Wisconsin

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 […]

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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

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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 »

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

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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

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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 »

WisVote/BadgerBooks Data Sharing with CTCL Partners (WI)

Established Fact The Zuckerberg-5 cities shared WisVote voter-file data—available to the public only as periodic snapshots at $12,500 per copy—with CTCL-aligned private partners at no cost, in violation of Wisconsin Elections Commission security policies. In at least one city, officials apparently provided those partners with API access to WisVote and BadgerBooks, enabling real-time, free data

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Private CTCL Operative Exercised Physical Control Over Election Night Ballot and Machine Environment, Including Drop Box Processing (WI)

Established Fact Michael Spitzer-Rubenstein, a Brooklyn-based CTCL “grant mentor,” gained physical control over Green Bay’s election night facility – including control of the secret Wi-Fi access point to which all ESS voting machines were connected. He wrote to the City Attorney at 9:29 PM on November 3, 2020, making a dispositive legal determination that late-arriving

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CTCL Grant Conditions Constituted Contractual Subordination of Public Officials to Private Directives; Facially Implicates Election Bribery Statute (WI)

Established Fact CTCL’s grant conditions were enforceable contractual obligations with claw-back provisions. Cities were required to: (a) use funds exclusively per the WSVP; (b) maintain existing municipal budgets; (c) obtain CTCL’s approval before deviating from the WSVP’s planned expenditures; and (d) submit full compliance reports to CTCL by January 31, 2021. Kenosha, for example, was

CTCL Grant Conditions Constituted Contractual Subordination of Public Officials to Private Directives; Facially Implicates Election Bribery Statute (WI) Read More »

Per-Voter Grant Disparity Demonstrates Structural Bias Favoring Democratic Strongholds (WI)

Established Fact A June 2021 analysis by the Wisconsin Institute for Law & Liberty (WILL) — based on open-records data from 196 municipalities — calculated CTCL funding per 2016 voter for each of Wisconsin’s ten largest cities. Among the five CTCL-targeted cities, Milwaukee received $13.82 per voter, Green Bay $36.00 per voter, and Racine $53.41

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