James Fetzer: Amicus Curiae Sandy Hook Brief to 345th District Travis County, TX in Case of Pozner/Rosa vs. Alex Jones

07 Other Atrocities, Corruption, Government, IO Deeds of War, Law Enforcement, Media
Jim Fetzer

Below the fold are three documents as submitted, with proof of delivery (the fourth document) to the 345th District Court in Travis County, TX, in the case of Pozner/Rosa vs. Alex Jones.

While we have no direct knowledge of Sandy Hook, the evidence is compelling that the plaintiffs are lying to the public under a national security waiver, as part of a FEMA false flag operations within the FEMA CAPSTONE series.  No one died.

345TH DISTRICT COURT
TRAVIS COUNTY, TX
CAUSE NO. D-1-GN-18-001842

LEONARD POZNER AND
VERONIQAUE DE LA ROSA
Plaintiffs

MOTION FOR LEAVE TO APPEAR AS FRIEND OF THE COURT

ALEX E. JONES, INFOARS, LLC,
AND FREE SPEECH SYSTEMS, LLC
Defendants

The undersigned introduces himself by offering a the front pages of his academic curriculum vitae, which are attached, subject to elaboration at the request of the Court. (His complete CV is available on-line at http://www.d.umn.edu/~jfetzer/.) The undersigned is a magna cum laude graduate of Princeton University, a former Marine Corps officer and Distinguished McKnight University Professor Emeritus on the Duluth Campus of the University of Minnesota. He earned his Ph.D. in the history and philosophy of science at Indiana University in 1970 and, during his 35-year career as a professor of philosophy, offered courses in logic, critical thinking and scientific reasoning. He published 24 scholarly books prior to his retirement in 2006 and has added another 12 since, which have mainly focused on evaluating politically significant events where the government might have motives to mislead the public to promote its political agenda. He became a student of Sandy Hook following the events of 14 December 2012 and has published a collection of research studies in collaboration with a dozen other experts and scholars, including six other Ph.D. (current or retired) college professors.

The undersigned, appearing Pro Se, requests the leave of the Court to submit an Amicus Curiae brief about an aspect of these proceedings of which the Court may be unaware, which indicates the possibility that a fraud may be being perpetrated upon the Court.

Dated:

James Henry Fetzer, Ph.D.
McKnight Professor Emeritus
University of Minnesota Duluth
CONTACT INFORMATION REDACTED


345TH DISTRICT COURT
TRAVIS COUNTY, TX
CAUSE NO. D-1-GN-18-001842

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LEONARD POZNER AND
VERONIQAUE DE LA ROSA
Plaintiffs

ARGUMENT OF AMICUS CURIAE

ALEX E. JONES, INFOARS, LLC,
AND FREE SPEECH SYSTEMS, LLC
Defendants

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May it please the Court,

As stated in the undersigned’s MOTION FOR LEAVE TO APPEAR AS FRIEND OF THE COURT, the undersigned became a student of the Sandy Hook School Shooting following the events of 14 December 2012 and published a collection of research studies in collaboration with a dozen other experts and scholars, including six other Ph.D. (current or retired) college professors. We established that the school, which was loaded with asbestos and other bio-hazards, had been closed by 2008 and that there were no students there. What has been presented to the public as a shooting massacre was in fact a FEMA drill, where we even have the manual, which he included in the book, Nobody Died at Sandy Hook (2015), as Appendix A. It went on sale at amazon.com 22 October 2015 but was abruptly banned 19 November 2015 after having sold nearly 500 copies in less than a month. Since the book was produced by Create Space, which is a subsidiary of amazon.com, the undersigned suspected the ban was politically motivated and released the book to the public for free as a pdf. (It can be downloaded by entering the book’s title in a browser, where estimates suggest it has been downloaded as many as 10,000,000 times.) Since the book was published, he and his colleagues have continued their research on Sandy Hook and have discovered that the reason the medical examiner, Wayne Carver, M.D., did not allow the parents to see the bodies of the children but identified them on the basis of photographs was because the children were fictions made up out of photos of older children when they were younger. (Some of the parents may have even used photographs of themselves as children.) Among those of special importance to the Court is that of Noah Pozner, who is supposed to be the son of Lenny Pozner, a Plaintiff in the case before the Court involving the Defendant Alex Jones. As the exhibits attached demonstrate, “Noah Pozner” is a fiction who was made up out of photographs of Michael Vabner, purportedly his older step-brother. Exhibit (1) provides photos of “Noah” and of Michael Vabner. Exhibit (2) shows that “Noah” was made up out of photographs of Michael Vabner. Exhibit (3) shows a photo of Michael Vabner from his own web site (https://michaelvabner.github.io/).  Exhibit (4) is a photo of “Noah Pozner” all grown up.  Exhibit (5) is a copy of the death certificate that Lenny Pozner sent Kelley Watt when she demanded proof  Lenny actually had a son who had died at Sandy Hook, which turns out to be a fabricated with the bottom half of a real death certificate and the top half of a fake, with no file number and estimated time of death at 11 AM, when the shooting officially took place between 9:35-9:40 AM. These exhibits are also available on-line and the undersigned would be glad to provide them in color versions via email or other venues. Additional research by Mona Alexis Pressley explains there are many photographs of Lenny Pozner with “Noah Pozner” when “Noah Pozner” turns out to be Michael Vabner: Just as “Noah Pozner” is a fake name for Michael Vabner, “Lenny Pozner” is a fake name for Michael Vabner’s father, whose real name turns out to be Reuben Vabner, which explains why “Lenny” has been unwilling to have his face shown on television shows, such as, for example, an episode of “Dark Net” where he and the undersigned were featured in an episode about Sandy Hook. The facial features of the undersigned were as well-defined as the undersigned has ever seen in any video production, where “Lenny” refused to allow his face to be shown on the specious grounds that he was concerned it might appear on the internet and be subjected to ridicule. The reason, however, “Lenny” did not want his face to be shown appears to have been because he would run the risk of being exposed as Reuben Vabner, which he has taken great pains to conceal. The undersigned thus has felt obliged to write to inform the Court that “Lenny” and other Plaintiffs are perpetrating a fraud in this case. The undersigned would be willing to travel to Austin at his own expense to testify in this case and to answer any questions that may be relevant to the Court, which of course has permission (should permission be required, which may not be the case) to share this with the parties to this suit.

The undersigned swears, subject to the pains and penalties of perjury, that he has conducted himself and will conduct himself before this Court in an upright and proper manner, that he will support and has always supported the Constitution of the United States, and that all representations hereinabove are true to the best of his knowledge, information and belief. This oath is made both freely and voluntarily, subject to the laws of the United States.

Dated:

James Henry Fetzer, Ph.D.
McKnight Professor Emeritus
University of Minnesota Duluth
CONTACT INFORMATION REDACTED

 

345TH DISTRICT COURT

TRAVIS COUNTY, TX

CAUSE NO. D-1-GN-18-001842

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       Exhibit (1):  Is “Noah Pozner” Michael Vabner?

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345TH DISTRICT COURT

TRAVIS COUNTY, TX

CAUSE NO. D-1-GN-18-001842

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            Exhibit (2):  “Noah Pozner” is Michael Vabner

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345TH DISTRICT COURT

TRAVIS COUNTY, TX

CAUSE NO. D-1-GN-18-001842

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              Exhibit (3):  Michael Vabner identifies himself

     

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345TH DISTRICT COURT

TRAVIS COUNTY, TX

CAUSE NO. D-1-GN-18-001842


Exhibit (4):  “Noah Pozner” all grown up

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TRAVIS COUNTY, TX

CAUSE NO. D-1-GN-18-001842

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Exhibit (5):  Death Certificate “Lenny” sent to Kelley

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