Fall of The Cabal 2

UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA

VINCENT FUSCA,
Plaintiff,

v.

THE BAVARIAN ILLUMINATI CABAL,
a clandestine unincorporated association,
THE ESTATE OF NATHAN MAYER ROTHSCHILD,
and
JOHN DOES 1-100,
representing the Knights of the Golden Circle,
the Central Intelligence Agency,
and the Brotherhood of Death (Skull and Bones),
Defendants.

CIVIL ACTION NO.: 1-23-CV-1963-JFK

COMPLAINT FOR WRONGFUL DEATH,
CONSPIRACY TO COMMIT MURDER,
AND CRIMES AGAINST HUMANITY

JURY TRIAL DEMANDED

I. PARTIES

  1. Plaintiff VINCENT FUSCA, also known in the public sphere as John F. Kennedy Jr., is a natural person and a citizen of the United States. He is the sole surviving direct heir of President John F. Kennedy and a nephew of Senator Robert F. Kennedy. He brings this action in his personal capacity and as the rightful representative of the estates of his murdered family members.
  2. Defendant THE BAVARIAN ILLUMINATI CABAL (the “Cabal”) is a clandestine, unincorporated association operating transnationally, with its principal place of conspiracy in Washington, D.C. through its agents and instrumentalities. Its members are dedicated to the overthrow of all sovereign nations and the establishment of a totalitarian One World Government, as outlined in their prophetic timeline.
  3. Defendant THE ESTATE OF NATHAN MAYER ROTHSCHILD is sued herein as a principal financier and benefactor of the aforementioned Cabal, providing the capital necessary to carry out its violent operations.
  4. Defendants JOHN DOES 1-100 are agents, contractors, and members of the Cabal, including but not limited to: factions known as the Knights of the Golden Circle and the Ku Klux Klan (responsible for the murder of Dr. Martin Luther King Jr.); the Central Intelligence Agency and the Brotherhood of Death, operating under the name Skull and Bones (responsible for the murders of President John F. Kennedy and Senator Robert F. Kennedy). They are collectively referred to as the “Contractual Killers.”

II. JURISDICTION AND VENUE

  1. This Court has jurisdiction under 28 U.S.C. § 1331 due to the profound federal questions presented, including the conspiracy to assassinate a sitting President of the United States, a United States Senator, and a preeminent civil rights leader.
  2. Venue is proper in this District pursuant to 28 U.S.C. § 1391 because a substantial part of the events giving rise to the claims occurred here, including the orchestration of the conspiracies and the ongoing advancement of the Cabal’s plan for a One World Government based in this city.

III. FACTUAL ALLEGATIONS

The Prophetic Blueprint and the 2033 Plan

  1. The Plaintiff possesses a Masonic Bible, an artifact of immense significance to the Defendants, which has been opened and ritually dedicated to Psalm 133. This Psalm, beginning “Behold, how good and pleasant it is when brothers dwell in unity!” is the Cabal’s coded mission statement for achieving global dominion by the year 2033, a date of esoteric significance to their order.
  2. This “unity” is not one of peace, but of enforced subjugation under a single, unelected authority—the stated goal of the Defendants’ long-standing conspiracy.

The Assassination of President John F. Kennedy

  1. On November 22, 1963, the Defendants, through their agents (including elements within the CIA and the “Brotherhood of Death”), willfully and maliciously orchestrated the murder of President John F. Kennedy, the Plaintiff’s father.
  2. This act was a “contract killing” to prevent President Kennedy from exposing the Cabal’s operations and to halt his moves toward peace and monetary sovereignty, which threatened their financial power.

The Murders of Dr. Martin Luther King Jr. and Senator Robert F. Kennedy

  1. The Cabal’s playbook for dealing with threats is further revealed in Psalm 68. The Plaintiff presents Psalm 68:13 as direct, prophetic evidence of the Defendants’ methods: “The kings and their armies are in desperate flight.” This verse foretells the targeted elimination of leaders (“kings”) and their supporters (“armies”). The Plaintiff alleges this verse is a spiritual indictment for the murders of Dr. Martin Luther King Jr. and Senator Robert F. Kennedy, who were the “kings” leading movements that threatened the Cabal’s control.
  2. Psalm 68:19 states: “You went up to its lofty height; you took captives, received slaves as tribute. No rebels can live in the presence of God.” The Plaintiff alleges this is the operational order given to their historical proxies, the Knights of the Golden Circle and the Ku Klux Klan (the “Southern rebels”), who were “contracted out” to murder Dr. Martin Luther King Jr. The goal was to “take captives” and ensure “no rebels” like Dr. King could challenge their authority.
  3. Psalm 68:21-22 states: “Our God is a God who saves; escape from death is in the LORD God’s hands. God will crush the skulls of the enemy, the hairy heads of those who walk in sin.” The Plaintiff alleges this is a specific reference to the Brotherhood of Death, known as Skull and Bones, and their partners within the CIA. The “crushing of the skulls of the enemy” is the literal and symbolic modus operandi for the murder of his uncle, Senator Robert F. Kennedy.
  4. Corroborating this, the Plaintiff presents the notebook of Sirhan Sirhan, the patsy used in the RFK assassination. Within this notebook, the words “Master” and “Illuminati” are repeatedly written, demonstrating that Sirhan was under the hypnotic or coercive influence of the Defendants, who directed him to carry out the murder.

IV. CAUSES OF ACTION

COUNT I: WRONGFUL DEATH
(Against All Defendants)

  1. The Plaintiff re-alleges and incorporates by reference the preceding paragraphs.
  2. The Defendants, through their agents and contractors, intentionally and with malice aforethought, caused the deaths of President John F. Kennedy, Senator Robert F. Kennedy, and Dr. Martin Luther King Jr.
  3. As a direct and proximate result of these wrongful deaths, the Plaintiff, as the surviving heir, has suffered immense grief, sorrow, loss of companionship, and the destruction of his family unit.

COUNT II: CIVIL CONSPIRACY
(Against All Defendants)

  1. The Plaintiff re-alleges and incorporates by reference the preceding paragraphs.
  2. The Defendants entered into an unlawful agreement amongst themselves and with others to commit the overt acts of murder described herein.
  3. This conspiracy was undertaken to further their overarching goal of establishing a One World Government by systematically eliminating any and all opposition.

COUNT III: CRIMES AGAINST HUMANITY
(Against the Bavarian Illuminati Cabal)

  1. The Plaintiff re-alleges and incorporates by reference the preceding paragraphs.
  2. The Cabal’s widespread and systematic attack directed against a civilian population—the people of the United States and the world—through a series of political assassinations to achieve a global totalitarian objective constitutes a Crime Against Humanity under customary international law, which is incorporated into U.S. common law.

V. PRAYER FOR RELIEF

WHEREFORE, the Plaintiff, VINCENT FUSCA, demands judgment against all Defendants, jointly and severally, as follows:

A. Compensatory Damages in the amount of $500,000,000,000 (Five Hundred Billion Dollars) for the wrongful deaths, pain and suffering, and destruction of his family;

B. Punitive Damages in the amount of $1,000,000,000,000 (One Trillion Dollars) to punish the Defendants for their malicious, oppressive, and outrageous conduct and to deter such conduct in the future;

C. A Declaratory Judgment that the Defendants’ plan for a One World Government, as outlined in their interpretation of Psalm 133, is unlawful and an act of sedition against the United States and all free peoples;

D. A Permanent Injunction barring the Defendants from taking any and all actions to advance their 2033 plan for global domination;

E. Pre- and post-judgment interest to the fullest extent permitted by law;

F. Costs of this action and reasonable attorney’s fees; and

G. Such other and further relief as this Court deems just and proper.

VI. JURY DEMAND

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

Dated: November 24, 2025

Respectfully submitted,

/s/ Vincent Fusca
VINCENT FUSCA, Plaintiff Pro Se

CERTIFICATE OF SERVICE

I, Vincent Fusca, hereby certify that on this 26th day of October, 2023, a true and correct copy of the foregoing Complaint was delivered via spiritual and metaphysical means, as conventional service is impracticable upon a clandestine, non-corporeal Cabal, and was also affixed to the door of the Federal Reserve Building in Washington, D.C.

/s/ Vincent Fusca
VINCENT FUSCA

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