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Q ~ Trust Trump's Plan ~ 11/25/20 Vol.309, Q Day 1125
qalerts.app ^ | 11/25/2020 | FReeQs, FReepers - vanity

Posted on 11/25/2020 9:26:24 AM PST by ransomnote

(h/t to FReeQ)


Q is the result of the sacrifices and commitment of countless patriots to win back our captured country from the Deep State and achieve the transformation President Trump promised in this campaign video. President Trump has said the awakening of the public is key to this transformation.

Q describes this awakening as follows: 

"The Great Awakening ('Freedom of Thought’), was designed and created not only as a backchannel to the public (away from the longstanding 'mind’ control of the corrupt & heavily biased media) to endure future events through transparency and regeneration of individual thought (breaking the chains of ‘group-think’), but, more importantly, aid in the construction of a vehicle (a ‘ship’) that provides the scattered (‘free thinkers’) with a ‘starter’ new social-networking platform which allows for freedom of thought, expression, and patriotism or national pride (the feeling of love, devotion and sense of attachment to a homeland and alliance with other citizens who share the same sentiment).

When ‘non-dogmatic’ information becomes FREE & TRANSPARENT it becomes a threat to those who attempt to control the narrative and/or the stable. 

When you are awake, you stand on the outside of the stable (‘group-think’ collective), and have ‘free thought’. 

"Free thought" is a philosophical viewpoint which holds that positions regarding truth should be formed on the basis of logic, reason, and empiricism, rather than authority, tradition, revelation, or dogma. 

When you are awake, you are able to clearly see. 

The choice is yours, and yours alone. 

Trust and put faith in yourself. 

You are not alone and you are not in the minority. 

Difficult truths will soon see the light of day. 

WWG1WGA!!!" ~ Q (#3038)

 

The video, Qanon is 100% coming from the Trump Administration, is just one of many excellent responses to the all-important question, "Whom does Q serve?"

Q Boot Camp is a quick, condensed way to learn the background and basics about the Q movement. 

Q has reminded us repeatedly that together, we are strong. As the false "narrative" is destroyed and the divisive machinery put in place by the Deep State fails, the fact that patriotism has no skin color or political party is exposed for all to see. 

In the battle between those who strip us our constitutional rights, we can't afford to let false divisions separate us any longer. We, and our country, will be forever made stronger by diligently seeking the truth, independence and freedom of thought.

Where We Go 1, We Go All




TOPICS: Conspiracy
KEYWORDS: 1freedom; 1gulliblekingdom; 1liberty; 1presidendjtrump; 1theamericanway; 1truthsetsyoufree; americafirst; anydaynow; believeanythingcrowd; con; defeatthebidenites; fake; itstwuitstwu; krakenonventilator; lin; lowiq; maga; muhpedos; muhplan; q; qodemonkey; qtards; qult; releasethecrack; something; stormfizzled; sydney; trump; trust8kun; trustbarr; trustdurham; trustjimwatkins; trustsessions; trusttheplan; trustwray
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To: bitt

See my post 616.

Kemp is SO F**KED.


621 posted on 11/25/2020 9:10:56 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

As explained and demonstrated in the accompanying redacted
declaration of a former electronic intelligence analyst under 305th Military
Intelligence with experience gathering SAM missile system electronic
intelligence, the Dominion software was accessed by agents acting on behalf
of China and Iran in order to monitor and manipulate elections, including the
most recent US general election in 2020. This Declaration further includes a
copy of the patent records for Dominion Systems in which Eric Coomer is
listed as the first of the inventors of Dominion Voting Systems. (See
Attached hereto as Exh. 8, copy of redacted witness affidavit, 17 pages,
November 23, 2020).


622 posted on 11/25/2020 9:11:49 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

16.
Additionally, incontrovertible evidence Board of Elections records
demonstrates that at least 96,600 absentee ballots were requested and
counted but were never recorded as being returned to county election boards
by the voter. Thus, at a minimum, 96,600 votes must be disregarded. (See
Attached hereto, Exh. 9, R. Ramsland Aff.).


623 posted on 11/25/2020 9:12:24 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

https://freerepublic.com/focus/news/3909702/posts?page=1

KRAKEN RELEASED. 104 page GA suit
https://defendingtherepublic.org/wp-content/uploads/2020/11/COMPLAINT-CJ-PEARSON-V.-KEMP-11.25.2020.pdf ^ | Sidney Powell
Posted on 11/26/2020, 12:12:08 AM by raynman33

See link to pdf


624 posted on 11/25/2020 9:14:29 PM PST by bitt (The left gave us 4 years of Pearl Harbor. Now its time to give them Hiroshima.)
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To: smileyface

There is a Scripture my pastor recommended a year ago when I was trying to pray for a change from darkness to light in a person I was having trouble with.

I just tried to look up the chapter and verse and didn’t find it, but I know it from praying it. It means that “God can change anyone ( even a king) so don’t give up, and pray for this change.”

Scripture : For God holds even the king’s heart in his hands, and can turn it withersoever he will, like waters in a stream.

King James Version


625 posted on 11/25/2020 9:14:39 PM PST by TheConservativeParty (Release The Kraken 410 BABY 410 )
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To: bitt

48.
The Georgia Election Code instructs those who handle absentee ballots
to follow a clear procedure:
Upon receipt of each [absentee] ballot, a registrar or clerk shall write
the day and hour of the receipt of the ballot on its envelope. The
registrar or clerk shall then compare the identifying information
on the oath with the information on file in his or her office, shall
compare the signature or make on the oath with the signature or
mark on the absentee elector’s voter card or the most recent update
to such absentee elector’s voter registration card and application for
absentee ballot or a facsimile of said signature or maker taken from
said card or application, and shall, if the information and signature
appear to be valid and other identifying information appears to be
correct, so certify by signing or initialing his or her name below the
21
voter’s oath. Each elector’s name so certified shall be listed by the
registrar or clerk on the numbered list of absentee voters prepared
for his or her precinct.
O.C.G.A. § 21-2-386(a)(l )(B) (emphasis added).
49.
Under O.C.G.A. § 21-2-386(a)(l)(C), the Georgia Legislature also
established a clear and efficient process to be used by County Officials if
they determine that an elector has failed to sign the oath on the outside
envelope enclosing the ballot or that the signature does not conform with
the signature on file in the registrar’s or clerk’s office (a “defective absentee
ballot”).
50.
The Georgia Legislature also provided for the steps to be followed by
County Officials with respect to defective absentee ballots:
If the elector has failed to sign the oath, or if the
signature does not appear to be valid, or if the elector has failed
to furnish required information or information so furnished does
not conform with that on file in the registrar’s or clerk’s office,
or if the elector is otherwise found disqualified to vote, the registrar
or clerk shall write across the face of the envelope “Rejected,” giving
the reason therefor. The board of registrars or absentee ballot clerk
shall promptly notify the elector of such rejection, a copy of which
notification shall be retained in the files of the board of registrars or
absentee ballot clerk for at least one year.
O.C.G.A. § 21-2 -386(a) (l)(C) (emphasis added).
22
I. DEFENDANTS’ UNAUTHORIZED ACTIONS VIOLATED THE
GEORGIA ELECTION CODE AND CAUSED THE PROCESSING OF
DEFECTIVE ABSENTEE BALLOTS.
51.
Notwithstanding the clarity of the applicable statutes and the
constitutional authority for the Georgia Legislature’s actions, on March 6,
2020, the Secretary of State of the State of Georgia, Secretary Raffensperger,
and the State Election Board, who administer the state elections (the
“Administrators”) entered into a “Compromise and Settlement Agreement
and Release” (the “Litigation Settlement”) with the Democratic Party of
Georgia, Inc., the Democrat Senatorial Campaign Committee, and the
Democratic Congressional Campaign Committee (collectively, the “Democrat
Party Agencies”), setting forth different standards to be followed by the clerks
and registrars in processing absentee ballots in the State of Georgia8.


626 posted on 11/25/2020 9:15:41 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: bitt

“As explained and demonstrated in the accompanying redacted
declaration of a former electronic intelligence analyst under 305th Military
Intelligence with experience gathering SAM missile system electronic
intelligence, the Dominion software was accessed by agents acting on behalf
of China and Iran in order to monitor and manipulate elections, including the
most recent US general election in 2020. This Declaration further includes a
copy of the patent records for Dominion Systems in which Eric Coomer is
listed as the first of the inventors of Dominion Voting Systems. (See
Attached hereto as Exh. 8, copy of redacted witness affidavit, 17 pages,
November 23, 2020)”


627 posted on 11/25/2020 9:17:51 PM PST by bitt (The left gave us 4 years of Pearl Harbor. Now its time to give them Hiroshima.)
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To: grey_whiskers

B. UNLAWFUL EARLY PROCESSING OF ABSENTEE BALLOTS
60.
In April 2020, the State Election Board adopted on a purportedly
“Emergency Basis” Secretary of State Rule 183-1-14-0.9-.15, Processing
Ballots Prior to Election Day. Under this rule, county election officials are
authorized to begin processing absentee ballots up to three weeks befoe
election day. Thus, the rule provides in part that “(1) Beginning at 8:00 AM
on the third Monday prior to Election Day, the county election
superintendent shall be authorized to open the outer envelope of
accepted absentee ballots …” (Emphasis added).

9 https://apnews.com/article/u-s-news-ap-top-news-election-2020-technology-politics52e87011f4d04e41bfffccd64fc878e7
26
61.
Rule 183-1-14-0.9-.15 is in direct and irreconcilable conflict with
O.C.G.A. § 21-2-386(a)(2), which prohibits the opening of absentee ballots
until election day:
After the opening of the polls on the day of the primary, election,
or runoff, the registrars or absentee ballot clerks shall be
authorized to open the outer envelope on which is printed the
oath of the elector in such a manner as not to destroy the oath printed
thereon; provided, however, that the registrars or absentee ballot
clerk shall not be authorized to remove the contents of such outer
envelope or to open the inner envelope marked “Official Absentee
Ballot,” except as otherwise provided in this Code section.
(Emphasis added).


628 posted on 11/25/2020 9:19:55 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

ouch!!!!!!!!!!!!!!!!

“Additionally, incontrovertible evidence Board of Elections records
demonstrates that at least 96,600 absentee ballots were requested and
counted but were never recorded as being returned to county election boards
by the voter. Thus, at a minimum, 96,600 votes must be disregarded. (See
Attached hereto, Exh. 9, R. Ramsland Aff.).”


629 posted on 11/25/2020 9:21:31 PM PST by bitt (The left gave us 4 years of Pearl Harbor. Now its time to give them Hiroshima.)
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To: bitt

75.
A large number of ballots were identical and likely fraudulent. An
Affiant explains that she observed a batch of utterly pristine ballots:
14. Most of the ballots had already been handled; they had been
written on by people, and the edges were worn. They showed obvious
use. However, one batch stood out. It was pristine. There was a
difference in the texture of the paper - it was if they were intended
for absentee use but had not been used for that purposes. There was
a difference in the feel.
15. These different ballots included a slight depressed pre-fold so
they could be easily folded and unfolded for use in the scanning
machines. There were no markings on the ballots to show where they
had com~ from, or where they had been processed. These stood out.
16. In my 20 years of experience of handling ballots, I observed that
the markings for the candidates on these ballots were unusually
uniform, perhaps even with a ballot-marking device. By my estimate
in observing these ballots, approximately 98% constituted votes for
Joe Biden. I only observed two of these ballots as votes for President
Donald J. Trump.” (See Exh. 15 Attached hereto).
76.
The same Affiant further testified specifically to the breach of the chain
of custody of the voting machines the night before the election stating:
we typically receive the machines, the ballot marking devices – on
the Friday before the election, with a chain of custody letter to be
signed on Sunday, indicating that we had received the machines and
the counts on the machines when received, and that the machines
have been sealed. In this case, we were asked to sign the chain
of custody letter on Sunday, even though the machines were
not delivered until 2:00 AM in the morning on Election Day.
32
The Milton precinct received its machines at 1:00 AM in the morning
on Election Day. This is unacceptable and voting machines should
[not] be out of custody prior to an Election Day. Id.


630 posted on 11/25/2020 9:21:48 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

II. EVIDENCE OF FRAUD
A PATTERN SHOWING THE ABSENCE OF MISTAKE
77.
The stunning pattern of the nature and acts of fraud demonstrate an
absence of mistake.
78.
The same Affiant further explained, in sworn testimony, that the
breach included: “when we did receive the machines, they were not sealed or
locked, the serial numbers were not what were reflected on the related
documentation…” See Id.
79.
An affiant testified that “While in Henry County, I personally
witnessed ballots cast for Donald Trump being placed in the pile for Joseph
Biden, I witnessed this happen at table “A”.’ (See Exh. 14, par. 27).


631 posted on 11/25/2020 9:22:11 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

So all MSM ignored it? Interesting tactic. Keep most people in the dark so they wont understand whats going on and join rioters no doubt. Playbook known


632 posted on 11/25/2020 9:23:03 PM PST by Ymani Cricket ( "Pressure Makes Diamonds" ~General Patton)
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To: grey_whiskers

83.
Another Affiant explains a pattern of behavior that is alarming, in his
position as an observer in the recount on absentee ballots with barcodes, he
testified:
I witnessed two poll workers placing already separated paper
machine receipt ballots with barcodes in the Trump tray,
placing them in to the Biden tray. I also witnessed the same two
poll workers putting the already separated paper receipt ballots in
34
the “No Vote” and “Jorgensen” tray, and removing them and putting
them inside the Biden tray, They then took out all of the ballots out
of the Biden tray and stacked them on the table, writing on the count
ballot sheet.
(See Attached hereto, Exh.17, pars. 4-5, Aff. of Consetta Johson).


633 posted on 11/25/2020 9:23:18 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

84.
Another Affiant, a Democrat, testified in his sworn affidavit, that
before he was forced to move back to where he could not see, he had in fact
seen “absentee ballots for Trump inserted into Biden’s stack, and counted as
Biden votes. This occurred a few times”. (See attached hereto, Exh. 18 at
Par. 12, Aff. of Carlos Silva).
85.
Yet another Affiant testified about the lack of process and the hostility
only towards the Republican party, which is a violation of the Equal
Protection Clause. He testified:
I also observed throughout my three days in Atlanta, not once did
anyone verify these ballots. In fact, there was no authentication
process in place and no envelopes were observed or allowed to be
observed. I saw hostility towards Republican observers but never
towards Democrat observers. Both were identified by badges.
(See Id., at pars. 13-14).
86.
Another Affiant explained that his ballot was not only not processed in
accordance with Election law, he witnessed people reviewing his ballot to
decide where to place it, which violated the privacy of his ballot, and when he
35
tried to report it to a voter fraud line, he never received any contact or
cooperation stating:
“I voted early on October 12 at the precinct at Lynwood Park …
Because of irregularities at the polling location, I called the voter
fraud line to ask why persons were discussing my ballot and
reviewing it to decide where to place it. When I called the state fraud
line, I was directed to a worker in the office of the Secretary of
State…”
(See Attached hereto, Exh. 19, Andrea ONeal Aff, at par. 3).


634 posted on 11/25/2020 9:23:46 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

88.
Another Affiant testified about the use of different paper for ballots,
that would constitute fraud stating:
I noticed that almost all of the ballots I reviewed were for Biden.
Many batches went 100% for Biden. I also observed that the
watermark on at least 3 ballots were solid gray instead of
transparent, leading me to believe the ballot was counterfeit. I
challenged this and the Elections Director said it was a legitimate
ballot and was due to the use of different printers. Many ballots had
markings for Biden only, and no markings on the rest of the ballot.
(See Attached hereto, Exh. 20, Aff of Debra J. Fisher, at pars. 4, 5, 6)


635 posted on 11/25/2020 9:23:55 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: stylin19a

> I’m guessing Pres. Trump is doing it “just in case”.

I prefer Texokie’s theory, it’s to allow her to concentrate on election issues.

-SB


636 posted on 11/25/2020 9:23:56 PM PST by Snowybear ( )
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To: grey_whiskers

90.
Another Affiant, a Democrat, testified in his sworn affidavit,
before he was forced to move back to where he could not see, he had
in fact seen, “I also saw absentee ballots for Trump inserted
37
into Biden’s stack, and counted as Biden votes. This occurred
a few times”. (See Exh. 18, Par. 12).


637 posted on 11/25/2020 9:24:31 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

93.
An Affiant, who is a network & information cyber-security expert,
under sworn testimony explains that after studying the user manual for
Dominion Voting Systems Democracy software, he learned that the
information about scanned ballots can be tracked inside the software
system for Dominion:
(a) When bulk ballot scanning and tabulation begins, the
“ImageCast Central” workstation operator will load a batch of ballots
into the scanner feed tray and then start the scanning procedure
within the software menu. The scanner then begins to scan the
ballots which were loaded into the feed tray while the “ImageCast
Central” software application tabulates votes in real-time.
Information about scanned ballots can be tracked inside the
“ImageCast Central” software application.
(See attached hereto Exh 22, Declaration of Ronald Watkins, at par. 11).
94.
Affiant further explains that the central operator can remove
or discard batches of votes. “After all of the ballots loaded into the
scanner’s feed tray have been through the scanner, the “ImageCast Central”
operator will remove the ballots from the tray then have the option to either
“Accept Batch” or “Discard Batch” on the scanning menu …. “(Id. at par. 8)


638 posted on 11/25/2020 9:25:10 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

96.
The Affiant further explains the vulnerabilities in the system when the
copy of the selected ballots that are approved in the Results folder are made
40
to a flash memory card – and that is connected to a Windows computer
stating:
It is possible for an administrator of the “ImageCast Central”
workstation to view and delete any individual ballot scans from the
“NotCastImages” folder by simply using the standard Windows delete
and recycle bin functions provided by the Windows 10 Pro operating
system. … The upload process is just a simple copying of a “Results”
folder containing vote tallies to a flash memory card connected to the
“Windows 10 Pro” machine. The copy process uses the standard dragn-drop or copy/paste mechanisms within the ubiquitous “Windows
File Explorer”. While a simple procedure, this process may be error
prone and is very vulnerable to malicious administrators.
Id. at par. 11-13 (emphasis supplied).


639 posted on 11/25/2020 9:25:36 PM PST by grey_whiskers (The opinions are solely those of the author and are subject to change with out notice.)
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To: grey_whiskers

Iran? Wtf. Iran. Repeat. What the Ford?

Please confirm.


640 posted on 11/25/2020 9:25:37 PM PST by Professional ( )
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