Massive Detroit election fraud alleged in Costantino and McCall v City of Detroit Election Commission et al, Nov 8, 2020, “numerous issues of fraud and misconduct”
“Shipp says the Democrats know they most likely will not win back the White House in the upcoming Presidential election. Shipp contends, “Their chance of winning in 2020, especially now with Trump’s success, is getting slim, and they are getting desperate. When they get desperate, and they have done this before, I think we can count on voter fraud. They are going to have to use it, and they have used it before. In any event, they have very little chance of winning now, in my view, because the majority of Americans find their platform distasteful. So, I think this (voter fraud) is going to happen.”…Kevin Shipp
“I don’t think it’s just confined to Philadelphia,” he said, adding his “instincts” tell him election fraud is taking place in other cities like Atlanta, Detroit, Milwaukee, and Las Vegas.
“Coming out of the Democratic Chicago political establishment I know how they operate,” he said, pointing out Democrats control the political apparatus that counts the votes, the polling places, and the people who count the votes. “It’s a time-honored tradition” he said of Democratic election fraud.”…Rod Blagojevich, NewsMax Nov 6, 2020
“Michigan voter rolls ripe for fraud, Voter registrations exceed eligible voters, Explains 67% voter participation, Explains deceased voting”…Citizen Wells Nov 9, 2020
CHERYL A. COSTANTINO and EDWARD P. McCALL, Jr.,
CITY OF DETROIT; DETROIT ELECTION
COMMISSION; JANICE M. WINFREY, in
her official capacity as the CLERK OF THE
CITY OF DETROIT and the Chairperson of
the DETROIT ELECTION COMMISSION;
CATHY M. GARRETT, in her official
capacity as the CLERK OF WAYNE
COUNTY; and the WAYNE COUNTY
BOARD OF CANVASSERS,
November 8, 2020.
NOW COMES the above-named Plaintiffs, CHERYL A. COSTANTINO AND EDWARD P. MCCALL, JR. (hereinafter “Plaintiff”), by and through their attorneys, GREAT LAKES JUSTICE CENTER, and for their Complaint hereby states as follows:”
3. In summary, this Complaint raises numerous instances of fraud, including, but not limited to:
a. Defendants systematically processed and counted ballots from voters whose name failed to appear in either the Qualified Voter File (QVF) or in the supplemental sheets. When a voter’s name could not be found, the election worker assigned the ballot to a random name already in the QVF to a person who had not voted.
b. Defendants instructed election workers to not verify signatures on absentee ballots, to backdate absentee ballots, and to process such ballots regardless of their validity.
c. After election officials announced the last absentee ballots had been received,
another batch of unsecured and unsealed ballots, without envelopes, arrived in trays at the TCF Center. There were tens of thousands of these absentee ballots, and apparently every ballot was counted and attributed only to Democratic candidates.
d. Defendants instructed election workers to process ballots that appeared after the election deadline and to falsely report that those ballots had been received prior to November 3, 2020 deadline.
e. Defendants systematically used false information to process ballots, such as using incorrect or false birthdays. Many times, the election workers inserted new names into the QVF after the election and recorded these new voters as having a birthdate of 1/1/1900.
f. On a daily basis leading up to the election, City of Detroit election workers and employees coached voters to vote for Joe Biden and the Democrat party. These
workers and employees encouraged voters to do a straight Democrat ballot. These election workers and employees went over to the voting booths with voters in order to watch them vote and coach them for whom to vote.
g. Unsecured ballots arrived at the TCF Center loading garage, not in sealed ballot boxes, without any chain of custody, and without envelopes.
h. Defendant election officials and workers refused to record challenges to their
processes and removed challengers from the site if they politely voiced a challenge.
i. After poll challengers started discovering the fraud taking place at the TCF Center, Defendant election officials and workers locked credentialed challengers out of the counting room so they could not observe the process, during which time tens of thousands of ballots were processed.
j. Defendant election officials and workers allowed ballots to be duplicated by hand without allowing poll challengers to check if the duplication was accurate. In fact, election officials and workers repeatedly obstructed poll challengers from
observing. Defendants permitted thousands of ballots to be filled out by hand and duplicated on site without oversight from poll challengers.”