Flynn 2AComplaint
Flynn 2AComplaint
Flynn 2AComplaint
MICHAEL T. FLYNN,
an individual,
Plaintiff,
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-
Filed 12/26/2023 03:01 PM - Karen E. Rushing, Clerk of the Circuit Court, Sarasota County, FL
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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.
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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.”
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@jimstewartson, TWITTER (Jan. 11, 2022, 1:25 PM),
1
https://twitter.com/jimstewartson/status/1480969163929620480.
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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
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29.! Stewartson’s podcast remains active, and, like his Twitter, Stewartson
repeatedly defames General Flynn. Stewartson offers paid subscriptions for his
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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
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Edward Helmore, Lincoln Project members pose as white supremacists at
9
Nov. 2, 2023).
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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”;
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12 MeidasTouch Network, PATREON, https://www.patreon.com/meidastouch (last
2, 2023).
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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:
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52.! On May 21, 2021, Stewartson stated that General Flynn works for
Putin:
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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.”:
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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”:
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60.! The following day, Stewartson again stated General Flynn “created
QAnon,” and is an “enemy combatant”:
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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:
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63.! The following day, Stewartson stated that General Flynn employed
Tracy Beanz to run QAnon for him:
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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”:
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called “facts”14:
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Jim Stewartson, MindWar: The Psychological War on Democracy: Message for
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70.! That same day, Stewartson Tweeted that “Mike Flynn and Vladimir
Putin agreed to wage psychological WWIII on American citizens.”:
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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
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72.! On January 20, 2023, Stewartson stated, “Mike Flynn has committed a
lot of crimes”:
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74.! On January 24, 2023, Stewartson said that General Flynn “has been
working for Putin for a decade” and is “Q”:
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theft of the 2016 election,” that he is “Q,” and that he “planned the insurrection”:
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76.! Again, on February 8, 2023, Stewartson Tweeted that General Flynn “is
working for Vladimir Putin”
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planned 1/6, and is currently building a theocratic fascist pro-Putin insurgency in the
United States of America.”:
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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.”:
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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
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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”:
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85.! Stewartson has also used his podcast to call General Flynn a “Russian
asset”:
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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:
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88.! On June 9, 2023, Stewartson came up with a new lie, stating that
General Flynn “tried to deal nuclear secrets.”:
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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.
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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
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MeidasTouch, LIVE: Trump’s INSANE Co-Conspirators GO DOWN HARD and
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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.
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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:
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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
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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).
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110.! On June 5, 2021, Stewartson called General Flynn and members of his
family fascists, traitors, and seditionists:
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112.! On July 25, 2021, Stewartson stated that he had been “warning” people
about General Flynn for a year, and advocating for his arrest:
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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:
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and called General Flynn a “fucking loser,” and again advocated for General Flynn’s
arrest:
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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
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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:
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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.
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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
about General Flynn, instead of retracting and deleting his lies, he doubled down on
them, Tweeting the notice with the hashtag “ArrestMikeFlynn,” requesting donations
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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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128.! On December 19, 2020, Defendant MeidasTouch expressed its wish that
General Flynn be charged with “sedition” and put in jail:
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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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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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.
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
Respectfully submitted,
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Jonathan R. Huffman
(Fla. Bar No. 56047)
3021 Airport-Pulling Rd. N., Suite 202
Naples, Florida 34105
Phone: (239) 330-1494
Email:[email protected]
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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:
Craig Whisenhunt
Ripley Whisenhunt, PLLC
8130 66th Street North, Suite 3
Pinellas Park, FL 33781
[email protected]
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