Parsa v. Google

Download as pdf or txt
Download as pdf or txt
You are on page 1of 50

JS 44 (Rev.

12/12)
CIVIL
Case 3:19-cv-02407-CAB-AHG COVER
Document 1 SHEET
Filed 12/16/19 PageID.1 Page 1 of 50 FILED
The !S 44 civil cover sheet and the i!}formation contained herein neither replace nor supplement the filing and service of pl adin~s r other papers as tfuired law, c cept as
provided b)'. l?~al. rules of_C(?Urt, This form. approved by the Judicial ~onfcrence of the United .States in September I 974, i require foi;JJie use Q(Ui; :1eJ.1<: o Court f< the
purpose of imhatmg the c1vd docket sheet. (SEJE INSTRUCTIONS ON NEXT PAGEJ OF THIS FORM.) LJ9C , 0 L.1 "I ~
I. (a) PLAIN~IFFS' C'/~~ A. fq, 5a,, -rJ.,e A-C Gli>~fel<i..~l'f,'!;~pMirn , Fa atctleomti'lk, E on Musk,
O{'o,"',, , .!..,-f ,O',.. :i oihr\ ~<eS I ,JJ.,ti~~,. o Tesla Inc, Mark ZuckerbF,~l!Jl!IIY!ll¥,ll!lel~!M'i!01!!t!Ad ar Pichai:
PR NewsWire, John.Do ' _,..,..
V 1c-1-•,,.,s ,.f fJePlK«t'id>'I !c,--€nec:d.f s/soniad EPUTY
(b) County of Residence ofF,rst Lis're'ffiaintiff Diego,
S'an
=~==----- County of Residence of First Listed D<:fendant ~in,t-· Vi.el.\.} 1 {<'t /; tf11'/1
(EXCEPT l N U.S. PLAIN1'/FFCASES) (IN U.S. PLAINTIFF CASES ONLY)
NOTE: IN LANO CONDEMNATION CASES, USE THE LOCATION OF
THE TRACT OF LAND INVOLVED.

(c) Attorneys (Firm Nome, A.ddre.u, ond_Telephone Number) Attorneys (]/Known)


'19CV2407 CAB AHG

II, BASIS OF JURISDJCT[ON (Place an "X" in One Box Only) III. CITIZENSHIP OF PRINCIPAL PARTIES (Pin" an "X" in on, Bax fa, l'laimiff
(For DJversity Coses Only) and One IJoxfor /Jefendanl)
• I U.S. Government l!'I 3 Federal Question PTF DEF PTF DEF
Plaintiff (U.S. Govemmenf Nor a Party) Citizen of This State O 1 • I Incorporated or Principal Place • 4 0 4
of Business In This State

• 2 U.S. Govemment • 4 DiverSity Citizen of Another State • 2 0 2 Incorporated and Principal Place C'.J 5 0 S
Defendant (lndicafe Citizenship ofParties in lrem lll) of Business In Another State

Citizen or Subject of a 0 3 0 3 Foreign Nation • 6 0 6


Foreiim Coun••"
IV, NATURE OF SUIT (P/a"an "X" in One Box On/
• l 10 Insurance PERSONAL INJURY PERSONAL INJURY 0 625 Drug Related Seizure o 422 Appeal 28 use 158 0 375 False Claims Act
0 120 Marine O 310 Airplane 0 36.5 Personal Injury - ofProperty2l USC881 • 423 Withdrawal 0 400 State Reapportionment
• 130 Miller Act O 315 Airplane Product Product Liability 0 690 Other 28 USC 157 0 4IO Antitrust
0 140 Negotiable Instrument Liability • 367 Health Care/ 0 430 Banks and Banking
Cl ISO Recovery ofOverpayment () 320 Assault, Libel & Phannaceutical 0 450 Commerce
& Enforcement of Judgment Slander Personal Injury • 820 Copyrights 0. 460 Deportatioii
0 IS I Medicare Act O 330 Federal Employers' Product Liability 0 830 Patent 0 470 Racketeer Influenced and
0 152 Recovery ofDefaulted Liability 0 368 Asbestos Personal 0 840 Trademark Corrupt Organ.izations
Student Loans O 340 Marine Injury Product O 4BO Consumer Credit
(Exclu<;les Veterans) 0 345 Marine Product Liability 0 490 Cable/Sat TV
0 153 RecoveryofOverpayment Liability PERSONAL PROPERTY O 710 Fair Labor Standards 0 861 HIA(l395ffi 0 850 Securities/Commodities/
of Veteran's Benefits O 350 Motor Vehicle 0 370 Other Fraud Act 0 862 Black Lung (923) fachange
0 160 Stock.holders' Suits O 355 Motor Vehicle • 371 Truth in Lending 0 720 Labor/Management • 863 DIWC/DIWW (405(g)l, a 890 Other Statutory Actions
0 l lJO Other Contract Product Liability 0 380 Other Personal Relations CJ 864 SSID Title XVI 0 891 Agricultural Acts
CJ 1~5 Contract Product Liability • 360 Other Personal Property Damage 0 740 Railway Labor Ac! • 865 RSI (40S(g)) a 893 Environmental Matters
CJ 196 f'ranchise Injury 0 385 Property Damage 0 751 Fan;iily and Medical 0 895 Freedom of Information
0 362 Personal Iajury - Product Liability Leave Act Act
Medical Mal ractice CJ 790 Other Labor Litigalion 0 896 Arbitration
0 791 Employee Retirement 0 R99 Administrative Procedure
• 210 Land Condemnation 40 OLher Civil Rights Habeas Corpus: Income Security Act 0 870 Taxes (U.S. Plaintiff Act/Review or Appeal Or
0 220 Foreclosure 0 441 Voting CJ 463 Alien Detainee or Defendant) Agency Decision
0 230 Rent Lease & Ejectment 0 442 En1ployment 0 510 Motions to Vacate 0 871 IRS-Third Party 0 950 Constitutionality of
0 240 Torts to Land 0 443 Housing/ Sentence 26 USC 7609 State Statutes
0 245 Tort Product Liability Accommodations 0 530 General
0 290 All Other Real Property 0 445 Amer. w/Disabilities • O 535 Death Penally
Employment Other: 0 462 Naturalization Application
O 446 Amer. w/Oisabilities- 0 S40 Mandamus & Other 0 465 01her Immigration
Other 0 550 Civil Rights Actions
• 448 Education C'J 555 Prison Condition
0 560 Civil Detainee -
Conditions of
Confinement
V. ORIGIN (Place an "X"inOneBoxOnly)
)Bl I Original O 2 Removed from 0 3 Remanded from 0 4 Reinstated or • 5 Transferred from 0 6 Multidistrict
Proceeding State Court Appellate Court Reopened Another District Litigation
ecJ ~ (.'>
Cite the U.S. Civil Statute under which you are filing (Do not cite jurisdictional statutes unless diver.dty):
VI. CAUSE OF ACTION l,;B,..,i,..ef::-d:-es-c""rip-u'"·o-n-of"°c_a_us-e:_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _- - - - .
Endangering Humanity, Misuse of Artificial Intelligence, Negligence, Article 2 and 3. Compllc1ty Genocide Convent11,r
VII. REQUESTED IN 0 CHECK IF THIS JS A CLASS ACTION DEMANDS CHECK YES only if demanded in complaint:
COMPLAINT: UNDER RULE 23, F.R.Cv.P. 2.3 Trillion JURY DEMAND: • Yes )!II No
VIII. RELATED CASE(S)
(See instructions):
IFANY JUDGE DOCKET NUMBER
DATE YOFRECORD
~ b - \~
F ROFFI EUSEONLY

RECEIPT # AMOUNT APPLYING IFP JUDGE MAG.JUDGE


----- -------- --------
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.2 Page 2 of 50
FILED
1 Cyrus A. Parsa, The Al Organization
Dec162019 I
CLERK, U.S. DISTRICT COURT
4275 Executive Square Suite 200 SOUTHERN DISTRICT OF CALIFORNIA
2 La Jolla, California, 92037 BY st soniad DEPUTY
Phone Number (805-996-0135)
3 Email: [email protected]

4
Cyrus A. Parsa, The Al Organization, PRO SE,
5

7 UNITED STATES DISTRICT COURT SOUTHERN


8 DISTRICT OF CALIFORNIA
9

10

11 The Al Organization, Inc, Cyrus A. Parsa, Victims of ) . Case No.: '19CV2407 CAB AHG
Persecution, Rape, Torture, Concentration Camps,
12 Sex, Human and Organ Trafficking and Organ
Harvesting in China, Hong Kong, America and Around )
13 the World, not limited to democracy activists, Falun COMPLAINT:
Dafa Practitioners, Uyghurs, Christians, Tibetans, }
14 Judges, Lawyers and Journalists tortured and killed in
China. John Does 1-Unlimited )
15
Plaintiff(s), (1 )MISUSE OF ARTIFICIAL
16
vs. INTELLIGENCE, CYBERNETICS,
17
ROBOTICS, BIOMETRICS,
Google L.L.C, Facebook Inc, DeepMind Inc, Alphabet BIOENGINEERING, 5G AND
Inc, Neuralink Inc, Tesla Inc, Larry Page, Sergey Brin, l
18
Sundar Pichai, Mark Zuckerberg, Elon Musk, CISON "} QUANTUM COMPUTING
19
PR Newswire & John Doe's 1-29 TECNNOLOGY
Defendant(s). (2)ENDANGERING THE HUMAN
20 RACE WITH THE MISUSE OF
21
ARTIFICAL INTELLIGENCE
TECHNOLOGY
22 (3)TRANSFER OF Al WEAPON
23 ) TECHNOLOGY TO CHINA
l (4)COMPLICTY IN GENOCIDE,
24 CHINA
25 (5)VIOLATION OF ARTICLE 1
GENOCIDE CONVENTION
26 (6)VIOLATION OF ARTICLE 2
27, GENOCIDE CONVENTION,
(?)VIOLATION OF ARTICLE 3
28 GENOCIDE CONVENTION,
-1-
INSERT DOCUMENT TITLE {e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.3 Page 3 of 50

1 (8)VIOLATION OF ARTICLE 4
2 GENOCIDE CONVENTION,
(9)SOCIAL ENGINEERING OF THE
3 HUMAN RACE WITH ARTIFICAL
4
INTELLIGENCE

5 (10)BIO-DIGITAL SOCIAL
PROGRAMMING OF THE HUMAN
6
RACE BY USE OF THEIR
7 BIOMETRICS & ARTIFICIAL
INTELLIGENCE
8
(11)BRAIN WASHING HUMANITY
9 WITH A.I. CODING & ALGORITHM
10
BIAS
(12) CULTURAL GENOCIDE BY
11 MISUSE OF ARTIFICIAL
12
INTELLIGENCE
(13)BREACH OF IMPLIED
13 COVENANT OF GOOD FAITH AND
14
FAIR DEALING
( 14 )DEFAMATION
15 (15)NEGLIGENT INFLICTION OF
16 EMOTIONAL DISTRESS
(16)NEGLIGENT CREATION OF
17 NAFARIOUS Al TECHNOLOLGY
18 17)MASKING GENOCIDE WITH Al
TECHNOLOGY
19 18)FRAUD AND INTENTIONAL
20 DECEIT
(19)NEGLIGENT
21 MISPREPESENTATION
22 (20)RELIGIOUS DISCRIMINATION
(21)FAILURE TO ENGANGE IN
23 INTERACTIVE PROCESS
24
(22) A.I. CENSORSHIP and Banning
"Al, Trump, China & the
25 Weaponization of Robotics with 5G"
26 and Masking "Artificial Intelligence
Dangers to Humanity" with use of
27 Artificial Intelligence
28 (23) Al ALGORITHM MISUSE & Al
algorithmic biometric manipulation
-2-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.4 Page 4 of 50

1 24)BREACH OF PRIVACY
2 (25)VIOLATION OF THE
NUREMBURG CODE
3 (26) CREATING AN ARTIFICIAL
4
INTELLIGENCE SYSTEM THAT
CAN RECOGNIZE AND DECODE IF
5 HUMANS ARE RESISITANT TO
6
ARTIFICIAL INTELLIGENCE

10
11

12
DEMAND FOR TRIAL BY JUDGE
13

14
I. RELATED CASES a. Do you have other Civil Case(s) in this or any
other federal court? NO
15
II. STATEMENT OF CLAIM
16
CASE SUMMARY FACTS
17
18
Endangering Humanity with the misuse of Artificial Intelligence,
19
Complicity in Genocide, and Aiding in Physical Genocide inside of
20 China by transferring Al Technology, Engaging in Cultural Genocide of
21 Humanity, & Controlling and programming the Human Race by Social
Engineering via Al coding and Al algorithmic biometric manipulation
22

2l, Endangering and Threatening all of the world's citizens, and humanity by
misusing and weaponizing Artificial Intelligence, Quantum Computing,
24 Robotics, 5G, Machines, Smart Phones, Smart Homes, Smart Cities, loT's,
25 Holograms, Mixed Reality, Nano-Technology, Cloning, Gen-Editing,
Cybernetics, Bio-Engineering, and the creation of a digital Al Brain linked to
26 Google's Search engine with the use and extraction of humanities bio-Metrics
27 data, digital bio-metric codes including facial, voice, health, organ, neural
network and body recognition technology. Thus, controlling humanities
28 thoughts, actions, biology, bio-metrics, brain neural pathways, the human
-3-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.5 Page 5 of 50

1 bodies neural networks that reprograms all human beings through social
2
engineering and bio-digital social programming, without their consent,
knowledge, understanding, or free will. Extracting humanities digital
3 footprints in breach of the Nuremberg Laws, FTC Act (15 U.S.C. §§ 41-58

4
and Engaging in irresponsible and unsafe Research and development of
Artificial General Intelligence or Artificial Super Intelligence that could enslave
5 or kill off humanity or give the power to the defendants to enslave humanity in

6
numerous ways on the 5G and other developing networks.

9
2. Negligence and Complicity in Persecution and Genocide of millions in
10 China, per Article's 1, 2, 3 and 4 of the Genocide Convention, and 18
11 U. S: C.A. § 1091
§ 1091. Ge}focide, not.tim'it~cf, to Democracy Activits, Falun Dafa
12 Practitio11eis, . Chf:i~tia11s, Oyghurs, Til:f~ttJ.nsr Journalists, Judges,
13 Lawyers, and Academic$ tHside.ofChlna.
14
15
16

17
3. Transferring and Providing to China, China's Government and its
18
Companies, knowledge, data, capabilities and technology to weaponize
19 Artificial Intelligence, Quantum Computing, Machines, Robotics, 5G,
20 Bio-Metrics, Cybernetics, Bio-Engineering, loT's, Computer Vision, and
Human Tracking Technology, and technology that can give China
21
access to Artificial General Intelligence or Artificial Super Intelligence,
22 that endangers the world, and all of humanity, including Al weaponry for
assassination. In violation of Breach of Arms Control and
23
Disarmament Act [22 U.S.C. 2551 and Foreign Assistance Act of
24 1961, as amended [22 U.S.C. 2151, 22 U.S.
25 Code§ 2752.Coordination with foreign policy, 22 U.S. Code § 2753.
Eligibility for defense services or defense articles, 22 U.S.
26
Code§ 2754. Purposes for which military sales or leases by the
27 United States are authorized; report to Congress, Arms Control
and Disarmament Act of 1961, 22 U.S.C. § 2551, Atomic Energy Act
28
of 1954, 42 U.S.C. §§ 2011-2021, 2022-2286i, 2296a-2297h-13,
-4-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.6 Page 6 of 50

~- Providing to China and Chinese Companies, Al, Health Data and Bio-Metric
3 Technology used for surveillance, tracking, hunting, quarantine, capture,

4
arrest, torture, concentration camps, organ harvesting, and organ trafficking
that contributed to the death of Chinese Citizens, including Falun Dafa
s Practitioners, Uyghurs, Democracy activists, Christians, Tibetans, judicial
6
representatives, professors, journalists, and minority groups, not limited to
any gender, race, political affiliation, faith, or persons residing in China.
7 Same violation of fact numbers 2 and 3.

10

11

1~. Providing to China's government, their corporations and nefarious entities,


13
Facial Recognition, Voice Recognition, Body Detection, Skeleton Detection,
Vital Organ Recognition, Emotion detection, Skin and Health Biometric and
14 other Al technology that led to persecution, torture, organ harvesting, death
15
and cremation of human beings in China, not limited to Uighur, Falun Dafa,
Christian, Tibetan, Democracy activists, judges, attorneys, common citizens
16 and other minority groups. Endangering the world by Weaponizing China's Al
17 Capabilities that is be laid on the (BRI) One Belt One Road linking Asia,
Middle East, Africa and Europe, endangering all of humanity. Same violations
18 of facts number 1, 2 and 3.
19

20
6. Misrepresenting to the world and deceiving the U.S on Google's activities in
21
China and their technology transfers that contributed to China's Quantum Al
22 advancements, surveillance, abuse, torture, concentration camps and murder
of its own citizens. Same violations of facts number 1, 2 and 3.
23

24

2'!.Providing health, bio-metric, financial and social network data of Americans,


26 and the world citizenry that is in the hands of the Chinese government,
endangering the world and all its peoples on the 5G network.
27

28

-5-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.7 Page 7 of 50

IB. Creating an interconnected platform between Facebook, Google, Alphabet,


2
all entities under Neuralink, and DeepMind that allows for a digital brain to
connect to the internet, all digital and bio-digital networks, human bodies,
3 machines, robotics, loT's, Augmented Reality, Virtual Reality, Mixed Reality,

4
Holograms and other technologies, that can be used for surveillance, to track,
manipulate, control, social engineer, re-engineer, reprogram, brain wash,
5 hunt, quarantine, threaten, arrest, commit cultural genocide, and kill human

6
beings by machines, Bio-Digital Al, Digital Al, and robotics connected to the
5G, 6G and other networks and corporate command centers.
7

i. Creating platforms that is on the verge of developing Artificial General


Intelligence and the Subsequent Super Intelligence that will be beyond the
10
control of the human beings working at Neuralink, Alphabet, DeepMind,
11 Google, Facebook or governments.

12
13
1 In violation of Article 1, 2, 3 and 4 of the Genocide Convention for
14 weaponizing China's Artificial Intelligence, Facial, Voice and Other Bio-Metric
15 technology that were used on Chinese citizens. Not to exclude genetic
experimentation of human beings in Chinese concentration camps, including
1 6 hybrid human experiments within the concentration camps.

17

18

1
i Introducing, planning, promoting and engaging in physical and cultural
genocide to humanity by replacing their neural network operating systems
20 with Artificial Intelligence and Machines, merging humans with machines with
the interconnection of the internet, internal tech experimentations of
21
defendants and consumer products promoted, provided and transferred by
22 the defendants to the public directly and indirectly.

23
24
1 Reprogramming and social engineering humanities thoughts and brain
25 chemistry via Al algorithms in the internet, social media, apps, smart phones,
26 loT's, computers, wearable devices, implanted technology, virtual reality,
augmented reality, mixed reality, holograms, and alternate reality. Not
27 informing and explaining to humanity that their brain chemistry is altered by a

28 replicating software as they engage with the defendants products and


services, nor that their thoughts and actions can be manipulated and
- 6-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.8 Page 8 of 50

1 controlled by smart phones, apps and loT in connection with the network
2
platforms, technologies and initiatives Google, Alphabet, Facebook,
Neuralink, DeepMind, and Tesla are providing and introducing to the public,
3 in turn giving these tech giants complete control and influence over
4
Americans, and humanity.

~ Weaponizing Al by Utilizing humanities bio-metric and social media


7 data and misusing the technology by Controlling the Human Race and its
thoughts through Social Engineering and bio-digital social programming by
8
using people's bio-metric systems through Google and Facebooks eco
9 systems, coding, algorithm unfairness, with the use of social media data, their
emotions, weaponization of the internet, smart phones, loT's and computers,
10
thus controlling human thoughts, and humanity at a global scale against their
11 free-will and knowledge. Not informing the public that their dependency on
smart phones, is due to frequencies and Artificial Intelligence software
12
emitting from the Al systems and devices that is connecting to the neural
13 networks of humans, creating a symbiotic process, making them a cyborg,
dependent, reliant, controlled and programmed by the products and services
14
provided by Google, Facebook, Alphabet, Deep Mind, Tesla, and Neuralink.
15 In essence, putting the entire human race in a state of pet and owner
relationship, via their bio-metrics, biology, and digital selves neural network
16
operating systems. The Owner being the Artificial Narrow Intelligence, other
17 Al forms, provided by the defendant's companies, organizations and personal
initiatives within their companies and Machine Software's operating inside the
18
bio-metric systems of human beings.
19

20

21

2~ Negligence in Algorithm Fairness that allows hate speech,


23 misinformation and slander to cast doubt on google search engines against
people's efforts to notify and inform the world's people that millions have been
24 subject to Organ Trafficking, Organ Harvesting, Concentration Camps,

25 Torture, and Abuse and that the risks of Artificial Intelligence is multi-faceted
and enormous.
26

27

28

-7-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.9 Page 9 of 50

t Writing Code and Creating Algorithms that has been and is currently
2
engaging in cultural genocide including introduction of cybernetics, robotics,
and creating an ecosystem that allows for Beastiality to exist and be forefront
3 on Google's search engines, affecting societies, and youth's bio-metrics
4
system after viewing the videos and articles via their smart phones and
computers, influencing their thoughts through their bio-metric systems, paving
s the next generation to degenerate and accept this type of behavior with the
6
introduction and experimentation of bio-engineering and cybernetics.

~ Research and Development conducted by Alphabet, Facebook,


g Google, DeepMind, Nueralink and other ventures in Silicon Valley have
created algorithms and coding that supports, promotes and achieves brain
10
washing of humanity through social engineering and bio-digital social
11 programming, that endangers the human race in its entirety via the
interconnection of their platforms, social media, and technology distributed in
12
physical and digital format to society.
13

14

1~ Writing Code and Having Algorithms that influenced liberals and


conservatives to exponentially increase their hate for each other via their bio-
16 metric systems and emotions while attached to smart phones, loT's, apps,
17 digital media, google, Facebook and other interconnected platforms. Causing
harm to the nation and the world, and endangering humanity at the geo-
18 political level with nation state leaders undergoing social engineering and bio-
19 digital social programming and control by their platforms to ignore human
rights atrocities in China and around the world stemming from the defendant's
20 algorithm misuse and Al technologies. Implicating world leaders and their
21 citizens to be charged under article 2, 3 and 4 of the genocide conventions.
This includes Canadian Prime Minister, the Majority of European Leaders,
22 and the leadership at the United Nation, the media, press, their reporters, and
23 others who have and are still censoring awareness for human rights violations
in China or working against it. Writing code and algorithms that controls
24 reporters, media and the press's thoughts and actions beyond the normal
25 manipulation they receive from special interest groups, producers, or friends
who may manipulate them, other reporters and their covered content, thus
26 Weaponizing the media for Google's development against the media's free
27 will and knowledge.

28

-8-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.10 Page 10 of 50

t Negligence on Google and Facebooks Algorithm unfairness caused


2
liberals and conservatives to conflict and fight each other beyond the
reasonable norm, affecting their thoughts and emotions via their bio-metric
3 systems being controlled and enhanced by Artificial Narrow Intelligence
4
systems inside the smart phones and the apps partially formed by bias and
hateful content that created division and undue hate among Americans and
5 the people of the world.
6

~ Division caused by misuse and negligence of Algorithms in Facebook


and Google, hindered and delayed the U.S administrations efforts to pressure
10
China in time to save more people from concentration camps, death and
11 cremation, in addition to national security concerns that impacts Americans
and the world citizenry. This is not limited to the Trump Administration, rather
12
it affected the Obama, and Bush administrations as well. Google hurt America
13 and China for 2 decades at a geo-political level. Google is guilty of Article 2, 3
and 4 of the genocide convention, in addition to complicity.
14
15

li Masking posts and articles by The Al Organization, meant to bring


17
awareness to human rights atrocities in China, on Facebooks Platform.
Masking Content created by Cyrus A. Parsa meant to save people form
18 dangers pertaining to human rights violations interlinked with Artificial
19
Intelligence. Banning the book "Al, Trump, China & The Weaponization of
Robotics with 5G" for advertisement and masking posts of people working on
20 behalf of The Al Organization. Masking posts of "Artificial Intelligence
21 Dangers to Humanity" book, on Facebooks platforms, and masking other
posts from The Al Organization written by Cyrus A. Parsa. These posts
22 related to China, Taiwan, Hong Kong, Iran, big tech, Google, 5G, Robotics,
23 Drones, and Bio-Metrics threats to and Enslavement of Humanity. Releasing
the Masks recently after coming under pressure and scrutiny. Hiring Chinese
24 who committed espionage and attacked American companies, including The
25 Al Organization and Cyrus A. Parsa, as well as his associates and victims of
persecution.
26

27

28

-9-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.11 Page 11 of 50

2 Writing Code and Sustaining Algorithms that propagate an extreme


3 amount of pornography, violent pornography, and insinuation of rape and
prostitution, that denigrates females, young girls, altering humanities thoughts
4
and family based concepts of traditional health based ethics via their bio-
s metric systems, hence, contributing to rape, sex and human trafficking and
broken families.
6

2 Developing Code, Algorithms and Ecosystems that reprogramed a


10 generation of people's bio-metric structure, and brain chemistry to be bio-
11 digitally controlled by google and every other tech industry with similar
platforms that operate on varying types of Artificial Intelligence, including
12 Artificial Narrow Intelligence.
13

14
~ Developing Code, Algorithm's and Ecosystems that created a
1
secondary digital brain inside the brains of Al Scientists to be subservient,
16 controlled and programmed to create, sustain, promote, and grow Google,
Alphabets, Facebooks, and other tech giants' platforms. Elon Musk has also
17
confirmed The Al Organization's findings, that humans can have a secondary
18 digital brain formed via their neural networks.

19

20
2 Developing Code, Algorithms and Ecosystems that creates a
21 secondary digital brain inside the brains of all human beings that can prevent
22 the person from recognizing that they are being controlled, and bypassing
any biological resistance to Al Control or human bodies innate capability to
23
resist the formation of a symbiotic and parasitical relationships with Al
24 software and cybernetic hardware via their rational thinking structure in their
brain.
25
26
27
28

-10 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.12 Page 12 of 50

:l1 Not informing consumers that part of the defendants goals for AGI
2
(Artificial General Intelligence) and ASP (Artificial Super Intelligence) has
religious goals that can be dangerous to all of humanity, including attempts to
3 retrieve or ask AGI about the inner working of the "simulation", what, when,
4
how and by whom the simulation was formed, and what is outside it.
Neuralink, Google, Alphabet, Facebook, Tesla, and DeepMind have not
5 registered as a religious institution, yet they are engaging in religion under the
6
umbrella of science. In fact, they have turned their companies, into religious
institutions with final aim goals identical to most religions. The defendant and
7 their companies are attempting to treat their Technological developments as
8 God, taking all of humanities bio-metrics, data, and connecting it to their
quantum, robotic and machine-based Al technology, and upload their digital
9 selves into other bodies, networks or machines, mimicking the beliefs of a
10 spirit or soul. In Fact, Elon Musk stated in an interview, that he wants to
develop Al to a point, that it could "give him the answers to the simulation".
11 Elon Musk is agreeable to the risks that an AGI or Artificial Super Intelligence
12 can go rogue, kill off humanity, or be hacked, yet as smart as he is, he
doesn't understand that the computing technology the AGI and ASI would
13 have, would not go beyond the level of Atoms to observe more microscopic
14 particles at its plane, hence, any answers to his sought questions to
simulation is limited, and the endeavor of an AGI or ASI is putting humankind
15 at risk. There is an alternative way to achieve his answers, that is 100%. safe
16 and does not involve giving the power to a machine or Artificial Intelligence.

17
1.2
L Defendants have created Al systems that ca.n take in humanities facial,
19 voice and other bio-metric information and decode whether they are resistant
to Al, subject to its control, atheist or have a faith. This technology can enable
20
Al, or any entity using Al to track, profile, hunt and kill targets it deems
21 resistant to its control or resistant to Al. This can be done with drones,
machines, robotics, or poison delivery systems such as Micro-Batie terrorism.
22

23

24 All Charges from 1-26 have led to physical genocide in China


25 spearheaded by the Chinese Communist Government, and all charges
from 1-16 are in breach and violations of penal codes stated in facts 1, 2
26
and 3. All Charges have and are leading to Cultural Genocide in America
27 and around the World, endangering all of humanity to enter a stage of
28
cultural and physical genocide with the interconnection of Artificial
Intelligence, 5G, Robotics, Machines, Drones, Smart Cities, as it pertain to
-11-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.13 Page 13 of 50

1 negligence and misuse by the main platforms and companies of Google,


2 Facebook, Alphabet, DeepMind, Neuralink, John Does, and their
leadership. This does not exclude other players such as Amazon and
3
Microsoft from guilt, and the very many Chinese companies who were
4 trained by these Western companies.
5

6 Cyrus A. Parsa, The Al Organization


7 Dangerous Interconnection of Google, Alphabet, Facebook, Neuralink,
8 and DeepMind Al posed great threats to humanity.

10 Digital You.
11 The collaborative process between these companies, is attempting to
create a digital you with Artificial Intelligence. They have harnessed
12
humanities bio-metrics, are planning to run it in an Al machine, to copy
13 a person's consciousness, with the idea that your emotions,
14 personalities, and neural networks, can be digitally implanted into
robotics, cybernetics, cyber systems, virtual reality, augmented reality,
15
mixed reality, alternate reality, human, animal and modified clones and
16 other bodies, to obtain immortality. The collaborative process between
these companies, can create an Artificial Intelligence that can control
17
humanity through the 5G network, mobilizing drones, machines,
18 robotics, CRISPR and other technologies not limited to the digital
19 networks.

20
21 ALPHABET,lnc
22 Alphabet is the parent company of YouTube, Google, DeepMind. They are a
registered Delaware Company, with headquarters in Mountain View
23
California. Alphabet as an organization, is directly responsible to the
24 negligence, and hurt Google, And DeepMind have brought to humanity, The
25 Al Organization, Cyrus A. Parsa and victims of Persecution, torture, rape,
human trafficking, sex trafficking, organ trafficking, organ harvesting,
26
internment camps, and concentration camps, as stated in this claim. This
27 includes its board members to varying degrees.
28

- 12 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.14 Page 14 of 50

2 GOOGLE L.L.C
3 Google L.L.C is a Delaware Company with Headquarters in Mountain View,
4 California. Google's search engine has harnessed humanities data. Google
due to negligence, has allowed humanities privacy to be leaked to nefarious
5
companies, entities and governments, such as China, who engages in
6 concentration camps, rape, torture, sex, human and organ trafficking,
7
resulting it murder or death by persecution.

8 Google has created a platform that harnesses' the worlds data, which is going
into Artificial Intelligence, Machines, Robotics, the coming 5G network,
9
Drones, Satellites, private networks, and Quantum Computing that can attach
10 to a digital brain and simultaneously control humanity through influence,
manipulation, or outright physical force by mobilizing machines, robotics and
11
newly formed Al laws.
12

13 Google Super Conscious Al Brain


14
Google has data on almost all people, things and subjects on the planet, and
15 about everything ever published online. An Al system or an Al Robot can
16 access everything connected to all networks and make imperceptible moves
around the world simultaneously. It would be so fast on the 5G network, that
17 humanity would be caught off guard. It could be a program malfunction, a
18 purposeful terrorist attack by an entity, or the Al system going rogue based on
a self-learning algorithm.
19 The worst possible scenario is that a digital super computer, humanoid robot,
20 or a person that has been merged with cybernetics achieves a certain
automated consciousness that would be a threat to humanity. Google has
21 been in China, helping them advance their Al program, in return China's
22 government is advancing their weaponization program.

23 Deep Mind Al
24
Deepmind is a Delaware Company with offices at Alphabet and Googles
25 Mountain View Location in California. DeepMind Al, is creating Quantum
26 Computing designed and or able to harness googles data, humanities bio-
metrics and mobilize robotics, machines, drones, and smart cities in nefarious
27
ways unbeknownst to the justice department, government or the common
28 citizen due to bio-digital social programming derived from social engineering

-13 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.15 Page 15 of 50

1 and the interconnection of machines, robotics, 5G, loT, smart phones with
2 Google and Deep Minds products and services that can also merge Al and
machines with human beings.
3

5 Deep Mind provided Al, and Quantum Technology to China that has aided
the Chinese government in surveillance, concentration camps, rape, torture,
6
organ harvesting, murder and genocide.
7
Deep Mind is threatening the world with creating a Digital Mind that can
8
connect via the 5G network to machines, robotics, drones, smart cities, smart
g homes, automated cars, and infrastructure. A Digital Mind or Artificial
Intelligence with the bio-metrics of Americans, or all of the world's citizenry,
10

11 According to Elon Musk, Deep Mind Operates as a semi-Independent


Subsidiary of Google". Deep Mind is accelerating its creation of a digital super
12
intelligence. At a digital level, they are close to Artificial General Intelligence.
13 Deep Mind, from Google, is attempting to create an Al that is more clever
than any person on the planet, and at some time it can be more clever than
14
all of humanity combined. This digital Al can hack and control Google, Biadu
15 (Chinese version of Google) and all networks at once or be used by a
company or terrorist to do the same thing.
16
11 Elon Musk says, a Digital Super Intelligence could see people as ants. I
strongly agree, and after the reader takes in the book "ARTIFICAIL
18
INTELLIGENE Dangers to Humanity" and considers the interconnection of
19 the companies, the gee-political situations, history, human rights, and how Al
moves, one can understand the severity of this case and the dangers
20
humanity faces. This case is has an additional element, to safeguard
21 humanity.
22

23

24
Larry Page, Sergey Brin, and Sundar Pichai as CEO, Founders and
25 Board members, bare responsibility via negligence and complicity in
26 physical persecution and genocide of Chinese citizens, and cultural genocide
of humanity. They have residence in California and or work in California, and
27
the 50 United States. They are in breach of all penal codes listed in facts 1-
28 26 and other codes listed within complaint.

-14 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.16 Page 16 of 50

1 FACEBOOK
2 Facebook is a Delaware Company is Headquarters in Menlo Park, California
3 Masking of The Al Organization Posts, Books "Artificial Intelligence
4 Dangers to Humanity & Al, Trump, China & the Weaponization of
Robotics with 5G".
5
. FACEBOOK was complicit in crimes against humanity with regards to China
6
by masking The Al Organization and Cyrus A. Parsa's articles, posts and
7 books that were posted by people working on behalf of The Al Organization,

8
Cyrus
A. Parsa and his associates. Facebook caused financial harm to Cyrus A.
9
Parsa and The Al Organization by rejecting promotions for the book "Al,
10 Trump, China & The Weaponization of Robotics with 5G" A Human rights
book, meant to warn humanity about the dangers to Al, robotics, 5G, China
11
and big tech companies' nefarious activities. By rejecting the book and
12 masking the book "Artificial Intelligence Dangers to Humanity, Facebook is
13 guilty of complicity in China and Censorship.

14
15 NEURALINK & Elon Musk
16

17 Neuralink Corportion is an American Neurotechnology company


founded by Elon Musk, developing Implantable brain-machine
18
interfaces, with company headquarters in San Francisco. Elon Musk
19 resides in California.
20

21
Neuralink is involved in risky Research and Development, including robotics,
22 cybernetics, and R & D to map and decode the entire human brain and neural
network in order to mix machines and Al with human beings, that can create
23
humans with super human powers who would be dependent on machines or
24 Al technology to sink with the human brains, creating a symbiotic interface
25 that connects with the internet and its data. Neuralink's technology can create
the components needed for other entities, corporations, countries and people
26
to create fully capable Robotics and Humanoid Robots with human desires,
27 and thinking capabilities, let alone a full range of human mobility.
28

-15 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.17 Page 17 of 50

1Elon Musk is the Founder of Tesla, Space X, Neuralink and has stake in
2 Google's DeepMind Al. Neuralink is based out of California

3 The Founder of Neuralink, Elon Musk, stated "For humans to survive, they
have to merge with Al and Machines". Neuralink wants to put implants inside
4
human beings' brains in order for people to connect with the Internet and mix
5 with machines, robotics and other cybernetic parts. Elon Musk also stated
human beings are already Cyborgs by virtue of them having smart phones, "A
6
2 Digit Cyborg".
7
Elon Musk is attempting to make humans into Cyborgs in order to tap into
8 areas in the brain that usually cannot be accessed by the public. By merging
9 Al, Machines with the Human brain and body, Elon Musk hopes to make
himself and others super intelligent with super human powers. He hopes to
10
tap into the human brain's total capacity, giving him powers not only to tap
11 into the internet, but powers to control machines, drones, robotics, virtual
12
reality, augmented reality, mixed reality. and any bio-digital infrastructure on
the 5G network or any network that can form in the bio-digital world. At
13 some point, he or someone like him may be able to have to access micro-
14 dimensions and manipulate atoms by merging himself with machines and Al,
albeit the Al merger would not allow him to go beyond the atomic planes per
15
the intrinsic qualities that exists in machines, cannot go beyond certain
16 particles in the quantum research and development. That being said, if Elon
17
merges with a machine, at that point, he would no longer be Elon, but be
replaced by an Al replicating Software. He hopes to tap into the powers of the
18 human brain and neural network by introducing foreign intelligence to for a
19 symbiotic relationship and to have humanity be merged with the Al host as
well.
20
If this happens to Elon or any person working on this, they would endanger
21
the entire human race. Because Human's innately have jealously, greed, lust,
22 need for fame, ignorance, profit, and the many vice that have created
23 conflicts and wars throughout humanity, his experiments are a danger to the
public and himself.
24
Elon Musk doesn't know how to tap into certain areas of the brain, and open
25
up those neural networks without using machines and Al, hence he is
26 accepting a symbiotic or parasitical relationship. Elon Musk admitted himself
that it would be
27
"Symbiosis or symbiotic Relationship" once humans merge with machines.
28

- 16 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.18 Page 18 of 50

1 The Most dangerous part of mixing humans with Al and machines, is that the
2 Al can replicate itself within the neural network of the human beings, this is
replacing and killing the person bit by bit and taking control of the persons
3
pineal gland. The person would look the same, but their digital self, soul,
4 spirit, consciousness or innate neural network would be separated, killed or
extracted from the body.
5
Elon Musk has passed onto China knowledge that has aided their Al
6
weapons programs. Some of these technologies that have been passed onto
7 China, have been used by Chinese companies and the Chinese government
8 to experiment on Chinese citizens who have been enslaved in concentration
camps.
9

10

11

12

13
Tesla, Inc,

14 Tesla is an American Company with headquarters in Palo Alto


California.
15
16
By transferring Technology to China and having a Gigafactory in China, Tesla
17
has transferred technology to the Chinese government and its corporations,
18 including bio-metric technology that can scan, recognize human bodies,
19
faces, and other attributes that can identify human beings that are used by
the regime of China and its corporations to hunt its citizens. All corporations
20 by Chinese law, are subject to the Chinese Communist Regimes control. The
21 Chinese regime, with their security apparatus, police, military and rogue
government gangs, have used Tesla's human detection technology and bio-
22
metric technologies to track, hunt, quarantine, arrest, torture, and kill many
23 dissidents. Tesla is negligent, and did not listen to U.S government warnings
24
of not doing business with China. Moreover, Tesla has a responsibility to not
do business with countries who engage in human rights atrocities, including
25 internment camps, concentration camps, and organ trafficking.
26

27
CISION PR NEWSWIRE
28

-17 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.19 Page 19 of 50

1 PR Newswire is headquartered in New York, A PR Newswire discriminated,


2
impeded, and caused the death of individuals in Chinese concentration
camps by canceling The Al Organization's book PR Release "Artificial
3
Intelligence Dangers to Humanity and Article's about Huawei, China and 5G,
4 on the claim that the content was "Slanderous to China and Huawei". PR
Newswire is in violation of Article 2, 3 and Article 4 of the Genocide
5
Convention, as well as the Nuremberg and U.S code on genocide. Our
6 articles and book, aims to bring awareness to the concentration camps in

7
China, how the tech us used, and China and Huawei's threat to enslave
Europe, Africa, the Middle East and the World on the BRI (One Belt One
8
Road), as well as the dangers Americans and humanity at large face with
g emerging technologies. PR Newswire has a Chinese subsidiary inside of
China, hence they are intertwined in censorship with China, and complicit in
10
crimes against humanity.
11

12
PR Newswire violated the human rights of The Al Organization, Cyrus A.
13 Parsa and victims of Persecution and Genocide by forcing 2 more press
14 releases to terminate our PR release for our articles attempting to warn Hong
Kong Citizens, Chinese, Europe, Americans, and the world, about the
15
persecution, concentration camps, and threat of enslavement of humanity by
16 China using big tech, 5G and Huawei, and the interconnection as a whole.
17

18 PR News Wire prevented U.S senators, Governors, Congress and the media
19 at large from knowing about our books, articles and reports, including
"ARFICIAL INTELLIGENEC DANGERS TO HUMANITY that were later
20
plagiarized by other think tanks and outlets, yet the contents did not make
21 mainstream news via The Al Organization. PR News wire caused financial
harm, and undue stress to Cyrus A. Parsa and The Al Organization for its
22
combative censorship of The Al Organization and Cyrus A. Parsa during their
23 attempts to prepare, and publish press releases with different PR companies
24 who were forced by PR newswire to adversely react and harm the plaintiffs.

25
26 Plaintiff
27 The Al Organization
28

-18 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.20 Page 20 of 50

1 The Al Organization's mission is to keep humanity safe from the misuse


2 and dangers of Artificial Intelligence.

3 The Al Organization specializes in research, design, development, risk

4
assessment and vulnerability consultation of Humanoid Robots, Micro-Botics,
Al & Robotic Terrorism, Al Automated Drones, Al Automated Assassination
5
Prevention, Al Bio-Engineering, Al Genetic Modification, Al Automated
6 Cybernetics, Al Automated Cloning, Al Automated Animal-Human Hybrid
7 System Detection, Al Automated Security Systems, Al Scanning Apparatus,
Al Detection Apparatus, loT, Smart Home, Smart City, Virtual Reality,
8
Augmented Reality, Mixed Reality, Alternate Reality Hologram Apparatus,
9 The Human Bio-Digital Network, Bio-Digital Field, Bio-Matter, General Bio-
10 Metrics, Facial Recognition, Voice Recognition, Human Body Detection
11
Apparatus, Lidar, Machine Learning, Deep Learning (DL), (Artificial
Intelligence (Al), Artificial Intelligence Nano-Technology, Artificial General
12
Intelligence (AGI), Super Intelligence, the Al Global Bio-Digital Network and
13 Military, Political and Governmental Al Risk & Operating Procedures for
14 Prevention, Emergency & Response. The Al Organization is the publisher for
the book "Artificial Intelligence Dangers to Humanity".
15

16
Cyrus A. Parsa
17

18 Cyrus A. Parsa is the Founder and CEO of The Al Organization, Loyal


Guardian Security and The Social Programming Institute. All created to assist
19 in making our society safer and better. Cyrus has a Bachelors in International
20 Security & Conflict Resolution, and a Master's Degree in Homeland Security.
He is an expert in China-Iran affairs, and has consulted on Human-Organ
21
Trafficking, Anti-Terrorism, Vulnerability, Risk, Asset Management and
22 Emerging Threats to governments, agencies, people and organizations. He
23 lived in the mountains of China with fighting monks as a youth. 20 years of
hidden research, and development, with a network of thousands of Chinese
24 and Westerners, allowed for great insight into the threats we face from China,
25 Iran and the Western corporate inter-connectivity. Cyrus's discoveries have
led him to coin the new concepts of "The Al Global Bio-Digital Network, The
26
Human Bio-Digital Network, Bio-Digital Social Programming, Bio-Digital
27 Hybrid Sexual Assault & Micro-Botic Terrorism" to explain how the dangers
28
we face, and all the trouble we find ourselves in, are rooted in these almost
imperceptible elements that are now connecting with Al, Society, Smart
-19 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.21 Page 21 of 50

1 Phones, loT, and Robotics through one platform. Within this platform, Cyrus
2 found extinction codes. He is the author of Artificial Intelligence Dangers to
Humanity & Al, Trump, China & the Weaponization of Robotics with 5G"
3

8 Following Extracted from book "ARTIFICIAL INTELLIGENE Dangers to


Humanity and United Nations Charter on Genocide
9
Can Big Tech Corporations be Charged with Article 3 of the Genocide
10 Convenlion?

11
Convention on the Prevention and Punishment of the Crime of Genocide
12
Bellow are transcriptions of Article 3 and 4 from the United Nations. These 2
13
articles can be used to charge corporations, and its employees that have
14 engaged or have been complicit with providing technology or doing business
15 with nation states that have committed genocide or are engaging in acts that
lead to genocide. Please pay attention to (e) Complicity in Genocide. The
16 complicity clause can be directed at any corporation that uses Artificial
17 Intelligence, bio-metrics, bio-engineering, gives training or any data that leads
to the persecution or killing of any group in China or around the world that are
18
protected by the Charter of Human Rights as recognized by civilized nations.
19

20

21
Convention on the Prevention and Punishment of the Crime of Genocide
22
23

24 Approved and proposed for signature and ratification or accession by


General Assembly resolution 260 A (Ill) of 9 December 1948
25
Entry into force: 12 January 1951, in accordance with article XIII
26 The Contracting Parties ,

27 Having considered the declaration made by the General Assembly of the


28
United Nations in its resolution 96 (I) dated 11 December 1946 that genocide

- 20 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.22 Page 22 of 50

1is a crime under international law, contrary to the spirit and aims of the United
2
Nations and condemned by the civilized world,
Recognizing that at all periods of history genocide has inflicted great losses
3
on humanity, and
4
Being convinced that, in order to liberate mankind from such an odious
5 scourge, international co-operation is required,
6 Hereby agree as hereinafter provided :
7 Article I
8 The Contracting Parties confirm that genocide, whether committed in time of
peace or in time of war, is a crime under international law which they
9
undertake to prevent and to punish.
10
Article II
11
In the present Convention, genocide means any of the following acts
12 committed with intent to destroy, in whole or in part, a national, ethnical, racial
or religious group, as such:
13
(a) Killing members of the group;
14
(b) Causing serious bodily or mental harm to members of the group;
15
(c) Deliberately inflicting on the group conditions of life calculated to bring
16
about its physical destruction in whole or in part;
17
(d) Imposing measures intended to prevent births within the group;
18 (e) Forcibly transferring children of the group to another group.
19 Article Ill
20 The following acts shall be punishable:
21 (a) Genocide;
22 (b) Conspiracy to commit genocide;
23 (c) Direct and public incitement to commit genocide;
24 (d) Attempt to commit genocide;
25 (e) Complicity in genocide.
26 Article IV
27 Persons committing genocide or any of the other acts enumerated in article Ill
shall be punished, whether they are constitutionally responsible rulers, public
28
officials or private individuals.
- 21-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.23 Page 23 of 50

2 With regards to the Genocide Convention, specifically the Complicity clause.


3
The Complicity Clause covers any human being who complicit in genocide by
discounting it, avoiding it, dismissing it, or not giving standing in their platform
4 to be heard. For example, lawyers, media, doctors, government personal,
5
judges, police, educators, corporations, and any entity or person who is
complicit can face and be charged by a tribunal, organization or government
6 body.
7 HUMAN ORGAN TRAFFICKING & CONCENTRATION CAMPS IN CHINA
8

g After the passing of multiple laws related to what the state can do with
executed prisoners and their bodies, both criminals and "Enemies of the
10
Socialist State" were executed for a multitude of reasons the Chinese
11 Communist Party declared unlawful. Usually they fell under freedom of
12 speech, freedom of religion, or advocating for democracy or freedom of
speech. The first target group for Government led organ trafficking were
13 Tibetans, Uighurs, Christians, then Falun Dafa practitioners, and democracy
14 advocates. Numerous witnesses from around the globe who escaped China
gave accounts of blood testing, cornea and other bio-metric measurements of
15
their bodies via video, photos and scanning apparatus. This was done prior to
16 be taken by the Chinese Socialist Regime as hostage for labor throughout
17 China and inside of their vast labor camp network. Investigators and
researchers from the International Coalition to End Organ Transplant Abuse
18 in China, have concluded that 60,000-100,000 Transplants a year are
19 unaccounted for since the year of 2000 with the Updated 2016 Report,
grossly underestimating the previous reports in 2006 of 41,500 unexplained
20
organ transplants. Timeline below with links with over a decade of
21 investigations.
22
23
24

25

26

27

28

- 22 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.24 Page 24 of 50

2
3 Organ Harvesting Time Line
4

5 1949- The Chinese Communist Regime takes charge via a Socialist platform.
Through the Socialist regime's murder, executions, torture, rape and famines,
6
roughly 100 million people are believed to have died in China alone. Like the
7 miseries of Russia's violent Socialist revolution, academics, artists, free
8 thinkers, businessmen, families, lawyers, judges, democracy activists, and
people of faith were sent to concentration camps all across China.
9
1980's- The Chinese Communist Regime increases organ trafficking
10
initiatives after it passed into law the right of the Socialist Republic to execute
11 prisoners for their organs.
12 1990s- Reports come out of China that Christians, Uyghurs, and Tibetans
13
were targeted for organ trafficking.

14 1999- Chinese Communist Regime, at the order of Dictator Jiang Zemin,


brands the Falun Dafa Spiritual practice illegal, and sends in the military
15
and the security apparatus to target 100 million people who practiced Falun
16 Data (Falun Gong) spiritual method. Untold number of people were arrested,
beaten, tortured and put in labor camps. Orders from the regime was to "ruin
17
their reputation, and that "Truth, Compassion and Forbearance were not in
18 line with the CCP. The Socialist Regime publicly stated, "disintegrate them,
19 ruin their reputation, break them financially and destroy them physically". The
Media and its reporters in China were the biggest weaponization tools to
20
cast doubt, create confusion, spread disinformation, slander and incite
21 hatred on the people who practiced Falun Dafa, that subsequently led to the
weaponization of the Chinese Socialist State's security apparatus to torture,
22
rape, organ traffic and commit genocide towards 100 million people and their
23 families.
24 2005- Chinese hospitals and third-party websites were advertising 48-hour
25 wait times for hearts, kidney's and livers. The prices were in cash and
available for foreigners from around the world to fly into China for transplant.
26
2006. Canadian Secretary of State, David Kilgour & Nobel Nominee David
27
Matas, make public their report. They stated that 41,500 Organ transplants
28

- 23 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.25 Page 25 of 50

1 from the year of 2000-2005 are unaccounted for, and that China recorded
2 roughly a donation system of 3,000 people a year.

3 2007. U.N. Special Rapporteur Manfred Nowak states that the chain of
evidence that Matas and Kilgour were documenting showed "coherent picture
4
that causes concern" and that they wanted to investigate how China could
5 increase the volume of organ transplants to such a high degree since the
year 2000. Where the number did not match or come nearly close to the
6
increase of organ donations in China.
7
2008. United Nations Committee Against Torture requested "a full
8 explanation of the source of increased organ transplants" as there was
9 no explanation to the source
10 2009- Matas & Kilgour publish Bloody Harvest: The Killing of Falun Gong
for Their Organs. Book highlights evidence, methods, and reach. Evidence
11
included taped recording by medical doctors, stating they "have organs from
12 Falun Gong, they are the best and fresh". Reports also expound on Tibetan,
13
Christians and Uyghurs.

14 2011- Western Tech companies begin to be sued for providing technology to


the Chinese regime that aided in genocide via human tracking technologies.
15
This tracking helped put Falun Dafa Meditators, Christians, Tibetans and
16 Uyghurs in concentration camps.

17 2014. Journalist Ethan Gutmman publishes "The slaughter: Mass Killings,


18
Organ Harvesting and China's Secret Solution to its Dissident Problem.
Gutmman states large numbers of Falun Gong, House Christians, Tibetans &
19 Uyghurs have been killed for their organs. His numbers reach 100,000 people
20 as an estimate.

21 2016. Matas, Kilgour & Gutmman publish "2016 Investigation, An Update".


They conclude that 60,000-100,000 transplants per year, every year, are
22
unaccounted for and not explained by the Chinese regime. They also
23 concluded that at any time there could be over a million people in camps
24 throughout China. https://endtransplantabuse.org/an-update/

25 2016. Congress passes House Resolution 343. "Expressing concern


regarding persistent and credible reports of systematic, state sanctioned
26
organ harvesting from non-consenting prisoners of conscience in the
27 People's Republic of China, including from large numbers of Falun Gong
practitioners and members of other religious and ethnic minority groups.
28
https://www.congress.gov/bill/114th-congress/house-resolution/343/text
- 24 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.26 Page 26 of 50

1 2019- Secretary of State Mike Pompeo publicly speaks about the Chinese
2 Communist Regime putting people in camps, and that Western tech
companies need to think twice of what they are doing.
3
2019- "China Turbinal Final Judgment" in the UK. The Tribunal Concluded
4
that "very many people have died, and without a doubt China is found guilty
5 of the crime of Genocide through forced organ harvesting, rape, torture and
physical extermination. " Https://chinatribunal.com.
6

7
2019. President Trump and his Administration meet with numerous human
rights abuse victims, including Falun Dafa, Christian, Uyghur, and Tibetans.
8 Vice President Pence meets privately with these four groups.
9
2019: President Trump and Vice President Pence initiate human rights
10 initiatives of persecuted people around the world
11 October, 2019, 28 Chinese Al, Tech and Bio-Metric companies are put on
black list by the U.S government for their roles in assisting in the capture of
12
human beings. The following article slipped through the Epoch Times
13 Chinese edition, became viral, with tens of millions of views around the world
14 from numerous outlets. We disclosed what was happening behind the scenes
in Hong Kong with Al and its relationship to facial recognition, capture, rape
15
and even suicide of Hong Kong students. The following is series of articles
16 that are relevant to actual events, and to this entire book.
17 December, 2019.
18 New York Times, Confirms part of The Al Organization and Cyrus A.
19 Parsa's findings that China was using emotion, facial and voice
recognition to quarantine, imprison, rape and even kill Uyghurs for their
20
organs.
21

22
STANDING
23
1. The Al Organization, Cyrus A. Parsa, people working and related to The Al
24
Organization and its affiliates, such as Loyal Guardian Security, Chinese
25 Researchers and Western Researchers assisting The Al Organization, and
the victims of persecution, organ trafficking, concentration camps and murder,
26
relate back to The Al Organization's humanitarian efforts and members.
27 Facebook Directly interfered in this process, as did PR NewsWire. Google's
Algorithm's hindered Cyrus's humanitarian work since the year of 2005 by
28
creating an ecosystem that was complicit and provided a network for hate
- 25 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.27 Page 27 of 50

1 towards person's suffering in China. Google transfered to China Al, Bio-


2 metric, quantum computing and Al facial recognition technology that was
used to arrest or kill Plaintiffs. Sergey Brin, Sandar Pichai, and Larry Page
3 are directly responsible, worked, and reside in Californa. They falsely
4
informed the publish that Google was not giving Al weaponization technology
to China and its corporations. Neuralink, Tesla, and Elon Musk provided data
s and Al & bio-metric weaponizing knowledge to Jack Ma, and other Chinese
6
companies, not to exclude Tesla's Giga Factory in China. Cyrus A. Parsa
and The Al Organization are representing themselves and victims of
7 persecuting, concentration camps and organ harvesting, that suffered due to
8
negligence and complicity in technology transfer to China from the
defendants and companies and persons named in this complaint, as well as
9 creation of Al technology with coding and alhrithyims that harmed Cyrus A.
10 Parsa's efforts to bring awareness to the dangers to humanity and the crimes
against humanity in China and America via bio-metric althortyim manipulation
11 by Google and Facebook. Any person or entity can bring charges of
12 genocide and complicity to genocide, as afforded by the Genocide convention
and the penal codes presented in this claim.
13

14

ii. Article 1, 2, 3, and 4 of the Genocide Convention can be brought by any


person, entity attempting to assist, research, prevent, report, or bring justice
16
on behalf of the victims who may have been related to the cultural, ethnic, or
17 physical genocide. Victims of persecution as a direct result of the defendants
technology transfer exist within The Al Organization and Cyrus A. Parsa's
18
network that he represented.
19

20
2l ANY PERSON, ATTORNY, OR ENTITY, ATTEMPTING TO DISMISS THIS
CASE, CAN AND WOULD BE FACE ARTICLE 2, 3 AND 4 OF THE
22 GENOCIDE CONVENTION, NOT TO EXCLUDE PUBLIC TRIBUNALS.
23 Millions of people in China are depending on this lawsuit, and awaiting the
Hon. Judge's assistance in allowing the case to be heard in trial, and justice
24 to be served for the 1O's of millions in China who have been persecuted,
25 raped, or killed, and the millions in America who have be harmed, and the
billions around the world that will be harmed by the negligent and dangerous
26
developments of Artificial Intelligence and the defendants misuse. Some of
27 the technologies stated in this case, can best be understood by someone like
Elon Musk, and
28
Cyrus A. Parsa, not the attorney's who could be charged with Article's of
- 26 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.28 Page 28 of 50

1 Genocide for Complicity if they attempt to hurt the Chinese people or the
2
worlds people by dismissing this case. In addition, it is being filed by Por Se,
Cyrus A. Parsa, representing himself, The Al Organization, his associates
3 and the many people related to his company, or have worded on behalf of his

4
company, who have been harmed by the defendants.

6
Jurisdiction
7

9 Defendants have violated state, federal and international laws. The complaint
largely sites many federal laws that were breached and violated by the
10 defendants, that caused emotional, financial, health and physical harm to the

11 plaintiffs, including death to victims of persecution in China, and persecuted


victims living here in California and in every state under the jurisdiction of the
12 Federal Court. This Court has original subject matter jurisdiction under 28
13 U.S.C. § 1331 over the First Amendment and Lanham Act claims which arise
under the laws of the United States, as well as
14

15 18 U.S.C.A. § 1030
16
Arms Control and Disarmament Act [22 U.S.C. 2551 and Foreign
Assistance Act of 1961,
17

18
22 U.S. Code § 2752
22 U.S. Code § 2753
19
22 U.S. Code § 2754.
20
22 U.S. Code § 2755
21

22
22 U.S. Code § 2756

23 18 U.S. Code§ 1038

24 California Electronic Communications Privacy Act pursuant to Chapter


3.6
25
CFAA) 18 U.S.C. § 1030)
26
Electronic Signatures in Global and National Commerce Act
27
of U.S.C.A 1019 Genocide,
28

- 27 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.29 Page 29 of 50

1 Penal Code
2 Articles 1, 2, 3 and 4 of the genocide convention as well as in violation
3 of The FTC Act (15 U.S.C. §§ 41-58

4 The Court has supplemental jurisdiction under 28 U.S.C. § 1367 over the
California state claims, which share a common nucleus of facts with the
5
federal claims in this matter. 18. This Court has personal jurisdiction over
6 Google. Google, Facebook, Neuralink, Alphabet, Tesla and Deepmind are

7
pervasively present in California and in this judicial district, and is subject to
general personal jurisdiction throughout this State. 19. Venueis proper in this
8 District under 28 U.S.C. §§ 1391(b)(1), (b)(2), and (c). Google has a large

9 office in Venice, California within this judicial district, which houses


engineering, sales, and marketing operations for Google Ads, such that 6
°
1
Complaint. Plaintiffs and defendants, including their companies all have
11 residence in California or do a considerable amount of businessin California.

12
The Al Organization is based out of La Jolla, California. The complaints filed
against the defendants stem from the creation of the Al and bio-metric
13 Weaponry, mainly took place largely in the state of California, as did many

14 contracts between China, Chinese


Companies, Chinese actors and the defendants and their companies, albeit
15
this is a federal matter, the venue is more than adequate and appropriate.
16

17
18
19

20

21

22

23
Ill. RELIEF YOU REQUEST
24

25
PRAYER FOR RE LEIF

26

27 Defendants must pay financial and personal damages.

28

- 28 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.30 Page 30 of 50

1 Google, Alphabet, Facebook, Neuralink, Mark Zuckerberg, Sergy


2 Brin, Larry Page Sandar Pichai, Elon Musk, Tesla, & PR Newswire,
All Defendants Combined must pay a total of 2.3 Trillion USD.
3 Each defendant liability is detailed below. No amount of money
4 can replace the human lives lost, yet they must pay, and beyond
the financial punitive damages required. Each defendant must
5
assist persecuted victims, and immediately begin exploratory
6 missions to investigate Chinese concentration camps, tortured
7
and murdered victims.

10

1
1. Financial Demands
12

13

14

15

16 Funds to be distributed by The Al Organization and Cyrus A. Parsa to victims


17
of persecution, genocide, and to create a world body to monitor big tech, and
safeguard humanity. Victims include Democracy activists, Uighur, Christian,
18 Falun Dafa Practitioners, Tibetans, Hong Kong citizens, Chinese Citizens,
19 judges, lawyers, journalists, academics in China and the world Citizenry who
have suffered due to the defendants misuse of technology, negligence,
20
weaponized Al and bio-metric technology transfer, complicity, and lack of
21 regard for human dignity.
22
23 Facebook
24 Financial Obligation
25
506 Billion or at least 99% of its net worth
26
Personal Obligation
27
World Apology, 30 years of public service to assist victims of persecution.
28 Disclose that its interface, algorithms and coding is programming peoples

- 29 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.31 Page 31 of 50

1lives, thoughts, emotions, and bio-metric systems, and that Americans and
2 the worlds bio-metric systems, including facial recognition and private
information of peoples families has been extracted by the Chinese
3 government through IP Theft and Espionage, and negligence due to

4 Facebooks hires of agents who worked on behalf of China. Compensate The


Al Organization and Cyrus A. Parsa for masking its books, articles and posts,
5
and promote them throughout its system as a way to pay back for its
6 damages. Help Sue China and Chinese Companies for IP Theft, and misuse

7 of Facebooks Data and technology, and expose their concentration camps


and crimes against humanity. Immediate nationwide exploratory access by
8
Defendant with China's consent to inspect concentration camps throughout
g China, prisons, detention centers, and persecuted victims' statements with no
limitations.
10

11

12

13

14
15
16 Mark Zuckerberg
17 Financial Obligation
18 68. 2 Billion Dollars USO. Complete net worth.

19 Personal Obligation
20 World Apology, 30 years of public service to assist victims of persecution.
21 Help Sue China and Chinese Companies for IP Theft, and misuse of
Facebooks Data and technology, and expose their concentration camps and
22
crimes against humanity Immediate nationwide exploratory access by
23 Defendant with China's consent to inspect concentration camps throughout
China, prisons, detention centers, and persecuted victims' statements with no
24
limitations.
25
26
Elon Musk.
27
Financial Obligation
28

- 30 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.32 Page 32 of 50

1 Half of Net worth, 11.8 Billion of reported 23.6 Billion.


2 Personal Obligation
3 To ensure Humanities is Safe. Willing to mitigate in person with Elon Musk for
4 a conclusion he would be happy with. It may be possible to withdraw financial
damages from Elon Musk upon conversation, including all requests for
5
financial damages, if he can provide a better plan for Al development, and
6 ensure he or any of his companies were never informed or in knowledge of
7
human rights atrocities in China. Did they know that by doing business in
China and providing technology, they are assisting the Chinese government
8 in surveillance, capture, internment camps, torture and murder?
9
Immediate nationwide exploratory access by Defendant with China's
10 mandatory consent to allow inspection of concentration camps throughout
China, prisons, detention centers, and persecuted victims' statements with no
11
limitations. Help Sue and or expose China's crimes against humanity if any
12 stone walling or delay from China to hide their concentration camps, or traces
13 to cremated bodies of Chinese citizens.

14

15 Request to meet with Elon Musk, remove his Tesla factory from China and/or
Help Sue China's Government and Chinese Companies for IP Theft, and
16
misuse of Elon Musk ingenuity, Data and technology, and expose their
17 concentration camps and crimes against humanity. Sue the Chinese

18
Communist Regime for crimes against humanity.

19

20 The Al Organization, Cyrus A. Parsa and victims of Persecution, under


certain negotiable human scenarios, would consider removing all charges to
21
Elon Musk personally, and Tesla. Nueralink, is a separate matter, AGI and
22 ASI must be discussed in person. Removing all charges includes retracting
punitive damages under certain conditions discussed privately with Elon
23
Musk and Cyrus A. Parsa.
24

25
26
27
Larry Page
28

-31-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.33 Page 33 of 50

1 Financial Obligation
2

3 Complete forfeiture of all assets, and net worth. 60 Billion USO

4 Personal and Corporate Obligation


5 Lifetime of service to assist victims of persecution, rape, torture, internment in
concentration camps, and families of those who were murdered and killed for
6
their organs. Apology for 2 decades of manipulation and destruction of
7 humanity with the use of Google's brain washing algorithms, and its

8
interconnection with the misuse of machines, computers, loT and Smart
Phones. Lifetime of service for collecting humanities bio-metric data via
9
Google's artificial intelligence systems without properly educating the public
10 of its implications with previous, current, emerging and future dangers.
Immediate nationwide exploratory access by Defendant with China's consent
11
to inspect concentration camps throughout China, prisons, detention centers,
12 and persecuted victims' statements with no limitations.
13

14 Sergey Brin
15
Financial Obligation
16
Complete Forfeiture of all assets and net worth. 60 Billion USO
17
Personal and Corporate Obligation
18
Lifetime of service to assist victims of persecution, rape, torture, internment in
19 concentration camps, and families of those who were murdered and killed for
20 their organs. Apology for 2 decades of manipulation and destruction of
humanity with the use of Google's brain washing algorithms, and its
21
interconnection with the misuse of machines, computers, loT and Smart
22 Phones. Lifetime of service for collecting humanities bio-metric data via
Google's artificial intelligence systems without properly educating the public
23
of its implications, current, emerging and future dangers. Immediate
24 nationwide exploratory access by Defendant with China's consent to inspect
25 concentration camps throughout China, prisons, detention centers, and
persecuted victims' statements with no limitations.
26

27
28

- 32 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.34 Page 34 of 50

1 Sundar Pichai
2 Financial Obligation
3 Relinquish of 921 million net worth.
4
. Personal Obligation
5
20 Years of service to assist victims of persecution, internment in
6 concentration camps, and families of those who were murdered and killed for
their organs. Immediate nationwide exploratory access by Defendant with
7
China's mandatory consent to inspect concentration camps throughout China,
8 prisons, detention centers, and persecuted victims' statements with no
9 limitations.

10

11

12 Google L.L.C
13 Financial Obligation
14 Relinquish all Net worth, not less than 550 billion, less operating newly
15 formed search engine with algorithm fairness and correction of codes,
algorithm dangers stated in this complaint.
16
Company Obligation
17
Confess and remove all coding and algorithms that can and do manipulate,
18
influence and bio-digitally reprogram people's thoughts, and bio-metric
19 systems. Immediate nationwide exploratory access by Defendant with

20
China's immediate consent to inspect concentration camps throughout China,
prisons, detention centers, and persecuted victims' statements with no
21 limitations.

22
23
24

25
Alphabet
26
Financial Obligation
27
Relinquish 99% of its net worth, not less than 950 Billion Market Cap.
28
Company Obligation
- 33 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.35 Page 35 of 50

1 Immediate nationwide exploratory access by Defendant with China's consent


2
to inspect concentration camps throughout China, prisons, detention centers,
and persecuted victims' statements with no limitations and world discussion.
3

4
All Access and exploratory missions by defendants to inspect concentration
5
camps, reports of cremate bodies, organ trafficking, organ harvesting, human
6 trafficking, sex trafficking, and victims of persecution must be approved by
7
The Al Organization and Cyrus A. Parsa.

10
18 U.S.C.A. § 1030
11
§ 1030. Fraud and related activity in connection with computers
12
Effective: November 16, 2018
13
Google, Alphabet, Deep Mind, Tesla, Neuralink and Facebook used Al
14
software beyond the reasonable amount needed and in excess, to extract
15 human bio-metrics, and did so without telling the pubic the security
16 implications, hence it was a fraudulent act beyond the accepted scope of their
Artificial Narrow Intelligence Algorithms, coding and other Al systems that
17 directly and indirectly may relate.

18

19

20
Breach of Arms Control and Disarmament Act [22 U.S.C. 2551 and
21 Foreign Assistance Act of 1961, as amended [22 U.S.C. 2151.

22 Google, DeepMind, Tesla, Neuralink, Facebook and Alphabet Did not have
23 permission from the U.S Government, and congress to transfer technology
that can be and has been used for weapons in china, including the
24
Weaponization of Robotics, Artificial Intelligence, Quantum Computing, 5G,
25 bio-metric technology and Civilian private or public data that could be used by
China to hurt people throughout the world financially, culturally, emotionally
26
and physically. These breaches have contributed to the killing of many
27 Chinese citizens, including victims of persecution.
28

- 34 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.36 Page 36 of 50

1 22 U.S. Code§ 2752.Coordination with foreign policy

2 GnnnlP._ DP.P.nminrl_ Alnh::ihP.t_ F;:ir.P.hnnk_ TP.i::l;:i ::incl NP.11r::ilink Diel nnt


nivP. ::ir.r.11r::itP. infnrm::itinn nr nP.t ::innrnv;:il frnm thP. SP.r.rP.t::irv nf State
3 ::incl thP. PrP.i::irlP.nt tn tr::ini::fP.r Artificial lntelliaence. and all other
technologies said in this complaint.
4

6
22 U.S. Code§ 2753.Eligibility for defense services or defense articles
Google, Deepmind, Alphabet, Facebook, Tesla and Neuralink Defendants did
7
not have eligibility to transfer weapons that could be used for mass
8 destruction, surveillance, including all technologies related to Artificial

9 Intelligence that were transferred to China, Chinese companies or


subsidiaries that transferred them to China.
10

11
22 u_s_ CndP. s 2754_P11rnni::P.i:: fnr whir.h milit::irv sales or leases bv the
United States are authorized; report to Congress
12 Google, Deepmind, Alphabet, Facebook, Tesla and Neuralink Misused, were
13 negligent and improperly transferred of Al, Machine, Bio-Metric, Bio-
engineering and Robotics technology to China. Illegally selling Sophisticated
14
weapons directly and indirectly to China and its corporations, as well as doing
15 Research and Development for China's Sophisticated Weapons programs.
16
These Al and bio-metric weapons systems were used on Chinese victims of
persecution, the very people Cyrus A. Parsa and The Al Organization were
17 trying to save.
18
22 u_s_ CnrlP. s 2755_Discrimination orohibited if based on race. reliaion.
19 national origin, or sex
20 Google, Deep mind, Alphabet, Facebook, Tesla and Neuralink engaged in
discrimination directly and indirectly by Selling to China and Chinese
21
companies who were and are discriminating against their own citizens on the
22 bases of religions, national origin, race and sex, and putting these citizens in
camps with surveillance with the use of the very technology provided by
23
Google, Alphabet, Tesla, Neuralink, Deep Mind and other tech companies
24 and persons named as John Doe. They discriminated against the victims of
25 persecution in China that worked on behalf of Cyrus A. Parsa, The Al
Organization, his associates and victims of persecution, and organ trafficking.
26
PR Newswire discriminated against Cyrus A. Parsa, The Al Organization, and
27 victims of persecution by censoring The Al Organization's books, reports and
articles, and aiding the Chinese government in spreading propaganda and
28
incitement of hatred inside of China with PR Newswires Chinese Subsidiary.
-35 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.37 Page 37 of 50

1 22 u.s CndA & 2756.Foreian intimidation and harassment of individuals


in United States
2
Google, Deepmind, Alphabet, Facebook, Tesla and Neuralink Defendants are
3 in breach of this law by doing business with China and its companies who
4 harass and intimidate individuals in the U.S, including Mr. Cyrus A. Parsa, his
associates and persecuted victims who escaped China. PR Newswire
5
intimidated other Press Release Companies to not publish Cyrus A. Parsa
6 and The Al Organization's materials.
7

8
18 U.S. Code§ 1038.False information and hoaxes
9 Google, DeepMind and Alphabet conveyed false information to the American

10 public and the government about Artificial Intelligence activities in China.


Furthermore, Google, Alphabet, and DeepMind conveyed false information in
11
their google internet search engine authorisms and decoding in a way that
12 allowed humanities bio-metrics, thoughts and actions to be misled,

13
misinformed and controlled by the information provided and available by
googles Al data and system's, not limited to Artificial Narrow Intelligence.
14
15

16
Comply with the California Electronic Communications Privacy Act
17
pursuant to Chapter 3.6 (commencing with Section 1546) of Title 12 of
18 Part 2 of the Penal Code.

19 Google, Deepmind, Alphabet, Facebook, Tesla and Neuralink and john Does,
20 Defendants did not properly and accurately comply with the California
Electronic Communications Privacy Act, with regards to the publics bio-
21 metrics and its risks associated with Artificial Intelligence as stated throughout
22 this complaint.

23 A business that collects personal information about consumers shall disclose,


pursuant to subparagraph (8) of paragraph (5) of subdivision (a) of Section
24
1798.130:
25
Defendants did not accurately disclose to consumers the nature of their data
26 collected as it pertains to the risks of Artificial Intelligence as stated
27 throughout this complaint.

28 • Defendants Google, Alphabet, Facebook, Neuralink, Tesla, and

- 36 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.38 Page 38 of 50

1 Deepmind transferred Al technology to China that was used in


concentration camps to detect behavior and noncompliance to the their
2
captures. Defendants also transferred Al technology to China that was
3 used to detect if any Chinese citizens were in noncompliance to the
4
Chinese Socialist Dictatorship, or resistant to the control of Artificial
Intelligence. By doing so, the defendants directly and indirectly caused or
5 provided the means for China to abuse, torture, rape, and murder its
6
citizens. Victims include associates of The Al Organization and Cyrus A.
Parsa, being victims of persecution. These crimes do not exclude Hong
7 Kong or anywhere else the technology was used, including the United
8
States. I (Colgate-Palmolive Co., 323 N.L.R.B. 515, 515-16 (1997)).

10
11 Computer Fraud and Abuse Act (CFAA) 18 U.S.C. § 1030)
12 Google, Facebook, Deepmind and Alphabet, accessed private bio-metric
information on smart phones, computers and loT's for the purpose of building
13
their quantum computing and artificial intelligence projects, without
14 permission from the user, including Cyrus A. Parsa, victims of persecution,

15 The Al Organization, John Doe Defendants and humanity at large. By doing


this, they have put humanity at risk from nefarious actors, China, and the Al
16
systems belonging to Google, Facebook, Deepmind and Alphabet.
17
Google, Deepmind Alphabet and Facebook are in violation of FTC act by
18
"Failing to provide reasonable and appropriate security measures for
19 sensitive consumer information they hold.". They have put peoples at risk,
20
and many have died in China, and including victims of persecution, directly
resulting from Google, Deepmind, Facebook and Alphabet bio-metric
21 collecting Artificial Intelligence Systems that were used by the Chinese
22 Regime and security apparatus to hunt, quarantine, torture and kill Chinese
citizens.
23

24

25
The Electronic Signatures in Global and National Commerce
Act (ESIGN, Pub.L. 106-229, 114 Stat. 464, enacted June 30, 2000, .1§
26 U.S.C. ch. 96) is a United States federal law passed by the U.S. Congress to

27 facilitate the use of electronic records and electronic


signatures in interstate and foreign commerce by ensuring the validity and
28
legal effect of contracts entered into electronically.
-37 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.39 Page 39 of 50

1 Google, Alphabet, Facebook and Deepmind Failure to obtain electronic


2
signature from consumers and explain therein, the ramifications of their bio-
metrics being extracted from Google, Facebook, Deepmind and Alphabet for
3 their artificial intelligence machine. This failure has endangered humanity,
4 specifically the victims of persecution, associates and members of the Al
Organization.
5

7
Data Privacy 187. As the Company recognizes in its own corporate
governance documents, Alphabet's business is subject to state, federal, and
8 international data protection laws and regulations, and compliance with those
9 regimes is essential to the Company's success. Alphabet's deliberate failure
to timely disclose the Google+ breach likely violated many of those protective
10
regimes. 188. In particular, the Consent Decree specifically prohibits
11 misrepresentations about the efficacy of privacy controls, including user
12
controls over who may access their data. Defendants knew, or should have
known, that their deliberate failure to disclose Google+ breach-which
13 inadvertently permitted developers to access data that had not been marked
14 "public" and potentially
15
16

17
18

19

20

21

22

23

24

25

26
Google, Facebook, Deepmind, Nueralink and Alphabet's Algorithms and bias
27 boding of its Al system have allowed them to engage in cultural genocide,
28 incite hatred toward people of faith, in addition to humanity at large by

- 38 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.40 Page 40 of 50

1 creating algorithms that are designed to social engineer humans to accept the
2
next stage of cybernetic alterations to humans, thus putting humanity under
physical genocide without their free willed choice, as Googles algorithms and
3 coding use bio-metric frequencies that bio-engineer humans through

4 frequencies being sent to the neural networks of humans that alter its
operating structure and brain chemistry, thus altering its thinking to accept a
5
parasitical and symbiotic relationship of artificial intelligence and machines.
6 Defendants are harming humanity, impeding efforts by The Al Organization to

7
bring awareness to these dangers. Defendants are in violation of U.S.C.A
1019 Genocide, Penal Code and Artificial 1, 2, 3 and 4 of the genocide
8 convention as well as in violation of The FTC Act (15 U.S.C. §§ 41-58) for

g being deceptive and failing to keep safe an fair Al algorithms, coding and
organization of their eco systems platform.
10
11

12
Alphabet, Google, Facebook, Deepmind and Nearalink seek to destroy to
human race and all its people, and erase their ethnic, national, religious, and
13 human characteristics. They have done this in part through their Artificial
14 Narrow Intelligence as it attaches to smart phones, loT, computers and
networks, and now the Al System is engaging in an Al system that is on the
15
verge to destroy humanity in whole on the 5G network, by changing
16 humanities culture and brain chemistry to a point that their thoughts are
17
altered to accept mixing with machines. Moreover, The Artificial Intelligence
Narrow systems from Google and Facebook have contributed to sex, human
18 and organ trafficking by providing Artificial Intelligence Algorithms and coding
19 that exponentially enhance the affects of pornography and violent content
provided on Google's platform, that changes the brain chemistry of individuals
20
in ways that they are more likely to engage in those activities. Furthermore,
21 they have harmed John Does related to The Al Organization, Cyrus A. Parsa,
22
and all of humanity having algorithms that make bringing awareness to these
very sophisticated realities, almost impossible. Defendants Facebook and
23 Google are in violation of 15 U.S. Code CHAPTER 103- CONTROLLING
24 THE ASSAULT OF NON-SOLICITED PORNOGRAPHY AND MARKETING
and Article 1, 2, 3 and 4 of the genocide convention and 18 U.S.C.A. § 1091§
25
1091. Genocide Effective: December 22, 2009, in its entirety.
26

27

28 (a) Basic Offense.--Whoever, whether in time of peace or in time of war and


- 39 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.41 Page 41 of 50

1 with the specific intent to destroy, in whole or in substantial part, a national,


2
ethnic, racial, or religious group as such--

4 (1) kills members of that group;


5

6
(2) causes serious bodily injury to members of that group;
7

9 (3) causes the permanent impairment of the mental faculties of members of


the group through drugs, torture, or similar techniques;
10

11

12 (4) subjects the group to conditions of life that are intended to cause the
13
physical destruction of the group in whole or in part;

14
15 (5) imposes measures intended to prevent births within the group; or
16

17
(6) transfers by force· children of the group to another group;
18

19
shall be punished as provided in subsection (b).
20

21

22 (b) Punishment for Basic Offense.--The punishment for an offense under


23
subsection (a) is--

24

25 (1) in the case of an offense under subsection (a)(1) where death results, by
26 death or imprisonment for life and a fine of not more than $1,000,000, or
both; and
27
28

-40 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.42 Page 42 of 50

1 (2) a fine of not more than $1,000,000 or imprisonment for not more than
2
twenty years, or both, in any other case.

4 (c) Incitement Offense.--Whoever directly and publicly incites another to


5 violate subsection (a) shall be fined not more than $500,000 or imprisoned
not more than five years, or both.
6

8 (d) Attempt and Conspiracy.--Any person who attempts or conspires to


commit an offense under this section shall be punished in the same manner
9
as a person who completes the offense.
10

11
(e) Jurisdiction.--There is jurisdiction over the offenses described in
12
subsections (a), (c), and (d) if--
13

14
15 (1) the offense is committed in whole or in part within the United States; or

16

17 (2) regardless of where the offense is committed, the alleged offender is--
18
19
(A) a national of the United States (as that term is defined in section 101
20
of the Immigration and Nationality Act (8 U.S.C. 1101 ));
21

22

23
(B) an alien lawfully admitted for permanent residence in the United States
(as that term is defined in section 101 of the Immigration and Nationality
24 Act (8 U.S.C. 1101 ));
25

26
(C) a stateless person whose habitual residence is in the United States; or
27

28

-41-
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.43 Page 43 of 50

1 (D) present in the United States.


2
Exec. Order No. 13691, 80 FR 9349, 2015 WL 693985(Pres.)
Executive Order 13691
3
Promoting Private Sector Cybersecurity Information Sharing
4
February 13, 2015
5
*9349 By the authority vested in me as President by the Constitution and the
6
laws of the United States of America, it is hereby ordered as follows:
7
Section 1. Policy. In order to address cyber threats to public health and
8
safety, national security, and economic security of the United States, private
9 companies, nonprofit organizations, executive departments and agencies
(agencies), and other entities must be able to share information related to
10
cybersecurity risks and incidents and collaborate to respond in as close to
11 real time as possible.

12
Organizations engaged in the sharing of information related to cybersecurity
13 risks and incidents play an invaluable role in the collective cybersecurity of
the United States. The purpose of this order is to encourage the voluntary
14
formation of such organizations, to establish mechanisms to continually
15 improve the capabilities and functions of these organizations, and to better
allow . these organizations to partner with the Federal Government on a
16
voluntary basis.
17
Such information sharing must be conducted in a manner that protects the
18
privacy and civil liberties of individuals, that preserves business
19 confidentiality, that safeguards the information being shared, and that

20
protects the ability of the Government to detect, investigate, prevent, and
respond to cyber threats to the public health and safety, national security, and
21 economic security of the United States.
22
This order builds upon the foundation established by Executive Order 13636
23 of February 12, 2013 (Improving Critical Infrastructure Cybersecurity), and

24
Presidential Policy Directive-21 (PPD-21) of February 12, 2013 (Critical
Infrastructure Security and Resilience).
25
26
Policy coordination, guidance, dispute resolution, and periodic in-progress
reviews for the functions and programs described and assigned herein shall
27 be provided through the interagency · process established in Presidential
28
Policy Directive-I (PPD-I) of February 13, 2009 (Organization of the National
Security Council System), or any successor.
- 42 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.44 Page 44 of 50

2
Sec. 2. Information Sharing and Analysis Organizations. (a) The Secretary of
Homeland Security (Secretary) shall strongly encourage the development and
3 formation of Information Sharing and Analysis Organizations (ISAOs).
4
(b) ISAOs may be organized on the basis of sector, sub-sector, region, or any
other affinity, including in response to particular emerging threats or
5 vulnerabilities. ISAO membership may be drawn from the public or private
6
sectors, or consist of a combination of public and private sector organizations.
ISAOs may be formed as for-profit or nonprofit entities.
7

8
(c) The National Cybersecurity and Communications Integration Center
(NCCIC), established under section 226(b) of the Homeland Security Act of
9 2002 (the "Act"), shall engage in continuous, collaborative, and inclusive
10
coordination with ISAOs on the sharing of information related to cybersecurity
risks and incidents, addressing such risks and incidents, and strengthening
11 information security systems consistent with sections 212 and 226 of the Act.
12
(d) In promoting the formation of ISAOs, the Secretary shall consult with other
13 Federal entities responsible for conducting cybersecurity activities,
14 y9350including Sector-Specific Agencies, independent regulatory agencies at
their discretion, and national security and law enforcement agencies.
15

16
Sec. 3. ISAO Standards Organization. (a) The Secretary, in consultation with
17 other Federal entities responsible for conducting cybersecurity and related
18 activities, shall, through an open and competitive process, enter into an
agreement with a nongovernmental organization to serve as the ISAO
19 Standards Organization (SO), which shall identify a common set of voluntary

20 standards or guidelines for the creation and functioning of ISAOs under this
order. The standards shall further the goal of creating robust information
21 sharing related to cybersecurity risks and incidents with ISAOs and among

22 ISAOs to create deeper and broader networks of information sharing


nationally, and to foster the development and adoption of automated
23 mechanisms for the sharing of information. The standards will address the

24 baseline capabilities that ISAOs under this order should possess and be able
to demonstrate. These standards shall address, but not be limited to,
25 contractual agreements, business processes, operating procedures, technical

26 means, and privacy protections, such as minimization, for ISAO operation


and ISAO member participation.
27 (b) To be selected, the SO must demonstrate the ability to engage and work
28 across the broad community of organizations engaged in sharing information

-43 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.45 Page 45 of 50

1 related to cyber security risks and incidents, including ISAOs, and


2
associations and private companies engaged in information sharing in
support of their customers.
3

4
(c) The agreement referenced in section 3(a) shall require that the SO
engage in an open public review and comment process for the development
5 of the standards referenced above, soliciting the viewpoints of existing
6
entities engaged in sharing information related to cybersecurity risks and
incidents, owners and operators of critical infrastructure, relevant agencies,
7 and other public and private sector stakeholders.
8
(d) The Secretary shall support the development of these standards and, in
9 carrying out the requirements set forth in this section, shall consult with the

10
Office of Management and Budget, the National Institute of Standards and
Technology in the Department of Commerce, Department of Justice, the
11 Information Security Oversight Office in the National Archives and Records

12 Administration, the Office of the Director of National Intelligence, Sector-


Specific Agencies, and other interested Federal entities. All standards shall
13 be consistent with voluntary international standards when such international

14 standards will advance the objectives of this order, and shall meet the
requirements of the National Technology Transfer and Advancement Act of
15 1995 (Public Law 104-113), and 0MB Circular A-119, as revised.

16

17 Sec. 4. Critical Infrastructure Protection Program. (a) Pursuant to sections


18 213 and 214(h) of the Critical Infrastructure Information Act of 2002, I hereby
designate the NCCIC as a critical infrastructure protection program and
19 delegate to it authority to enter into voluntary agreements with ISAOs in order

20 to promote critical infrastructure security with respect to cybersecurity.


(b) Other Federal entities responsible for conducting cybersecurity and
21 related activities to address threats to the public health and safety, national

22 security, and economic security, consistent with the objectives of this order,
may participate in activities under these agreements.
23

24 (c) The Secretary will determine the eligibility of ISAOs and their members for
any necessary facility or personnel security clearances associated with
25 voluntary agreements in accordance with Executive Order 13549 of August
26 18, 2010 (Classified National Security Information Programs for State, Local,
Tribal, and Private Sector Entities), and Executive Order 12829 of January 6,
27 1993 (National Industrial Security Program), as amended, including as
28 amended by this order.

-44 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.46 Page 46 of 50

2
Sec. 5. Privacy and Civil Liberties Protections. (a) Agencies shall coordinate
3 their activities under this order with their senior agency officials for privacy
4
and civil liberties and ensure that appropriate protections for privacy and
*9351 civil liberties are incorporated into such activities. Such protections
5 shall be based upon the Fair Information Practice Principles and other privacy
6
and civil liberties policies, principles, and frameworks as they apply to each
agency's activities.
7

8 (b) Senior privacy and civil liberties officials for agencies


engaged in activities under this order shall conduct assessments
9
of their agency's activities and provide those assessments to the
10 Department of Homeland Security (OHS) Chief Privacy Officer
and the OHS Office for Civil Rights and Civil Liberties for
11
consideration and inclusion in the Privacy and Civil Liberties
12 Assessment report required under Executive Order 13636.
13

14
15 Exec. Order No. 13691, 80 FR 9349, 2015 WL 693985(Pres.)
Executive Order 13691
16
Promoting Private Sector Cybersecurity Information Sharing
17

18 Defendants failed to meet Executive Order 13691 by properly,


19 accurately share and make public the risks of their research and
development of Artificial Intelligence. Defendants also failed to
20 keep their Research and Development secure from China,
21 China's corporations that were involved in Genocide and
Chinese associates that had money and investments in
22 companies that have engaged in crimes against humanity in
23 China. By those this, the defendants have harmed the victims
represented by Cyrus A. Parsa, and The Al Organization
24

25

26
Violation of FTC ACT § 45a. Labels on products, Artificial
27 Intelligence was not labeled by Google.
28

-45 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.47 Page 47 of 50

1 Google L.L.C, Facebook, Deepmind and Alphabet did not


2
properly and truthfully label their digital products and physical
products promoted on their search engine and all interconnected
3 services to be made, promoted, offered, and sold by the use of
4
Artificial Intelligence or Algorithms made by, assisted by or
incorporates with artificial intelligence.
5

6 Violation of FTC ACT § 52. Dissemination of false


advertisements for using Al to induce and manipulated thoughts,
7
actions, and emotions that defrauds and hurts all of humanity,
8 including The Al Organization, Cyrus A. Parsa and its
associates.
9

10 (a)Unlawfulness It shall be unlawful for any person, partnership, or


11
corporation to disseminate, or cause to be disseminated, any
false advertisement-- (1) By United States mails, or in or having
12 an effect upon commerce, by any means, for the purpose of
13
inducing, or which is likely to induce, directly or indirectly the
purchase of food, drugs, devices, services, or cosmetics; or (2)
14 By any means, for the purpose of inducing, or which is likely to
15 induce, directly or indirectly, the purchase in or having an effect
upon commerce, of food, drugs, devices, services, or cosmetics.
16 (b) Unfair or deceptive act or practice The dissemination or the
17 causing to be disseminated of any false advertisement within the
provisions of subsection (a) of this section shall be an unfair or
18 deceptive act or practice in or affecting commerce within the
19 meaning of section 45 of this title.

20

21
Violation of FTCACT § 53. False advertisements; injunctions and
22
restraining orders.
23

24 Google, DeepMind, Alphabet, Facebook and Neuralink falsely have


advertised the reasons, capabilities, risks and implications of their
25 technologies, products and services disseminated to the public,

26 including Al algorithms have harmed humanity, The Al Organization,


Cyrus A. Parsa and Plaintiffs John Does. Defendants are liable and
27 guilty § 54. False advertisements; penalties under the FTCACT as

28 they have caused injury to health via torture resulting from the aid
China received from the defendant's technologies being
-46 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.48 Page 48 of 50

1 transferred to China. Defendants subsequently are in violation of


2
§ 57b. Civil actions for violations of rules and cease and desist
orders respecting unfair or deceptive acts or practices.
3 Furthermore, (h) Jurisdiction of court Whenever any petition is filed in
4
any district court of the United States under this section, such court
shall have jurisdiction to hear and determine the matter so presented,
5 and to enter such order or orders as may be required to carry into
6
effect the provisions of this section. Any final order so entered shall be
subject to appeal pursuant to section 1291 of Title 28. Any
7 disobedience of any final order entered under this section by any court
8
shall be punished as a contempt of such court.

9
Defendants are in violation of The Arms Control and Disarmament Act of
10 1961, 22 U.S.C. § 2551 by developing and providing to China artificial
intelligence and quantum computing technology that can be used in a wide
11
variety of Al guided, Al assisted and Al produced atomic strikes on nations
12 states, including against the Unite States by China or rogue actors. The act
was created to establish a governing body for the control and reduction
13
of apocalyptic armaments with regards to protect a world from the burdens
14 of armaments and the scourge of war. The Act provided an important aspect
for the Kennedy Administration's foreign policy which was coherent with the
15
United States national security policy.
16 The H.R. 9118 legislation was passed by the United States 87th
17 Congressional session and signed by the 35th President of the United
States John F. Kennedy on September 26, 1961 _11
18

19
Defendants are in violation of The Atomic Energy Act of 1954, 42 U.S.C. §§
20 2011-2021, 2022-2286i, 2296a-2297h-13, is a United States federal law that
covers for the development, regulation, and disposal of nuclear materials and
21
facilities in the United States. They have endangered the people of China, the
22 world, and persons working on behalf of The Al Organization in China and

23
around the world by transferring Al technology that can be weaponized for
nuclear strikes with artificial intelligence
24
It was an amendment to the Atomic Energy Act of 1946 and substantially
25 refined certain aspects of the law, including increased support for the
possibility of a civilian nuclear industry. Notably it made it possible for the
26
government to allow private companies to gain technical information
27 (Restricted Data) about nuclear energy production and the production of
fissile materials, allowing for greater exchange of information with foreign
28
nations as part of President Dwight D. Eisenhower's Atoms for
-47 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.49 Page 49 of 50

1 Peace program, and reversed certain provisions in the 1946 law which had
2
made it impossible to patent processes for generating nuclear energy or
fissile materials.
3
The H.R. 9757 legislation was passed by the 83rd U.S. Congressional
4 session and signed into law by President Dwight Eisenhower on August 30,
1954.ill
5
IV. DEMAND FOR TRIAL BY JUDGE
6

7
I declare under penalty of perjury that the foregoing is true and correct.
8

10

ll DATED: December 16, 2019


12 Your signature-G(J.J.,Ptr(7U.:::'.-1:=_I,---'
13 Cyrus A. Parsa, The AI
Organization,
14 In Pro Se
15
16

17

18

19
20

21

22
23

24

25

26
27

28

-48 -
INSERT DOCUMENT TITLE (e.g., MOTION TO STRIKE)
Case 3:19-cv-02407-CAB-AHG Document 1 Filed 12/16/19 PageID.50 Page 50 of 50

DUPLICATE
Court Name: USDC California Southern
Division: 3
Receipt Number: CAS117684
Cashier ID: asepulvs
Transaction Date: 12/16/2019
Payer Name: CYRUS APARSA
CIVIL FILING FEE
For: CYRUS APARSA
Case/Party: D-CAS-3-19-CV-002407-AHG
Amount: $400 .00
CREDIT CARD
Amt Tendered: $400.00
Tota I Due: 1400 .00
Total Tendered: 400.00
Change Amt: O.00

There wi II be a fee of $53.00


charged for any returned check.

You might also like