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911Review.com critiques Philip J. Berg's complaint on behalf of William Rodriguez
 
This complaint covers nearly all of the claims put forth by 9/11 Truth activists to refute the official story and expose the attack as an inside job. Unfortunately it also includes claims that have been exposed by some of the most respected activists as disinformation. By including easily debunked claims among the valid ones, the complaint may be functioning to sabotage legal action on behalf of the victims.
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA

PHILIP J. BERG, ESQ.
Attorney for Plaintiff
706 Ridge Pike
Lafayette Hill, Pennsylvania 19444-1711
Telephone (610) 825-3134

Philip J. Berg originally represented Ellen Mariani. The complaint on her behalf was similar in scope, but lacked some of the poison pills present in this complaint.

* * * * * * * * * * * * * * * * * * * * * * * * *
WILLIAM RODRIGUEZ,

Plaintiff, No.

-against- COMPLAINT IN CIVIL ACTION

GEORGE HERBERT WALKER BUSH,
GEORGE WALKER BUSH,
JOHN “JEB” BUSH,
NEIL MALLON BUSH,
MARVIN BUSH,
RICHARD CHENEY,
DONALD H. RUMSFELD,
DOV ZAKHEIM,
COLIN POWELL,
RICHARD ARMITAGE,
CONDOLEEZA RICE,
JOHN ASHCROFT,
ROBERT S. MUELLER III,
DAVID FRASCA,
GEORGE J. TENET,
PORTER GOSS,
NORMAN Y. MINETA,
LARRY K. ARNOLD,
TOM RIDGE,
MARK RACICOT,
THE REPUBLICAN NATIONAL COMMITTEE, INC.,
ALAN GREENSPAN,
THOMAS A. KEAN,
JAMIE S. GORELICK,
PHILLIP D. ZELIKOW,
JOHN F. LEHMAN,
FRED F. FIELDING,
KARL ROVE,
THOMAS DeLAY,
RICHARD PERLE,
PAUL WOLFOWITZ
RICHARD MYERS,
RALPH E. EBERHART,
KENNETH R. FEINBERG,
HALLIBURTON COMPANY,
KELLOG BROWN & ROOT SERVICES,
THE PROJECT FOR THE NEW AMERICAN CENTURY, INC.,
ELECTION SYSTEMS & SOFTWARE,
DIEBOLD VOTING SYSTEMS, INC.,
WALDEN O’DELL,
SEQUOIA VOTING SYSTEMS, INC.
CHUCK HAGEL,
SAXBY CHAMBLISS,
NEW BRIDGE STRATEGIES, LLC
JOE M. ALLBAUGH,
JAMES A. BAKER III,
JOHN SWEENEY,
MATTHEW SCHLAPP,
THOMAS PYLE,
MICHAEL MURPHY,
GARRY MALPHRUS,
CHARLES ROYAL,
KEVIN SMITH,
THE UNITED STATES OF AMERICA,
55. THE UNITED STATES. DEPARTMENT OF HOMELAND SECURITY,
56. THE FEDERAL EMERGENCY MANAGEMENT AGENCY; and
57. DOE #1 Through DOE #100,
Defendants.
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SEQ CHAPTER \h \r 1TABLE OF CONTENTS

I. INTRODUCTION…………………………………………………………………………P. 6

II. PARTIES, JURISDICTION, AND VENUE……………………………………………...P. 22

III. FACTS ON WHICH CLAIMS FOR RELIEF ARE PREDICATED……………………P. 38

A. THE WTC TWIN TOWERS, AS WELL AS WTC BUILDING #7, WERE DESTROYED BY CONTROLLED DEMOLITION, AS CLEARLY PROVEN BY THE LAWS OF PHYSICS; THIS DEMOLITION COULD ONLY HAVE BEEN AN "INSIDE JOB."……………………………………………………P. 38

B. FEMA, WHICH REMOVED THE EVIDENCE BEFORE IT COULD BE INDEPENDENTLY EXAMINED, MAINTAINS A BLACK-OP SHADOW GOVERNMENT DESIGNED TO REPLACE THE ELECTED GOVERNMENT OF THE UNITED STATES…………………………………………………..P. 47

C. DEFENDANTS DELIBERATELY CONCEALED THE FACT THAT THEY HAD AMPLE WARNINGS OF TERRORIST ATTACKS AND FAILED TO ACT ON THEM, A WAR ON TERRORISM BEING NECESSARY TO JUSTIFY THEIR POLITICAL AGENDA………………………………………………………………….….P. 65

D. DEFENDANTS CONSPIRED TO AND DID ALLOW THE ATTACKS TO HAPPEN BY DELAYING MILITARY INTERCEPTION OF THE HIJACKED PLANES………………………………………………………………………P. 80

1. FLIGHT 11 (NORTH TOWER WTC) COULD HAVE BEEN BUT WAS NOT INTERCEPTED………………………………………………...P. 83

2. FLIGHT 175 COULD HAVE BEEN BUT WAS NOT
INTERCEPTED………………………………………………….…..P. 88

3. FLIGHT 77 NOT ONLY COULD HAVE BEEN INTERCEPTED BUT WAS ALLOWED TO FLY UNCONTESTED A FULL 50 MINUTES BEFORE STRIKING THE PENTAGON…………………………….P. 95

4. AN UNPRECEDENTED NATIONWIDE "GROUND STOP" ORDER, WHICH MUST HAVE HAD WHITE HOUSE APPROVAL, PREVENTED EVEN THE MILITARY FROM FLYING AND ALLOWED THE ATTACKS TO PROCEED………………………P. 102

5. THE CRASH OF FLIGHT 93 IN SOMERSET COUNTY, PENNSYLVANIA, RAISES SERIOUS ADDITIONAL UNANSWERED QUESTIONS………………………………………………………...P. 108

6. SOME ADDITIONAL REASONS TO DOUBT THE OFFICIAL STORY OF 9-11……………………………………………………..P. 117

E. THE ENTERPRISE HAS ENGAGED IN A CONSPIRACY TO COMMIT ELECTION FRAUD………………………………………………………...P. 124

F. ENTERPRISE'S FLORIDA RECOUNT RIOT: ADDITIONAL
PREDICATE ACTS UNDER RICO………………………………………...P. 136

G. ADDITIONAL ALLEGATIONS AS TO INDIVIDUAL DEFENDANTS, PREDICATE ACTS OF RACKETEERING COMMITTED BY THEM, AND THEIR ROLES IN THE RICO ENTERPRISE……………………………...P. 139

H. THE FOREGOING FACTS SUPPORT CLAIMS AGAINST THE DEFENDANTS FOR MULTIPLE ACTS OF CONSPIRACY, RACKETEERING, DOMESTIC TERRORISM AND OTHER CRIMES…P. 146

IV. COUNTS…………………………………………………………………………….P. 149

1. MISPRISION OF A FELONY (18 U.S.C. Section 4)…………………………...P. 149

2. MISPRISION OF TREASON (18 U.S.C. Section 2382)………………………...P. 151

3. PATTERN OF RACKETEERING ACTIVITY (18 U.S.C. Section 1962c)…….P. 152

4. RACKETEERING ACTIVITY (18 U.S.C. Section 1961(1))……………………P. 154

5. CONSPIRACY TO COMMIT RICO VIOLATIONS\
(18 U.S.C. Section 1962 (b, c))……………………………………………….….P. 155

6. INJUNCTIVE AND DECLARATORY RELIEF (18 U.S.C. Section 1964c)…...P. 156

7. INJUNCTIVE RELIEF (18 U.S.C. Section 1964c)……………………………...P. 157

8. COMMON LAW INJUNCTIVE RELIEF……………………………………. ...P. 159

9. DECLARATORY JUDGMENT (28 U.S.C. Section 2201 et seq.)……………...P. 159

10. INJUNCTIVE RELIEF……………………………………………………….…P. 161

11. RELIEF UNDER ANTI-TERRORISM ACT (18 U.S.C. Section 2333)…….….P. 162

12. RELIEF FOR AND FROM CRIMES AGAINST HUMANITY………………..P.163

13. RELIEF UNDER WAR CRIMES ACT (18 U.S.C. Section 2441)……………..P. 172

V. PRAYER FOR RELIEF…………………………………………………………………P. 175

VI. EXHIBITS………………………………………………………………………..P. 178 to 211

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RICO Complaint Part 2 here


 

TRIAL BY JURY DEMANDED