Beruflich Dokumente
Kultur Dokumente
Plaintiffs Thomas P. Ferrara and Thomas J. Ferrara (Plaintiffs), through counsel, Ryan
Hamilton of Hamilton Law, LLC, allege the following:
I.
PARTIES
1.
Plaintiffs were, and at all relevant times to this Complaint are, residents of Ohio.
2.
Defendant Narconon Fresh Start d/b/a A Life Worth Saving (hereafter Fresh Start), is,
and at all times relevant to this Complaint was, a corporation incorporated under the laws of, and
with its principal place of business in, the State of California. Fresh Start has been at all relevant
times transacting business in Fort Collins, Larimer County, Colorado. Fresh Start may be served
with process through its registered agent, Mark Kirwin, 4480 Market St., Ste. 804, Ventura, CA
93003.
3.
Western controls the time, manner, and method of Fresh Starts business by actively
managing its daily operations, and creating and approving their marketing materials.
5.
NI is the parent/licensor of Defendant Narconon Fresh Start. NI exercises control over the
NI was doing business in the State of Colorado by and through its agent and
subsidiary/licensee Defendant Narconon Fresh Start. NI may be served with process through its
registered agent, Timothy Bowles, One South Fair Oaks Avenue, Pasadena, California 91105.
8.
Fresh Start and NI are subsidiaries of the Association for Better Living and Education
(ABLE). ABLE oversees the drug rehabilitation, education, and criminal justice activities of the
Church of Scientology including, but not limited to, Fresh Start and NI.
9.
Defendant ABLE is a corporation registered in the State of California with its headquarters
ABLE controls the time, manner, and method of NIs and Fresh Starts businesses by
actively managing their daily operations, including conducting inspections of Narconon centers
and creating, licensing, and approving their marketing materials.
11.
ABLE is the successor in interest to the Social Coordination Bureau of the Church of
12.
ABLE transacts business in the State of Colorado by and through its agents, Narconon
International and Narconon Fresh Start. ABLE may be served with process through its registered
agent, Timothy Bowles, One South Fair Oaks Avenue, Pasadena, California 91105.
II.
JURISDICTION AND VENUE
13.
This Court has subject jurisdiction pursuant to 28 U.S.C. 1332. The amount in
controversy exceeds $75,000.00, and there is complete diversity between the parties.
14.
Venue is proper in this Court pursuant to 28 U.S.C. 1391(a) because a substantial portion
of the events and omissions giving rise to this lawsuit occurred in this District, and the Court has
personal jurisdiction over each of the parties as alleged throughout this Complaint.
III.
FACTUAL ALLEGATIONS
15.
On or about June 15, 2013, Plaintiffs Thomas, Jr. and Thomas Ferrara, Sr. were searching
for an appropriate drug and alcohol rehabilitation facility for Thomas, Jr.
16.
Plaintiffs spoke with Fresh Start representative Dan Carmichael about the treatment
Carmichael represented the Fresh Start drug treatment program has a 76% success rate.
Further, Carmichael represented that Fresh Starts treatment program offers a sauna detox
Carmichael represented that the New Life Detoxification Program reduces or eliminate
drug cravings by flushing out residual drug toxins stored in a patients fatty tissues.
20.
Fresh Start sent Plaintiffs the pamphlet attached hereto as Exhibit A that set made these
same representations.
21.
The pamphlet and Carmichael further represented that the treatment program Fresh Start
offers is secular.
22.
The pamphlet further represented that Fresh Starts treatment program involves cognitive
24.
25.
The Narconon treatment is a standardized treatment program that consists of eight books
by L. Ron Hubbard and a sauna and vitamin program called the New Life Detoxification Program.
26.
L. Ron Hubbard was the founder of the Scientology religion. Hubbard is the sole source of
Although not disclosed to patients, the material in the Narconon books comes from
Most of the methods in the Narconon program were designed to train staff at Churches of
Scientology to become auditors. These are people who deliver the Scientology teachings to get to greater
states of spirituality and ability. These methods are based off of Scientology scriptures called Hubbard
Communications Office Bulletins (HCOBs).
29.
Narconon treatment centers are modeled administratively after Scientology churches or orgs
30.
Each piece of the Narconon program is found in the HCOBs and all the methods used to run a
31.
Book 1 of the Narconon program is the Communications Course. This course is also known as the
Therapeutic Training Routines (TRs) Course. The training routines in this book were designed for
practitioners of Scientology to be able to repeatedly give commands while smoothly and comfortably
handling issues that come up during auditing.
32.
The Training Routines in Book 1 of the Narconon program come out of the following Scientology
scriptures: HCOB 16 Aug 71 TRAINING DRILLS REMODERNISED and HCOB 7 May 68 UPPER
INDOC TRS. The word INDOC here is short for indoctrination. When doing the TRs, the student is
being indoctrinated into the practices of Scientology auditing.
33.
The Training Routines in Book 1 of the Narconon program come out of the following Scientology
scriptures: HCOB 16 Aug 71 TRAINING DRILLS REMODERNISED and HCOB 7 May 68 UPPER
INDOC TRS. The word INDOC here is short for indoctrination. When doing the TRs, the student is
being indoctrinated into the practices of Scientology auditing.
34.
Book 2 of the Narconon Program is the New Life Detoxification Program. This is the sauna portion
of the Narconon program. The New Life Detoxification Program of the Narconon program is exactly the
same as a Scientology practice called the Purification Rundown.
35.
Book 2 of the Narconon program comes out of Scientology scriptures known as the Purification
Series and an L. Ron Hubbard Book called Clear Body, Clear Mind.
36.
Book 3 of the Narconon program is the Learning Improvement Course. This course is supposed to
teach the student to be able to learn and apply anything he studies as long as he follows the procedures
exactly. The Learning Improvement Course of Book 3 of the Narconon program comes out of the following
Scientology scriptures:
HCOB 25 JUNE 71R BARRIERS TO STUDY
HCOB 7 OCT 81R METHOD THREE WORD CLEARING
HCOB 21 JUNE 1972 ISSUE III METHOD 7
HCOB 30 JANUARY 1973RE METHOD 9 WORD CLEARING THE RIGHT WAY
HCOB 26 MAR 79RB MISUNDERSTOOD WORDS AND CYCLES OF ACTION
37.
Book 4 of the Narconon program is the Communication and Perception Course. This course is
informally known as the TRs and Objectives Course and is a re-hash of Book 1 but the TRs are more
intensive. The purpose of this book is to train students to be able to deliver Objectives. Objectives are
processes that are supposed to bring attention in to Present Time and away from past bad experiences.
38.
Books 5 through the 8 of Narconon program have the same title and content as courses in the
Church of Scientology. Books 5 through 8 of the Narconon program are the Ethics Phase of the Narconon
program.
39.
Book 6 of the Narconon program is the Personal Values and Integrity Course. As part of this
course, the Narconon student is asked to write down all of the transgressions they have committed in all
areas of their life. The students transgressions are sent for review to a Case Supervisor who the student
is not allowed to talk to during the program. The Case Supervisor is to make notations about the areas the
Supervisor believes need to be addressed in Book 7 and give the written transgressions back.
40.
Book 7 is the Changing Conditions in Life Course. This Book teaches about formulas L. Ron
Hubbard made up to improve the conditions in peoples lives. Two examples of the formulas are: Find out
Where you Are and Find out who you really are.
41.
Book 8 of the Narconon Program is called The Way to Happiness. This book is supposed to be a
common sense guide to living, and if followed, is supposed to make someone happier.
42.
The Narconon course books have patients demonstrate their understanding of Scientology
doctrines by, for example, making clay sculptures related to those doctrines.
43.
Parishioners in the Scientology religion study the same doctrines and engage in the same
rituals contained in the Narconon program as part of the exercise of the Scientology religion.
44.
Narconon claims a success rate of 76% for all Narconon centers, including Narconon Fresh
There are no published studies on the success rates or the outcomes of patients from
Further, the Director of Legal Affairs for Narconon International, Claudia Arcabascio,
advised the Narconon Freedom Center in Michigan not to claim the high success rate in
responding to a Better Business Bureau complaint. Ms. Arcabascio advised Narconon Freedom
do not say we have 70% success (we do not have scientific evidence of it). See email from Ms.
Arcabascio, attached hereto as Exhibit B.
47.
In a prior lawsuit, Dr. Louis A. Casal, an expert retained by Narconon International and
Narconon of Northern Georgia in a wrongful death suit filed against those entities, testified at his
deposition. The relevant portions of Dr. Casals deposition testimony are attached hereto as
Exhibit C. Dr. Casal, testified at his deposition that he was not convinced Narconons claimed
success rate was true:
Q.
Okay. What are you relying on well, let me ask you this; do you believe that 76
A.
Q.
A.
Q.
Okay. Do you have any idea where Narconon is getting the numbers that its using?
A.
You know, in the interest of time I just didnt have enough time to delve deeper
into those studies, Mr. Harris. And I I would be happy to, but, no, I dont have a clear
understanding of where that 70 70-something number came from, no, sir.
Exhibit C, Deposition of Dr. Louis Casal, 124:21 125:5; 126:1 7.
48.
When Dr. Casal was asked under oath about the New Life Detoxification sauna program
the same sauna program at issue in this case he testified that there is no scientific basis for the
notion that sweating in a sauna detoxifies a persons body or treats addiction:
Q.
Have you looked at the Narconon literature on what Narconon contends the
And the sauna program, what Narconon contends is that in it in fact detoxifies
True.
Q.
But theres no scientific basis that you can point me to to support that contention, is
there, sir?
A.
Youre correct.
Q.
So when Narconon states that the sauna program detoxifies its students, youre not
I agree.
Despite their own experts admission that there is no scientific basis for the idea that
patients sweating in the New Life Detoxification Program treats addiction, Defendants continue to
represent to prospective patients, as they did to Plaintiffs, that the New Life Detoxification has
been scientifically and medically proven as effective.
50.
Under its sauna program, Fresh Start has patients sit in a sauna for hours per day for five
weeks. Fresh Start also has patients ingest Niacin and other vitamins way in excess of their
recommended daily allowances as part of the sauna program.
51.
Not only does the New Life Detoxification fail to live up to Fresh Starts claims about its
benefits, the sauna program is dangerous. By having students ingest extreme doses of Niacin and
other vitamins while sitting in extreme temperatures for hours, the sauna program unnecessarily
exposes students to serious health risks including severe dehydration.
52.
Narconon documents indicate that the Narconon program is used to recruit patients into the
Church of Scientology. For example, a Narconon document titled the Narconon Technical LineUp provides a flow chart of a patients experience into and through the Narconon program. The
8
document shows that when a patient finishes the Narconon program, the patient is to be route[d]
to the nearest Org for further services if the individual so desires. Org is Scientology jargon for
an individual church providing services for the Church of Scientology. A copy of the Narconon
Technical Line-up is attached hereto as Exhibit D.
53.
Defendants consider the Narconon program to be the Bridge to the Bridge. That is,
Narconon considers its program to be an initial step into getting on Scientologys Bridge to Total
Freedom, the key spiritual journey that practitioners of the Scientology religion undertake. See,
e.g., Narconon News, 1974, Volume 6, Issue 3: Narconon Is The Bridge to The Bridge, attached
hereto as Exhibit E.
54.
At Fresh Starts headquarters in Glendale, California, hangs a plaque received from ABLE
that thanks Larry Trahant and The Narconon Fresh Start Team for introducing patients to L. Ron
Hubbard and The Bridge. The writing on the plaque provides, in relevant part:
Larry and his dynamic team at Narconon Fresh Start are hereby
warmly thanked and highly commended for their dedication and
hard work. They give us tremendous back up in introducing LRH to
the world and are saving lives on a daily basis. There are thousands
of beings who have taken their first steps on The Bridge, thanks to
the compassion and efforts of this team.
A photo of this plaque is attached hereto as Exhibit F.
55.
Scientologys own marketing documents show that the Narconon program is part of
Scientologys plan to clear civilization. (To go clear is the ultimate spiritual goal for a
Scientologist, achieved after one goes up the Bridge to Total Freedom.) The document attached
hereto as Exhibit G, shows a Church of Scientology, or an Org as its known, with an arrow
directed at the Narconon Jumping Man logo. The document reads:
The question is not how to clear an individual, its how to clear a
civilization by making every one of our orgs a central
organization responsible for every sector of Scientology activities
across its [sic] entire geographic zone.
9
In other words, the Church of Scientology is supposed to direct Narconon to achieve Scientologys
spiritual goal of clearing civilization.
56.
Defendant ABLE owns the trademarks for Narconon, including all rights to the Narconon
57.
Defendant gave permission for the Narconon Jumping Man logo to be used in the
58.
Fresh Start is using the Narconon program to introduce Scientology and L. Ron Hubbards
technology to unwitting patients seeking drug rehabilitation. This is exactly as the Church of
Scientology directed as part of its Social Coordination Strategy. Scientology explicitly outlined
this strategy in an urgent Executive Directive from the Authorization, Verification, and Correction
Department of its Religious Technology Center. The Executive Directive outlining the Social
Coordination Strategy is attached hereto as Exhibit H (hereafter the SOCO Directive).
59.
The SOCO Directive instructed all SOCO GROUPS, which includes Narconon, as
follows:
YOU ARE THERE TO SELL LRHs TECH TO THE SOCIETY
AND GET IT USED, AS THE TECH. You do this through a
SMOOTH JOB OF PROMTIONAL ORGANIZATION FRONT
GROUPS, CORPORATIONS, FIELD WORKERS, ETC.
(emphases in original).
The SOCO Directive expressly directed using front groups to introduce L. Ron Hubbards
technology, i.e., Scientology to society.
60.
The Narconon treatment program does not involve counseling. Fresh Start has admitted
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61.
According to Narconons manuals for administering the treatment program, the Narconon
program is to be followed exactly as set forth in the Narconon books. The Narconon program is
not to be mixed with any other treatment methods or approaches to treating substance abuse.
62.
63.
The Narconon program does not involve cognitive behavioral modification therapy.
64.
Scientology teaches that psychiatry, psychotherapy, and the field of psychology are evil
65.
Plaintiffs paid $33,000.00 for secular drug and alcohol treatment that Defendants did not
provide.
66.
At Fresh Start, Thomas, Jr., did not receive any of the counseling or cognitive behavior
67.
Thomas, Jr., became ill as result of undergoing the New Life Detoxification Program. He
suffered embarrassing injuries as a result of undergoing the New Life Detoxification Program and
continues dealing with those injuries to date.
68.
Thomas, Jr. also suffered emotional damages as a result of the strange methods Defendants
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69.
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
Defendant Narconon Fresh Start has all appearances of being a corporate sham illusion and
ABLE, NI and Western heavily influence Narconon Fresh Start and govern and control
NI publishes manuals that individual Narconon Centers such as Fresh Start d/b/a Sunshine
Summit Lodge are required to follow in operating the individual Narconon center. Two of these
manuals are entitled Opening A Successful Narconon Center and Running An Effective
Narconon Center.
73.
These manuals indicate that an individual Narconon center can do very little without the
Narconon Fresh Start cannot transfer, demote, or dismiss a permanent staff member
NI, Western, and ABLE have ultimate authority over the hiring of any Fresh Start staff
member. If a Narconon Fresh Start staff member does not meet the qualifications of a staff
member, the staff member may petition the Senior Director of Administration at NI to remain on
staff.
76.
If a staff member at Narconon Fresh Start believes she has been given orders or denied
materials that make it hard or impossible for her to do her job, she may file a Job Endangerment
Chit with the Ethics Department at NI. NI and Western then investigate and work to resolve the
staff members issue.
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77.
The operations manuals require staff members at Narconon Fresh Start to report
misconduct and nonoptimum conduct to the Quality Control Supervisor at NI. NI and Western
investigate misconduct at Narconon Fresh Start and may take disciplinary actions against its staff
members.
78.
Western receives ten percent of the weekly gross income from Narconon Fresh Start.
79.
NI requires Narconon Fresh Start to send it detailed weekly reports containing statistics of
more than 40 different metrics. NI and Western review these weekly reports and order changes at
Narconon Fresh Start based on increases or decreases in the statistics in the reports.
80.
NI, Western, and ABLE require that Narconon Fresh Start receive approval on all
promotional materials before Fresh Start disseminates them. Further, Fresh Start must obtain
approval as to its Internet websites from NI, Western, and ABLE before the sites go live.
81.
NI, Western and ABLE also assist in creating Narconon Fresh Starts advertising
materials. NI, Western and ABLE dictate the contents of those advertising materials.
Narconon International and ABLE monitor the delivery of the treatment that Fresh Start
provides. The written materials in the Narconon program consist of the writings and works of L.
Ron Hubbard. Narconon and Scientology refer to these materials as technology or tech.
82.
NI requires that Narconon Fresh Start maintain a building account fund in which weekly
monies from the gross income are used to purchase new premises and also as a cushion to salvage
the organization in dire circumstances. The building fund is under the control of NI.
83.
NI, Western and ABLE conduct tech inspections at Narconon Fresh Start. These
inspections entail NI, Western, and ABLE monitoring and correcting the manner in which
Narconon Fresh Start delivers the Narconon treatment program to patients at Fresh Start. NI,
Western, and ABLE instruct staff at Fresh Start as to the exact manner in which they are to
perform their services and deliver the Narconon treatment program.
13
84.
NI and ABLE also publish all training materials for Narconon Fresh Start. This includes
seven different training materials on subjects ranging from the Narconon sauna program to
overseeing to delivering the Narconon treatment program.
85.
Further, the NI Director of Technology and Approval demands and ensures that there are
good photos of L. Ron Hubbard visible in every center and that materials are available to students
and staff as to L. Ron Hubbards contributions in the field of alcohol and drug rehabilitation.
86.
NI, Western, and ABLE work with individual Narconon centers such as Fresh Start on
legal problems, including patient requests for refunds and complaints to the Better Business
Bureau. In addition, NI, Western, and ABLE work to combat negative publicity for Fresh Start.
87.
NI, Western, and ABLE are intimately involved in the day-to-day operations of Narconon
Fresh Start. NI, Western, and ABLE have the final authority over all decisions at Narconon Fresh
Start relating to hiring and firing, delivery of services, finances, advertising, training, and general
operations.
88.
NI, Western, and ABLE all are principals served by their agent, Fresh Start.
FIRST CLAIM FOR RELIEF
BREACH OF CONTRACT
89.
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation
Defendants contracted with Plaintiffs to provide Thomas, Jr. secular drug and alcohol
92.
Defendants breached this contract by, inter alia: (i) failing to provide services constituting
drug and alcohol treatment; and (ii) providing Scientology in lieu of drug and alcohol treatment.
93.
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Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
made to the Plaintiffs: (i) that the Narconon program has a 76% success rate; (ii) that Thomas, Jr.
would receive counseling and cognitive behavioral therapy related to substance abuse at Fresh
Start; (iii) that the New Life Detoxification sauna program is safe and has been scientifically
shown to eliminate or reduce drug cravings; and (iv) that the treatment program at Fresh Start is
secular.
96.
Fresh Start employee Dan Carmichael made these representations to Plaintiffs on or about
June 15, 2013, with the intent that they be acted upon.
97.
98.
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
Plaintiffs when persuading them to admit Thomas, Jr. to Fresh Start. The facts he failed to disclose
include the fact the Narconon treatment program consists of the works of L. Ron Hubbard, the
founder of Scientology. Further, Dan Carmichael concealed the fact that patients in the Narconon
program are instructed to practice and study the same materials as beginning Scientologists.
15
101.
Plaintiffs were unaware of these facts when speaking to Defendants representatives about
Representative Dan Carmichael intentionally concealed these facts because he knew that
Plaintiffs would not pay for treatment at Fresh Start if they knew these facts.
103.
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
Defendants owed Plaintiffs a duty to render substance abuse treatment to Thomas, Jr. in a
Defendants breached these duties by: (i) instructing Thomas, Jr. to sit in a sauna for several
hours per day while ingesting extreme dosages of Niacin and other vitamins; (ii) failing to staff the
Fresh Start treatment facility, and particularly the sauna, with any qualified medical personnel;
(iii) failing to provide duly qualified counselors to administer treatment; and (iv) providing
Scientology in lieu of substance abuse treatment.
107.
As a proximate result of Defendants breaches of the above duties, Plaintiffs have suffered
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
On or about June 15, 2013, Defendants, through Fresh Start employee Dan Carmichael,
made the following false representations of fact to Plaintiffs: (i) that the Narconon program has
16
more than a 76% success rate; (ii) that Thomas, Jr. would receive counseling and cognitive
behavioral therapy related to substance abuse at Fresh Start; (iii) that the New Life Detoxification
sauna program is safe and has been scientifically shown to eliminate or reduce drug cravings; and
(iv) that the treatment program offered at Fresh Start is secular.
110.
111.
Defendants made these statements to guide Plaintiffs in his business transaction with
Defendants.
112.
113.
Plaintiffs relied on these false representations of fact to their detriment and Plaintiffs have
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
On or about June 15, 2013, Defendants knowingly made the following false
representations to Plaintiffs, both through its representatives and on its website to the public at
large: (i) that the Narconon program has a 76% success rate; (ii) that Thomas, Jr. would receive
counseling and cognitive behavioral therapy related to substance abuse at Narconon; (iii) that
Narconons sauna program is safe and has been scientifically shown to eliminate or reduce drug
cravings; and (iv) that Fresh Starts treatment program is secular.
117.
As part of a bait and switch scheme, Defendants made these false representations in the
course of its business to induce Plaintiffs to pay $33,000.00 and admit Thomas, Jr. to Fresh Start.
17
118.
the public.
119.
Defendants make numerous false claims about their treatment program to the public at
Defendants have deceived numerous other consumers using these same practices.
Consumers seeking drug rehabilitation services for their loved ones such as Plaintiffs are often in
an urgent and vulnerable situation. Consequently, they often are left with relatively little
bargaining power in their transactions with Defendants. Defendants deceptive trade practices
have the potential to impact adversely numerous consumers seeking drug rehabilitation services in
the future.
121.
Defendants further engage in a dangerous bait and switch scheme by advertising their
services as a drug rehab program on the websites listed above. But when patients such as Plaintiff
Thomas, Jr. enter Defendants program they receive nothing but Scientology doctrine and
dangerous Scientology rituals such as the Purification Rundown, i.e., the New Life
Detoxification Program.
122.
Defendants deceptive trade practices, if not stopped, will continue to have a negative
impact on the public. This impact on the public includes keeping persons who need actual
rehabilitation services from getting them.
123.
suffered damages in excess of $75,000. Plaintiffs are entitled to all damages recoverable under the
18
Colorado Consumer Protection Act, including without limitation, treble damages and attorneys
fees.
SEVENTH CLAIM FOR RELIEF
UNJUST ENRICHMENT
124.
Plaintiffs incorporate by reference, as if fully set forth herein, each and every allegation set
Defendants received benefits from Plaintiffs including, without limitation, $33,000.00 for
Defendants did not provide, nor were they equipped to provide, Plaintiffs any of the drug
Under the circumstances, it would be unjust to allow Defendants to retain the benefits they
Respectfully submitted,
By:
19
20
Exhibit A
Exhibit B
However, I see the letter okay less than the comment of "hearsay". It is a generality.
I cannot reach Helena today to review this. Instead, I recommend the following:
1. Correct the letter (more ARC in the letter and change the expression of "hearsay" for specifics and do
not say that we have 70% success (we do not have scientific evidence of it).
2. Send a copy of the letter received from BBB to Mike Toth along with the proposed answer (corrected
by you).
3. Get okay from the attorney
4. Send the letter (preferably by certified mail return receipt request). Check out this point with Mike Toth
first.
If you send to Mike Toth the complete data, it should not take for him more than 10 minutes of his time.
Please let me know if you have any questions.
ML,
Claudia
----- Original Message ----From: Miriam Tenorio
To: Claudia Arcabascio
Sent: Monday, January 12, 2009 8:57 AM
Subject: Wolverton BBB complaint and suggested response
Dear Claudia,
Here is a BBB complaint from a suspended student, Joe W. Michelle has written a response
which is attached. Please let me know if this letter looks ok by you or whether we need to
rewrite.
Thanks!
Miriam
--- On Mon, 1/12/09, Michelle Darrell <mdarrell@freedomtreatmentcenter.com> wrote:
From: Michelle Darrell <mdarrell@freedomtreatmentcenter.com>
Subject: Wolverton
To: miriamtenorio@yahoo.com
Date: Monday, January 12, 2009, 10:25 AM
http://www.westernmichigan.bbb.org/complaint/view/37013866/b/so2o9h4k.
Exhibit C
Exhibit D
Exhibit E
Exhibit F
WELCH_001374
Exhibit G
Page
of 1
Case 1:15-cv-01000-WJM Document 1 Filed 05/11/15 USDC Colorado Page 54
of157
https://hamiltonlawlv.sharepoint.com/narconon/Shared%20Documents/Evidence/Captured... 8/13/2014
Exhibit H
Any idea that a SOCO group is there for any other reason
than getting LRH's tech out to society and replacing the
unworkable tech that has been introduced, must be cast aside.
You do have the policies on how to go about this. You
definitely have the public demand. Who wants a drugged, criminal
or stupid society except suppressives.
In the teeth of the forces who work to destroy western
civilisation, you will get nowhere until you begin to work as
subversives of the planned subversion.
The whole fields of law enforcement, drug handling and
education aren't going bad through stupidity.
ETC.
If you find that your post actions are not fully aligned
to this, no matter what the post, and your post stats will
tell the story, then you must change your operating basis,
so that your post fully aligns with selling LRH's tech to
the society and getting it used as the tech to handle crime and
drug rehabilitation and education.
Realize, that anyone who is trying to confuse you, by
telling you to do other things which do not align with the
above stable datum, is factually suppressing the mission we
are on to accomplish, and is playing into the hands of the
subverters of the fields of education, crime and drug handling.
By actually sticking to the above stable datum, we will
accomplish a total revolution in the fields of drugs, crime
and education, and get LRH's tech used as THE tech to handle
the above f i e l d s .
What you need to do is very simple : you must do the
functions of your post as laid out in LRH policy to the end
result of selling LRH's tech to the society and getting it
used as THE tech, and you must demand that the other staff
in your group or organization do the same, so that maximum
forward progress can be achieved.
And by doing this we can't help but make LRH's Tech
the only tech being used in the handling of drugs, crime
and education, with all the unworkable tech out of use,
including those that introduced it.
This will bring us forward to a civilisation without
insanity, without criminals and without war, where the
able can prosper and honest beings can have rights and where
Man is free to rise to greater h e i g h t s .
Alois Eisenring
COMMANDING OFFICER
SOCO INTERNATIONAL
Authorized by
AVC INT
AVCI:AE:rw
1987 by SOCO Int
ALL RIGHTS RESERVED
LRH is a trademark owned by Religious Technology Center and
are used with its permission. Printed in U.S.A.