United States

Manipulation of Election Results – Elections Group Operative Email on Election Night References “Delivering the Margin” (WI)

Reasonable Inference [Reasonable Inference – As to operational significance] At 4:07 AM on November 4, 2020 – during ongoing vote counting – Elections Group employee Ryan Chew emailed Milwaukee election official Claire Woodall-Vogg, writing that “she delivered just the margin needed at 3:00 a.m.” This private contractor, embedded via CTCL funding, was in active communication

Manipulation of Election Results – Elections Group Operative Email on Election Night References “Delivering the Margin” (WI) Read More »

Elections Group Operative Email on Election Night References “Delivering the Margin” (WI)

Established Fact [Established Fact – As to the email’s existence and content] At 4:07 AM on November 4, 2020 – during ongoing vote counting – Elections Group employee Ryan Chew emailed Milwaukee election official Claire Woodall-Vogg, writing that “she delivered just the margin needed at 3:00 a.m.” This private contractor, embedded via CTCL funding, was

Elections Group Operative Email on Election Night References “Delivering the Margin” (WI) Read More »

Subordination of Municipal Clerks to Private CTCL Operatives – De Facto Takeover of Election Night Operations (WI)

Established Fact CTCL embedded operatives from the National Vote at Home Institute (NVAHI), specifically Michael Spitzer-Rubenstein (a Brooklyn-based attorney), into Zuckerberg 5 municipal election offices. Spitzer-Rubenstein: managed absentee ballot transportation; took physical possession of keys to the Green Bay central count facility; formally requested direct API access to the WisVote statewide voter database; directed ballot

Subordination of Municipal Clerks to Private CTCL Operatives – De Facto Takeover of Election Night Operations (WI) Read More »

ACLU Operatives Deputized as Election Registrars with Access to Voter Registration Platform (GA)

Established Fact The ACLU of Georgia recruited lawyers to serve as Fulton County Deputy Registrars on Election Day, November 3, 2020, deploying volunteers to each Fulton polling location with authority to cancel absentee ballots directly through county election software — a role that required access to ENET (ElectionNet), the voter registration platform linked to the

ACLU Operatives Deputized as Election Registrars with Access to Voter Registration Platform (GA) Read More »

WisVote Real-Time API Access Provided to Private NGOs (WI)

Established Fact WEC Administrator Meagan Wolfe falsely denied before the Assembly Committee that any API into the WisVote or BadgerBooks systems existed. Documentary evidence established that at least one Zuckerberg 5 city provided CTCL partners with real-time Application Programming Interface (API) access into WisVote and BadgerBooks – giving live voter data to private interest groups

WisVote Real-Time API Access Provided to Private NGOs (WI) Read More »

Brater Memorandum – Clerks Prohibited from Independent Verification; Uncertified Vendors Given Exclusive Access (MI)

Established Fact Michigan Director of Elections Jonathan Brater issued a memorandum on August 4, 2021, directing all Michigan clerks that they “should never allow access to election equipment to entities other than election officials and staff, licensed vendors, and accredited VSTLs.” The memo warned that granting access to unauthorized personnel “may result in the decertification

Brater Memorandum – Clerks Prohibited from Independent Verification; Uncertified Vendors Given Exclusive Access (MI) Read More »

MI SoS Using State Resources for Partisan Projects (MI)

Reasonable Inference MI Department of State Director of “Special Projects” Sally Marsh used state resources to conduct partisan GOTV projects targeting youth and ex-convicts as well as poll worker recruitment efforts. As the former Deputy Campaign Manager for the MI Secretary of State, her efforts as a state employee were likely biased in favor of

MI SoS Using State Resources for Partisan Projects (MI) Read More »

Democrat Bias in CTCL “Zuckerberg 5” Grants and Election‑Bribery Exposure (WI)

Reasonable Inference CTCL provided approximately 8.8 million dollars to Milwaukee, Madison, Green Bay, Racine, and Kenosha—about 86% of all CTCL funds in Wisconsin—with contracts (Wisconsin Safe Voting Plan) containing claw‑back provisions and detailed operational requirements for drop boxes, “voter navigators,” and outreach programs in “communities of color.” The OSC Gableman report concluded this scheme “facially

Democrat Bias in CTCL “Zuckerberg 5” Grants and Election‑Bribery Exposure (WI) Read More »

CTCL Concentration in Philadelphia and Delaware County (PA)

Established Fact Pennsylvania received approximately $25 million in CTCL grants, including exactly $10 million to Philadelphia and $2.2 million to Democratic-stronghold Delaware County — which ranked second in the state for per-capita CTCL funding at $3.77 per registered voter. The ten Biden-won counties receiving CTCL funds averaged approximately $5 per registered voter, versus roughly $1

CTCL Concentration in Philadelphia and Delaware County (PA) Read More »

Biden Voter Bias in MCELA–CEIR Grant for “Voter Education” as In‑Kind GOTV (MI)

Reasonable Inference Jocelyn Benson’s Michigan Center for Election Law and Administration (MCELA) received a multi‑million‑dollar grant from CEIR to fund “voter education” and digital outreach. The national and Michigan reports document that state resources and CEIR funds were used to produce and distribute messaging tailored to demographics associated with “Biden profile” voters, notwithstanding sufficient available

Biden Voter Bias in MCELA–CEIR Grant for “Voter Education” as In‑Kind GOTV (MI) Read More »