Ontario’s “Re-Education” Training For Health Care Workers Refusing “Vaccines”

Pretty Orwellian, isn’t is? The above video is from a health care worker in Ontario, one who has been forced to undergo “reeducation” as a result of refusing the experimental, unapproved “vaccine”. While it’s impossible to 100% verify that this is authentic, it’s consistent with the programming that Ford has already sent out.

Thank you to whoever produced this.

TORONTO — Workers at long-term care homes who chose not to receive a COVID-19 vaccine will soon have to participate in an educational program on the benefits of vaccination, unless they can provide proof of a medical reason for refusing the shot.

The Doug Ford government has announced that all 626 long-term care homes in Ontario will have to have immunization polices in place for staff that will, at a minimum, require workers who do not get both doses of the COVID-19 vaccine to “participate in an educational program about the benefits of vaccination and the risks of not being vaccinated.

The policy takes effect July 1 and the only exception will be for staff who can provide a “documented medical reason for not being vaccinated,” the province say.

Welcome to the Ministry Of Truth.

It’s important to note: these are not “approved vaccines”. They are given interim authorization as a result of an emergency order. They aren’t really vaccines either.

This tutorial, and other government propaganda, don’t bother to mention that there are no long term studies about the effects. Nor do they discuss the testing deficiencies, such as no testing for pregnant women, nursing mothers, children, carcinogenicity, or toxicity. No evidence of fertility issues…. yes, because testing for it was never done.

Also noteworthy: there’s no mention that the manufacturers are indemnified against liability. This means they cannot be sued, regardless of what damages can be proven.

Interesting that there is the statement that death soon after injection doesn’t necessarily mean the vaccine was responsible. That distinction was never made for “Covid deaths”.

No mention of the fact that even from the Government of Canada’s own data, the overwhelming majority of cases get better on their own.

These are just a few of the questions that aren’t addressed.

Ever get the sense they are trying too hard?

(1) https://rumble.com/vis5wt-propaganda-course-for-ltc-in-ontario-if-you-refuse-the-vax.html?fbclid=IwAR2SO_d7nEjKJQ3GF-EONMLr_zEig3tudLL8wIyh6GECF_M-VZ02ErFdbY4
(2) https://www.facebook.com/groups/137204671811144/permalink/144676727730605/
(3) https://toronto.ctvnews.ca/unvaccinated-ontario-long-term-care-workers-will-have-to-participate-in-educational-program-1.5450034
(4) https://www.hrreporter.com/focus-areas/safety/ontario-mandates-immunization-policies-for-long-term-care-homes/356705

PHAC Supporting “Science Up First”, Online Counter-Misinformation Group

Hey there. Ever get the feeling that the Government may be behind a lot of the propaganda that is going on? Well, there may be something to that. Meet the group Science Up First.

  1. Blast the media with our own narrative
  2. Eliminate information that contradicts our narrative

WHY #SCIENCEUPFIRST?
The goal of #ScienceUpFirst is to get people to consider the available science first before sharing content online.
.
We understand that in the age of social media there is a growing need for science-informed content. We hope to inspire people to amplify the distribution of expert-written and reviewed content and to help stop the spread of COVID-19 related misinformation throughout the internet.
.
#ScienceUpFirst is both good practice and a call to action!
Throughout the COVID-19 pandemic there has been a marked rise in misinformation and conspiracy theories related to Health information and governments’ response to the outbreak. The WHO has classified this as a global infodemic. According to experts conspiracy, misinformation and conspiracy theories are rapidly spreading on social media and represent a threat to the Health and Safety of Canadians.
.
As a result, there is an identified need for national cooperation and mobilization of independent scientists, researchers, information experts, health care providers and science communicators to come together to collaboratively create and disseminate quality health-related information available to the public.

In other words, we don’t need people fact checking and reviewing our work. We need people to uncritically amplify it on their social media. Now, who runs the show?

STEERING COMMITTEE

  • Carrie Bourassa: Professor in the Department of Community Health & Epidemiology at the University of Saskatchewan in Saskatoon and the Scientific Director of the CIHR Institute of Indigenous Peoples’ Health
  • Marie-Eve Carignan: Associate Professor at the Department of Communication of the University of Sherbrooke and Head of Media Division, UNESCO Chair in Prevention of Radicalization and Violent Extremism (UNESCO-PREV Chair)
  • Timothy Caulfield: Canada Research Chair in Health Law and Policy, Univ. Alberta
  • Imogen Coe: Professor, Chemistry & Biology, Faculty of Science; Dimensions Chair Member, Institute for Biomedical Engineering, Science and Technology (iBEST) at Ryerson University & St. Michael’s Hospital; President, Canadian Society for Molecular Biosciences 2020-2022
  • Amber Mac (MacArthur): President, AmberMac Media Inc.
  • Marianne Mader : Executive Director, Canadian Association of Science Centers
  • Anthony Morgan: Founder, Science Everywhere; Science Communicator
  • Tara Moriarty: Associate Professor, University of Toronto (Infectious Disease research); Co-lead: COVID-19 Resources Canada; Executive team member: CanCOVID; Diagnostics Pillar lead, Canadian Lyme Disease Research Network
  • David M. Patrick: Director of Research and Medical Epidemiology Lead for AMR, British Columbia Centre for Disease Control; Professor, UBC School of Population and Public Health
  • Krishana Sankar: Biological Scientist; COVID-19 Resources Canada Science Communication Lead and Volunteer Programs Director
  • Joe Schwarcz: Director, McGill Office for Science and Society
  • Marva Sweeney-Nixon: Professor and Chair, Department of Biology; Faculty of Science, University of Prince Edward Island
  • Fatima Tokhmafshan: Geneticist, Bioethicist, Research Institute of McGill University Health Centre, COVID-19 Resources Canada Science Communication Lead, Canadian Science Policy Centre Social Media Chair
  • Samantha Yammine: Director, Science Sam Media

#ScienceUpFirst Coalition

  • Lisa Barrett: Assistant professor, Division of Infectious Diseases, Department of Medicine, Department of Microbiology & Immunology, Department of Pathology, Dalhousie University
  • Chantal Barriault: Director, Science Communication Graduate Program, School of the Environment, Laurentian University
  • Tyler Black: Clinical Assistant Professor, University of BC
  • Isaac Bogoch: Assistant Professor, Department of Medicine, University of Toronto; Infectious disease specialist; Clinician Investigator, Toronto General Hospital Research Institute
  • Colette Brin: Professor at Université Laval’s Département d’information et de communication and the Director of the Centre d’études sur les médias
  • Tania Bubela: Professor and Dean, Faculty of Health Sciences, Simon Fraser University
  • Tracy Calogheros: CEO, Exploration Place Museum & Science Centre, BC
  • Christine Chambers: Canada Research Chair (Tier 1) in Children’s Pain and Killam Professor of Pediatrics and Psychology & Neuroscience; Scientific Director, CIHR’s Institute of Human Development, Child and Youth Health
  • Naheed Dosani: Palliative Care Physician & Health Justice Activist
  • Kathryn Hill: Executive Director, MediaSmarts
  • Jonathan Jarry: Science Communicator, McGill Office for Science and Society
  • Eoghan Moriarty: Solutions Architect, LabCrunch
  • Alex Munter: CEO, CHEO
  • Ubaka Ogbogu: Assistant Professor, Faculties of Law and Pharmacy and Pharmaceutical Sciences, Law Centre, University of Alberta
  • Jonathan N. Stea: Clinical Psychologist, Adjunct Assistant Professor University of Calgary
  • Heidi Tworek: Associate Prof, Public Policy & History, UBC

Interesting, how the bulk of these people are university professors. Is their funding in any way tied to the efforts they make? Now, Science Up First does provide, in broad strokes, the method of how they go about doing this:

(1) Provide science from trusted and credible sources, particularly those that note the scientific consensus on the relevant topic.
(2) Highlight rhetorical and logic gaps used to push misinformation (e.g., relying on anecdotes & testimonials, misrepresenting risk).
(3) Use (and create) clear and shareable content that is relevant to a range of audiences (meeting people where they are and considering unique concerns, etc.).
(4) Emphasize content that is respectful, inclusive, authentic, accessible, and kind in tone.
(5) Aim for creative and engaging content that highlights the facts.
(6) Emphasize inclusive messaging for a general audience and/or tailored to meet needs of specific communities

Of course, they’ll never directly address serious issues such as vaccine manufacturers being indemnified, or their products receiving “interim authorization” instead of approval. They won’t address the mass censorship on Facebook and Twitter of conflicting information.

That said, if you are willing to uncritically signal boost the (ever changing) narrative, then Science Up First may be an option for you.

For a specific example, the issue of heart problems is discussed on the Twitter account. It’s too big to simply ignore altogether, so the people posting try to let you know how rare it is. Now, some may find it unsettling to post information randomly telling people to ignore such concerns. However, that is the state of “science” these days.

(1) https://www.scienceupfirst.com/
(2) https://www.scienceupfirst.com/en/who
(3) https://www.scienceupfirst.com/en/why
(4) https://www.scienceupfirst.com/en/how#guidelines
(5) https://twitter.com/scienceupfirst
(6) https://twitter.com/ScienceUpFirst/status/1405972418812841991
(7) https://www.instagram.com/scienceupfirst/
(8) https://www.facebook.com/Science-Up-First-104308078247296

Ron DeSantis “Vaccine Passport Ban” Leaves EHP Act, Forced Vaccinations, Curfews Intact

Amendment To Original
It seems that many of these powers were already in place from 2002, and then Governor Jeb Bush. However, the vaccine passport ban left these intact. SB 1262, the Emergency Health Powers Act, was passed in the hysteria of terrorism, which the media helped perpetuate. It was (in error), attributed to DeSantis. Instead, he appears to have just left them in place.

There is a separate piece of legislation, SB 6003, to strike “vaccination” out. We’ll have to see how it goes.

Florida Governor Ron DeSantis is frequently hailed as a freedom lover, and a pushback to tyranny in the area. But is that really true? How strong is his resistance?

At no point does DeSantis condemn or criticize these experimental concoctions. He never states that they are not approved, but only allowed because of an FDA Emergency Use Authorization. He never talks about the manufacturers being indemnified from liability.

Granted, he issued a blanket pardon for all of the illegitimate fines and charges handed down for breaching previous draconian Orders, but they should never have been issued in the first place.

For starters, while local officials may be prohibited from imposing mask mandates, there is nothing stopping private businesses from demanding them, even for essential goods.

Recently, DeSantis signed SB 2006, which the media claimed would ban “vaccine passports”. While that is true, there were many poison pills left from the Bush era. Either the Governor didn’t fully read the existing Act, or he just didn’t care.

Specifically, still allows the right of the State to impose quarantine measures, similar to what the International Health Regulations call for. It also allows for forced vaccinations. That’s right, a provision was put in to allow for MANDATORY vaccinations “or other treatments”. SB 6003 is in the works to strip vaccination out, but so far, has not been passed.

https://www.flsenate.gov/Session/Bill/2021/2006/BillText/er/HTML is the link, and it seems to be down. So is the general site. Thankfully, it has been archived.

1056 (d) The State Health Officer, upon declaration of a public
1057 health emergency, may take actions that are necessary to protect
1058 the public health. Such actions include, but are not limited to:

1059 1. Directing manufacturers of prescription drugs or over
1060 the-counter drugs who are permitted under chapter 499 and
1061 wholesalers of prescription drugs located in this state who are
1062 permitted under chapter 499 to give priority to the shipping of
1063 specified drugs to pharmacies and health care providers within
1064 geographic areas that have been identified by the State Health
1065 Officer. The State Health Officer must identify the drugs to be
1066 shipped. Manufacturers and wholesalers located in the state must
1067 respond to the State Health Officer’s priority shipping
1068 directive before shipping the specified drugs.
1069 2. Notwithstanding chapters 465 and 499 and rules adopted
1070 thereunder, directing pharmacists employed by the department to
1071 compound bulk prescription drugs and provide these bulk
1072 prescription drugs to physicians and nurses of county health
1073 departments or any qualified person authorized by the State
1074 Health Officer for administration to persons as part of a
1075 prophylactic or treatment regimen.
1076 3. Notwithstanding s. 456.036, temporarily reactivating the
1077 inactive license of the following health care practitioners,
1078 when such practitioners are needed to respond to the public
1079 health emergency: physicians licensed under chapter 458 or
1080 chapter 459; physician assistants licensed under chapter 458 or
1081 chapter 459; licensed practical nurses, registered nurses, and
1082 advanced practice registered nurses licensed under part I of
1083 chapter 464; respiratory therapists licensed under part V of
1084 chapter 468; and emergency medical technicians and paramedics
1085 certified under part III of chapter 401. Only those health care
1086 practitioners specified in this paragraph who possess an
1087 unencumbered inactive license and who request that such license
1088 be reactivated are eligible for reactivation. An inactive
1089 license that is reactivated under this paragraph shall return to
1090 inactive status when the public health emergency ends or before
1091 the end of the public health emergency if the State Health
1092 Officer determines that the health care practitioner is no
1093 longer needed to provide services during the public health
1094 emergency. Such licenses may only be reactivated for a period
1095 not to exceed 90 days without meeting the requirements of s.
1096 456.036 or chapter 401, as applicable.
1097 4. Ordering an individual to be examined, tested,
1098 vaccinated, treated, isolated, or quarantined for communicable
1099 diseases that have significant morbidity or mortality and
1100 present a severe danger to public health. Individuals who are
1101 unable or unwilling to be examined, tested, vaccinated, or
1102 treated for reasons of health, religion, or conscience may be
1103 subjected to isolation or quarantine.

1104 a. Examination, testing, vaccination, or treatment may be
1105 performed by any qualified person authorized by the State Health
1106 Officer.
1107 b. If the individual poses a danger to the public health,
1108 the State Health Officer may subject the individual to isolation
1109 or quarantine. If there is no practical method to isolate or
1110 quarantine the individual, the State Health Officer may use any
1111 means necessary to vaccinate or treat the individual.

1112 c. Any order of the State Health Officer given to
1113 effectuate this paragraph is shall be immediately enforceable by
1114 a law enforcement officer under s. 381.0012.
1115 (e)(2) Individuals who assist the State Health Officer at
1116 his or her request on a volunteer basis during a public health
1117 emergency are entitled to the benefits specified in s.
1118 110.504(2), (3), (4), and (5).
1119 Section 18. Section 381.00316, Florida Statutes, is created
1120 to read:
1121 381.00316 COVID-19 vaccine documentation.—
1122 (1) A business entity, as defined in s. 768.38 to include
1123 any business operating in this state, may not require patrons or
1124 customers to provide any documentation certifying COVID-19
1125 vaccination or post-infection recovery to gain access to, entry
1126 upon, or service from the business operations in this state.
1127 This subsection does not otherwise restrict businesses from
1128 instituting screening protocols consistent with authoritative or
1129 controlling government-issued guidance to protect public health.
1130 (2) A governmental entity as defined in s. 768.38 may not
1131 require persons to provide any documentation certifying COVID-19
1132 vaccination or post-infection recovery to gain access to, entry
1133 upon, or service from the governmental entity’s operations in
1134 this state. This subsection does not otherwise restrict
1135 governmental entities from instituting screening protocols
1136 consistent with authoritative or controlling government-issued
1137 guidance to protect public health.
1138 (3) An educational institution as defined in s. 768.38 may
1139 not require students or residents to provide any documentation
1140 certifying COVID-19 vaccination or post-infection recovery for
1141 attendance or enrollment, or to gain access to, entry upon, or
1142 service from such educational institution in this state. This
1143 subsection does not otherwise restrict educational institutions
1144 from instituting screening protocols consistent with
1145 authoritative or controlling government-issued guidance to
1146 protect public health.
1147 (4) The department may impose a fine not to exceed $5,000
1148 per violation.

1149 (5) This section does not apply to a health care provider
1150 as defined in s. 768.38; a service provider licensed or
1151 certified under s. 393.17, part III of chapter 401, or part IV
1152 of chapter 468; or a provider with an active health care clinic
1153 exemption under s. 400.9935.

1154 (6) The department may adopt rules pursuant to ss. 120.536
1155 and 120.54 to implement this section.
1156 Section 19. Subsection (1) of section 406.11, Florida
1157 Statutes, is amended, and paragraph (c) is added to subsection
1158 (2) of that section, to read:
1159 406.11 Examinations, investigations, and autopsies.—
1160 (1) In any of the following circumstances involving the
1161 death of a human being, the medical examiner of the district in
1162 which the death occurred or the body was found shall determine
1163 the cause of death and certify the death and shall, for that
1164 purpose, make or perform have performed such examinations,
1165 investigations, and autopsies as he or she deems shall deem
1166 necessary or as shall be requested by the state attorney:
1167 (a) When any person dies in this the state:
1168 1. Of criminal violence.
1169 2. By accident.
1170 3. By suicide.
1171 4. Suddenly, when in apparent good health.
1172 5. Unattended by a practicing physician or other recognized
1173 practitioner.
1174 6. In any prison or penal institution.
1175 7. In police custody.
1176 8. In any suspicious or unusual circumstance.
1177 9. By criminal abortion.
1178 10. By poison.
1179 11. By disease constituting a threat to public health.
1180 12. By disease, injury, or toxic agent resulting from
1181 employment.
1182 (b) When a dead body is brought into this the state without
1183 proper medical certification.
1184 (c) When a body is to be cremated, dissected, or buried at
1185 sea.
1186 (2)
1187 (c) A district medical examiner shall assist the State
1188 Health Officer in identifying and reporting deaths upon a
1189 request by the State Health Officer under s. 381.00315.
1190 Section 20. Except as otherwise expressly provided in this
1191 act, this act shall take effect July 1, 2021.

Included in this Bill, SB 2006, are the famous provisions to ban “vaccine passports”, and the text can be found on lines 1122 to 1147. As stated there is a $5,000 (maximum) penalty for breaching this. However, it is not a complete ban, and professions such as health care can still require it.

But that isn’t all. Starting on line 1097
1097 4. Ordering an individual to be examined, tested,
1098 vaccinated, treated, isolated, or quarantined for communicable
1099 diseases that have significant morbidity or mortality and
1100 present a severe danger to public health. Individuals who are
1101 unable or unwilling to be examined, tested, vaccinated, or
1102 treated for reasons of health, religion, or conscience may be
1103 subjected to isolation or quarantine.

A State Health Officer can order a person to be examined, tested, vaccinated, treated, isolated of quarantined for “communicable diseases”. People who refuse, even for valid exemptions, may be quarantined by force. That doesn’t exactly seem consistent with “freedom”. Why is it still there?

1107 b. If the individual poses a danger to the public health,
1108 the State Health Officer may subject the individual to isolation
1109 or quarantine. If there is no practical method to isolate or
1110 quarantine the individual, the State Health Officer may use any
1111 means necessary to vaccinate or treat the individual.

Line 1110 and 1110 state that the State Health Officer may use any means necessary to vaccinate, or otherwise “treat” an individual. What good is it to ban vaccine passports, when the underlying vaccination can still be imposed on a member of the public? What else is in there?

1029 (b) Before declaring a public health emergency, the State
1030 Health Officer shall, to the extent possible, consult with the
1031 Governor and shall notify the Chief of Domestic Security. The
1032 declaration of a public health emergency shall continue until
1033 the State Health Officer finds that the threat or danger has
1034 been dealt with to the extent that the emergency conditions no
1035 longer exist and he or she terminates the declaration
. However,
1036 a declaration of a public health emergency may not continue for
1037 longer than 60 days unless the Governor concurs in the renewal
1038 of the declaration.

The State Health Official is an unelected bureaucrat, who has the power to just declare an emergency, and keep it going. Yes, the Governor needs to sign off on renewals past 60 days, but that doesn’t really fix the problem. And who runs Florida anyway, the Governor, or the State Health Officer?

124 specified format; requiring that orders issued by a
125 political subdivision which impose a curfew
126 restricting travel or movement
allow persons to travel
127 during the curfew to and from their places of
128 employment; amending s. 377.703, F.S.

Don’t worry about more house arrest (sarcasm). In the event of a forced curfew, people would still be allowed to travel to their jobs. DeSantis won’t PREVENT areas from imposing one, but at least people will still be able to work.

Ron DeSantis is greatly admired in Canada. But is he really the freedom fighter that he claims to be? Why were all of these things left in?

(1) https://www.flsenate.gov/
(2) https://www.flsenate.gov/Session/Bill/2021/2006/BillText/er/HTML
(3) https://archive.is/XCFxp
(4) Wayback Machine Archive
(5) https://www.youtube.com/watch?v=kRFpYmBHzn0
(6) https://www.youtube.com/watch?v=8zeL0lVxXms
(7) https://aapsonline.org/press/jebbushlet.htm
(8) https://www.cidrap.umn.edu/news-perspective/2002/04/state-public-health-emergency-bills-getting-favorable-reception

Marjorie Taylor Greene’s Sleight-Of-Hand With Her “Abolish The ATF” Legislation

Marjorie Taylor Greene made headlines recently with her “Abolish the ATF” Bill, HR3960. Problem is, it does nothing to promote freedom for gun owners. It essentially transfers existing ATF powers to the Department of Justice, or the FBI.

Even if this Bill had a chance of passing in Congress, would this ultimately change anything for the better?

Here are a few sections which prove the point.

[Page 25]
(1) REPEAL OF NATIONAL FIREARMS ACT.—
2 Chapter 53 of the Internal Revenue Code of 1986 is
3 hereby repealed.
4 (2) REPEAL OF FIREARMS AND AMMUNITION
5 EXCISE TAX.—Part III of subchapter D of chapter
6 32 of such Code is hereby repealed.
7 (3) Section 6103(i)(8)(A)(i) of such Code (26
8 U.S.C. 6103(i)(8)(A)) is amended by striking ‘‘the
9 Bureau of Alcohol, Tobacco, Firearms, and Explo-
10 sives’’ and all that follows through ‘‘Department of
11 the Treasury’’ and inserting ‘‘or the Department of
12 Justice’’
.

[Page 25/26]
15 (1) Each of the following provisions of law is
16 amended by striking ‘‘Bureau of Alcohol, Tobacco,
17 Firearms and Explosives,’’ each place it appears and
18 inserting ‘‘Department of Justice’’:
19 (A) Section 530C(b)(2) of title 28, United
20 States Code.
21 (B) Section 207 of division B of the Con-
22 solidated and Further Continuing Appropria-
23 tions Act, 2013 (28 U.S.C. 533 note).
(C) Section 207 of division B of the Con-
2 solidated and Further Continuing Appropria-
3 tions Act, 2012 (28 U.S.C. 533 note).
4 (D) Section 207 of division B of the Con-
5 solidated Appropriations Act, 2010 (28 U.S.C.
6 533 note).
7 (E) Section 207 of division B of the Omni-
8 bus Appropriations Act, 2009 (28 U.S.C. 533
9 note).
10 (F) Section 207 of division B of the Con-
11 solidated Appropriations Act, 2008 (28 U.S.C.
12 533 note).
13 (G) Section 107 of title I of the Consoli
14 dated and Further Continuing Appropriations
15 Act, 2013 (28 U.S.C. 533 note).
16 (H) Section 116 of title I of the Science,
17 State, Justice, Commerce, and Related Agencies
18 Appropriations Act, 2006 (28 U.S.C. 533 note).
19 (2) Section 1151(c) of title XI of the Consoli-
20 dated and Further Continuing Appropriation

[Page 27/28]
8 (4) Section 2006(2) of title 28, United States
9 Code, is amended by striking ‘‘, the Director, Bu-
10 reau of Alcohol, Tobacco, Firearms, and Explosives,
11 Department of Justice,’’.
12 (n) AMENDMENTS TO TITLE 31, UNITED STATES
13 CODE.—
14 (1)(A) Section 713 of title 31, United States
15 Code, is amended—
16 (i) in the section heading, by striking
17 ‘‘Service, Tax and Trade Bureau, and
18 Bureau of Alcohol, Tobacco, Fire-
19 arms, and Explosives’’ and inserting
20 ‘‘Service and Department of Justice’’;

21 (ii) in subsection (a), by striking ‘‘and the
22 Tax and Trade Bureau’’ and all that follows
23 though ‘‘Department of Justice of the Depart-
24 ment of the Treasury’’ and inserting ‘‘and so
25 much of the Department of Justice
as relates to
1 the administration and enforcement of provi-
2 sions transferred under the Brian A. Terry Me-
3 morial Eliminate the ATF Act’’ ; and
4 (iii) in subsection (b)—
5 (I) in each of paragraphs (1), (2), and
6 (3), by striking ‘‘either Bureau’’ and in-
7 serting ‘‘the Department’’; and
8 (II) in paragraph (2), by striking ‘‘,
9 the Tax and Trade Bureau, Department of
10 the Treasury, and the Director of the Bu-
11 reau of Alcohol, Tobacco, Firearms, and
12 Explosives, Department of Justice’’ and in-
13 serting ‘‘and the Department of Jus

Read the entire Bill. From the looks of things, this was just a publicity stunt. Simply transferring powers from the ATF to the Department of Justice addresses none of the problems Greene claimed to care about.

If you ever needed a reason not to trust a Q-Anon supporter, this is it. They will say all the right things, but will never deliver anything meaningful. Then again, some people will just broadcast it without actually reading it, though others will call this out.

(1) https://www.congress.gov/bill/117th-congress/house-bill/3960/text?r=1&s=4
(2) https://greene.house.gov/sites/evo-subsites/greene.house.gov/files/evo-media-document/Eliminate%20ATF%20Act%20HR%203960%20Bill%20Text.pdf
(3) Eliminate ATF Act HR 3960 Bill Text
(4) https://www.youtube.com/watch?v=YEJvFFW8QAc
(5) https://www.youtube.com/watch?v=q7zkRHzwP_g

WHO Advises Not To Vaccinate Children, Then Changes It Secretly

As of 3 June 2021, WHO has evaluated that the following vaccines against COVID-19 have met the necessary criteria for safety and efficacy:

  • AstraZeneca/Oxford vaccine
  • Johnson and Johnson
  • Moderna
  • Pfizer/BionTech
  • Sinopharm
  • Sinovac

Read our Q&A on the Emergency Use Listing process to find out more about how WHO assesses the quality, safety and efficacy of COVID-19 vaccines.

Some national regulators have also assessed other COVID-19 vaccine products for use in their countries.

Take whatever vaccine is made available to you first, even if you have already had COVID-19. It is important to be vaccinated as soon as possible once it’s your turn and not wait. Approved COVID-19 vaccines provide a high degree of protection against getting seriously ill and dying from the disease, although no vaccine is 100% protective.

WHO SHOULD GET VACCINATED

The COVID-19 vaccines are safe for most people 18 years and older, including those with pre-existing conditions of any kind, including auto-immune disorders. These conditions include: hypertension, diabetes, asthma, pulmonary, liver and kidney disease, as well as chronic infections that are stable and controlled.

If supplies are limited in your area, discuss your situation with your care provider if you:

-Have a compromised immune system
-Are pregnant (if you are already breastfeeding, you should continue after vaccination)
-Have a history of severe allergies, particularly to a vaccine (or any of the ingredients in the vaccine)
-Are severely frail

Children should not be vaccinated for the moment.

There is not yet enough evidence on the use of vaccines against COVID-19 in children to make recommendations for children to be vaccinated against COVID-19. Children and adolescents tend to have milder disease compared to adults. However, children should continue to have the recommended childhood vaccines.

WHAT SHOULD I DO AND EXPECT AFTER GETTING VACCINATED

Stay at the place where you get vaccinated for at least 15 minutes afterwards, just in case you have an unusual reaction, so health workers can help you.

Check when you should come in for a second dose – if needed. Most of the vaccines available are two-dose vaccines. Check with your care provider whether you need to get a second dose and when you should get it. Second doses help boost the immune response and strengthen immunity.

In most cases, minor side effects are normal. Common side effects after vaccination, which indicate that a person’s body is building protection to COVID-19 infection include:

-Arm soreness
-Mild fever
-Tiredness
-Headaches
-Muscle or joint aches

Contact your care provider if there is redness or tenderness (pain) where you got the shot that increases after 24 hours, or if side effects do not go away after a few days.

If you experience an immediate severe allergic reaction to a first dose of the COVID-19 vaccine, you should not receive additional doses of the vaccine. It’s extremely rare for severe health reactions to be directly caused by vaccines.

Taking painkillers such as paracetamol before receiving the COVID-19 vaccine to prevent side effects is not recommended. This is because it is not known how painkillers may affect how well the vaccine works. However, you may take paracetamol or other painkillers if you do develop side effects such as pain, fever, headache or muscle aches after vaccination.

Even after you’re vaccinated, keep taking precautions

While a COVID-19 vaccine will prevent serious illness and death, we still don’t know the extent to which it keeps you from being infected and passing the virus on to others. The more we allow the virus to spread, the more opportunity the virus has to change.

Continue to take actions to slow and eventually stop the spread of the virus:

-Keep at least 1 metre from others
-Wear a mask, especially in crowded, closed and poorly ventilated settings.
-Clean your hands frequently
-Cover any cough or sneeze in your bent elbow
-When indoors with others, ensure good ventilation, such as by opening a window

Doing it all protects us all.

UPDATE TO ARTICLE

Children and adolescents tend to have milder disease compared to adults, so unless they are part of a group at higher risk of severe COVID-19, it is less urgent to vaccinate them than older people, those with chronic health conditions and health workers.

Shortly after originally posting, WHO changed its advice. Now, instead of “we shouldn’t vaccinate children”, the article reads “it’s less urgent”. Nice way to slip the narrative.

(1) https://www.who.int/emergencies/diseases/novel-coronavirus-2019/covid-19-vaccines/advice
(2) https://www.who.int/immunization/programmes_systems/policies_strategies/consent_note_en.pdf
(3) WHO Schools And Implied Not Direct Consent
(4) https://apps.who.int/iris/bitstream/handle/10665/340841/WHO-2019-nCoV-Policy-brief-Mandatory-vaccination-2021.1-eng.pdf?sequence=1&isAllowed=y
(5) WHO Paper On MANDATORY Vaccination April 13, 2021 (Copy)
(6) https://www.laws-lois.justice.gc.ca/eng/acts/F-27/page-8.html#h-234517
(7) https://www.canada.ca/en/health-canada/services/drugs-health-products/covid19-industry/drugs-vaccines-treatments/interim-order-import-sale-advertising-drugs.html#a2.3
(8) https://covid-vaccine.canada.ca/info/pdf/astrazeneca-covid-19-vaccine-pm-en.pdf
(9) https://covid-vaccine.canada.ca/info/pdf/janssen-covid-19-vaccine-pm-en.pdf
(10) https://covid-vaccine.canada.ca/info/pdf/covid-19-vaccine-moderna-pm-en.pdf
(11) https://covid-vaccine.canada.ca/info/pdf/pfizer-biontech-covid-19-vaccine-pm1-en.pdf

American College Health Foundation Is Funded By Big Pharma And Insurance

The American College Health Foundation (ACHF), is promoting the “pandemic” narrative, and even trying to coordinate the mass vaccination of students. Why would it do that? Turns out, the ACHF is involved with different organizations who don’t have the public’s interests at heart.

A look at some of their donors is an instant red flag. Several health companies, which stand to profit, are listed. True, this list is from 2018, but it gives a look into it. And sitting as a top tier donor: Pfizer.

With this in mind, it should not be at all surprising that the ACHF promotes the mass vaccination of college students.

Mass Vaccination Clinic Guidance and Resources
The ACHA COVID-19 task force has gathered resources to assist members in planning for mass vaccination clinics. While currently the focus is on planning the administration of COVID-19 vaccine to large numbers of students and other members of the campus community, these resources and principles may be applied to the administration of any vaccine in a large-scale event. Guidance for supply, delivery, storage, and administration of the anticipated COVID-19 vaccine will come from the federal government and state, territorial, tribal, and local health departments and therefore will not be addressed in any specific way in this document.

In the current situation, it is critical that colleges and universities reach out to the appropriate public health authority so as to be included in the planning and distribution of the vaccine for students and other campus community members. College and university health services will then provide direction to and coordination with their campus partners in setting up systems to manage the details of the immunization plan.

Although specific guidance will be forthcoming from governmental agencies, college health professionals have an important role in encouraging high uptake of vaccines in the campus community.

COVID-19 vaccine mass vaccination events will require additional planning including:

The ACHF is fully behind the agenda of mass vaccinating young adults, but omits any mention of the relevant details:

  1. These vaccines are still undergoing testing
  2. These vaccines have “Emergency Use Authorization” and are not approved
  3. Manufacturers are exempt from liability

The ACHF prominently posts a link to the CDC or Center for Disease Control in the U.S. This page gives “Covid communications” advice, including how to talk to people about getting vaccinated. See below.

For some context, the CDC doesn’t completely function as a Government body, but receives private funding. Its fundraising arm, the CDC Foundation is “an independent nonprofit and the sole entity created by Congress to mobilize philanthropic and private-sector resources to support the Centers for Disease Control and Prevention’s critical health protection work”. It’s listed as 501(c)(3) charity. Top partner organizations and corporations are drug companies. A charitable interpretation would be to call it a public-private partnership.

Established by Congress more than two decades ago, the CDC Foundation is an independent, 501(c)(3) public charity.

One of the ACHF’s partners is Pharmedrix, a company that packages drugs and medicine. It’s also “licensed as a drug manufacturer with the State of California and registered as a drug manufacturer/repackager with both the Food and Drug Administration and the Drug Enforcement Administration”. Pharmedrix is listed as a “Diamond Level” donors to the ACHF.

Another partner of the ACHF is Pyramed Health. The specific “pandemic” services it offers include: (a) Case Management System; (b) Contact Tracing; (c) Zoom Integration; and (d) Custom Lab Interfaces. The current situation seems to have kept them very busy.

Also on the list is Aetna Health, an insurance broker, who also provides referrals to a variety of other health services.

Gallagher Koster, is another insurance company, and another top donor to the ACHF. Unsurprisingly, its target customers are college students.

This is hardly an exhaustive listing, the pattern is unmistakable: there is a lot of money tied up in poisoning people, without fully disclosing the risks. The American education industry seems to be no different.

(1) https://www.acha.org/
(2) https://www.acha.org/ACHA/Resources/COVID-19_Novel_Coronavirus/Mass_Vaccination_Guidance_and_Resources/ACHA/Resources/Topics/Mass_Vaccination_Clinic_Guidance_and_Resources.aspx?hkey=aa394485-cc39-417a-ab2e-bcddc24f14ed
(3) https://www.cdc.gov/vaccines/covid-19/health-systems-communication-toolkit.html
(4) https://www.cdcfoundation.org/our-story
(5) https://www.cdcfoundation.org/partner-list/foundations
(6) https://www.cdcfoundation.org/partner-list/corporations
(7) https://www.acha.org/documents/ACHF/ACHF_Donor_List_2018.pdf
(8) ACHF Top Donor Honour Roll 2018
(9) https://www.acha.org/documents/ACHF/Partners_for_Wellness_2017.pdf
(10) ACHF Partners For Wellness 2017
(11) http://www.pharmedixrx.com/
(12) https://pyramed-health.com/covid-19-solutions/
(13) https://www.aetnastudenthealth.com/en/main/about-us.html
(14) https://www.gallagherstudent.com/
(15) http://www.sdweissfoundation.com/programs/