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Paul Andrew Mitchell <supremelawfirm@gmail.com>


NOTICE OF INTENT TO SERVE CITIZEN'S WARRANT FOR ARREST OF DR. ANTONY S. FAUCI, DIRECTOR, U.S. NIAID


Paul Andrew Mitchell, B.A., M.S. <supremelawfirm@gmail.com>

Thu, Jan 6, 2022 at 2:37 PM

To:  OTPNewsDesk@icc-cpi.int, otp.informationdesk@icc-cpi.int

Cc:  robert.contee@dc.gov, delun@mfa.no, astrid.sehl@mfa.no

Bcc:  [redacted]

 

NOTICE OF INTENT BY THE PEOPLE OF THE UNITED STATES OF AMERICA TO

SERVE CITIZEN'S WARRANT FOR ARREST OF DR. ANTONY S. FAUCI, DIRECTOR, NIAID

 

TO:

The Office of the Prosecutor
International Criminal Court ("ICC")
Attention:  Mr. Mark P. Dillon
Head of Information & Evidence Unit
The Hague, The Netherlands

ICC reference:  OTP-CR-473/21 (see attached)

 

Courtesy Copy: 

Hon. Robert J. Contee III, Chief

Metropolitan Police Department

District of Columbia, USA

 

 

Greetings Messrs. Dillon and Hon. Chief of Police, District of Columbia:

 

The verifiable evidence which we have assembled during the preceding 24+ months

appears, in our studied professional opinion, to constitute probable cause that one

Anthony S. Fauci dba Director, National Institute of Allergy and Infectious Diseases,

has violated, and has conspired to violate, the Biological Weapons Convention

as implemented at 18 U.S.C. 175-178, 2332b(g)(5)(B), and the Genocide Convention

as implemented at 18 U.S.C. 1091.  In this context, see in particular the list of

RICO "predicate acts" as itemized at 18 U.S.C. 1961(1)(B) and (1)(G), to wit:

 

(1)(B)  sections 175–178 (relating to biological weapons)

(1)(G)  any act that is indictable under any provision listed in section 2332b(g)(5)(B)

 

 

NOTICE OF SPECIFIC INTENT

 

Accordingly, the People of the United States of America ex rel. Paul Andrew Mitchell, B.A., M.S.,

Private Attorney General (retired) and Agent of the United States as Qui Tam Relator (4 times),

hereby provide all whom it may concern with ACTUAL NOTICE of our specific intent to

issue and serve a valid CITIZEN'S ARREST WARRANT, whereby the appropriate

law enforcement officials, including but not limited to the Metropolitan Police Department

for the District of Columbia, will possess probable cause to execute his lawful arrest

on the charges as summarized above, and as formally alleged in the CRIMINAL COMPLAINT

now lodged at the International Criminal Court by UK lawyer Hannah Rose on behalf of

the Peoples of the United Kingdom proprio motu.  See .pdf and .png copies attached.

 

 

INCORPORATION OF ELECTRONIC CORRESPONDENCE

 

All files presently archived in this matter in the Supreme Law Library on the Internet

at the following Internet folder are hereby incorporated by reference,

as if set forth fully here:

 

 

 

You are so notified.

 

 

Thank you for your professional consideration at all times during

this major international medical crisis.

 

 

Cc:  Hannah Rose, UK lawyer on behalf of the Peoples of the UK proprio motu;  and,

Norway Mission to the United Nations Security Council ("SC")

(assuming Presidency of SC during the month of January 2022)

 

Bcc:  interested colleagues and legal professionals

 

 

--

Sincerely yours,
/s/ Paul Andrew Mitchell, B.A., M.S.
Private Attorney General, Civil RICO: 18 U.S.C. 1964;

Agent of the United States as Qui Tam Relator (4X),

Federal Civil False Claims Act: 31 U.S.C. 3729 et seq.


All Rights Reserved

( cf. UCC 1-308 https://www.law.cornell.edu/ucc/1/1-308 )


2 attachments

icc.letter.png
168K

icc-complaint-7.pdf
2144K