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August 2010_june_july_2009.qxd 30/08/2010 3:58 PM Page 8 8 Mind Control or Mind Psychosis? Are Americans Being Community. With the advanced technology and destruction of those that have already been unknown to most, of shadow network of seized., and to obtain appropriate statutory, Subjected to Mind surveillance and spying, including, defendants actual, and punitive damages, to deter future Control Radio are, transmitting, storing, tampering, and illegal activities Plaintiff is also suing for blocking or intercepting the content of a injunctive relief, personal injury tort and Transmissions By U.S significant portion of the Plaintiff’s phone calls, damages, the right of review, and FOIA records. emails, instant messaging, text messaging, Government Agencies? Internet, Skype, electronic and wireless JURISDICTION AND VENUE Continued from Page 7 communications, and other communications harassment, both internationally and domestic, 6. This court has subject matter IN THE UNITED STATES DISTRICT including Plaintiff’s family and practically jurisdiction over the federal claims pursuant to COURTS every American, for the past 4 years, beginning 28 U.S.C. § 1331, 18 U.S.C. § 2712, and 5 on or about January 2007. U.S.C. § 702. FOR THE DISTRICT OF COLUMBIA 3. Plaintiff’s records will show 7. Plaintiffs are informed, believe and MIREILLE TORJMAN communications are intercepted, manipulated, thereon allege that Defendants have sufficient tampered with, stored, (data mining), harassed, contacts with this district generally and, in CASE NO; and impeded. Plaintiff will provide numerous particular, with the events herein alleged, that and countless, emails hijacked, fabricated, Defendants are subject to the exercise of Plaintiff UNREAD, manipulated, deleted, including mail jurisdiction of this court over the person of such UPS, facsimile, and internet manipulations, Defendants and that venue is proper in this vs. since 2007. Plaintiff’s numerous impeded judicial district pursuant to 28 U.S.C. § 1391. electronic communications with all her service FEDERAL BUREAU OF INVESTIGATIONS, providers were debilitating to her work and she 8. Plaintiff is informed, believe and et al. had no resolve available from providers who thereon allege that a substantial part of the 935 Pennsylvania Avenue Northwest were unable to detect or correct thesituations. events giving rise to the claims herein alleged Washington, DC 20535-0001; This includes manufactured emails, phone calls, occurred in this district jurisdiction, and and government employee’s unwitting Defendants and/or agents of Defendants may be CENTRAL INTELLIGENCE AGENCY involvement. In 2008, Plaintiff was also found in this district, nationally, and Office of Public Affairs accused legally of false communications during internationally. Washington, D.C. 20505; her service with Qwest, by using wiretapped calls and disconnects to create false records PARTIES NATIONAL SECURITY AGENCY with her utilities company, including 9800 Savage Road, Suite 6711 defamation to her character. 9. Plaintiff, Mireille Torjman is an Fort Meade, MD 20755-6711; On information and belief, Whistle intelligent native French speaking refugee from BlowerKay Griggs, Military wife of former Marrakesh, Morocco. Plaintiff is a divorced DEPARTMENT OF JUSTICE Chief of Staff Lt. Col, Black-Ops and woman of 48 years of age and was an 600 E Street, N.W. underground she called "Secret Societies", was accountant for 25 years. Plaintiff comes from a Washington, D.C. 20530; also harassed, impeded, isolated, by religious background, disciplined and educated, "COMMUNICATION CHAOS" tactics that she has spent 25 years in the Philadelphia area, DEPARTMENT OF DEFENSE called mind jabbing ,cut and paste, with currently staying in South Florida. 1400 Defense Pentagon automobile sabotages, upon testifying, as same Washington, DC 20301-1400; with Plaintiff’s various attempts and events. 10. Defendant Federal Bureau of Investigations (FBI) is an agency under the DEPARTMENT OF ENERGY 4. Plaintiff is not delusional and has direction and control of the Department of 1000 Independence Ave provided her records to DOJ in early 2009, with Justice and the Pentagon that investigates and Washington, DC 20585; documents from many other credible sources protects the Nation with Programs of CointelPro and whistle blowers. Plaintiff requests that the joined by CIA operating on U.S. Soil. UNITED STATES OF AMERICA Russell Tice case and Articles below underlined are read with disclosures being made as to her 11. Defendant Central Intelligence Agency Defendants allegations, injunction relief, various separate (CIA) is an agency that protects the Country in counts, and tort damages throughout. Plaintiff first line of Defense and collects information COMPLAINT has demonstrated courage, risked her that reveals the plans, intentions and capabilities reputation, risked her life, and family’s, and has of our adversaries and provides the basis for 1. Plaintiff, Mireille Torjman hereby been threatened, prior to receiving an decision and action. brings this action for injunction relief, damages, anonymous email of the NSA article (below) in and tort damages, FOIA, and the right of review, February 2009 and retaliated against. Plaintiff 12. Defendant NSA Defendant National based on personal knowledge and belief, as a tried to blow the whistle to the DA late 2007, Security Agency (NSA) is an agency under the victim and expert witness, to the serious and was not aware what NSA was or direction and control of the Department of information provided, as to all other matters, as government corruption, but knew she had to Defense that collects, processes, and to which allegations Plaintiff, without doubt or report what was going on; as quoted by Mr. Tice disseminates foreign signals intelligence. It is delusion, will provide proof, un-refuted and others; “Statement by NSA, is “THE TIP responsible for carrying out the Programs evidence, overwhelming evidentiary support, OF THE ICEBERG and WIRETAPPING challenged herein. witnesses, substantial facts, documents, videos, SURVEILLANCE LOOK LIKE SMALL records, research, and investigation that exists POTATOES”. Most recently, Plaintiff was able 13. Defendant United States is the United and disclosed to the press by NSA on item ¶ 15, to meet with the FBI in early 2010,and provided States of America, its departments, agencies, and as follows: some information for investigation by various and entities. Including DOJ, and FBI analysts. Plaintiff was impeded to testify at Congresswoman Ginny Browne-Waite as the PRELIMINARY STATEMENT a NY senate hearing in February 2009. current Florida Congress Representative of the United States, who Plaintiff attempted to warn 2. This case is about the wiretapping, 5. Plaintiff is suing defendants to enjoin on numerous occasions since early 2008 and surveillance, civil rights violations, privacy, their unlawful activities of all electronic Senator Bill Nelson, currently on Florida’s communications technology, and crimes of communications, tangible and intangible and all Intelligence Committee. humanity, in use by the Intelligence allegations below and to require the inventory (Continued on Page 10)
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