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UNITED

STATES DISTRICT COURT


DISTRICT OF CONNECTICUT
COMPLAINT FORM

William Brandon Shanley
Full name(s) of Plaintiff(s)
(Do not use et al.)
Case No. _____________________
v.




(To be supplied by the Court)

Kevin P. OPrey
Chairman and President
Obsidian Analysis

John Miller
Deputy Commissioner of Intelligence & Counter-terrorism, New York
City Police Department

Brian L. Roberts
Chairman and Chief Executive Officer
Comcast Corporation

Deborah Turness
President NBC News

Phil Griffin
President
MSNBC

Rupert Murdoch
Chairman and CEO
21st Century Fox

Rupert Murdoch
21st Century Fox
Chairman and CEO

Rupert Murdoch
Executive Chairman

News Corporation

Roger Ailes
President
Fox News Channel

Robert Iger
Chairman and CEO
The Walt Disney Company

Ann Sweeney
Disney-ABC Television Group

James Goldston
President ABC News

John Skipper
President
ESPN


Les Moonves
President and CEO
CBS Corp

Peter Dunn
President
CBS Television Stations

David Rhodes
President
CBS News

Jeff Fager
Executive Producer
60 Minutes



Sumner M. Redstone
Executive Chairman of the Board and Founder
Viacom

Doug Herzog
President
MTV Networks Group

Robert D. Marcus
Chairman & Chief Executive Officer
Time-Warner

Jeff Zucker
President
CNN

Anderson Cooper
TV Host
CNN

Jeffrey R. Immelt
General Electric Company

James C. Smith
President and Chief Executive Officer
Thomson Reuters

Nicholas Chiaia
President
United Press International, Inc.

Tony Hall, Baron Hall of Birkenhead
16th director general
British Broadcasting Corporation, Inc.

Michael Bloomberg
President and CEO
Bloomberg, LP


Paula A. Kerger
President & CEO
Public Broadcasting Service

Daniel L. Doctoroff
President & CEO
Bloomberg News

Banks Tarver
Executive Producer
Left/Right Docs

Frank Koughan
Producer
Left/Right Docs

Joe Beshenkovsky
Co-Producer and Editor
Left/Right Docs

John Marks
Writer
Left/Right Docs

Richard Graziano
Publisher
The Hartford Courant

Andrew Julien
Editor
The Hartford Courant



Full names of Defendant(s
(Do not use et al.)

A. PARTIES

1. Plaintiff William Brandon Shanley is a citizen of Connecticut who


presently resides at 43 Bank Street #8, New London 06320.

2. Defendant Kevin P. OPrey is a citizen of the United States
whose address is 1776 Eye St NW 4th Floor | Washington DC 2006

3. Defendant John Miller is a citizen of the United States
whose address is New York City Police Department
1 Police Plaza, New York, NY 10038


"A. PARTIES." Be sure to include each defendant's identity and complete
address.)

See attached: A: PARTIES.

B. JURISDICTION

The jurisdiction of this court is invoked pursuant to: (list statute(s))
18 U.S. Code 1038, 18 U.S. Code 1028, 18 U.S. Code 2339C, 18 U.S.
Code 2333

C. NATURE OF THE CASE
BRIEFLY state the background of your case.

Defendants entered in a multi-year conspiracy, separately and together,
to commit fraud and terrorism, i.e. to brainwash the public into thinking
a lone gunman drill known as the Sandy Hook Massacre was real, when
in fact, it was a staged FEMA National Level Exercise Event that
redirected government resources to terrorize the public. These crimes
were undertaken with the intent of subverting the US Constitution and
to affect national, state and local laws. This involved lying to the public,
faking news, publishing one-sided news reports, censoring reality,
suppressing facts, and deliberately skewing the news to shift public
perceptions. The true costs of this breach of integrity and trust to
society are unfathomable. Instead of fulfilling their Constitutional Role
as the Peoples Surrogates and honest brokers of information, the
Plaintiff will show how the men and women who dominate the TV news
industry in the United States, besmirched the First Amendment, their

Constitutional role as government watchdogs, and forfeited the right to


report the news and profit from news production and distribution. The
sine qua non of journalism is the search for truth. Punitive damages of
one years annual revenue from each Defendant are being sought to
establish a News Trust, that will free journalism and restore trust in our
communications sources. A democracy cannot survive this tyranny over
human consciousness.

This is a ripe, justiciable controversy.

D. CAUSE OF ACTION
I allege that the following of my constitutional rights, privileges, or
immunities or my rights under a federal statute have been violated and
that the following facts form the basis of my allegations: (If more space
is needed to explain any allegation or to list additional supporting facts,
continue on a blank sheet which you should label "D.CAUSE OF
ACTION.")

Claim I: That the criminal conspiracy that published fake news were
among the perpetrators of an act of terrorism against me, the People of
the United States and the World called The Sandy Hook Massacre.
Punitive damages $500 billion dollars.

____________________________________________________________________
Supporting Facts: (Include all facts you consider important, including
names of persons involved, places, and dates. Describe exactly how each
defendant is involved. State the facts clearly in your own words without
citing legal authority or argument.)

Exhibit A: Connecticut Department of Emergency Services and Public
Protection website announcement for CT-FEMA volunteers to assemble
in Bridgeport on 12-14-2012 for a mass casualty exercise involving
children.

Exhibit B: FEMA Site Activation Call-down Drill Exercise Plan. The drill
plan.

Exhibit C: Obsidian Analytics, Inc., producer of the drill.

Exhibit D - Sandy Hook Mass Evacuation video. Dash Cam from 3


cameras on 3 CT State Police cars at Sandy Hook School on 12-14-2012,
evidence of no emergency and the lunacy of this criminal conspiracy to
terrorize humankind.

Claim II:

That said Defendants have been actively involved in a cover-up of said
crimes against me, the People of the United States and the World the
criminal conspiracy that continues to this date. Punitive damages $500
billion dollars.

Supporting Facts:

The Defendants continue to perpetrate their hoax even after the Plaintiff
has notified the President of the United States and copied many of the
Defendants.

Current exhibits will be forthcoming and can be witnessed by the Court
on any given day.

E. OTHER LAWSUITS
1. Have you begun other lawsuits in state or federal court dealing with
the same facts
involved in this action?
_ XXYes No. If your answer is "Yes," describe each lawsuit. (If there is
more than one lawsuit, describe the additional lawsuits using this same
format on a blank sheet which you should label "E. PREVIOUS
LAWSUITS.")
a. Parties to previous lawsuit:
Plaintiff(s): William Shanley
Defendant(s: Smith, et al.
b. Name and location of court and docket number: 14CV1881
c. Disposition of lawsuit. (For example, was the case dismissed? Was it
appealed?
Is it still pending?) YES.
d. Issues raised: Fraud and Terrorism
e. Approximate date of filing lawsuit: December 17, 2014
f. Approximate date of disposition: N/A

2. If you have filed other lawsuits in this court in the last ten (10) ye

ars that are not related to the acts complained of in Part D, please list
them. (If you need additional space, use a blank sheet which you should
label "E. PREVIOUS LAWSUITS.")
______________________________________________________________________
______________________________________________________________________
______________________________________________________________________
______________________________________________________________________
______________________________________________________________________
______________________________________________________________________

F. REQUEST FOR RELIEF
WHEREFORE, plaintiff demands: a trial
G. JURY DEMAND
Do you wish to have a jury trial? Yes No

_____________________________ ______________________________
Plaintiff's Original Signature
______________________________
Printed Name Printed Name
William Brandon Shanley

43 Bank Street #8
New London, CT 06320

DECLARATION UNDER PENALTY OF PERJURY
The undersigned declares under penalty of perjury that he/she is the
plaintiff in the above action, that he/she has read the above complaint
and that the information
contained in the complaint is true and correct. Executed at
_________________________ on ________________________.
(location) (date)
________________________________
Plaintiff's Original Signature




(Rev.9/22/09)

A. Parties:


William Brandon Shanley
43 Bank Street #8
New London, CT 06320

Kevin P. OPrey
Chairman and President
Obsidian Analysis
1776 Eye St NW 4th Floor
Washington DC 20006

John Miller
Deputy Commissioner of Intelligence & Counter-terrorism,
New York City Police Department
1 Police Plaza, New York, NY 10038

(John Miller is formerly of CBS NEWS)

Brian L. Roberts
Chairman and Chief Executive Officer
Comcast Corporation
Comcast Center
1701 JFK Boulevard
Philadelphia, PA 19103

(Comcast purchased NBC-Universal from GE in March 2013. NBC has eleven
owned-and-operated stations and nearly 200 affiliates in the United States)

Deborah Turness
President NBC News
30 Rockefeller Plaza
New York, NY 10112




Phil Griffin
President
MSNBC
30 Rockefeller Plaza
New York, NY 10112

Rupert Murdoch
Chairman and CEO
21st Century Fox
1211 Avenue of the Americas,
New York, New York 10036

Rupert Murdoch
Executive Chairman
News Corporation
1211 Avenue of the Americas
New York, NY 10036

Roger Ailes
President
Fox News Channel
1211 Avenue of the Americas
New York, NY 10036

Robert Iger
Chairman and CEO
The Walt Disney Company
500 South Buena Vista Street
Burbank, CA 91521

Ann Sweeney
Disney-ABC Television Group
77 West 66th Street,
New York, New York 10023

(Disney Media Includes 8 owned and operated stations and almost 200
affiliates)


James Goldston
President ABC News
77 West 66th Street,
New York, New York 10023

John Skipper
President
ESPN
ESPN Plaza
935 Middle Street
Bristol, C 06010

Les Moonves
President and CEO
CBS Corp
CBS Headquarters
51 W. 52nd Street
New York, NY 10019-6188

Peter Dunn
President
CBS Television Stations
CBS Corp
CBS Headquarters
51 W. 52nd Street
New York, NY 10019-6188

(CBS Station Group consists of 29 owned-and-operated stations, including 16
that are part of the CBS Television Network, eight affiliates of The CW
Network, three independent stations and two MyNetworkTV affiliates.)

David Rhodes
President
CBS News
CBS Headquarters
51 W. 52nd Street
New York, NY 10019-6188


Jeff Fager
Executive Producer
60 Minutes
CBS News
CBS Headquarters
51 W. 52nd Street
New York, NY 10019-6188

Sumner M. Redstone
Executive Chairman of the Board and Founder
Viacom
1515 Broadway
New York, NY 10036

Doug Herzog
President
MTV Networks Group
1515 Broadway
New York, NY 10036

Robert D. Marcus
Chairman & Chief Executive Officer
Time-Warner
The Shops at Columbus Circle, 1 Time Warner Ctr.
New York, NY 10019

Jeff Zucker
President
CNN
Time-Warner
The Shops at Columbus Circle, 1 Time Warner Ctr.
New York, NY 10019

Anderson Cooper
TV Host
CNN
Time-Warner
The Shops at Columbus Circle, 1 Time Warner Ctr.
New York, NY 10019


General Electric Company
Jeffrey R. Immelt
3135 Easton Turnpike
Fairfield, CT 06828

(GE owned NBC-Universal until March 2013)

James C. Smith
President and Chief Executive Officer
Thomson Reuters
3 Times Square New York, NY 10036


Nicholas Chiaia
President
United Press International, Inc.
1133 19th Street Northwest #9
Washington, DC 20036

Tony Hall, Baron Hall of Birkenhead
16th director general
British Broadcasting Corporation, Inc.
c/o BBC Worldwide America
1120 Avenue of the Americas
5th Floor
New York, NY 10036-6700

Michael Bloomberg
President and CEO
Bloomberg, LP
731 Lexington Ave
New York, NY 10022

Daniel L. Doctoroff
President & CEO
Bloomberg News
731 Lexington Ave
New York City, NY 10022


Paula A. Kerger,
President & CEO
Public Broadcasting Service
Crystal City Shops, 2100 Crystal Drive
Arlington, VA 22202

Linda Winslow
Executive Producer
The Newshour
WETA
3939 Campbell Avenue
Arlington, VA 22206

Jon Abbott
President & CEO
WGBH-TV
WGBH Educational Foundation
1 Guest Street Brighton, MA 02135

David Fanning
Executive Producer
FRONTLINE
WGBH-TV
WGBH Educational Foundation
1 Guest Street Brighton, MA 02135


Ken Druckerman
Executive Producer
Left/Right Docs
39 West 19th Street, 9th Floor
New York, NY 10011




Banks Tarver
Executive Producer
Left/Right Docs
39 West 19th Street, 9th Floor
New York, NY 10011

Frank Koughan
Producer
Left/Right Docs
39 West 19th Street, 9th Floor
New York, NY 10011

Joe Beshenkovsky
Co-Producer and Editor
Left/Right Docs
39 West 19th Street, 9th Floor
New York, NY 10011

John Marks
Writer
Left/Right Docs
39 West 19th Street, 9th Floor
New York, NY 10011

Richard Graziano
Publisher
The Hartford Courant
285 Broad Street
Hartford, CT 06115

Andrew Julien
Editor
The Hartford Courant
285 Broad Street
Hartford, CT 06115

-end-

Letter from Sandy Hook Justice to Sandy


Hook Advisory Commission August 21, 2014
FOR IMMEDIATE RELEASE
Contact: William Brandon Shanley, New London, 860-857-2042
From: William Brandon Shanley and Sandy Hook Justice
To: Sandy Hook Advisory Commission
August 21, 2014 via Commission website
I request that this letter goes to all members of the Sandy Hook Advisory
Commission.
I am a member of a team of scholars, journalists and researchers named Sandy
Hook Justice:
* Dr. James H. Fetzer, Professor Emeritus University of Minnesota Duluth and
editor and journalist for Veterans Today;
* Wolfgang Halbig, former Florida State Police officer, school administrator and
national school safety specialist;
* William Shanley, a non-fiction filmmaker and author, with news analysis
specialty since the 1980 presidential election; and,
* Yvonne Adamow, the Connecticut mother of an 8 year old, an expert on Sandy
Hook, who has been writing to officials for months.
There are literally hundreds of other investigators working behind the scenes to
expose this act of terrorism against the people of the United States.
We are writing to request the opportunity to present our credentials and
photographic and other documented findings regarding the events at Sandy
Hook.
We will present evidence that:
* Sandy Hook Elementary School was abandoned by 2008 and used as a prop in
2012;
* That the "iconic" photograph taken by Shannon Hicks of the Newtown Bee was
staged;
* That State's Attorney Stephen Sedensky did not show Adam Lanza committed
a crime;
* That the death certificate for Noah Pozner provided by Lenny Pozner is not

authentic;
The legal principle, "Fraud vitiates everything", supports the conclusion that no
one died at Sandy Hook. Extraordinary steps have been taken at the local and
state level to deny access to relevant proof of death--apart from the fabricated
death certificate for Noah Pozner. Evidence that could confirm a crime took place
is completely missing. This reveals human intent and manipulation of what has
been presented as being real.
This appears to have been a "made-for-media event" contemporaneous with a
Federal inter-agency and Connecticut Department of Public Protection and
Safety drill and television production rolled out to create an entirely false
community over a period of years projected into the real world using crisis actors,
climaxing on the stage of a school that seems to have been closed for asbestos
and bio-hazards and to avoid the expense of meeting ADA requirements.
* Despite live TV coverage from choppers throughout the day, there are no
images or proof of a mass evacuation of a school of more than 500 children,
teachers and staff;
* Drill protocols were followed, not those for mass disaster events;
* Two Connecticut State Police officers have confided to Mr. Halbig that the
11,000-document dump is "the script" for the drill;
* Internet records show that fundraising sites and photographs of the purported
victims were operational three days before the event and, in some cases, for
even longer.
The mass media are complicit and the event could not have been portrayed as
real without full media complicity and engagement. Staged photos were issued
by State Police and The Newtown Bee as real. The iconic photo carried on front
pages around the world of a "conga line" of children was staged several times to
get "the best shot".
Adam Lanza, as he has been presented, appears to be a phantom, almost wholly
fictional, may actually by Ryan Lanza, or to have died at some point prior to
2009.
The documentary evidence we will present will show that the political power
structure and media elites in America, up to and including Attorney General Eric
Holder, were involved.
We are troubled that key officials and witnesses have fled or disappeared from
the scene through retirement or death. The deaths of former New Haven
Register reporter Michael Bellmore, 27, and Major William Podgorski, 49,
Western District Commander of the CTSP, one of the lead Sandy Hook

investigators, are only two of a dozen illustrations.


The constellation of correlations of anomalies render the consensus narrative to
be impossible.
It's time to open this up to a good old Connecticut-style town meeting and save
our souls!
Please contact me at once regarding coordinating an appearance before the
Commission at the earliest possible date.
Rejoice!
No children died at Sandy Hook!
William Shanley
New London

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