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the CDC represents that the mRNA COVID treatments are “safe and effective”
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the mRNA COVID treatments causes death, heart problems, etc.
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the CDC’s representation of the mRNA COVID treatments is substantively important to the administration and acceptance of the mRNA COVID treatments
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the CDC knew the mRNA COVID treatments causes death, heart problems, etc.
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the CDC intended the public to take the unsafe mRNA COVID treatments based on the CDC’s representations
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the public did not know of the adverse effects of the mRNA COVID treatments (because the CDC hid the information and lied about it)
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the public relied upon the representations about the mRNA COVID treatments in order to accept being treated with the mRNA COVID treatments
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the public has a right to rely on the CDC as it is a public agency tasked with providing truthful information to the public to make healthcare decisions
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persons have been injured by the vaccine (each case of death, hospitalization, myocarditis, etc.)
Elements of Fraud:
(1) a representation of fact;
(2) its falsity;
(3) its materiality;
(4) the representer’s knowledge of its falsity or ignorance of its truth;
(5) the representer’s intent that it should be acted upon by the person in the manner reasonably contemplated;
(6) the injured party’s ignorance of its falsity;
(7) the injured party’s reliance on its truth;
(8) the injured party’s right to rely thereon; and
(9) the injured party’s consequent and proximate injury.
See, e.g., Strategic Diversity, Inc. v. Alchemix Corp., 666 F.3d 1197, 1210 n.3, 2012 U.S. App. LEXIS 1175, at *25 n.3 (9th Cir. 2012) (quoting Staheli v. Kauffman, 122 Ariz. 380, 383, 595 P.2d 172, 175 (1979)); Rice v. McAlister, 268 Ore. 125, 128, 519 P.2d 1263, 1265 (1975); Heitman v. Brown Grp., Inc., 638 S.W.2d 316, 319, 1982 Mo. App. LEXIS 3159, at *4 (Mo. Ct. App. 1982); Prince v. Bear River Mut. Ins. Co., 2002 UT 68, ¶ 41, 56 P.3d 524, 536-37 (Utah 2002).
We are in the Twilight Zone!