Flynn 2AComplaint

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Filing # 188650662 E-Filed 12/26/2023 01:50:42 PM

IN THE CIRCUIT COURT OF THE TWELFTH JUDICIAL CIRCUIT


IN AND FOR SARASOTA COUNTY, FLORIDA
CIVIL DIVISION

MICHAEL T. FLYNN,
an individual,

Plaintiff,

v. Case No.: 2023 CA 004264 NC

JIM STEWARTSON, Division C Circuit


1526 Steinhart Avenue,
Redondo Beach, California 90278-2746, SECOND AMENDED
an individual, COMPLAINT

RICK WILSON, DEMAND FOR A JURY


210 Mill Branch Road, TRIAL
Tallahassee, Florida 32312-1504,
an individual,

AND

MEIDASTOUCH LLC,
c/o Brett Meiselas,
11140 Sylvan Street,
Los Angeles, California 91606,

Defendants.

1.! Defendant Jim Stewartson, who ironically gave himself the title of “anti-

disinformation activist,” habitually defames Lieutenant General Michael T. Flynn

(ret.) (“General Flynn”), a distinguished veteran who defended and protected

Americans throughout his 33-year service in the United States Army.


2.! Starting his career as a media and technology professional, Stewartson
sought fame through the trend of defaming prominent conservative figures. One of

Stewartson’s common targets is General Flynn.

Filed 12/26/2023 03:01 PM - Karen E. Rushing, Clerk of the Circuit Court, Sarasota County, FL
!

3.! Stewartson used his defamatory rhetoric to gain thousands of followers


across several social media platforms and start his own podcast, where he regularly

defames General Flynn, as well as other prominent conservative activists, to his


thousands of listeners.
4.! Stewartson also created a chat group, The Thinkin Project, where he
allegedly combats what he calls “disinformation.”
5.! Stewartson chooses to defame conservatives in an effort to make a
comfortable living for himself.
6.! In a malicious attempt to smear General Flynn—based on personal and
political animus—and raise his own public profile as well as make money for himself,
Stewartson spreads pernicious lies about General Flynn, including accusing him of
committing treason and domestic terrorism, working for Vladimir Putin, being a
Russian asset, stealing the 2016 election, working to overthrow the United States
government, planning and executing a violent insurrection, being a leader of QAnon,
being a Nazi, waging psychological warfare on the American people, wanting a second
Holocaust, using ISIS radicalization techniques on the American people, torturing
prisoners, and “literally” trying to murder former Vice President Mike Pence.
7.! Since the filing of this initial Complaint, Stewartson joined the
MeidasTouch Network on October 22, 2023, to continue spreading his lies that
General Flynn is using psychological warfare on the American people, that he created
Pizzagate, and that he is actively trying to overthrow the United States government.
MeidasTouch went beyond merely hosting Stewartson to spew his lies, they later
republished those lies on various media sites.
8.! Likewise, Defendant Rick Wilson, who is the founder of the anti-
Republican group The Lincoln Project, also spreads lies about Conservative figures
associated with President Donald Trump.

! 2
!

9.! Wilson maliciously defamed General Flynn, calling him a “Putin


employee,” and also calling him “Q.”

10.! Defendants’ lies are self-serving and self-promoting, as they have a


financial interest in gaining publicity. Accordingly, General Flynn seeks to hold
Defendants accountable for their malicious and knowing falsehoods.
PARTIES

11.! Plaintiff Lt. General Michael T. Flynn, U.S. Army, Retired, is an


individual who is a resident and citizen of the State of Florida, and resides in Sarasota
County.
12.! Defendant Jim Stewartson is an individual who is a resident and citizen
of the State of California.
13.! Defendant Rick Wilson is an individual who is a resident and citizen of
the State of Florida, and resides in Leon County.
14.! Defendant MeidasTouch LLC (“MeidasTouch”) is a California limited
liability company that operates MeidasTouch Network.
JURISDICTION AND VENUE

15.! This Court has subject matter jurisdiction over this cause of action
pursuant to Fla. Stat. § 26.012 as it is a civil action with damages exceeding $50,000.
16.! Defendants are subject to personal jurisdiction in Florida, pursuant to
Florida’s long-arm statute, Fla. Stat. § 48.193, because a third party in Florida
accessed the defamatory material, and it was directed at a Florida resident. Further,
Defendant Wilson is a resident of the State of Florida.
17.! Venue for this action is properly in Sarasota County, Florida, as Plaintiff
is a citizen of Florida who resides in this Circuit, and Defendants’ speech was directed
at Plaintiff, causing Plaintiff damage in this Circuit.

! 3
!

FACTUAL BACKGROUND

Plaintiffs’ Background
18.! General Flynn dedicated his life to serving and protecting the United
States. He served more than thirty-three (33) years in the United States Army, rising
to the rank of Lieutenant General, and served as Assistant Director of National
Intelligence in the Office of the Director of National Intelligence and as the 18th
Director of the Defense Intelligence Agency.
19.! General Flynn has become a staunch advocate for the preservation of
American values and election integrity, and the fight against human trafficking.
General Flynn recently began “The America Project,” a non-partisan, social welfare
organization defending rights and freedoms, election integrity, and border security.
Defendant Stewartson’s History
20.! Stewartson has had a long career working in media and technology.
Most of his work involved graphic design, leading to several national and
international awards.
21.! With no awards for over a decade, Stewartson chose to take a new path
to regain public fame.
22.! In May 2020, Stewartson began obsessively Tweeting about General
Flynn and digitally tracking his every move. In fact, Defendant recently stated that
following General Flynn as “closely” as he does, gives him “access to content others
miss.”1
23.! In August 2020, Stewartson created a chat group called “The Thinkin
Project.”

!
@jimstewartson, TWITTER (Jan. 11, 2022, 1:25 PM),
1

https://twitter.com/jimstewartson/status/1480969163929620480.

! 4
!

24.! According to LinkedIn, it was a group “devoted to combatting


disinformation and helping victims of undue influence.”2

25.! According to VICE, Stewartson and a small group of allies formed a


private discord server called The Thinkin’ Project and made big promises about how
it would help people.3
26.! When VICE asked Desiree Kane, the group’s spokesperson and co-
founder, to produce someone that The Thinkin’ Project has helped or to provide any
information on how many people have been helped since the project launched, she
was unable to produce anything.4
27.! According to VICE, The Thinkin’ Project’s discord server focused “on the
collection of disinformation, sharing of articles about QAnon and building resources
to share with those who contact the group. There is no effort to intervene personally
with anyone, or even speak to QAnon believers directly. Instead, those who get in
touch are directed to a range of online resources with best practices about how to
speak to someone who believes in QAnon.”5
28.! Shortly after the 2020 Presidential Election, Stewartson started a
podcast called “Radicalized: Truth Survives Podcast,” with its first episode airing on
November 15, 2021.6

!
2The Thinkin Project, LINKEDIN, 2023, https://www.linkedin.com/company/the-
thinkin-project/about/ (last visited May 2, 2023).
3 David Gilbert, The Organization Trying to Save QAnon Believers Is Falling

Apart, VICE (March 17, 2021, 6:07am), https://www.vice.com/en/article/v7mwya/the-


organization-trying-to-save-qanon-believers-is-falling-apart.
4 Id.
5 Id.
Radicalized: Truth Survives Podcast, Episode 1: Mind War, Crypto with Dave
6

Troy, and Finding Shared Truth, YOUTUBE (Nov. 15, 2021),


https://www.youtube.com/watch?v=o-bg2rgoSWA.

! 5
!

29.! Stewartson’s podcast remains active, and, like his Twitter, Stewartson
repeatedly defames General Flynn. Stewartson offers paid subscriptions for his

podcast, ranging from $5 per month to $20 per month.


30.! Stewartson also posts defamatory statements about General Flynn on
the social networks Mastodon and Substack, where he has paid subscribers.
31.! Stewartson’s defamatory statements about General Flynn have gained
such publicity and become so outrageous that there is even an Urban Dictionary term
used to define his followers called “StewAnon.” In the term, it describes Stewartson
as a “leftist conspiracy blogger.”7
32.! Notably, even the Anti-Defamation League publicly stated that they
found no information to support Stewartson’s claims that General Flynn is the person
behind QAnon.8
Defendant Wilson’s History
33.! Wilson is a former strategist and consultant for the Republican party.
34.! Due to several policy disagreements with President Donald Trump’s
Administration, Wilson seemingly switched his political beliefs overnight and began
working with far-left publications. Eventually, in 2019, he helped found The Lincoln
Project, an organization dedicated to opposing Republicans.
35.! This included attacks on General Flynn, including his defamatory
comments about General Flynn, which are the subject of this case.
36.! The Lincoln Project is no stranger to foul play. During the 2021
gubernatorial election in Virginia, members of the group posed as white supremacists

!
7StewAnon, URBAN DICTIONARY (Jan. 5, 2023),
https://www.urbandictionary.com/define.php?term=StewAnon.
8 Center on Extremism, Antisemitism, False Information and Hate Speech Find

a Home on Substack, ADL (Apr. 3, 2023),


https://www.adl.org/resources/blog/antisemitism-false-information-and-hate-speech-
find-home-substack-0.

! 6
!

pretending to support Governor Glenn Youngkin in an attempt to harm his


campaign.9

37.! Apparently, defamatory comments from one of the group’s founders is


par for the course.
Defendant MeidasTouch’s History
38.! The Meiselas family started MeidasTouch Network as a YouTube
channel on May 13, 2010.10
39.! Kenneth Meiselas, the father of the family is a wealthy celebrity
attorney.
40.! He has three children who, piggybacking off of this success, have
maintained the YouTube channel, created the LLC, and even started a liberal
political action committee in March 2020 with the purpose of stopping President
Trump’s reelection.
41.! MeidasTouch Network has fully fallen in line with the politics of the
PAC associated with it, frequently using its platform to attack President Trump and
all those associated with him.
42.! MeidasTouch operates fourteen podcasts, all with left-wing political
commentators.11
43.! As of the filing of this lawsuit, MeidasTouch has 1.74 million YouTube
subscribers.

!
Edward Helmore, Lincoln Project members pose as white supremacists at
9

Virginia GOP event, THE GUARDIAN (Oct. 30, 2021),


https://www.theguardian.com/us-news/2021/oct/30/lincoln-project-glenn-youngkin-
virginia-event.
10 MeidasTouch, YOUTUBE, https://www.youtube.com/@MeidasTouch/about (last

visited November 2, 2023).


11 Podcasts, MEIDASTOUCH, https://www.meidastouch.com/podcast (last visited

Nov. 2, 2023).

! 7
!

44.! MeidasTouch has also branched outside of YouTube, and is now on all
major social media platforms, and offers paid subscriptions to its content through

Patreon where, as of the date of this lawsuit, it has 9,362 members. Subscription
prices range from $5 to $25.12
45.! Further, MeidasTouch sells merchandise on its website.13
Defendants’ Lies about General Flynn
46.! Since falling out of the public spotlight, Stewartson sought publicity and
financial gain by any means necessary, including by maliciously defaming General
Flynn with incredible allegations that General Flynn has created cults and
committed serious crimes against the United States. Among his many lies,
Stewartson has stated that:
a.! General Flynn is “running QAnon”;
b.! General Flynn “helped plan and execute 1/6”;
c.! General Flynn “work[s] for Putin”;
d.! General Flynn is a “Russian asset”;
e.! General Flynn is a “literal traitor”;
f.! General Flynn is a “terrorist”;
g.! General Flynn committed “treason”;
h.! General Flynn colluded with Russia to “steal the 2016 election”;
i.! General Flynn is a “Nazi”;
j.! General Flynn “wants a second Holocaust”;
k.! General Flynn uses “ISIS radicalization techniques” on the American
people;
l.! General Flynn “torture[d] prisoners”;
!
12 MeidasTouch Network, PATREON, https://www.patreon.com/meidastouch (last

visited (Nov. 2, 2023).


13 Meidas Merch, MEIDASTOUCH, https://store.meidastouch.com/ (last visited Nov.

2, 2023).

! 8
!

m.!General Flynn tried to “overthrow the United States”; and


n.! General Flynn “literally tried to murder Mike Pence.”

47.! He recently began spreading these lies with the help of Defendant
MeidasTouch, stating that General Flynn is using psychological warfare on the
American people, that he created Pizzagate, and that he is actively trying to
overthrow the United States government.
48.! Additionally, Defendant Wilson defamed General Flynn, calling him a
“Putin employee,” and repeating Stewartson’s lie that General Flynn is “Q.”
49.! The following is a non-comprehensive history of Defendants’ defamatory
statements about General Flynn, in chronological order.
50.! On May 4, 2021, Stewartson Tweeted that General Flynn is working to
destroy America on behalf of Putin:

! 9
!

51.! On May 15, 2021, Stewartson made a slew of accusations against


General Flynn, saying he is “running QAnon,” “made millions from QAnon victims,”

and “helped plan and execute 1/6”:

! 10
!

52.! On May 21, 2021, Stewartson stated that General Flynn works for
Putin:

! 11
!

53.! On June 1, 2021, Stewartson again stated, “Flynn is in charge of it


[QAnon].”:

54.! On June 8, 2021, Stewartson described General Flynn as a “literal


traitor” and “seditionist”:

! 12
!

55.! Again, on July 12, 2021, Stewartson referred to General Flynn as a


terrorist:

! 13
!

56.! Likewise, on July 15, 2021, Stewartson again referred to General Flynn
as a “QAnon cult leader”:

57.! On August 20, 2021, Stewartson stated that General Flynn “colluded
with the Russians to steal the 2016 election.”:

! 14
!

58.! On September 1, 2021, Stewartson randomly accused General Flynn of


being a “Nazi”:

! 15
!

59.! Later, on October 9, 2021, Stewartson stated that General Flynn “has
been operating QAnon” for nearly four years and that he uses it to “target people”:

! 16
!

60.! The following day, Stewartson again stated General Flynn “created
QAnon,” and is an “enemy combatant”:

! 17
!

61.! On October 21, 2021, Stewartson called Ivan Raiklin an “employee of


Flynn,” who started “organizing the insurrection”:

62.! Later, on November 14, 2021, Stewartson stated that General Flynn
“works for a transnational crime syndicate” and “did a deal” with Vladimir Putin to
put President Trump in office:

! 18
!

63.! The following day, Stewartson stated that General Flynn employed
Tracy Beanz to run QAnon for him:

! 19
!

64.! On December 3, 2021, Stewartson again Tweeted, “Mike Flynn


*created* QAnon”:

! 20
!

65.! In perhaps one of Stewartson’s most egregious lies, he stated on


December 9, 2021, that General Flynn “wants a second Holocaust.” And to dispel any

notion that he was being facetious, Stewartson added: “Truly.”

! 21
!

66.! Right before the New Year, Stewartson again stated, “QAnon is an
invention of Mike Flynn.”:

67.! On February 24, 2022, Defendant Wilson got in on the action, falsely
asserting that General Flynn is a “Putin employee”:

! 22
!

68.! On November 8, 2022, in a delusional video posted on his Substack and


addressed to General Flynn’s brother, Joseph Flynn, Stewartson lays out a few so-

called “facts”14:

[A]bout 10 years ago, [General Flynn] decided to overthrow the


government of the United States itself on behalf of an enemy foreign
power, specifically, Vladimir Putin. In 2013, [General Flynn] allowed
Edward Snowden to break into top secret DIA servers in order to share
military secrets with the Russians, while at the same time Mike Flynn
was at GRU headquarters. For the next six months, Vladimir Putin
invaded Crimea without a single peep from [General Flynn] who was
head of the DIA at the time. [General Flynn] allowed all of that to
happen. And then he got fired for it. And that began an eight-year
warfare campaign against the United States of America. In 2017, after
[General Flynn] managed to steal the 2016 election and put a Putin
puppet in power, he got caught, he got mad, and he psyop’d you and the
rest of his family into his cult so he could start QAnon. . . . Is that really
the side of history you want to be on—your brother’s attempt to recreate
the Third Reich?
69.! On January 10, 2023, Stewartson tweeted, “Mike Flynn is Q,” referring
to QAnon:

!
Jim Stewartson, MindWar: The Psychological War on Democracy: Message for
14

Joe Flynn, SUBSTACK (Nov. 8, 2022), https://jimstewartson.substack.com/p/message-


for-joe-flynn.

! 23
!

70.! That same day, Stewartson Tweeted that “Mike Flynn and Vladimir
Putin agreed to wage psychological WWIII on American citizens.”:

! 24
!

71.! On January 17, 2023, Stewartson stated that “Mike Flynn created ‘Q’ to
speak for him while he escaped accountability for his crimes” and then called

Vladimir Putin “his boss.”:

! 25
!

72.! On January 20, 2023, Stewartson stated, “Mike Flynn has committed a
lot of crimes”:

! 26
!

73.! Outrageously, on January 22, 2023, Stewartson stated that General


Flynn used “ISIS radicalization techniques” on the American people:

! 27
!

74.! On January 24, 2023, Stewartson said that General Flynn “has been
working for Putin for a decade” and is “Q”:

! 28
!

75.! On February 3, 2023, Stewartson made several accusations against


General Flynn, stating he is “Putin’s General of Propaganda,” he “orchestrated the

theft of the 2016 election,” that he is “Q,” and that he “planned the insurrection”:

! 29
!

76.! Again, on February 8, 2023, Stewartson Tweeted that General Flynn “is
working for Vladimir Putin”

77.! On February 23, 2023, Stewartson again made a slew of accusations,


stating, “Mike Flynn created Pizzagate, stole the 2016 election, started QAnon,

! 30
!

planned 1/6, and is currently building a theocratic fascist pro-Putin insurgency in the
United States of America.”:

! 31
!

78.! Next, on March 3, 2023, Stewartson Tweeted that General Flynn


committed “treason and is ‘the worst traitor in American history.’”:

79.! In another slew of accusations on March 20, 2023, Stewartson again


Tweeted, “Mike Flynn has worked for Putin for a decade,” “Mike Flynn stole the 2016

! 32
!

election,” that General Flynn planned “the insurrection,” and that he created
“QAnon”:

80.! On March 22, 2023, Stewartson again said that General Flynn was part
of “the conspiracy to steal the election from Hillary Clinton,” and had “long
employment by Vladimir Putin.”:

! 33
!

81.! On March 25, 2023, Stewartson accused General Flynn of another


conspiracy to “overthrow the United States”:

82.! In yet another slew of allegations on March 25, 2023, Stewartson stated,
“Flynn works for Putin,” “Flynn wants to overthrow the US government,” “Flynn stole

! 34
!

the 2016 election,” “Flynn is Q,” and “Flynn planned and executed a violent
insurrection on 1/6.”:

83.! Then, on March 28, 2023, Stewartson stated, “Mike Flynn employed
Jack Posobiec to torture prisoners”:

! 35
!

84.! Continuing to April, on April 5, 2023, Stewartson stated, “Mike Flynn


literally tried to murder Mike Pence with QAnon.”:

85.! Stewartson has also used his podcast to call General Flynn a “Russian
asset”:

! 36
!

86.! Since the inception of this lawsuit, Stewartson’s lies have continued.
87.! On May 14, 2023, Stewartson repeated his lie that General Flynn is “Q,”

and this time, Wilson republished and adopted this lie by ReTweeting Stewartson:

! 37
!

88.! On June 9, 2023, Stewartson came up with a new lie, stating that
General Flynn “tried to deal nuclear secrets.”:

! 38
!

89.! On June 28, 2023, Stewartson again absurdly stated that General Flynn
dealt state secrets:

90.! Accordingly, because of these new statements, on July 13, 2023, General
Flynn filed his Amended Complaint.
91.! This, however, has not deterred Stewartson, he has continued his
defamatory attacks against General Flynn on Twitter and elsewhere.
92.! On October 22, 2023, Stewartson repeated his lies about General Flynn
on The Weekend Show, a podcast hosted by MeidasTouch.

! 39
!

93.! On the podcast, Stewartson stated, “so part of the reason I focus on Mike
Flynn is he famously met with Vladimir Putin in Moscow at a Russia Today banquet

in December of 2015 and after that he launched a whole series of psychological


warfare campaigns in the lead up to the 2016 election, one of those was Pizzagate.”15
94.! He further implied that General Flynn is using this “psychological
warfare” to overthrow the United States government, stating, “it’s a dangerous
industrial brainwashing machine I mean they know what they're doing and part of
again the reason why I focus on Flynn is that Flynn’s background is in psychological
warfare right it’s in using insurgencies and radicalizing populations in order to
overthrow countries that’s literally his career and he brags about it and he’s used
many of the same techniques that we see in America which is to use coercive
repetitive propaganda to come up with conspiracy theories and you know anything
that they can to you know obscure the truth right and that’s what QANON has been
all the way since you know Pizzagate.”16
95.! Stewartson again implied that General Flynn is trying to overthrow the
government, stating, “you see this war being you know created in the Middle East
you see Flynn just on his reawaken tour as we discussed no longer hides anything,
we are at war, you are at war, the government is your enemy.”17
96.! And again, this time Stewartson directly stated that General Flynn is
trying to overthrow the government, saying, “I have documented, just Flynn,
hundreds and hundreds of appearances, where he makes his plan very clear, I am
currently in the process of trying to overthrow the government.”18

!
MeidasTouch, LIVE: Trump’s INSANE Co-Conspirators GO DOWN HARD and
15

Turn AGAINST HIM | The Weekend Show, YouTube (Oct. 22, 2023),
https://www.youtube.com/watch?v=DTlzK8yVsZg&t=603s, at 6:13-6:57.
16 Id. at 11:20-12:19.
17 Id. at 43:03-43:24.
18 Id. at 1:07:28-1:07:55.

! 40
!

97.! MeidasTouch published this clip to its 1.74 million subscribers on


YouTube, including Florida residents, with the intention of harming a Florida

resident.
98.! They further Tweeted out the clip to its 1.1 million followers on Twitter,
including Florida residents, with the intention of harming a Florida resident:

99.! Stewartson’s Twitter following is roughly 75,000 people, including

persons located in the state of Florida. In addition, Stewartson’s defamatory Tweets


and other statements were viewed by third parties located in the state of Florida.
Stewartson’s statements were made with the intention of harming Florida residents
100.! Further, Wilson’s Twitter following is roughly 1.6 million people, and
his statements, likewise, were made with the intention of harming a Florida resident.

! 41
!

Defendants’ Conduct Shows Malicious Hatred of General Flynn


101.! Defendants do not attempt to conceal their malice toward General

Flynn. In fact, Stewartson openly states his desire to see General Flynn and even his
family members prosecuted for imagined and invented crimes.
102.! Defendants are attempting to gain publicity, fame, and monetary
earnings at the expense of a distinguished veteran.
103.! As shown by Stewartson’s own Tweets, he is using his malicious smear
campaign against General Flynn as a means of increasing his own public profile,
driving business to his podcast, his Substack19—where he offers paid subscriptions—
and social networking sites, integrating himself with other leftwing activists, and
explicitly trying to destroy General Flynn’s reputation.
104.! Indeed, on his Substack, Stewartson repeatedly makes solicitations for
readers to upgrade to paid subscription status and for donations in the same articles
where he spreads his lies about General Flynn.
105.! Stewartson’s statements display animus and resentment toward
General Flynn for his political beliefs. In particular, Stewartson advocates for the
“arrest” of General Flynn, utilizing the hashtag #ArrestMikeFlynn in hundreds of
tweets and Substack postings.
106.! Likewise, Wilson uses his defamatory and outrageous comments to drive
viewers and donations to his political groups, such as The Lincoln Project.
107.! According to 2019–2020 data, The Lincoln Project raised $87,404,908
through donations.20

!
19Substack is a ”subscription network” for writers, and provides the ability to
charge subscription fees for your content. See https://substack.com/.
20 PAC Profile: The Lincoln Project, OPEN SECRETS,

https://www.opensecrets.org/political-action-committees-pacs/the-lincoln-
project/C00725820/summary/2020 (last visited Jul. 6, 2023).

! 42
!

108.! In addition to the statements specifically referenced above, many of


which also show Defendants’ malice for General Flynn, the following are additional

statements that demonstrate Defendants’ malice, as well as their political and


financial motives.
109.! Wilson’s animus toward General Flynn has been on display for some
time now. In the early months of 2020, he repeatedly claimed that General Flynn
would be going to jail:

! 43
!

110.! On June 5, 2021, Stewartson called General Flynn and members of his
family fascists, traitors, and seditionists:

! 44
!

111.! According to Stewartson, as of July 2, 2021, he had spent ten months


“documenting and publicizing” his lies about General Flynn:

112.! On July 25, 2021, Stewartson stated that he had been “warning” people
about General Flynn for a year, and advocating for his arrest:

! 45
!

113.! Notably, Stewartson admitted he was “enjoying this”:

! 46
!

114.! On August 10, 2021, Stewartson even threatened to leak General


Flynn’s brother’s cellphone number:

115.! Stewartson further showed his hatred by saying that General Flynn and
his family “all suck.”:

116.! That same month, August 2021, Stewartson expressed his glee at the
politicized de-banking and de-platforming of General Flynn, calling it a “good start,”
and then advocating for the arrest of General Flynn:

117.! Evidencing his hatred of General Flynn’s entire family, Stewartson


laughed at the fact that his wife, Lori Flynn, had her credit cards wrongly terminated,

! 47
!

and called General Flynn a “fucking loser,” and again advocated for General Flynn’s
arrest:

! 48
!

118.! In another prime example of Stewartson’s malicious animus toward


General Flynn, he said that General Flynn was a “fucking asshole” in high school

solely because of his appearance:

! 49
!

119.! Stewartson clearly sought followers on the basis of his lies about
General Flynn, saying he was “sincerely grateful” for his new followers and that he

was “so focused on Mike Flynn”:

120.! In another attempt to gain followers, in a Tweet stating


“#ArrestMikeFlynn,” Stewartson Tweeted, “if you like what I do please consider a
follow”:

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!

121.! Not even General Flynn’s late mother was off limits from Stewartson,
who, on October 22, 2022, posted a ghoulish video using a photograph of the late

Helen Flynn, and altered it to make it appear that she was speaking to her son,
General Flynn. In the video, Stewartson manipulates the image of Mrs. Flynn to refer
to herself as “crazy-ass Helen Flynn” and to say that she would “haunt you and the
rest of my traitor children forever.”21
122.! On February 8, 2023, in another ghoulishly doctored video of General
Flynn’s late mother, referring to her as the “ghost of Helen Flynn,” Stewartson
manipulates her image to disparage and mock the Flynn family.22:

!
21Jim Stewartson, MindWar: The Psychological War on Democracy: Mike Flynn
is Sensitive About His Mom, SUBSTACK (Oct. 22, 2022)
https://jimstewartson.substack.com/p/mike-flynn-is-sensitive-about-
his?utm_source=%2Fsearch%2F%2523arrestmikeflynn&utm_medium=reader2
22 Jim Stewartson, Helen’s Message for Joe Flynn, VIMEO (Oct. 23, 2022),

https://vimeo.com/763230953.

! 51
!

123.! On April 3, 2023, Stewartson claimed that he would celebrate General


Flynn’s arrest:

124.! On April 10, 2023, in his Substack post entitled “Why I do this,”
Stewartson stated that after his Twitter ban, he wrote a thread “off the top of my

head detailing the last decade of Mike Flynn’s treason” (emphasis added).23
Stewartson’s statement proved he wrote with no evidence of fact. He also explicitly
stated his goal to spread his conspiracy and lies about General Flynn to a million

people and did so within three months.


125.! He further stated in the same April 10, 2023, post, “I will ‘get a life’ when
Mike Flynn is in prison . . . . the fastest way to get Mike Flynn off the street is to
reactivate, recall and court martial him.”24
126.! In response to a notice letter of Stewartson’s defamatory comments

about General Flynn, instead of retracting and deleting his lies, he doubled down on
them, Tweeting the notice with the hashtag “ArrestMikeFlynn,” requesting donations

!
23Jim Stewartson, MindWar: The Psychological War on Democracy: Why I do this,
SUBSTACK (April 10. 2023),
https://jimstewartson.substack.com/p/why-i-do-
this?utm_source=profile&utm_medium=reader2
24 Id.

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!

and paid subscriptions on his Substack, and later that same day admitted on his
podcast to making the defamatory comments, with the exception of the satan Tweet:

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!

127.! Likewise, MeidasTouch has previously exhibited its animus toward


General Flynn, and, as discussed uses its baseless assertions to raise money.

128.! On December 19, 2020, Defendant MeidasTouch expressed its wish that
General Flynn be charged with “sedition” and put in jail:

129.! And on December 22, 2021, Defendant MeidasTouch Tweeted, “[w]hen


Flynn loses, America wins.”:

130.! This all exemplifies Defendants’ malice toward General Flynn.

CAUSES OF ACTION
COUNT I
(Defamation and Defamation Per Se)
Against All Defendants
131.! Plaintiff incorporates by reference the above paragraphs as though set
forth fully herein.
132.! Starting May 2020, and continuing to the present, Stewartson has
engaged in a non-stop smear campaign against General Flynn, repeatedly asserting
what he knows to be false, including the following allegations that:

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!

a.! General Flynn is “running QANON”;


b.! General Flynn “helped plan and execute 1/6”;

c.! General Flynn “work[s] for Putin”;


d.! General Flynn is a “Russian asset”;
e.! General Flynn is a “literal traitor” and “the worst traitor in American
history”;
f.! General Flynn is a “terrorist”;
g.! General Flynn committed “treason”;
h.! General Flynn colluded with Russia to “steal the 2016 election”;
i.! General Flynn is a “Nazi”;
j.! General Flynn “wants a second Holocaust”;
k.! General Flynn uses “ISIS radicalization techniques” on the American
people;
l.! General Flynn “torture[d] prisoners”;
m.!General Flynn tried to “overthrow the United States”;
n.! General Flynn “literally tried to murder Mike Pence”; and
o.! General Flynn “tried to deal nuclear secrets.”
133.! He repeated these lies to MeidasTouch, which later published them,
stating that General Flynn is using psychological warfare on the American people,
that he created Pizzagate, and that he is actively trying to overthrow the United
States government.
134.! Wilson, similar to Stewartson’s lies, asserted falsely that General Flynn
is a “Putin employee.” He then republished the Stewartson lie that General Flynn is
“Q.”
135.! All of these assertions and accusations by Defendants, including those
referenced throughout this Complaint and incorporated herein, are categorically
false.

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!

136.! Stewartson’s Twitter following is over 75,000 people, Wilson’s is 1.6


million, and MeidasTouch’s is 1.1 million with 1.74 million on YouTube, including

residents of Florida, to whom Defendants published their defamatory Tweets.


137.! Stewartson funnels his Twitter followers to his Substack and podcast,
where he solicits paid subscriptions and makes money off of his lies about General
Flynn.
138.! Wilson uses his lies to support his political groups.
139.! MeidasTouch uses its lies to support its podcasts, subscriptions, and
merchandise.
140.! Defendants’ defamatory statements were directed at General Flynn, a
Florida resident.
141.! Stewartson published his defamatory statements knowing that they
were false or with reckless disregard for the truth. Wilson did the same. MeidasTouch
was aware of this lawsuit and knew Stewartson’s statements were false or acted with
reckless disregard for the truth. Defendants however, they went forward with the
lies, publishing them, because of their political animus against General Flynn and
the opportunity to increase their own revenue streams through these lies.
142.! The defamatory statements constitute defamation per se because they
tended to injure General Flynn in his trade, business, or profession, and directly
accused General Flynn of committing serious crimes, including treason—punishable
by death.
143.! The defamatory statements have directly and proximately caused
General Flynn to suffer significant damages in Florida, where he lives and does
business, including damage to reputation, humiliation, embarrassment, and mental
anguish, all of which are ongoing in nature and will be suffered in the future. These
damages were foreseeable to Defendants.

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!

144.! Defendants published the defamatory statements knowingly,


intentionally, willfully, wantonly, and maliciously, with intent to harm Plaintiffs, or

in blatant disregard for the substantial likelihood of causing him harm, particularly
in his home state of Florida, thereby entitling General Flynn to an award of punitive
damages.
145.! As a direct and proximate result of the misconduct of Defendants,
General Flynn is entitled to compensatory, special, and punitive damages, as well as
disgorgement of any and all income Defendants have made off of their lies about
General Flynn.
COUNT II
(Injurious Falsehood)
Against All Defendants
146.! General Flynn incorporates by reference the above paragraphs as
though set forth fully herein.
147.! General Flynn is currently engaged in the business of promoting election
integrity and reform.
148.! Stewartson’s false statements, including accusing General Flynn of
being the worst traitor in American history, of participating in domestic terrorism

and sedition, and of attempting other serious crimes, directly concern General Flynn’s
business.
149.! Further, MeidasTouch published Stewartson’s lies that General Flynn
is using psychological warfare on the American people, that he created Pizzagate, and
that he is actively trying to overthrow the United States government.
150.! Likewise, Wilson’s false statements, including him accusing General
Flynn of working on behalf of Vladimir Putin, also directly concern General Flynn’s
business.
151.! Defendants intended for their false statements to destroy General
Flynn’s reputation, to ruin his ability to participate in politics, elections, and policy

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!

advocacy, and to harm him financially. Defendants reasonably recognized and


intended that the publication of his statements about General Flynn would result in

pecuniary losses.
152.! General Flynn has suffered direct pecuniary losses as a result of
Defendants’ accusations, including costs associated with lost business opportunities
and money spent to defend his own reputation.

PRAYER FOR RELIEF

WHEREFORE, Plaintiff, Michael T. Flynn, respectfully requests this Court


enter a judgment in his favor and grant relief against Defendants as follows:
a.! An award of compensatory, special, and punitive damages, as well as
disgorgement of any and all income Defendants have made off of their
lies about General Flynn, in the amount of fifty million dollars
($50,000,000.00);
b.! Injunctive relief prohibiting the publication or republication of the
defamatory statements;

c.! An award of Plaintiff’s costs associated with this action, including but
not limited to his reasonable attorneys’ fees and expenses; and

d.! Such other and further relief as the Court deems just and appropriate
to protect Plaintiff’s rights and interests.
Demand for Jury Trial

Plaintiff demands a trial by jury on all issues so triable.

Dated: December 26, 2023 By Counsel

Respectfully submitted,

/s/ Jared J. Roberts


Jared J. Roberts

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!

(Fla. Bar No. 1036550)


BINNALL LAW GROUP, PLLC
717 King Street, Suite 200
Alexandria, Virginia 22314
Phone: (703) 888-1943
Fax: (703) 888-1930
Email: [email protected]

Jonathan R. Huffman
(Fla. Bar No. 56047)
3021 Airport-Pulling Rd. N., Suite 202
Naples, Florida 34105
Phone: (239) 330-1494
Email:[email protected]

Counsel for Michael T. Flynn

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!

Certificate of Service
I hereby certify that I have caused a true and accurate copy of the foregoing to
be delivered to counsel of record via e-filing, electronic mail, and First Class U.S.
Mail, postage prepaid, as follows:

George K. Rahdert, Esq.


George A.D. Thurlow, Esq.
Rahdert & Mortimer, PLLC
535 Central Avenue, Suite 200
St. Petersburg, FL 33701
[email protected]
[email protected]
[email protected]

Counsel for Defendant Jim Stewartson

Craig Whisenhunt
Ripley Whisenhunt, PLLC
8130 66th Street North, Suite 3
Pinellas Park, FL 33781
[email protected]

Counsel for Defendant Jim Stewartson

Leonard M. Collins (FBN: 423210)


GRAYROBINSON, P.A.
301 S. Bronough Street, Suite 600
Post Office Box 11189 (32302)
Tallahassee, Florida 32301
[email protected]
[email protected]

Counsel for Defendant Rick Wilson

/s/ Jared J. Roberts


Jared J. Roberts

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