Dr. Len Horowitz Blasts FDA Intimidation Tactics
to Suppress Nature Based SARS Cure
By Dr Len Horowitz <len@cureforSARS.net>
http://educate-yourself.org/cn/horowitzblastsFDAintimidation12may03.shtml
May 12, 2003
Subject: Urgent Open Letter from Dr. Len Horowitz RE: SARS,
FDA and FCC
www.CureforSARS.net
Leonard G. Horowitz, D.M.D., M.A., M.P.H.,
Managing Member 1-208-262-2575 FAX: 1-208-265-2775
E-mail: len@cureforSARS.net
May 12, 2003
Federal Trade Commission, Bureau of Consumer ProtectionWashington, D.C.
20500
Dear Commissions and Bureau of Consumer Protection Officials:
This open letter is in response to the e-mailed notice that you sent to
our customer service representative at www.cureforSARS.net wherein you wrote:
“The Federal Trade Comission staff has reviewed marketing claims on
your web site . . .” and that “we remind you that the FTC Act
requires that health-related claims, . . . [for] SARS must be supported
by competent and reliable scientific evidence at the time the claims are
made.” This provides you with notice of three health-related claims
that we are making regarding SARS and our Internet communications:
1) The scientific evidence supporting our justifiable claims
regarding the utility of a plant-based formula for SARS is available on
our website--www.cureforSARS.net—based on the scientific publication
by Towers, et al.(1995) from the Journal of Ethnopharmacology;
2) We do not recognize the FDA, or your “commission”
in collaboration with them, pursuant to this notice, as anything other
than irresponsible, misplaced, and misdirected authority; and
3) The insidious economic motive behind your political notice
is transparent among well-educated consumers and natural healthcare investigators
and providers. Such commercial interference, allegedly on behalf of American
consumers and public health, is rooted in the advancing Anglo-American
global Codex Alimentarious legislation that seeks to control all non-patent-protected
natural cures and treatments on behalf of multinational drug companies
(best termed the “global petrochemical–pharmaceutical cartel”).
In other words, we view the FDA’s widely publicized
persuasion campaign attacking natural healing practitioners and formula
manufacturers as a real life enactment of the “Wizard of Oz.”
Pull back the curtain and behold who profits pulling strings on your commission
and the FDA overstepped authority.
We notice that responsibility for your electronic notification
was signed, not by a person, but by your non-human organization/entity.
For your information and official notification, we only respect and respond
to real people. As sovereign individuals subservient to only one Creator,
we rebuke any and all misplaced authority in your “commission.”
We do this cognizant of rapidly advancing multinational corporate efforts
increasingly administered through the World Health Organization (WHO), affecting
global drug sales, healthcare policies, and contrived declarations of urgencies
directed against nation states to compel compliance with neocolonialistic
politics, policies, and interventions inconsistent with personal freedoms
and democratic governments. Your transparent efforts may be effective in
deceiving the general population, but most of us in the natural healing
arts and sciences are not fooled or frightened by your threats.
Most members of our allied organizations view as inexcusable,
if not despicable, increasing German–American political efforts to
suppress natural healing methods and materials. This includes new SARS treatments
and potential cures at a time of global urgency when, in fact, government
health officials in the hardest hit nations, including China, Hong Kong,
Singapore, and Tawain, have been embracing herbal and plant-derived natural
medicines for the prevention and treatment of SARS. We notice your commission
and the FDA turns a blind eye to the promotion and use of the experimental,
expensive, and highly toxic drug Ribaviron, never tested against the SARS-associated
coronavirus, yet widely promoted as the standard for SARS patient care since
before anyone knew the illness was linked to a coronavirus. Reflecting on
the FDA’s and your commission’s official tolerance of this harmful,
if not lethal, practice by the mainstream media and medical doctors treating
SARS patients adequately exposes your hypocrisy. American tax dollars would
be far better spent having your commission and the FDA address the third
leading cause of death in the United States—iatrogenesis, that is,
physician-induced illnesses and lethal drug side effects.
How do you have the audacity to virtually disregard this pervasive
public health threat, yet proclaim throughout the media our natural healthcare
industry’s shortcomings? What is most sad is your organizations’
manipulation of the average American who does not comprehend this joint
FDA/FCC attack for what it really is—simply a promotion to facilitate
a form of nutritional and pharmacological slavery through a political and
economic drug agenda called Codex Alimentarious.
In recent years the global drug cartel has sought to pirate
and patent anything uncontrolled in nature’s bounty. Examples of this,
in recent months, include further violations of freedom of choice with declared
restraints on ginseng production and the classification and labeling of
Stevia—the natural therapeutic sugar substitute—as a regulated
“nutritional supplement” rather than a food. Beyond these reasons
for our disregard of your authority, there are many more egregious violations
of human rights perpetrated by those with whom you are associated. One example
involves the origin of HIV/AIDS and the FDA’s apparent role, in collaboration
with the Merck pharmaceutical company and the Centers
for Disease Control and Prevention (CDC), having cooperatively
produced the 1974 hepatitis B vaccines tested on gay men in New York City
and Central African Black women. According to the most recent scientific
evidence cited and discussed at www.originofAIDS.com, this collaboration
played a major role in triggering the international AIDS pandemic.
In conclusion, we will not be intimidated, coerced, or corrupted
by your drug company collaborating administration and/or commission. We
understand that mostly well-meaning persons within your ranks have been
persuaded, largely by deception, to act as agents on behalf of the above
named global menaces. We simply rebuke your misdirected, politically contrived
authority, yet remain open to serving your policy-makers by sharing, in
every way possible, the uncommon intelligence required to expose and arrest
the “Wizard of Oz behind the curtain” for the sake of world
health and the public’s protection.
Very truly yours, Leonard G. Horowitz, D.M.D., M.A., M.P.H
Dr. Len Horowitz is one of healthcare's most captivating motivational
speakers. He received his doctorate from Tufts University in 1977, and then
was awarded a fellowship in behavioral research at the University of Rochester.
Dr. Horowitz later earned two master's degree, one in public health from
Harvard University, and the other in health education from Beacon College.
For more than a decade, Dr. Horowitz directed a multidisciplinary
health center. He served on the faculties of Tufts University, Harvard University,
and the Leslie College's Institute for the Arts and Human Development.
Dr. Horowitz is most famous for his stirring bestseller, "Emerging
Viruses: AIDS & Ebola-- Nature, Accident or Intentional?"
www.tetrahedron.org/aboutus.html
FROM THE MAIL ROOM
---Original Message-----
From: CUREALL cureall@ftc.gov
Sent: Monday, May 12, 2003 7:30 AM
To: sales@cureforsars.net
Subject: NOTICE OF POTENTIAL ILLEGAL MARKETING OF PRODUCTS OR THERAPIES
FEDERAL TRADE COMMISSION
BUREAU OF CONSUMER PROTECTION
WASHINGTON, DC 20580
VIA ELECTRONIC MAILTO:www.cureforsars.net
RE: NOTICE OF POTENTIAL ILLEGAL MARKETING OF PRODUCTS OR THERAPIES
TO
PREVENT, TREAT, OR CURE SEVERE ACUTE RESPIRATORY SYNDROME (SARS)
DATE: MAY 12, 2003
Federal Trade Commission staff has reviewed marketing claims
on your web site relating to the prevention, treatment or cure of Severe
Acute Respiratory Syndrome (SARS). We remind you that the FTC Act requires
that health-related claims, such as claims that a dietary supplement will
prevent, treat or cure SARS, or claims that an air filtration device or
cleaning agent can kill or eliminate the virus thought to cause SARS, must
be supported by competent and reliable scientific evidence at the time the
claims are made. In other words, it is against the law to make health claims,
whether directly or indirectly through the use of a product name, web site
name, metatags, or any other means, without scientific support or to exaggerate
the benefits of products or services you are promoting.
Violations of the FTC Act may result in legal action in the
form of Federal District Court injunction or Administrative Order. An order
also may require that you pay money back to consumers.In addition, claims
that a product is intended to prevent, diagnose, mitigate, treat, or cure
SARS may cause the product to be an unapproved new drug or device under
the Federal Food, Drug, and Cosmetic Act (Act). The Act prohibits the introduction
into interstate commerce of unapproved new drugs and certain devices.According
to the Centers for Disease Control and Prevention (CDC), SARS is an infectious
respiratory illness that appears to be spread primarily by close person-to-person
contact by cough or sneeze allowing droplets containing infectious virus
to reach the respiratory tract of persons in close proximity. SARS may also
be spread by touching objects contaminated with infectious droplets and
then touching one's eye(s), nose, or mouth.
Although federal and world health authorities are investigating
possible vaccines to prevent SARS and drugs to treat the illness, there
are currently no medicines proven to prevent, treat or cure SARS or the
coronavirus believed to be the cause of SARS. If you are marketing a dietary
supplement for SARS, you should also be aware that a broad coalition of
representatives of the dietary supplement industry has issued a joint statement
indicating that no dietary supplement has been shown to prevent or treat
SARS and advising against the marketing of dietary supplements as a remedy
for SARS. The joint statement of the American Herbal Products Association,
Consumer Healthcare Products Association, Council for Responsible Nutrition,
National Nutritional Foods Association, and Utah Natural Products Alliance
is available through those organizations' web sites.
Action Requested
The FTC staff strongly urges you to review all claims you are making for
your products, particularly claims that your products can prevent, mitigate,
treat or cure SARS. If your claims are not supported by competent and reliable
scientific evidence they should be deleted or revised immediately.FTC investigators
have copied and preserved the pages of your online promotional materials
and will be revisiting your website soon.Please notify us via electronic
mail to cureall@ftc.gov&ed within 7 days of the specific actions you
have taken to address the agency's concerns.
Federal Trade Commission
Bureau of Consumer Protection
Washington, DC 20580
cureall@ftc.gov
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