"84. Federal actors are also sharing the fruits of Facebook censorship of Plaintiff and Members of the Class. These benefits include (without limitation):
ο· The Centers for Disease Control and Prevention (CDC) and the White House have used Defendants to inexpensively and effectively promote their directives, messages, and policies concerning COVID-19; and suppress contradictory medical views and content.
ο· suppression of information suggesting or showing flaws in CDC and/or other federal governmental policy
ο· increasing the number of visitors to the CDCβs website;
ο· boosting the CDCβs highly questionable reputation as reliable and authoritative in
its factual and policy determinations;
ο· creating a false impression of unequivocal support in the scientific community for the CDC and other governmental directives;
ο· and suppression of opinions and information that might lead people to take actions contrary to the governmentβs preferences.
"84. Federal actors are also sharing the fruits of Facebook censorship of Plaintiff and Members of the Class. These benefits include (without limitation): ο· The Centers for Disease Control and Prevention (CDC) and the White House have used Defendants to inexpensively and effectively promote their directives, messages, and policies concerning COVID-19; and suppress contradictory medical views and content. ο· suppression of information suggesting or showing flaws in CDC and/or other federal governmental policy ο· increasing the number of visitors to the CDCβs website; ο· boosting the CDCβs highly questionable reputation as reliable and authoritative in its factual and policy determinations; ο· creating a false impression of unequivocal support in the scientific community for the CDC and other governmental directives; ο· and suppression of opinions and information that might lead people to take actions contrary to the governmentβs preferences.