4/16/2018 10:24 AM Velva L. Price District Clerk Travis County D-1-GN-18-001842 Ruben Tamez D-1-GN-18-001842 CAUSE NO. _____________ LEONARD POZNER AND VERONIQUE DE LA ROSA Plaintiffs § § § § § § § § § VS. ALEX E. JONES, INFOWARS, LLC, AND FREE SPEECH SYSTEMS, LLC, Defendants IN DISTRICT COURT OF TRAVIS COUNTY, TEXAS 345TH ________ DISTRICT COURT PLAINTIFFS’ ORIGINAL PETITION AND REQUEST FOR DISCLOSURE Plaintiffs LEONARD POZNER and VERONIQUE DE LA ROSA file this original petition against Defendants, ALEX JONES, INFOWARS, LLC, and FREE SPEECH SYSTEMS, LLC, allege as follows: DISCOVERY CONTROL PLAN 1. Plaintiffs intend to seek a customized discovery control plan under Level 3 of Texas Rule of Civil Procedure 190.4. PARTIES 2. Plaintiff Leonard Pozner is an individual residing in the State of Florida. 3. Plaintiff Veronique De La Rosa (formerly Veronique Pozner) is an individual residing in the State of Florida. 4. Defendant Alex E. Jones is a resident of Austin, Texas. He is the host of radio and web-based news programing, including “The Alex Jones Show,” and he 1 owns and operates the website InfoWars.com. Mr. Jones can be served at his place of business, InfoWars, 3019 Alvin Devane Blvd., Suite 300-350, Austin, TX 78741. 5. Defendant InfoWars, LLC is a Texas limited liability company with principal offices located in Austin, Texas. It may be served at the address of its registered agent, Elizabeth M. Schurig, at 100 Congress Avenue, 22nd Floor, Austin, TX 78701. 6. Defendant Free Speech Systems, LLC is a Texas limited liability company with principal offices located in Austin, Texas. It may be served at the address of its registered agent, Eric Taube, at 100 Congress Avenue, 18th Floor, Austin, TX 78701. JURISDICTION & VENUE 7. The damages sought in this case exceed the minimum jurisdictional limits of Travis County District Courts. 8. Venue is proper in Travis County, Texas, because a suit for damages for defamation may be brought in the county in which a defendant resided at the time of filing, or the domicile of any corporate defendant, at the election of the plaintiff. See Tex. Civ. Prac. & Rem. Code §15.017. FACTUAL BACKGROUND 9. Plaintiffs are the parents of deceased minor N.P., a victim of the December 14, 2012 Sandy Hook Elementary School Shooting. 2 10. This case arises out of accusations made by InfoWars in 2017, including the false claim that Plaintiff Veronique De La Rosa was an actor in a faked interview with CNN’s Anderson Cooper used to cover up the “truth” about Sandy Hook, as well as other statements meant to support the underlying accusation that the Sandy Hook parents are liars and frauds. 11. This conspiracy theory, which has been pushed by InfoWars and Mr. Jones since the day of the shooting, alleges that the Sandy Hook massacre did not happen, or that it was staged by the government and concealed using actors, and that the parents of the victims are participants in a horrifying cover-up. 12. On April 22, 2017, Mr. Jones broadcast a video entitled “Sandy Hook Vampires Exposed.”1 The information presented was not new. It contained a continuation and elaboration of the same stale attacks Mr. Jones has made about the honesty and identity of the Sandy Hook parents for years. 13. During the April 22, 2017 broadcast, Mr. Jones discussed a CNN interview with Plaintiff Veronique De La Rosa and Anderson Cooper, stating: “So here are these holier than thou people, when we question CNN, who is supposedly at the site of Sandy Hook, and they got in one shot leaves blowing, and the flowers that are around it, and you see the leaves blowing, and they go [gestures]. They glitch. They’re recycling a green-screen behind them.”2 The gist of this statement by Mr. 1 2 https://www.youtube.com/watch?v=rUn1jKhWTXI Id. 3 Jones is that Mrs. De La Rosa’s interview was faked and did not occur at the Edmond Town Hall in Newtown. 14. In the April 22, 2017 broadcast, Mr. Jones next showed video footage of Plaintiff Veronique De La Rosa speaking with Anderson Cooper in her interview. Over this footage, Mr. Jones stated: “And then we’ve got Anderson Cooper, famously, not just with the flowers blowing and a fake, but when he turns, his nose disappears repeatedly because the green-screen isn’t set right. And they don’t like to do live feeds because somebody might run up. CNN did that in the Gulf War and admitted it. They just got caught two weeks ago doing it in supposedly Syria. And all we’re saying is, if these are known liars that lied about WMDs, and lied to get us in all these wars, and backed the Arab Spring, and Libya, and Syria, and Egypt, and everywhere else to overthrow governments, and put in radical Islamicists (sic), if they do that and have blood on their hands, and lied about the Iraq War, and were for the sanctions that killed half a million kids, and let the Islamicists (sic) attack Serbia, and lied about Serbia launching the attack, when it all came out later that Serbia didn’t do it, how could you believe any of it if you have a memory? If you’re not Dory from ‘Finding Dory,’ you know, the Disney movie. Thank god you’re so stupid, thank god you have no memory. It all goes back to that.”3 15. Based on the video footage of the Anderson Cooper interview with Mrs. De La Rosa, Mr. Jones sought to convince his audience that they should not “believe 3 Id. 4 any of it.”4 As will be discussed more fully below, Mr. Jones’ allegation regarding Mrs. De La Rosa’s participation in a “faked interview” is a central pillar of his yearslong assertion that the Sandy Hook tragedy was faked and that the parents are participants in a cover-up. 16. Mr. Jones’ assertion that Plaintiff Veronique De La Rosa participated in a faked blue-screen interview from a remote location is manifestly false. Mr. Jones’ assertion that the interview did not take place in front of the Edmond Town Hall is also manifestly false. The visual effect described by Mr. Jones is the result of motion compensation video compression, which would have been readily ascertainable at the time Mr. Jones made his claims.5 Nonetheless, after five years, Mr. Jones continues to push this sick lie about Mrs. De La Rosa and her interview. 17. On the April 22, 2017 broadcast, Mr. Jones and an InfoWars producer also repeated other statements consistent with their years-long campaign to convince their audience that Sandy Hook was faked and that the parents are lying. An InfoWars producer stated: “They come out first day, have the wrong name of the supposed shooter. They have his older brother. And they’ve got guns that they’re calling out, and then they’re pulling guns out of cars, they’re finding people in the back woods who are dressed up in SWAT gear.”6 4 Id. See, e.g., https://www.metabunk.org/debunked-sandy-hook-anderson-cooper-green-screen-disappearingnose-with-pozner.t1148/ 6 https://www.youtube.com/watch?v=rUn1jKhWTXI 5 5 18. Mr. Jones responded to the producer’s comments by stating: “And that’s on helicopter footage, and then they say it never existed, and later admit it does, and the school was closed until that year, in the videos it’s all rotting and falling apart and nobody is even in it, and the kids are going in circles, in and out of the building with their hands up, and they never called rescue choppers. I mean, exactly.”7 19. The InfoWars producer responded to Mr. Jones by stating: “There’s some supposed dash footage where the people are smiling and getting their lunches ready, police officers. You think you’re going to have smiling police officers at a time when they’re supposedly bringing out twenty dead kids? And they’re smiling and getting their lunches ready.”8 20. Mr. Jones responded to the producer by stating: “And they had Port-A- Potties being delivered an hour after it happened, for the big media event.”9 21. The InfoWars producer responded to Mr. Jones by stating: “We’ve never seen, there was never been any even blurred photos of any bodies or anything…We didn’t even get blurred images with the dead kids in Syria. We got crisp photos.”10 22. In totality, the gist of the false comments in this one-hour broadcast on April 22, 2017 is that the Sandy Hook shooting was faked or staged, and that 7 Id. Id. 9 Id. 10 Id. 8 6 Plaintiffs Veronique De La Rosa and Leonard Pozner are “Sandy Hook Vampires” engaged in a cover-up.11 Persons familiar with the Plaintiffs would have understood and inferred Mr. Jones to be making an allegation that Mrs. De La Rosa’s interview was fake and that the Plaintiffs are lying about the circumstances of Sandy Hook and the death of their son. 23. On April 28, 2017, Mr. Jones held a press conference in which he was asked if he believes that Sandy Hook was a “false flag.” Mr. Jones stated: “I think we should investigate everything because the government has staged so much stuff, and then they lie and say that I said the whole thing was totally fake when I was playing Devil’s Advocate in a debate. I said maybe the whole thing is real, maybe the whole thing is fake. They were using blue-screens out there…Yes, governments stage things.”12 Mr. Jones was again asserting that Plaintiff Veronique De La Rosa participated in a fake blue-screen interview, and that this interview was part of a massive criminal conspiracy orchestrated by government forces. Both assertions are manifestly false. 24. On June 13, 2017, Mr. Jones posted a video to the InfoWars Facebook page in which he once again promoted his defamatory lie about Mrs. De La Rosa’s interview on CNN. Mr. Jones stated: “But there’s been a cover-up. Anderson Cooper got caught, faking where his location was with blue-screen. I mean, it’s all there.”13 11 Id. https://www.youtube.com/watch?v=StOyqyt0fkY 13 https://www.facebook.com/80256732576/videos/10155465593882577/ 12 7 25. On June 18, 2017, Megan Kelly aired her interview with Mr. Jones, during which he stated: “I do think there's some cover-up and some manipulation.”14 The following exchange took place: MEGYN KELLY: But Alex, the parents, one after the other, devastated. The dead bodies that the coroner autopsied … ALEX JONES: And they blocked all that. And they won't release any of it. That's unprecedented.15 26. Jones and Kelly then had the following exchange: JONES: But then what do you do, when they've got the kids going in circles, in and out of the building with their hands up? I've watched the footage. And it looks like a drill. MEGYN KELLY: When you say, "parents faked their children's death," people get very angry. ALEX JONES: Yeah, well, that's - oh, I know. But they don't get angry about the half million dead Iraqis from the sanctions. Or they don't get angry about all the illegals pouring in.16 27. During the June 18, 2017 profile of Jones for her NBC show Sunday Night with Megyn Kelly, Ms. Kelly interviewed fellow Sandy Hook parent Neil Heslin about the claims made by Jones, including that “the whole thing was fake” and “a 14 https://realclearpolitics.com/video/2017/06/18/full_video_megyn_kelly_interviews_alex_jones.html Id. 16 Id. 15 8 giant hoax.”17 Addressing this hateful lie, Mr. Heslin told Kelly, “I lost my son. I buried my son. I held my son with a bullet hole through his head.”18 28. On June 26, 2017, InfoWars’ broadcast featured a segment hosted by reporter Owen Shroyer in which Shroyer claimed to have reviewed evidence showing it was impossible for Mr. Heslin to have held his son and see his injury. This broadcast was meant to reinforce and support the underlying lie that the Sandy Hook parents are fakes. 29. During the broadcast, Shroyer said, “The statement [Mr. Heslin] made, fact-checkers on this have said cannot be accurate. He’s claiming that he held his son and saw the bullet hole in his head. That is his claim. Now, according to a timeline of events and a coroner’s testimony, that is not possible.” 19 30. As support for these statements, Shroyer played video footage where the local medical examiner informed reporters that the slain students were initially identified using photographs rather than in person. However, the Sandy Hook parents were permitted to see and hold their children soon thereafter. 31. Shroyer stated, “You would remember if you held your dead kid in your hands with a bullet hole. That’s not something you would just misspeak on.” 20 17 https://realclearpolitics.com/video/2017/06/18/full_video_megyn_kelly_interviews_alex_jones.html Id. 19 https://www.infowars.com/zero-hedge-discovers-anomaly-in-alex-jones-hit-piece/ 20 Id. 18 9 32. Stroyer continued by stating that Mr. Heslin was “making a pretty extreme claim that would be a very thing vivid in your memory, holding his dead child.”21 33. Shroyer then stated: “The conspiracy theorists on the internet out there have a lot of questions that are yet to be answered. You say whatever you want about the event, that’s just a fact.”22 34. At the conclusion of his report, Shroyer stated, “Will there be a clarification from Heslin or Megyn Kelly? I wouldn’t hold your breath. [Laugh]. So now they’re fueling the conspiracy theory claims. Unbelievable.” 23 35. The underlying point or gist of Shroyer’s report is that Mr. Heslin was lying about the circumstances of his son’s tragic death because it didn’t happen. While not directly mentioning the Plaintiffs, Mr. Shroyer’s statements are further evidence of InfoWars’ continuing malicious intent to convince the public that the Sandy Hook parents are lying, and that their participation in media interviews, such as Plaintiff Veronique De La Rosa’s interview with Anderson Cooper, are faked acts of manipulation to cover up a horrible secret truth. BACKGROUND TO INFOWARS’ 2017 DEFAMATORY STATEMENTS 36. In order to fully appreciate the defamatory impact and the extent of the mental anguish caused by InfoWars’ 2017 statements, it is necessary to understand InfoWars’ long history of harassing the Sandy Hook parents with defamatory lies. 21 Id. Id. 23 Id. 22 10 Mr. Jones’ 2017 statements are but the latest in a series of false, cruel, and dangerous assertions about the Plaintiffs and the parents of the other victims. 37. In 2013, Jones called the shooting “staged” and said, “It’s got inside job written all over it.”24 38. In March 2014, Mr. Jones debuted his allegation regarding a “faked” interview between Plaintiff Veronique De La Rosa and Anderson Cooper. This allegation about a “blue-screen” became a central pillar of his assertion that the incident was faked and manipulated by the government through the use of so-called crisis actors. Mr. Jones said on broadcast: “Folks, we’ve got video of Anderson Cooper with clear blue-screen out there. [Shaking head]. He’s not there in the town square. We got people clearly coming up and laughing and then doing the fake crying. We’ve clearly got people where it’s actors playing different parts for different people, the building bulldozed, covering up everything. Adam Lanza trying to get guns five times we’re told. The witnesses not saying it was him…I’ve looked at it and undoubtedly, there’s a cover-up, there’s actors, they’re manipulating, they’ve been caught lying, and they were pre-planning before it and rolled out with it.”25 39. In May 2014, InfoWars published an article titled: “CONNECTICUT TRIES TO HIDE SANDY HOOK TRUTH.”26 24 https://www.mediamatters.org/blog/2013/04/15/alex-jones-on-boston-blasts-us-govt-is-primesu/193635; https://www.mediamatters.org/embed/clips/2016/11/29/51289/gcn-alexjones-20130409sandyhook 25 https://www.mediamatters.org/embed/clips/2016/11/29/51283/gcn-alexjones-20140314-shooting 26 https://www.infowars.com/connecticut-tries-to-hide-sandy-hook-truth/ 11 40. In September 2014, InfoWars published an article titled: “FBI SAYS NO ONE KILLED AT SANDY HOOK.”27 41. In December 2014, Jones said on his radio program: “The whole thing is a giant hoax. How do you deal with a total hoax? It took me about a year, with Sandy Hook, to come to grips with the fact that the whole thing was fake. I did deep research.”28 42. In the same December 2014 broadcast, Jones continued: “The general public doesn’t know the school was actually closed the year before. They don’t know they’ve sealed it all, demolished the building. They don’t know that they had the kids going in circles in and out of the building as a photo-op. Blue-screen, green-screens, they got caught using.”29 43. Jones made similar comments in January 2015, stating on InfoWars: “You learn the school had been closed and re-opened. And you’ve got video of the kids going in circles, in and out of the building, and they don’t call the rescue choppers for two hours, and then they tear the building down, and seal it. And they get caught using blue-screens, and an email by Bloomberg comes out in a lawsuit, where he’s telling his people get ready in the next 24 hours to capitalize on a shooting. Yeah, so Sandy Hook is a synthetic, completely fake with actors, in my view, manufactured. I couldn’t believe it at first. I knew they had actors there, clearly, but I thought they killed some real kids. And it just shows how bold they are 27 https://www.infowars.com/fbi-says-no-one-killed-at-sandy-hook/ https://realclearpolitics.com/video/2017/06/18/full_video_megyn_kelly_interviews_alex_jones.html 29 https://www.mediamatters.org/embed/clips/2016/11/29/51292/gcn-alexjones-20141228-sandyhook 28 12 that they clearly used actors. I mean they even ended up using photos of kids killed in mass shootings here in a fake mass shooting in Turkey, or Pakistan. The sky is now the limit.”30 44. Mr. Jones’ statement about Pakistan refers to a conspiracy theory Jones helped spread involving Plaintiffs’ deceased minor child N.P., whose photograph appeared at vigil for children slain a school attack in Peshawar. On the day of the Peshawar incident, a Pakistani woman created a collage of photographs of young people killed in school attacks and posted it to Facebook with the caption “They Went to School and Never Came Back.” 31 Because the Peshawar shooting occurred very close to the anniversary of the Sandy Hook massacre, she included a picture of a child from the latter event, along with pictures of Peshawar victims. 32 That collage was then printed out and cut up into the individual photographs displayed by mourners at a vigil for the Peshawar victims. 33 45. In January 2015, InfoWars published an article about this event titled: “MYSTERY: SANDY HOOK VICTIM DIES (AGAIN) IN PAKISTAN.”34 The article states: “A large-scale attack on a school in Peshawar, Pakistan, last month left 132 school children and 10 teachers dead. Among the alleged victims emerged the familiar face of [N.P.], one of the children supposedly killed in the December 2012 Sandy Hook 30 https://www.mediamatters.org/embed/clips/2016/11/29/51290/gcn-alexjones-20150113-shooting https://www.snopes.com/fact-check/info-boors/ 32 Id. 33 Id. 34 https://www.infowars.com/mystery-sandy-hook-victim-dies-again-in-pakistan/ 31 13 school shooting in Newtown, Connecticut.”35 InfoWars’ story was meant to reinforce Mr. Jones’ persistent lie that N.P. and the other victims of the shooting are not real. 46. In July 2015, Mr. Jones again emphasized Plaintiff Veronique De La Rosa’s interview with Anderson Cooper as evidence of the hoax, stating on his broadcast: “But you’ve got green-screen with Anderson Cooper, where I was watching the video, and the flower and plants were blowing in some of them, and then they blow again the same way. It’s looped. And then his nose disappears. I mean, it’s fake. The whole thing is…I don’t know what happened. It’s kind of like if you see a hologram at Disney World in the Haunted House. You know? I don’t know how they do it, but it’s not real. When you take your kids to see the Haunted House and ghosts are flying around, it’s not real, folks. It’s staged. I mean, a magician grabs a rabbit out of his hat. I know he’s got a box under the table that he reaches in and gets the rabbit. I don’t know what the trick is here. I’ve got a good suspicion. But when you’ve got Wolfgang Halbig…He believed it was real. People called him. He went and investigated. No paperwork, no nothing. It’s bull. And now an FBI retired agent, who retired, you know, with decorations. I mean, [InfoWars reporter Rob] Dew, this unprecedented.”36 47. In that same month, InfoWars published an article titled: “MEGA MASSIVE COVER UP: RETIRED FBI AGENT INVESTIGATES SANDY HOOK.” 37 35 Id. https://www.mediamatters.org/embed/clips/2016/11/29/51284/gcn-alexjones-20150707-shooting 37 https://www.infowars.com/mega-massive-cover-up-retired-fbi-agent-investigates-sandy-hook/ 36 14 48. In January of 2016, Florida resident Lucy Richards left menacing voicemail messages and sent violent online threats to Plaintiff Leonard Pozner, including messages stating: “you gonna die, death is coming to you real soon” and “LOOK BEHIND YOU IT IS DEATH.”38 When Richards was later sentenced, Senior U.S. District Judge James Cohn stated: “I'm sure [Plaintiff Leonard Pozner] wishes this was false, and he could embrace [N.P.], hear [N.P.’s] heartbeat and hear [N.P.] say ‘I love you, Dad’…Your words were cruel and insensitive. This is reality and there is no fiction. There are no alternative facts.”39 As part of her sentence, Ms. Richards will not be permitted to access a list of conspiracy-based websites upon her release, including InfoWars.40 Ms. Richard’s arrest and sentencing are an ominous reminder of the danger posed by Mr. Jones’ continuing lies about the Plaintiffs’ alleged role in faking Sandy Hook. 49. In November of 2016, Mr. Jones appeared on InfoWars and again ranted about false Sandy Hook claims for twenty minutes.41 50. During the November 2016 video broadcast, Mr. Jones again returned to the subject of Plaintiff Veronique De La Rosa’s interview with Anderson Cooper, stating: “That shows some kind of cover-up happening. And then I saw Anderson Cooper -- I’ve been in TV for twenty-something years, I know a blue-screen or a 38 https://www.nbcnews.com/news/us-news/conspiracy-theorist-arrested-death-threats-against-sandyhook-parent-n693396 39 http://www.nydailynews.com/news/crime/judge-hands-sandy-hook-truther-prison-sentence-article1.3229754 40 https://www.buzzfeed.com/claudiakoerner/a-conspiracy-theorist-will-serve-time-for-threatening-a 41 https://www.youtube.com/watch?v=MwudDfz1yAk 15 green-screen – turn and his nose disappeared. Then I saw clearly that they were using footage on the green-screen looped, because it would show flowers and other things during other broadcasts that were moving, and then basically cutting to the same piece of footage…Then we see footage of one of the reported fathers of the victims, Robbie Parker, doing classic acting training.” 42 51. The gist of these statements was that the Sandy Hook plaintiffs, including Plaintiffs Veronique De La Rosa and Leonard Pozner, are participating in a sinister manipulation plan to fool the public. 52. During the November 2016 broadcast, Jones again played video footage of Anderson Cooper interviewing Plaintiff Veronique De La Rosa, at which point Jones stated: “We point out clear chromakey, also known as blue-screen or green-screen being used, and we’re demonized. We point out that they’re clearly doing fake interviews.”43 Despite his protestations, Mr. Jones is quite aware that he has been using Veronique De La Rosa’s interview to spread his lie about the Sandy Hook parents. Mr. Jones knows Veronique De La Rosa did not participate in a faked interview from a remote location. Mr. Jones knows that there was no blue-screen, and that Veronique De La Rosa and Anderson Cooper were standing in front of the Edmond Town Hall in Newtown. He does not care. He lies anyway. 53. Towards the end of the November 2016 broadcast, Mr. Jones stated: “Why should anybody fear an investigation? If they have nothing to hide? In fact, 42 43 Id. Id. 16 isn’t that in Shakespeare’s Hamlet? Methinks you protest too much…This particular case, they are so scared of investigation. Everything they do ends up blowing up in their face. So you guys are going to get what you want now. I’m going to start reinvestigating Sandy Hook and everything else that happened with it.”44 54. Mr. Jones concluded the video by stating: “So, if children were lost at Sandy Hook, my heart goes out to each and every one of those parents. And the people who say they’re parents that I see on the news. The only problem is, I’ve watched a lot of soap operas. And I’ve seen actors before. And I know when I’m watching a movie and when I’m watching something real.” 45 55. The November 2016 video broadcast was entitled, “Alex Jones Final Statement on Sandy Hook.” It was Plaintiffs’ hope that the title was accurate, and that Mr. Jones would finally end his reckless attacks on the Sandy Hook parents and his assertions that they were liars and actors engaged in a fraud on the American people. 56. As horrifying as the November 2016 broadcast was, its promise of being the “Final Statement” gave hope to the Plaintiffs that their harassment and defamation by Jones might be coming to an end after four long years. 57. Those hopes were soon dashed. Instead, Mr. Jones and InfoWars made continuing defamatory comments in 2017 as outlined above. These comments in 2017 repeated the claims which form the rickety structure of Mr. Jones’ colossal lie 44 45 Id. Id. 17 about Sandy Hook, including the allegation that Plaintiff Veronique De La Rosa conducted a fake interview with Anderson Cooper to hide the truth, while telling his viewers not to “believe any of it.”46 58. As such, the comments made by InfoWars in 2017 did not occur in isolation. Rather, the statements were a continuation and elaboration of a yearslong campaign to falsely attack the honesty of the Sandy Hook parents, casting them as participants in a ghastly conspiracy and cover-up. 59. By making renewed accusations about the Plaintiffs in 2017, InfoWars breathed new life into this conspiracy and caused intense emotional anguish and despair. For that reason, Plaintiffs bring this suit against Defendants. CAUSE OF ACTION I. Defamation and Defamation Per Se 60. All previous allegations are incorporated by reference. 61. Plaintiffs are private individuals and are neither public officials nor public figures. 62. Defendants’ April 22, 2017, April 28, 2017, and June 18, 2017 broadcasts described above were false, both in their particular facts and in the main point, essence, or gist in the context in which they were made. 63. The April 22, 2017, April 28, 2017, and June 18, 2017 broadcasts, while defamatory in their own right, were also continuations and elaborations of an 46 https://www.youtube.com/watch?v=rUn1jKhWTXI 18 underlying defamatory assertion which Defendants have advanced since 2013, namely that the Plaintiffs have lied to the American people about the death of their son and have participated in a horrifying criminal cover-up. 64. In viewing the April 22, 2017, April 28, 2017, and June 18, 2017 broadcasts, a reasonable member of the public would be justified in inferring that the publications implicated the Plaintiffs. 65. In viewing the April 22, 2017, April 28, 2017, and June 18, 2017 broadcasts, individuals who know and were acquainted with the Plaintiffs would understand from viewing the broadcasts that the allegedly defamatory matter implicated the Plaintiffs. 66. Defendants statements in 2017 were also defamatory because they are reasonably susceptible to a defamatory meaning by innuendo. A reasonable person, reviewing the statements in question, could conclude the Plaintiffs were being accused of engaging in fraudulent or illegal activity. In context, the gist of the statements could be construed as defamatory to the Plaintiffs by an average member of general public. 67. Though he was not named or depicted by image, Defendants’ broadcasts in 2017 were defamatory to Plaintiff Leonard Pozner because a reasonable person, reviewing the broadcasts in question, could conclude that Mr. Pozner was likewise being accused of engaging in fraudulent or illegal activity, whether directly or through innuendo. Individuals who know and were acquainted 19 with the Plaintiffs would understand from viewing the broadcasts that the allegedly defamatory matter implicated Leonard Pozner as well. 68. Defendants’ defamatory publications were designed to harm the Plaintiffs’ reputation and subject the Plaintiffs to public contempt, disgrace, ridicule, or attack. 69. Defendants acted with actual malice. Defendants’ defamatory statements were knowingly false or made with reckless disregard for the truth or falsity of the statements at the time the statements were made. 70. Defendants’ defamatory publications were not privileged. 71. Defendants’ defamatory statements constitute defamation per se. The harmful nature of the defamatory statements is self-evident. The defamatory statements implicate the Plaintiffs in heinous criminal conduct. False implications of criminal conduct are the classic example of defamation per se. 72. Defendants publicly disseminated the defamatory publications to an enormous audience causing significant damages to the Plaintiffs. 73. Defendants’ defamatory publications have injured the Plaintiffs’ reputation and image, and they have exposed the Plaintiffs to public and private hatred, contempt, and ridicule. 74. In light of their prior experience with these kind of reckless statements, Defendants knew that their publication could cause the Plaintiffs to suffer harassment and potential violence. 20 75. Defendants’ defamatory publications have and will continue to cause harm to the Plaintiffs. Due to Defendants’ conduct, the Plaintiffs have suffered and continue to suffer substantial damages in an amount to be proven at trial. II. Conspiracy 76. All previous allegations are incorporated by reference. 77. Defendants acted together, as a cabal, to accomplish their campaign of defamation. Defendants had a meeting of the minds on the object or course of action underlying their pattern of recklessly defamatory broadcasts. 78. As a result of this meeting of the minds, Defendants collectively committed the unlawful overt acts detailed above. 79. Defendants are jointly and severally liable for the injuries Plaintiffs suffered due to Defendants’ wrongful actions. III. Respondeat Superior 80. All previous allegations are incorporated by reference. 81. When InfoWars employees acted in the manner described in this Petition, they did so as agents of InfoWars and within the scope of their authority from Mr. Jones. 82. InfoWars and Alex Jones are liable for the damages proximately caused by the conduct of employees and agents pursuant to the doctrine of respondeat superior. 21 DAMAGES 83. Plaintiffs have suffered general and special damages, including a severe degree of mental stress and anguish which have disrupted their daily routine and caused a high degree of psychological pain. 84. Plaintiffs have also suffered damage to their reputation and image, both up to the present and into the future. 85. Because Defendants’ conduct amounts to defamation per se, Plaintiffs are also entitled to an award of presumed damages. 86. Plaintiffs are also entitled to an award of nominal damages and a judgment clearing their names. 87. Plaintiffs are also entitled to exemplary damages because the Defendants acted with malice. 88. Plaintiffs are also entitled to pre-judgment and post-judgment interest, costs of court, and attorney’s fees. 89. Pursuant to Rule 47 of the Texas Rules of Civil Procedure, Plaintiffs are seeking relief in excess of $1,000,000. JURY DEMAND 90. Plaintiff demands a jury trial and tenders the appropriate fee with this petition. 22 REQUEST FOR DISCLOSURE 91. Plaintiffs request that Defendants disclose, within 50 days of the service of this request, the information or material described in Rule 194.2. PRAYER WHEREFORE PREMISES CONSIDERED, Plaintiffs Leonard Pozner and Veronique De La Rosa ask that the Court issue citation for each Defendant to appear and answer, and that Plaintiffs be awarded all the damages set forth above, and to grant whatever further relief to which Plaintiffs are justly entitled. Respectfully submitted, KASTER LYNCH FARRAR & BALL, LLP ____________________________________ MARK D. BANKSTON State Bar No. 24071066 KYLE W. FARRAR State Bar No. WILLIAM R. OGDEN State Bar No. 24073531 1010 Lamar, Suite 1600 Houston, Texas 77002 713.221.8300 Telephone 713.221.8301 Fax 23