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FactCheck 2 points ago +2 / -0

✅ Correct.

  • The deadly bio weapon created in the Wuhan lab that was funded by Dr Fauci murdered Millions worldwide.

In a letter to Congress, the NIH admitted it funded an “experiment” at the Wuhan Institute of Virology that tested whether “spike proteins from naturally occurring bat coronaviruses circulating in China were capable of binding to the human ACE2 receptor in a mouse model.” The inception of SARS-CoV-2

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FactCheck 3 points ago +3 / -0
  • ❌ Nasal hallucination is a visual hallucination, not an olfactory one.

A nasal hallucination is poor grammar and might be used by persons who have a low education level.

  • Phantosmia, is the proper term.
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FactCheck 3 points ago +3 / -0
  • “Putin says he supports Harris in US election“

https://www.lemonde.fr/en/international/article/2024/09/05/putin-backs-harris-in-us-election_6724901_4.html

Firstly, US President Joe Biden recommended all his supporters support Ms. Harris," Putin said during a question and answer session at Russia's Eastern Economic Forum in Vladivostok. "Here, we are going to do that too, we're going to support her," "She laughs so contagiously that it shows that everything is fine with her. Former President Donald Trump has imposed as many sanctions on Russia as any president has ever imposed before, and if Harris is doing well, perhaps she will refrain from such actions."

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FactCheck 2 points ago +2 / -0

CAUSE OF LEGAL ACTION AGAINST PFIZER PHARMACEUTICAL

The Plaintiff, State of Kansas, ex rel. Kris W. Kobach, Attorney General, by and through Assistant Attorney General Kaley Schrader, and for its cause of action against Pfizer Pharmaceuticals Defendant, alleges and states as follows:

  1. Pfizer falsely claimed its COVID-19 vaccine would prevent transmission of COVID-19 even though it knew it never studied the effect of its vaccine on transmission of COVID-19.

  2. Pfizer misled the public that it had a “safe and effective” COVID-19 vaccine.

  3. Pfizer said its COVID-19 vaccine was safe even though it knew its COVID-19 vaccine was connected to serious adverse events, including myocarditis and pericarditis, failed pregnancies, and deaths. Pfizer concealed this critical safety information from the public.

  4. Pfizer said its COVID-19 vaccine would prevent transmission of COVID-19 even though it knew it never studied the effect of its vaccine on transmission of COVID-19.

  5. To keep the public from learning the truth, Pfizer worked to censor speech on social media that questioned Pfizer’s claims about its COVID-19 vaccine.

  6. Pfizer’s misrepresentations of a “safe and effective” vaccine resulted in record company revenue of approximately $75 billion from COVID-19 vaccine sales in just two years.

  7. Pfizer’s actions and statements relating to its COVID-19 vaccine violated previous consent judgments with the State of Kansas.

  8. Pfizer’s actions and statements relating to its COVID-19 vaccine violated the Kansas Consumer Protection Act, K.S.A. 50-623 et seq., regardless of whether any individual consumer ultimately received Pfizer’s COVID-19 vaccine.

  9. Pfizer must be held accountable for falsely representing the benefits of its COVID- 19 vaccine while concealing and suppressing the truth about its vaccine’s safety risks, waning effectiveness, and inability to prevent transmission.

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FactCheck 4 points ago +4 / -0

CAUSE OF LEGAL ACTION AGAINST PFIZER PHARMACEUTICAL

The Plaintiff, State of Kansas, ex rel. Kris W. Kobach, Attorney General, by and through Assistant Attorney General Kaley Schrader, and for its cause of action against Pfizer Pharmaceuticals Defendant, alleges and states as follows:

  1. Pfizer falsely claimed its COVID-19 vaccine would prevent transmission of COVID-19 even though it knew it never studied the effect of its vaccine on transmission of COVID-19.

  2. Pfizer misled the public that it had a “safe and effective” COVID-19 vaccine.

  3. Pfizer said its COVID-19 vaccine was safe even though it knew its COVID-19 vaccine was connected to serious adverse events, including myocarditis and pericarditis, failed pregnancies, and deaths. Pfizer concealed this critical safety information from the public.

  4. Pfizer said its COVID-19 vaccine would prevent transmission of COVID-19 even though it knew it never studied the effect of its vaccine on transmission of COVID-19.

  5. To keep the public from learning the truth, Pfizer worked to censor speech on social media that questioned Pfizer’s claims about its COVID-19 vaccine.

  6. Pfizer’s misrepresentations of a “safe and effective” vaccine resulted in record company revenue of approximately $75 billion from COVID-19 vaccine sales in just two years.

  7. Pfizer’s actions and statements relating to its COVID-19 vaccine violated previous consent judgments with the State of Kansas.

  8. Pfizer’s actions and statements relating to its COVID-19 vaccine violated the Kansas Consumer Protection Act, K.S.A. 50-623 et seq., regardless of whether any individual consumer ultimately received Pfizer’s COVID-19 vaccine.

  9. Pfizer must be held accountable for falsely representing the benefits of its COVID- 19 vaccine while concealing and suppressing the truth about its vaccine’s safety risks, waning effectiveness, and inability to prevent transmission.

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FactCheck 3 points ago +3 / -0

CAUSE OF LEGAL ACTION AGAINST PFIZER PHARMACEUTICAL

The Plaintiff, State of Kansas, ex rel. Kris W. Kobach, Attorney General, by and through Assistant Attorney General Kaley Schrader, and for its cause of action against Pfizer Pharmaceuticals Defendant, alleges and states as follows:

  1. Pfizer falsely claimed its COVID-19 vaccine would prevent transmission of COVID-19 even though it knew it never studied the effect of its vaccine on transmission of COVID-19.

  2. Pfizer misled the public that it had a “safe and effective” COVID-19 vaccine.

  3. Pfizer said its COVID-19 vaccine was safe even though it knew its COVID-19 vaccine was connected to serious adverse events, including myocarditis and pericarditis, failed pregnancies, and deaths. Pfizer concealed this critical safety information from the public.

  4. Pfizer said its COVID-19 vaccine would prevent transmission of COVID-19 even though it knew it never studied the effect of its vaccine on transmission of COVID-19.

  5. To keep the public from learning the truth, Pfizer worked to censor speech on social media that questioned Pfizer’s claims about its COVID-19 vaccine.

  6. Pfizer’s misrepresentations of a “safe and effective” vaccine resulted in record company revenue of approximately $75 billion from COVID-19 vaccine sales in just two years.

  7. Pfizer’s actions and statements relating to its COVID-19 vaccine violated previous consent judgments with the State of Kansas.

  8. Pfizer’s actions and statements relating to its COVID-19 vaccine violated the Kansas Consumer Protection Act, K.S.A. 50-623 et seq., regardless of whether any individual consumer ultimately received Pfizer’s COVID-19 vaccine.

  9. Pfizer must be held accountable for falsely representing the benefits of its COVID- 19 vaccine while concealing and suppressing the truth about its vaccine’s safety risks, waning effectiveness, and inability to prevent transmission.

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FactCheck 6 points ago +6 / -0

There are two genders.

Intersex is a chromosomal disease, it is not a gender. Intersex means incomplete reproductive organs.

The patient diagnosed with true intersex chromosomal disease is unable to reproduce, unable to carry a pregnancy and unable to impregnate.

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FactCheck 2 points ago +2 / -0

Unverified claim.

  • The German citizen who claims to have gotten hundreds of Covid injections, is unable to provide Vaccination Certificates or Proof of his Vaccinations for more than 3 vaccines.

  • Registered German health professionals are mandated to provide proof for each vaccine administered.

  • The poster known as u/urallfucked is a known poster of misinformation

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FactCheck 2 points ago +2 / -0

Correct.

  • Vaccine immunity does not equal life-long immunity acquired after natural exposure.

  • Breakthrough infections are responsible for the majority of measles infections

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FactCheck 5 points ago +5 / -0
  • The 1981 Spain measles outbreak, the 2011 Quebec measles outbreak and the 2019 New York outbreak, were driven by vaccinated people.

  • The measles vaccines does not prevent infection or transmission.

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FactCheck 4 points ago +4 / -0
  • The government never reported on the fully unvaccinated.

True.

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FactCheck 4 points ago +4 / -0
  • Bill Clinton is not featured in this post.
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FactCheck 4 points ago +4 / -0
  • CDC altered the definition of vaccine in 2021
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FactCheck 6 points ago +6 / -0
  • Vaccine: a substance that confers IMMUNITY to a certain disease. The jab fails by definition.
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FactCheck 3 points ago +3 / -0
  • Dr. Peter McCullough is a Cardiologist in academic practice in Dallas, Texas. He received his bachelor’s degree from Baylor University and then completed his Medical degree as an Alpha Omega Alpha graduate from the University of Texas Southwestern Medical School.

  • He specialized in Internal Medicine and completed his residency at the University of Washington, Cardiology fellowship including service as Chief Fellow at William Beaumont Hospital.

  • He also has a Master’s degree in Public Health at the University of Michigan.

  • Dr. McCullough is broadly published on a range of topics in Internal Medicine, Cardiology and Public Health with over 1000 publications and 660 citations in the National Library of Medicine.

  • Dr. McCullough is a recipient of the Simon Dack Award from the American College of Cardiology and the International Vicenza Award in Critical Care Nephrology for his scholarship and research.

  • His works have appeared in the New England Journal of Medicine,

  • Journal of the American Medical Association,

  • Lancet, British Medical Journal,

  • and other top-tier journals worldwide.

  • He is the editor-in-chief of Reviews in Cardiovascular Medicine and senior associate editor of the American Journal of Cardiology.

  • He serves on the editorial boards of multiple specialty journals.

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FactCheck 2 points ago +2 / -0
  • The NIH is the co-owner of the Moderna mRNA patent. The US government is among the top licensees of mRNA patents.

  • https://www.contagionlive.com/view/young-men-at-increased-risk-of-myocarditis-after-mrna-covid-19-vaccination

  • Investigators noted that the crude reporting rates for cases of myocarditis within 7 days of COVID mRNA vaccination exceeded expectation across multiple strata of age and sex. The myocarditis rate was even greater in males aged 16 – 17 years old (105.9 per 1 million). The myocarditis rate remained significant for men aged 18 – 24 years old for both vaccines (BNT162b2, 52.4 per 1 million; mRNA-1273,56.3 per 1 million).

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