHIEFS OF STAFF. I AM CERTIFYING OFFICER WITH THE UNITED STATES DEPARTMENT OF THE TREASURY. I AM A MEMBER IN GOOD STANDING WITH THE UNITED STATES SPECIAL OPERATIONS COMMAND. I AM A MEMBE IN GOOD STANDING OF THE DEPARTMENT OF HOMELAND SECURITY COUNTER-TERRORISM TASK FORCE. IAM A MEMBER IN GOOD STANDING WITH THE DEFENSE COUNTERINTELLIGENCE AND SECURITY AGENCY / NATIONAL SECURITY ADJUDICATORS. I AM A MEMBER IN GOOD STANDING WITH THE DEFENSE SECURITY SERVICE - DEPARTMENT OF DEFENSE/ TELEWORK FOR MANAGERS. I HAVE PERSONAL KNOWLEDGE OF THE FACTS STATED IN THIS MILITARY WHISTLEBLOWER PROTECTION ACT COMMUNICATION WEBSITE-COMPLAINT PROGRAM. THAT THE FOREGOING DOCUMENT(S) ARE TRUE AND CORRECT, TO THE BEST OF MY KNOWLEDGE AND BELIEF, PURSUANT TO THE PROVISIONS OF TITLE 28 U.S.C. SECTION 1746. UPDATED AND EXECUTED ON O7/08/2024.
/s/WILLIAM MAVERICK WINSLOW AC 56 OFFICE OF THE SECRETARY OF DEFENSEUNITED STATES SEPCIAL OPERATIONS COMMANDU.S. ARMY SPECIAL OPERATION-DELTA FORCE NATIONAL NUCLEAR SECURITYNATIONAL NUCLEAR SECURITY ADMINISTRATION (CTOS), (DOE) - "Q"DEFENSE COUNTERINTELLIGENCE AND SECURITY AGENCY/DEFENSE SECURITY SERVICEDEFENSE SECURITY SERVICE (DSS) U.S. ARMY FDOUNITED STATES DEPARTMENT OF TREASURY CERTIFYING OFFICER