Vaccine Court Finds Gardasil® Destroyed Girl’s Brain
Everyone is at Risk for Vaccine Injury
Except Those Who are Never Vaccinated.
Assert Your Legally Protected Right to
Refuse Any Vaccine
http://TinyURL.com/AVDCard
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SPECIAL NOTE FROM COUNSEL RALPH — Share with California Residents. Regardless of what state or local laws hold, your Right to Informed Consent supersedes any such laws or regulations, as long as you assert that right correctly. The Advance Vaccine Directive Card allows you to do that.
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In May, 2015 the Vaccine Injury Compensation Board found in favor of a child whose family said that parts of the Gardasil vaccine are so much like normal brain receptors that the immune system, BECAUSE OF THE GARDASIL VACCINATION, attacked a vaccinated child’s brain. The result? Uncontrollable seizures and profound retardation ultimately requiring cataclysmic brain surgery. Note the date: May, 2015. Mainstream reporting? Missing.
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With the recent cervical cancer death of a 33 year-old vaccinated Australian gold-medalist* much attention is back on the so-called HPV vaccines and their horrid adverse reactions.
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Bottom Line First: Everyone has aquaporin-4 water channels in their brains. Parts of the Gardasil HPV vaccine resemble those structures closely enough so that if the HPV vaccine breeches (read: crosses) the blood brain barrier and the immune system detects those bits, the immune system will attack those receptors with possibly devastating consequences.
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How would the blood brain barrier get breached? Simple. The immune system irritant aluminum is included in the vaccine specifically to put the immune system into overdrive. It does that well but it also does two other things as well: it promotes high levels of inflammation and it damages the all-important blood brain barrier.
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So we have a recipe for a perfect storm: damage the blood brain barrier, put proteins that mimic the structure of brain cell receptors into the brain, facilitate a huge inflammatory response, and put the immune system into overdrive facilitating auto immune disease.
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In this particular case, Gardasil-related auto immune attack on her brain ended any hope of a meaningful life for this child.
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Everyone has those receptors. Everyone’s blood brain barrier is subject to disruption by aluminum and other toxins, including Monsanto’s Roundup®. Everyone is at risk for vaccine injury except those who are never vaccinated.
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Here the issue is not just infertility, premature menopause, endocrine disruption or other reproductive safety concerns, although they are also valid.
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Here the issue is that we know conclusively that Gardasil can cause the body to destroy the brain whether the recipient is male or female, young or old.
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In my view, the risks so far outweigh any potential, possible, imagined or imaginary benefits that no reasonable person would accept those risks for him/herself or his/her children. No reasonable person could give Informed Consent to such a medical procedure.
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But the mandates roll along and pressure from pediatricians, who now report that more of their income is derived from vaccinations than from any other part of their practice, is fierce.
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You have the right to refuse any vaccine for yourself and your children no matter what state or local laws have been passed IF, and ONLY IF, you assert your right to Informed Consent correctly.
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Go to http://TinyURL.com/AVDCard to take the necessary steps to do that. Now. And say “NO!” to Gardasil, Cervarix and the rest of these deadly toxic inputs.
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Oh, where is the mainstream media on this blockbuster decision. Missing in Action.
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Yours in health and freedom,
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Dr. Rima
Rima E. Laibow, MD
Share with this link, or read online: http://drrimatruthreports.com/?p=29685
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See my previous blog entry, http://drrimatruthreports.com/another-needless-cancer-death-or-not/
The Weston A Price Foundation is an important source of nutritional information whose article on soy and its negative impact on the brain and the thyroid is worth reading.
If you do decide to eat soy products, please make sure that they are strictly organic since most soy beans grown in the US are Genetically Modified Organisms (GMOs) and carry serious potential dangers in addition to those listed here.
Yours in health and freedom,
Dr. Rima
Rima E. Laibow, MD
Medical Director
Natural Solutions Foundation
www.HealthFreedomUSA.org
www.GlobalHealthFreedom.org
www.NaturalSolutionsFoundation.org
www.Organics4U.org
www.NaturalSolutionsMarketPlace.org
www.NaturalSolutionsMedia.tv
Soy Alert!Soy and the Brain
By John MacArthur http://www.westonaprice.org/soy/soyandbrain.html
“Tofu Shrinks Brain!” No science fiction scenario, this sobering soybean revelation is for real. But how did the “poster bean” of the ’90s go wrong? Apparently, in many ways–none of which bode well for the brain.
In a major ongoing study involving 3,734 elderly Japanese-American men, those who ate the most tofu during midlife had up to 2.4 times the risk of later developing Alzheimer’s disease. As part of the three-decade long Honolulu-Asia Aging Study, 27 foods and drinks were correlated with participants’ health. Men who consumed tofu at least twice weekly had more cognitive impairment than those who rarely or never ate the soybean curd.1, 2
“The test results were about equivalent to what they would have been if they were five years older,” said lead researcher Dr. Lon R. White from the Hawaii Center for Health Research. For the guys who ate no tofu, however, they tested as though they were five years younger.
What’s more, higher midlife tofu consumption was also associated with low brain weight. Brain atrophy was assessed in 574 men using MRI results and in 290 men using autopsy information. Shrinkage occurs naturally with age, but for the men who had consumed more tofu, White said “their brains seemed to be showing an exaggeration of the usual patterns we see in aging.”
Phytoestrogens–Soy Self Defense
Tofu and other soybean foods contain isoflavones, three-ringed molecules bearing a structural resemblance to mammalian steroidal hormones. White and his fellow researchers speculate that soy’s estrogen-like compounds (phytoestrogens) might compete with the body’s natural estrogens for estrogen receptors in brain cells.
Plants have evolved many different strategies to protect themselves from predators. Some have thorns or spines, while others smell bad, taste bad, or poison animals that eat them. Some plants took a different route, using birth control as a way to counter the critters who were wont to munch.
Plants such as soy are making oral contraceptives to defend themselves, says Claude Hughes, Ph.D., a neuroendocrinologist at Cedars-Sinai Medical Center. They evolved compounds that mimic natural estrogen. These phytoestrogens can interfere with the mammalian hormones involved in reproduction and growth–a strategy to reduce the number and size of predators.
Toxicologists Concerned about Soy’s Health Risks
The soy industry says that White’s study only shows an association between tofu consumption and brain aging, but does not prove cause and effect. On the other hand, soy experts at the National Center for Toxicological Research, Daniel Sheehan, Ph.D., and Daniel Doerge, Ph.D., consider this tofu study very important. “It is one of the more robust, well-designed prospective epidemiological studies generally available. . . We rarely have such power in human studies, as well as a potential mechanism.”
In a 1999 letter to the FDA (and on the ABC News program 20/20), the two toxicologists expressed their opposition to the agency’s health claims for soy, saying the Honolulu study “provides evidence that soy (tofu) phytoestrogens cause vascular dementia. Given that estrogens are important for maintenance of brain function in women; that the male brain contains aromatase, the enzyme that converts testosterone to estradiol; and that isoflavones inhibit this enzymatic activity, there is a mechanistic basis for the human findings.” 3
Although estrogen’s role in the central nervous system is not well understood, White notes that “a growing body of information suggests that estrogens may be needed for optimal repair and replacement of neural structures eroded with aging.”
One link to the puzzle may involve calcium-binding proteins, which are associated with protection against neurodegenerative diseases. In recent animal studies at Brigham Young University’s Neuroscience Center, researchers found that consumption of phytoestrogens via a soy diet for a relatively short interval can significantly elevate phytoestrogen levels in the brain and decrease brain calcium-binding proteins.4
Concerns About Giving Soy to Infants
The most serious problem with soy may be its use in infant formulas. “The amount of phytoestrogens that are in a day’s worth of soy infant formula equals 5 birth control pills,” says Mike Fitzpatrick, a New Zealand toxicologist. Fitzpatrick and other scientists believe that infant exposure to high amounts of phytoestrogens is associated with early puberty in girls and retarded physical maturation in boys.5
A study reported in The Lancet found that the “daily exposure of infants to isoflavones in soy infant-formulas is 6-11 fold higher on a bodyweight basis than the dose that has hormonal effects in adults consuming soy foods.” (This dose, equivalent to two glasses of soy milk per day, was enough to change menstrual patterns in women.6 In the blood of infants tested, concentrations of isoflavones were 13,000-22,000 times higher than natural estrogen concentrations in early life.7 )
Soy Interferes with Enzymes
While soybeans are relatively high in protein compared to other legumes, they are a poor source of protein because other proteins found in soybeans act as potent enzyme inhibitors. These “anti-nutrients” block the action of trypsin and other enzymes needed for protein digestion. Trypsin inhibitors are large, tightly folded proteins that are not completely deactivated during ordinary cooking and can reduce protein digestion. Therefore, soy consumption may lead to chronic deficiencies in amino acid uptake.8
Soy’s ability to interfere with enzymes and amino acids may have direct consequence for the brain. As White and his colleagues suggest, “isoflavones in tofu and other soyfoods might exert their influence through interference with tyrosine kinase-dependent mechanisms required for optimal hippocampal function, structure and plasticity.”2
High amounts of protein tyrosine kinases are found in the hippocampus, a brain region involved with learning and memory. One of soy’s primary isoflavones, genistein, has been shown to inhibit tyrosine kinase in the hippocampus, where it blocked “long-term potentiation,” a mechanism of memory formation.9
Tyrosine, Dopamine, and Parkinson’s Disease
The brain uses the amino acids tyrosine or phenylalanine to synthesize the key neurotransmitters dopamine and norepinephrine, brain chemicals that promote alertness and activity. Dopamine is crucial to fine muscle coordination. People whose hands tremble from Parkinson’s disease have a diminished ability to synthesize dopamine. An increased incidence of depression and other mood disorders are associated with low levels of dopamine and norepinephrine. Also, the current scientific consensus on attention-deficit disorder points to a dopamine imbalance.
Soy has been shown to affect tyrosine hydroxylase activity in animals, causing the utilization rate of dopamine to be “profoundly disturbed.” When soy lecithin supplements were given throughout perinatal development, they reduced activity in the cerebral cortex and “altered synaptic characteristics in a manner consistent with disturbances in neural function.”10
Researchers at Sweden’s Karolinska Institute and at the National Institutes of Health are finding a connection between tyrosine hydroxylase activity, thyroid hormone receptors, and depleted dopamine levels in the brain–particularly in the substantia nigra, a region associated with the movement difficulties characteristic of Parkinson’s disease.11,12,13
Soy Affects the Brain via the Thyroid Gland
Tyrosine is crucial to the brain in another way. It’s needed for the body to make active thyroid hormones, which are a major physiological regulator of mammalian brain development. By affecting the rate of cell differentiation and gene expression, thyroid hormones regulate the growth and migration of neurons, including synaptic development and myelin formation in specific brain regions. Low blood levels of tyrosine are associated with an underactive thyroid gland.
It is well known that isoflavones in soy products can depress thyroid function, causing goiter (enlarged thyroid gland) and autoimmune thyroid disease. In the early 1960s, goiter and hypothyroidism were reported in infants fed soybean diets.14 Scientists at the National Center for Toxicological Research showed that the soy isoflavones genistein and daidzein “inhibit thyroid peroxidase-catalyzed reactions essential to thyroid hormone synthesis.”15
Japanese researchers studied effects on the thyroid from soybeans administered to healthy subjects. They reported that consumption of as little as 30 grams (two tablespoons) of soybeans per day for only one month resulted in a significant increase in thyroid stimulating hormone (TSH), which is produced by the brain’s pituitary gland when thyroid hormones are too low. Their findings suggested that “excessive soybean ingestion for a certain duration might suppress thyroid function and cause goiters in healthy people, especially elderly subjects.”16
Thyroid Hormones and Fetal Brain Development
Thyroid alterations are among the most frequently encountered autoimmune conditions in children. Researchers at Cornell University Medical College showed that the “frequency of feedings with soy-based milk formulas in early life was significantly higher in children with autoimmune thyroid disease.”17 In a previous study, they found that twice as many diabetic children had received soy formula in infancy as compared to non-diabetic children.18
Recognizing the risk, Swiss health authorities recommend “very restrictive use” of soy for babies. In England and Australia, public health agencies tell parents to first seek advice from a doctor before giving their infants soy formula. The New Zealand Ministry of Health recommends that “Soy formula should only be used under the direction of a health professional for specific medical indications. . . Clinicians who are treating children with a soy-based infant formula for medical conditions should be aware of the potential interaction between soy infant formula and thyroid function.”19
Thyroid hormones exert their influence during discrete windows of time during development of the infant. Inappropriate hormone levels can have a devastating effect on the developing human brain, especially during the first 12 weeks of pregnancy when the fetus depends on the mother’s thyroid hormones for brain development. After that, both maternal and fetal thyroid hormone levels affect the central nervous system.
A 1999 study published in the New England Journal of Medicine showed that pregnant women with underactive thyroids were four times more likely to have children with low IQs if the disorder were left untreated. The study found that 19 percent of the children born to mothers with thyroid deficiency had IQ scores of 85 or lower, compared with only 5 percent of those born to mothers without such problems.20
Thyroid, Brain, and Environmental Toxins
Children exposed prenatally and during infancy to common environmental toxins like dioxin and polychlorinated biphenyls (PCBs) can suffer behavioral, learning, and memory problems because these chemicals may be disrupting the normal action of thyroid hormone.21
Soybeans grown in the United States contain residues of the pesticide dieldrin, an organochlorine similar to DDT. Although both chemicals were banned in the 1970s, dieldrin still persists in soils and is absorbed through the roots. Today it is the most toxic residue found on domestic soybeans.22 In Silent Spring, Rachel Carson warned that dieldrin is nearly 50 times as poisonous as DDT. In addition to disrupting hormones, it can have long delayed neurological effects, ranging from loss of memory to mania.23 Chinese aphids were recently discovered in fields scattered across Wisconsin, so increased pesticide applications are likely.
Combinations of insecticides, weed killers, and artificial fertilizers–even at low levels–have measurable detrimental effects on thyroid and other hormones as well as on the brain.24 EPA scientists now want to upgrade the commonly used herbicide, atrazine, to a “likely carcinogen.” In animal tests, atrazine attaches to sites on the hypothalamus, a crucial brain region involved with regulating levels of stress and sex hormones.25
Individuals newly diagnosed with Parkinson’s disease were more than twice as likely to have been exposed to insecticides in their home, compared to those without the disease.26 In September 2000, The Lancet reported that farmers and gardeners regularly exposed to pesticides may have more than five times the risk of developing mild cognitive dysfunction.
Soy formulas for infants can contain other neurotoxins: aluminum, cadmium, and fluoride. Studies found that aluminum concentrations in soy-based formulas were a 100-fold greater compared to human breast milk,27 while cadmium content was 8-15 times higher than in milk-based formulas.28 In an Australian study, the fluoride content of soy-based formulas ranged from 1.08 to 2.86 parts per million. The authors concluded that “prolonged consumption (beyond 12 months of age) of infant formula reconstituted with optimally-fluoridated water could result in excessive amounts of fluoride being ingested.”29 A study of Connecticut children revealed that mild to moderate fluorosis was strongly associated with soy-based infant formula use.30
In May 2000, Boston Physicians for Social Responsibility released their report, “The Toxic Threats to Child Development.” In the section on neurotoxins, they concluded, “Studies in animals and human populations suggest that fluoride exposure, at levels that are experienced by a significant proportion of the population whose drinking water is fluoridated, may have adverse impacts on the developing brain.”31
Iodine versus Fluorine
The thyroid gland uses tyrosine and the natural element iodine to make thyroxine (T4), a thyroid hormone containing four iodine atoms. The other, much more biologically active thyroid hormone is tri-iodothyronine (T3), which has three iodine atoms. Lack of dietary iodine has long been identified as the problem in diminished thyroid hormone synthesis.
According to the International Council for the Control of Iodine Deficiency Disorders: “Iodine deficiency has been called the world’s major cause of preventable mental retardation. Its severity can vary from mild intellectual blunting to frank cretinism, a condition that includes gross mental retardation, deaf mutism, short stature, and various other defects. . . The damage to the developing brain results in individuals poorly equipped to fight disease, learn, work effectively, or reproduce satisfactorily.”
This crucial role of iodine is another reason why the thyroid gland is especially vulnerable today. Canadian researcher Andreas Schuld has documented more than 100 studies during the last 70 years that demonstrate adverse effects of fluoride on the thyroid gland.32 Schuld says, “Fluorine, being the strongest in the group of halogens, will seriously interfere with iodine and iodine synthesis, forcing more urinary elimination of ingested iodine as fluoride ingestion or absorption increases.” (See page 21.)
Soy Inhibits Zinc Absorption
The high phytic-acid content in soy may also have adverse effects on brain function. Phytic acid is an organic acid present in the outer portion of all seeds which blocks the uptake of essential minerals in the intestinal tract: calcium, magnesium, iron, and especially zinc. Soybeans have very high levels of a form of phytic acid that is particularly difficult to neutralize and which interferes with zinc absorption more completely than with other minerals.
The soy industry acknowledges the problem with the admission that while “one-half cup of cooked soybeans contains one mg of zinc
. . . zinc is poorly absorbed from soyfoods.” As for iron, “both phytate and soy protein reduce iron absorption so that the iron in soyfoods is generally poorly absorbed.”33
According to unpublished documents, researchers testing soy formula found that it caused negative zinc balance in every infant to whom it was given.34 Even when the diets were additionally supplemented with zinc, there was a strong correlation between phytate content in formula and poor growth.
Zinc and the Brain
Relatively high levels of zinc are found in the brain, especially the hippocampus. Zinc plays an important role in the transmission of the nerve impulse between brain cells. Deficiency of zinc during pregnancy and lactation has been shown to be related to many congenital abnormalities of the nervous system in offspring. In children, “insufficient levels of zinc have been associated with lowered learning ability, apathy, lethargy, and mental retardation.”35
The USDA references a study of 372 Chinese school children with very low levels of zinc in their bodies. The children who received zinc supplements had the most improved performance–especially in perception, memory, reasoning, and psychomotor skills such as eye-hand coordination. Three earlier studies with adults also showed that changes in zinc intake affected cognitive function.36
New research has identified a specific contingent of neurons, called “zinc-containing” neurons, which are found almost exclusively in the forebrain, where in mammals they have evolved into a “complex and elaborate associational network that interconnects most of the cerebral cortices and limbic structures.” This suggests the importance of zinc in the normal and pathological processes of the cerebral cortex.37 Furthermore, age-related tissue zinc deficiency may contribute to brain cell death in Alzheimer’s dementia.38
Not a Good Idea
High levels of phytoestrogens and zinc-blocking phytic acid, plus additional neurotoxic compounds such as dieldrin, aluminum, fluoride and cadmium combine in soy to yield a veritable witches’ brew that can have adverse effects on the brain during development and throughout life.
Unfortunately, many American are now consuming soy foods in high amounts as infant formula, soy milk and tofu-based products, usually as a substitute for nourishing animal foods. In Asia, soy is consumed in small amounts as a fermented condiment and not as a substitute for animal foods.
Asians recognize the need for “brain foods” like eggs and fish and realize that large amounts of soy can cause thyroid problems and inhibit growth. They know that for optimum mental function, soy foods are not a good idea.
References
1. White LR, Petrovich H, Ross GW, Masaki KH, Association of mid-life consumption of tofu with late life cognitive impairment and dementia: the Honolulu-Asia Aging Study. Fifth International Conference on Alzheimer’s Disease, #487, 27 July 1996, Osaka, Japan.
2. White LR, Petrovitch H, Ross GW, Masaki KH, Hardman J, Nelson J, Davis D, Markesbery W, Brain aging and midlife tofu consumption. J Am Coll Nutr 2000 Apr;19(2):242-55.
3. Doerge and Sheehan, Letter to the FDA, Feb 18, 1999. (http://abcnews.go.com/onair/2020/2020_000609_soyfdaletter_feature.htm)
4. Lephart ED, Thompson JM, Setchell KD, Adlercreutz H, Weber KS, Phytoestrogens decrease brain calcium-binding proteins… Brain Res 2000 Mar 17;859(1):123-31.
5. Soy Infant Formula Could Be Harmful to Infants: Groups Want it Pulled. Nutrition Week, Dec 10, 1999;29(46):1-2; See also www.soyonlineservice.co.nz
6. Cassidy A, Bingham S, Setchell KD, Biological effects of a diet of soy protein rich in isoflavones on the menstrual cycle of premenopausal women. Am J Clin Nutr 1994 Sep;60(3):333-40.
7. Setchell KD, Zimmer-Nechemias L, Cai J, Heubi JE, Exposure of infants to phyto-oestrogens from soy-based infant formula. Lancet 1997 Jul 5;350(9070):23-27.
8. Fallon SA, Enig MG, Tragedy and Hype, The Third International Soy Symposium. Nexus Magazine, Vol 7, No 3, April-May 2000.
9. O’Dell TJ, Kandel ER, Grant SG, Long-term potentiation in the hippocampus is blocked by tyrosine kinase inhibitors. Nature 1991 Oct 10 353:6344 558-60.
10. Bell JM, Whitmore WL, Cowdery T, Slotkin TA, Perinatal dietary supplementation with a soy lecithin preparation: effects on development of central catecholaminergic neurotransmitter systems. Brain Res Bull 1986 Aug;17(2):189-95.
11. Zetterstrom RH, Williams R, Perlmann T, Olson L, Cellular expression of the immediate early transcription factors Nurr1 and NGFI-B suggests a gene regulatory role in several brain regions including the nigrostriatal dopamine system. Brain Res Mol Brain Res 1996 Sep 5;41(1-2):111-20.
12. Castillo SO, Baffi JS, Palkovits M, Goldstein DS, Kopin IJ, Witta J, Magnuson MA, Nikodem VM, Dopamine biosynthesis is selectively abolished in substantia nigra… Mol Cell Neurosci 1998 May;11(1-2):36-46.
13. Baffi JS, Palkovits M, Castillo SO, Mezey E, Nikodem VM, Differential expression of tyrosine hydroxylase in catecholaminergic neurons of neonatal wild-type and Nurr1-deficient mice. Neuroscience 1999;93(2):631-42.
14. Shepard TH, Soybean goiter. New Eng J Med 1960;262:1099-1103.
15. Divi RL, Chang HC, Doerge DR, Anti-thyroid isoflavones from soybean: isolation, characterization, mechanisms of action. Biochem Pharmacol 1997 Nov 15;54(10):1087-96.
16. Ishizuki Y, Hirooka Y, Murata Y, Togashi K, The effects on the thyroid gland of soybeans administered experimentally in healthy subjects. Nippon Naibunpi Gakkai Zasshi 1991 May 20;67(5):622-29.
17. Fort P, Moses N, Fasano M, Goldberg T, Lifshitz F, Breast and soy-formula feedings in early infancy and the prevalence of autoimmune thyroid disease in children. J Am Coll Nutr 1990 Apr;9(2):164-67.
18. Fort P, Lanes R, Dahlem S, Recker B, Weyman-Daum M, Pugliese M, Lifshitz FJ, Breast feeding and insulin-dependent diabetes mellitus in children. Am Coll Nutr 1986;5(5):439-41.
19. Regulatory Guidance in other countries: New Zealand Ministry of Health Position Statement on Soy Formulas (http://www.soyonlineservice.co.nz/regulat.htm)(Adobe Acrobat PDF file: http://www.soyonlineservice.co.nz/files/mohsoy.pdf)
20. Haddow JE, Palomaki GE, Allan WC, Williams JR, Knight GJ, Gagnon J, O’Heir CE, Mitchell ML, Hermos RJ, Waisbren SE, Faix JD, Klein RZ, Maternal thyroid deficiency during pregnancy and subsequent neuropsychological development of the child. N Engl J Med 1999 Aug 19;341(8):549-55.
21. Hauser P, McMillin JM, Bhatara VS, Resistance to thyroid hormone: implications for neurodevelopmental research on the effects of thyroid hormone disruptors. Toxicol Ind Health 1998 Jan-Apr;14(1-2):85-101.
22. Groth E, Benbrook CM, Lutz K, Update: pesticides in children’s foods, an analysis of 1998 USDA PDP data on pesticide residues, Consumers Union of U.S., Inc., May, 2000 (Adobe Acrobat PDF file).
23. Hayes WJ, The toxicity of dieldrin to man. Bull World Health Organ 1959;20:891-92.
24. Porter WP, Jaeger JW, Carlson IH, Endocrine, immune and behavioral effects of aldicarb (carbamate), atrazine (triazine) and nitrate (fertilizer) mixtures at groundwater concentrations. Toxicol Ind Health 1999 Jan-Mar;15(1-2):133-50.
25. Watson, Traci, Common herbicide likely causes cancer. USA Today, June 29, 2000.
26. Nelson L, American Academy of Neurology’s 52nd annual meeting in San Diego, CA, April 29-May 6, 2000.
27. McGraw M, Bishop N, Jameson R, Robinson MJ, O’Hara M, Hewitt CD, Day JP, Aluminium content of milk formulae and intravenous fluids used in infants.Lancet 1986 Jan 18;1(8473):157.
28. Dabeka RW, McKenzie AD, Lead, cadmium, and fluoride levels in market milk and infant formulas in Canada. J Assoc Off Anal Chem 1987;70(4):754-57.
29. Silva M, Reynolds EC, Fluoride content of infant formulae in Australia. Aust Dent J 1996 Feb;41(1):37-42.
30. Pendrys DG, Katz RV, Morse DE, Risk factors for enamel fluorosis in a fluoridated population. Am J Epidemiol 1994 Sep 1;140(5):461-71.
31. Schettler T, Stein J, Reich F, Valenti M, In Harm’s Way: Toxic Threats to Child Development. (http://www.igc.org/psr/ihw.htm) Greater Boston Physicians for Social Responsibility, May 2000.
32. Studies dealing with fluoride and thyroid. (http://www.bruha.com/fluoride/html/thyroid_studies.htm)See also: Fluoride Controversy in the Townsend Letter for Doctors and Patients. (http://www.tldp.com/fluoride.htm)
33. Soy Nutritive Content, United Soybean Board. (http://www.talksoy.com/nutritive1.htm)
34. Pfeiffer CC, Braverman ER, Zinc, the brain and behavior. Biol Psychiatry 1982 Apr;17(4):513-32.
35. Personal communication with Dr. Mary G. Enig
36. U.S. Department of Agriculture, Agricultural Research Service, Food & Nutrition Research Briefs, July 1997. (http://www.nal.usda.gov/fnic/usda/fnrb/fnrb797.html)
37. Frederickson CJ, Suh SW, Silva D, Frederickson CJ, Thompson RB, Importance of zinc in the central nervous system: the zinc-containing neuron. J Nutr 2000 May;130(5S Suppl):1471S-83S.
38. Ho LH, Ratnaike RN, Zalewski PD, Involvement of intracellular labile zinc in suppression of DEVD-caspase activity in human neuroblastoma cells. Biochem Biophys Res Commun 2000 Feb 5;268(1):148-54.
Fluoride is a multi-system poison. The Natural Solutions Foundation strongly opposes compulsory drugging through its addtion to the water systems of communities. We believe that this is both medically reckless and unconstitutional.
The Natural Solutions Foundation’s strongly anti-fluoride position for infants and children is now echoed by the American Dental Association (ADA) which says that children under 1 year should not be exposed to fluoride.
Although the US supported fluoride in infant formula during the 2006 Codex Committee on Nutritiona and Foods for Special Dietary Uses meeting in Chiang Mai, Thailand which dealt with infant formula and other special purpose foods, using data provided by the Natural Solutions Foundation, South Africa pushed the restriction on fluoride in healthy infants’ formula through, despite strong US objection.
Long a proponent of fluoridation of children’s teeth, the ADA joins the Natural Solutions Foundation in pointing out the dangers of the now-debunked toxin in infant’s bodies.
Rather than deal with the expense of safe disposal, the mining industry created the false belief that fluoride should be added to water, toothpaste, supplements, etc. That way, mining companies make a profit instead of taking a loss on fluoride which is expensive to dispose of according to EPA regulations. Despite propaganda to the contrary, fluoride has no known place in human metabolism and increases disease in those exposed to it. It is toxic to the brain, kidneys, bones, teeth, causes bone and other cancers at levels far lower than those permitted in water and has no known positive impact on human health despite oft-repeated but deeply flawed research claims to the contrary. Recent re-evaluation of the original research and other data make it clear that fluoride in any amount is a cumulative biological poison.
Although the United States has sought to add Fluoride to infant formula in the US and internationally, the World Health Organization recommends that infant formula be prepared in water which has no fluoride. Fluoridating water supplies means that infants will necessarily be exposed to amounts of fluoride which are toxic to them. “Little is known of the particular susceptibility of infants to fluoride but what we do know makes it clear that infant formula should be mixed with fluoride free water because fluoride is so toxic to them. Since infants are generally more sensitive to toxins than adults, banning it from formula is the only sensitive alternative,” according to Rima E. Laibow, MD, Medical Director of the Natural Solutions Foundation (http://www.HealthFreedomUSA.org).
Despite its wide acceptance as a water and food additive, and even as a “nutritional supplement,” fluoride is actually a dangerous metabolic poison with permanent effects at levels much lower than 1 part per million (ppm). Exposure is cumulative since fluoride is a bio-accumulator which remains in the body and can cause cancer, kidney failure, bone disease, including bone cancers, structural damage to bone and teeth, thyroid poisoning, pineal gland calcification, reproductive failure, synergistic increases in lead poisoning when both are present, endocrine disruption leading to diabetes, other cancers and decreases in the availability of essential nutrients like magnesium.
In addition to water, the FDA allows sodium aluminum fluoride (cryolite) to be sprayed on more than 30 fruits and vegetables at up to 7 ppm. The USDA set a 1.2 ppm limit for arsenic and fluoride pesticides in 1933 since they are equally toxic. While arsenic sprays have been phased out, fluoride ones are increasingly popular and now can be used not only on food but on food storage areas as well. Current FDA water fluoridation standards allow up to 4 ppm and assure on-going fluoride contamination for most Americans.
Industry pressure is strong to increase the amount of fluoride we ingest: DOW Chemical uses extremely high fluoride tolerances on a wide number of common foods including 98 ppm for wheat germ, 40 ppm for wheat bran, 31 ppm for rice bran, 30 ppm for some nuts, 28 ppm for corn meal, 26 ppm for corn flour, 25 ppm for millet, wild rice, sorghum and wheat grains and 17 ppm for oat grain.
Leading scientists have called for a ban on all fluoride usage in light of its devastating impact on health and a recent evaluation of the data upon which fluoridation was initially approved by the FDA for municipal water supplies was deeply and fraudulently distorted when presented to the FDA and the public since toxic results were not revealed in the group receiving fluoridated water.
Vaccines often contain fluoride as an adjuvant or immune system irritant to provoke the immune system into producing more antibodies with fewer antigens since antigens are the expensive part of vaccines. Since vaccines also frequently contain aluminum hydroxide, the synergistic toxicity of the two toxins is significantly more than the toxicity of either toxic metal alone at the same dosage. This problem is repeated in municipal water supplies since fluoride is added for its alleged dental health benefits while aluminum salts are added to “polish” the water and give it an appealing gleaming appearance.
Fluoride as an additive has a dark past: it was first added to water in the Soviet Gulag (prison system) since it is a neurological poison and made political and other difficult prisoners complacent and therefore easier to manage. It was added to the water supplies of the Nazi death and slave labor camps for the same reason. Fluoride is widely used as an additive although the scientific evidence upon which its use rests is either fraudulent or flawed. Long a staple of water treatment, sodium fluoride has been replaced by other, even more toxic fluoride compounds like sulfuryl fluoride which has never been tested in water supplies nor approved for use in them.
The New York State Attorney General has expressed support for banning this dangerous but widely used pesticide. Fluoride contamination from either natural sources or its addition to liquids and products used by children results in dental fluorosis, a permanent mottling of teeth which is both cosmetic and structural, and similar structural damage to bone associated with increased fractures, osteoporosis (bone loss) and demineralization of bone. IQ loss and other neurological damage is due both to the fluoride itself and the dangerous interaction of fluoride with lead since fluoride renders lead even more toxic to the brain. Fluoride without lead leads to loss of higher cognitive functions including decision-making and IQ.
Yours in health and freedom,
Dr. Rima
Medical Director
Natural Solutions Foundation
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Vaccines are profitable only when used in large populations. But are they safe? And are they justified either by disease reduction or by in-use cost? The sober answers may surprise you if you are an advocate of vaccines.
Please share this careful analysis of the current vaccination mandates and practices in use nationally (and here examined through the lens of New Jersey vaccine policy, including opposition to conscientious exemption by parents) with everyone who is a vaccine adherent or supporter. Whether you share this important document with your child’s pediatrician, other parents, your local civil rights lawyer or others currently supportive of the unfounded myths that vaccines are safe and effective, please urge them to read this document carefully. Unlike the unthinking parroting or slick “junk science” praise of the supposed merits of vaccines and vaccinations, this article takes the allegations of safety and social use for vaccines on point by point and examines each of them using science and logic, not emotion, to look at each of the points raised by the Department of Health and Senior Services in New Jersey to justify their staunch opposition to allowing exemptions to vaccination on the basis of conscience.
The result is a very important article Dr Dr. King, a consultant who examines pharmaceutical options and evaluates them. Please reproduce it and send it electronically or in hard copy to everyone concerned, either pro, con or undecided, with the vaccination debate, including State legislators and Federal ones as well. And remember, these issues are NOT just about children. They are about vaccines and freedom concerning each and every one of us. Remember that on July 23 and 24, 2008, respectively, the Department of Health and Human Services and the Department of Homeland Security announced that their intention was to vaccinate every man, woman and child in America against Avian Flu, “…starting with those who want it.”
Vaccines and freedom can only co-exist if their use is totally voluntary. Anyone determining what you -or your children MUST – allow to be introduced into your body is abridging your freedom so deeply that you literally have none since if your autonomy does not include what happens to your body, your autonomy no longer exists.
The article is a detailed review of the response of the NJ Department of Health and Senior Services (DHSS) to the possibility of a law offering conscientious exemption opportunities to parents and others who do not wish to participate in vaccine programs.
The Natural Solutions Foundation takes the issue of vaccine safety very seriously. And it takes the issue of health freedom and vaccine autonomy equally seriously. We know you do, too. If you find the following article useful, please donate (http://drrimatruthreports.com/index.php?page_id=189) generously to help us keep on keeping health freedom free.
Yours in health and freedom,
Dr. Rima
Rima E. Laibow, MD
Medical Director
Natural Solutions Foundation
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www.GlobalHealthFreedom.org
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‘The Position of the New Jersey Department of Health and Senior Services (NJ DHSS) on: The Pending New Jersey Conscientious Exemption Legislation’ (NOTE: ALL RESPONSES OF THE DHSS ARE IN BOLD FACE IN THE FOLLOWING REVIEW OF THEIR POSITION ON THIS LEGISLATION – REL)
**************************************************************************************************
Should anyone reading this draft find any significant factual error for which you have published substantiating documents, please submit that information to this reviewer so that he can improve his understanding of factual reality and appropriately revise his views and the final review.
A Draft Response To: “The Position of the New Jersey Department of Health and Senior Services (NJ DHHS) on: The Pending New Jersey Conscientious Exemption Legislation”, as transcribed by the reviewer, Paul G. King, PhD, on 5 November 2008 ….
This response to the NJ DHSS’ position on NJ S1071 addresses the “genuine concern” side for the safety and effectiveness of NJ’s mandated vaccination program as well as the observed impacts of the conscientious and/or philosophical exemptions on the observed background rates for some vaccine-covered diseases in the 18 states with such exemptions as compared to the USA as a whole.
Thus, this response presents factual information that exposes the weaknesses in, and/or the apparent problems with, the broad generalizations made in the NJ DHSS’ position statement.
Lest any take this reviewer’s remarks as those of someone who is anti-vaccine, this reviewer again reiterates that, given the scientific information available to him, he currently supports national vaccination programs for those vaccines that have truly been proven to be both generally safe and at least societaly cost-effective, provided the individual parent’s constitutional right to “due process of law” is not abridged or ignored.
Having made his position as an advocate for:
a. Banning the use of mercury compounds in medicine to safen vaccines,
b. Vaccine safety, and
c. Societaly cost-effective vaccines
clear, this reviewer will now assess the statements made in: “The Position of the New Jersey Department of Health and Senior Services (NJ DHHS) on: The Pending New Jersey Conscientious Exemption Legislation”.
S1071 – Conscientious Exemption to Mandatory Immunizations
The New Jersey Department of Health and Senior Services is opposed to S1071, which provides for a conscientious exemption to mandatory immunizations.
Obviously, the NJ DHHS has made it clear that it “is opposed to S1071” and A260, legislation to provide New Jersey citizens with a limited conscientious exemption to New Jersey’s mandated vaccination programs.
Public health care and medical communities consider vaccinations one of the most important measures in improving the public’s health over the past 100 years.
While there is no dispute that “(p)ublic health care and medical communities consider vaccinations one of the most important measures in improving the public’s health over the past 100 years”, the facts are that, in the industrialized world, vaccines have been a <10% factor in the reduction of the common contagious diseases (where sanitation, hygiene, clean water, safe food, adequate housing account for 90-plus % of the decrease in childhood diseases before vaccines were mandated). Moreover, in less developed countries (e.g., India), repeated vaccination campaigns for diseases such as polio have failed to provide the reductions in polio cases and/or the "elimination" of polio seen in the USA and other industrialized nations). Currently, the evidence in today's USA is: our current vaccination programs have succeeded in reducing several acute childhood diseases and, increasingly, some other diseases - at the cost of creating epidemics of chronic disorders, syndromes and diseases that have a strong autoimmune/immune-system-disruption component (e.g., asthma, type 2 diabetes, childhood MS, neurodevelopmental disorders, and food allergies). Yet most of those "(p)ublic health care and medical communities" continue to: · Deny the preceding realities, · Actively suppress the scientific research establishing these realities, · Attack the character and credibility of those independent scientists who dare to publish the truth about these health realities, and · Publish articles: a) which are based on "junk" science, b) which use knowingly "perverted" study de- signs, or c) which rely upon easily manipulated epidemiological reviews where independent access to the data sets used is blocked or the data sets are "lost" - preventing independent researchers from verifying the soundness of the: · Data sets evaluated, · Study designs used, · Results reported, and/or · Conclusions drawn from those findings. New Jersey has historically only permitted religious and medical exemptions to school entry vaccine requirements.
Here, the NJ DHSS states what has been the New Jersey history without addressing the reality that an exemption for a “sincerely held religious belief” is: a) in essence, a “conscientious” exemption for those who adhere to any religion and b), therefore, an exemption that discriminates against those who are religiously agnostic or atheists – a probable violation of the equal protection guarantees for all Americans.
Were the State of New Jersey to enact this statute, which provides a general conscientious (philosophical) exemption, this statute would end this seemingly illegal form of discrimination.
Broad exemptions to mandatory vaccination weaken the entire compliance and enforcement structure mandating vaccines for school entry and continued attendance.
First, taking this statement at face value, the NJ DHSS is advocating for a position that borders on a
health dictatorship where the “health police” and not the constitutions of the United States of America (USA) and the State of New Jersey control the lives of New Jersey citizens.
Thus, the NJ DHSS appears to be advocating for a society in which the rights to bodily integrity and
informed consent are either non-existent or trampled under by the health care establishment for a “greater good” that essentially benefits the healthcare establishment and ignores the physical, financial, mental and spiritual health of the public that it claims to protect.
Given the wording used, “weaken the entire compliance and enforcement structure”, the NJ DHSS is apparently more concerned about strengthening their control over our children than it is about the overall and individual health of our children.
Second, in other “democratic” nations (e.g., Canada, UK, and Japan), high rates of vaccination compliance have been attained and, provided less-safe vaccines have not been knowingly supplied (e.g., the less expensive MMR vaccine the UK used even though it contained the dangerous Urabe strain of the mumps), these rates have been maintained without any need for general mandatory vaccination programs for their citizens.
Moreover, the flexible Japanese approach to vaccines and vaccination programs has been so successful that the first-year infant mortality rate (IMR) in Japan (2.80 deaths per 1,000 “live births” [all values are CIA 2008 estimates]) is less than half the IMR in the USA (6.30 deaths per 1,000 live births [IMR-UK = 4.93; IMR-Canada = 6.08]), and significantly, chronic childhood disorders and diseases (e.g., childhood asthma, childhood type 2 diabetes, childhood obesity) are not at the epidemic levels seen in the USA.
In fact, on average, the Japanese life expectancy is 4 years longer than the average life expectancy in the USA and, unlike the USA, the life expectancy in Japan is not beginning to decline.
Finally, in the 18 states with a general conscientious/philosophical exemption to vaccination, there is no substantiation of the claim that having “(b)road exemptions to mandatory vaccination” has greatly reduced vaccine uptake rates or led to higher average background disease rates for those vaccines that are apparently safe and at least societally cost-effective in actuality.
If vaccination requirements can be waived by a parent, one may argue that this dissolution sets precedent for other mandatory health screenings (e.g., hearing, lead, tuberculosis) or services to become optional.
In a democratic society that recognizes bodily integrity as a fundamental right, there should be no mandatory health screenings or services unless these is a compelling actual “communicable disease outbreak” reason for such and, even in such instances (e.g., a TB outbreak in a school), the parents should be given the choice of a non-invasive alternative (e.g., a chest x-ray for the TB example) or a definitive blood test (and, in this example, the cheap but problematic and, for some, medically dangerous TINE test should be banned).
Currently, the religious exemption already provides a means by which “vaccination requirements can be waived by a parent”.
Finally, since when is a person’s exercise of any granted legal option a “dissolution” of anything?
No highly or densely populated states in the Eastern United States permit a philosophical exemption to school vaccination requirements.
First, the states with an children-of-all-ages conscientious (philosophical) exemption are (in alphabetical order): 1) Arizona, 2) Arkansas, 3) California, 4) Colorado, 5) Idaho, 6) Louisiana, 7) Maine, 8) Michigan, 9) Minnesota, 10) New Mexico, 11) North Dakota, 12) Ohio, 13) Oklahoma, 14) Texas, 15) Utah, 16) Vermont, 17) Washington State, and 18) Wisconsin.
In addition, Missouri and Nebraska have a conscientious/philosophical exemption for child care entry only.
Though only 5 states [Maine, Michigan, Ohio, Vermont and Wisconsin] of the 18 provide a full “philosophical exemption” in the Eastern United States, one could argue that one of them, Ohio [11.5 million], which has a population one-third larger than New Jersey [8.7 million], is a “highly or densely populated state”.
However, California, the most populous state [36.5 million], and Texas, the second most populous state [23.9 million], both have philosophical exemptions with no evidence of a significant excess of disease cases in children for those vaccines that are vaccines against the disease (e.g., measles, mumps, rubella, polio, hepatitis B) or for vaccines against bacterial toxoids and/or toxins (the diphtheria and tetanus toxoid components and the toxic substances in the acellular pertussis preparations) in the diphtheria, pertussis and tetanus combination vaccines (see Table “1” in the published article or the abbreviated version that follows).
[Note: The cases data was taken from the Florida Department of Health’s April 2008 “Task Force Requests to the Florida Department of Health” report to the Florida Governor’s Task Force on
Autism Spectrum Disorders. The population numbers used are based on the published population data at: http://en.wikipedia.org/wiki/List_of_U.S._states_by_population.]
Abbreviated Table “1”: 2006 Comparison of Vaccine-Preventable Disease Cases, Among States with Philosophical Exemptions for Immunizations, Florida andU.S.
State Measles* Mumps** Rubella*
or USA (incidence/ 100,000) (incidence/ 100,000) (incidence/ 100,000)
——— ———————– ———————- ———————-
Arizona 0 40 (0.63) 0
Arkansas 0 8 (0.28) 0
California 6 (0.016) 31 (0.085) 1 (0.003)
[12% of US]
%of US Total 10.9 0.471 9.09
[% of 12%] [90.9] [3.93] [75.8]
Colorado 1 (0.021) 51 (1.04) 0
Idaho 0 7 (0.47) 0
Louisiana 0 3 (0.07) 0
Maine 0 0 0
Michigan 1 (0.001) 84 (0.079) 1 (0.001)
Minnesota 1 (0.019) 180 (3.46) 0
New Mexico 0 3 (0.152) 0
North Dakota 0 14 (2.19) 0
Ohio 0 45 (0.392) 0
Oklahoma 0 10 (0.276) 0
Texas 0 58 (0.243) 0
[7.8% of US]
% of US total 0.88%
[% of 7.8%] [11.4%]
Utah 0 5 (0.189) 0
Vermont 0 0 0
Washington 2 (0.031) 42 (0.649) 0
State
Wisconsin 0 842 (15.0) 0
Total of 18
states 11 (0.008) 1,423 (1.09) 2 (0.0015)
% of US Total 20.0 21.6 18.2
[% of 36%] [55.6] [60.0] [50.5]
{% of 42.5% {47.1} {50.8} {42.8}
est. pop % of the 18 states}
Florida 4 (0.022) 15 (0.082) 1 (0.005)
[6% of US]
% of US Total 7.3 0.23 9.1
[% of 6%] [122] [3.8] [152]
U.S. Total 55 (0.180) 6,584 (2.15) 11 (0.004)
* Confirmed Cases **Confirmed and Probable Cases
In contrast, Florida, the fourth most populous state and one that has no philosophical exemption, shows some evidence that not having a philosophical exemption has led to more than expected cases of measles and rubella cases but a less than expected mumps and pertussis cases (two diseases not well-controlled by the vaccines [the MMR and DTaP/Tdap vaccines] containing components for these two diseases).
Thus, for those diseases well-controlled by their vaccines and for which low levels of cases are still
being reported, it would seem that the states with “philosophical exemptions” have, on average, a lower disease incidence rate than: a) the overall average for the USA and b) the rate for Florida, the fourth most populous state.
Thus, the two most populous states as well as 16 other states have a conscientious/philosophical exemption and less than expected disease levels for those diseases that are well-controlled by vaccines.
Therefore, based on the preceding realities, every state should have a conscientious/philosophical
exemption.
Moreover, like New Jersey, the citizens of New York, the third most populous state [19.3 million], are
also seeking legislation providing this exemption to its citizens.
Based on all of the preceding realities, the evidence favors having a “philosophical exemption” in New Jersey, the eleventh most populous state [8.7 million].
New Jersey has numerous characteristics that make it particularly vulnerable to vaccine-preventable disease, which include a high population density, past history of multiple vaccine-preventable disease outbreaks affecting children, a highly mobile population, high numbers of recently arrived immigrants, and its “corridor state” nature.
As long as there is good sanitation, hygiene (including personal hygiene and hot-water washing for soiled undergarments and bedding), clean air, clean water, and adequate nutrition and housing, none of the cited factors make New Jersey “particularly vulnerable to vaccine-preventable disease”.
When it comes to high population density, the much higher population density in Japan, a nation with less than half the infant mortality as the USA, clearly shows that this factor is not significant unless the aforementioned basics are compromised.
Since there is no post-vaccine-adoption history of any vaccine-preventable epidemic in New Jersey for any disease for which the current mandated vaccine is truly long-term protective, localized sporadic disease outbreaks are:
· A red herring or
· A clear indication that the available vaccines are
not in-use effective in some instances.
Since:
· There are other states, including California and Texas (the two most populous states) that have a
“philosophical exemption” and “a highly mobile population” and a “high numbers of recently arrived immigrants” (including much larger numbers of illegal immigrants),
· Three of these 18 states, Arizona, California, and Texas, are also conscientious/ philosophical exemption states that are also corridor states for the majority of illegal immigrants entering the USA,
and
· None of these states have overall disease rate averages (for those diseases that are truly vaccine-preventable diseases) that are significantly higher than the overall rates for the USA, all of these factors are “red herrings” in today’s USA.
Particularly in light of New Jersey’s special traits, the highest number of children possible must receive vaccines to protect them and others.
Given the data for the states that have conscientious/philosophical exemption and special factors similar to those raised in this NJ DHSS statement, the data do not:
· Support the NJ DHSS’ assertion that “the highest number of children possible must receive vaccines”,
or
· Provide evidence that the mandated vaccines “protect” the implicit children who receive these vaccines or the unidentified “others”.
Vaccines not only protect the child being vaccinated but also the general community and the most vulnerable individuals within the community, including those too young to be vaccinated, the elderly, the immunocompromised, and those who have medical contraindications to vaccination – this fact is well-documented in scientific literature.
The NJ DHSS’ unsupported assertion that “Vaccines not only protect the child being vaccinated but also the general community and the most vulnerable individuals within the community”, is at odds with the reality that inoculation of children with the currently recommended live-virus vaccine components (measles, mumps, rubella, herpes varicella zoster, 3 bioengineered strains of human influenza, and 5 strains of human-cow hybridized rotavirus or a human rotavirus) puts all of the uninoculated and unprotected individuals with whom these recent inoculees have contact at risk of contacting these viral diseases that those inoculated shed after they are inoculated.
For example, although the CDC asserts that all children become “immune” to the human rota virus by the time they are five years of age, the studies on the human-hybrid rota virus reported that up to one-third of “supposedly rota virus-immune” adults who come into contact with a child recently inoculated with this rota virus vaccine (Merck’s RotaTeq®) may contract a case of rota virus – a possibility that some parents have reported experiencing as an all-too-real reality.
Moreover, the use of vaccines that clearly do not protect the children inoculated (the influenza vaccines that offer no real protection to children under 2 years of age and marginal protection to children under 5 years of age) based on a claim that this practice will protect the elderly is not only not supported by the published science on the epidemiology of human influenza but also, if it were true, would amount to an abnormal society where, to “protect” the health of the elderly:
· Children are knowingly put at risk (see the influenza-vaccine-related adverse events, including death, seen for all influenza vaccine formulations, that are reported in the Vaccine Adverse Events Reporting System (VAERS) database) and
· The healthcare establishment supports the knowing mercury poisoning of children, which clearly occurs when Thimerosal-preserved influenza vaccines are given to children, pregnant women and nursing mothers and probably occurs when any Thimerosal-containing influenza vaccine is given to pregnant women and/or children because, though the safe dose for Thimerosal in any vaccine has never been established:
· Mercury poisoning has been established in young children who have been given toxic doses of
Thimerosal-preserved serums and/or vaccines, indirectly (in the womb) and directly (in early
childhood), and have subsequently been diagnosed with a neurodevelopmental disorder in the autism spectrum [1] where the mercury bolus doses from the serums and vaccines represent not less than
50% of the mercury dose received by an effected child from conception to age 3, and
· Persistent Thimerosal-derived mercury toxicity has been seen in monkeys [2] (and other mercury-sensitive animals [3]) given just the doses of Thimerosal or one of its ethyl mercury metabolites that, in some instances, mimicked the Thimerosal doses that children given Thimerosal-preserved vaccines at 2, 4 and 6 months would receive under the vaccination schedules recommended in the USA from 1999 through 2001.
Finally, for influenza, the epidemiological evidence is that human influenza viruses are neither highly contagious [4] nor, as discussed in the same reference, easily transmitted from those infected to those who are well – even in close communal groups, including families.
[1] a. Geier DA, Kern JK, Garver CR, Adams JB, Audhya T, Nataf R, Geier MR. Biomarkers of environmental toxicity and susceptibility in autism. J Neurol Sci. 2008 Sep 24. [Epub ahead of print]
b. Geier DA, Mumper E, Gladfelter B, Coleman L, Geier MR. Neurodevelopmental disorders, maternal
Rh-negativity, and Rho(D) immune globulins: a multi-center assessment. Neuro Endocrinol Lett.
2008 Apr; 29(2): 272-280.
c. Nataf R, et al. Poryphyrinuria in childhood autistic disorder: implications for environmental
toxicity. Toxicol Appl Pharmacol. 2006; 214: 99-108.
d. Geier DA, Geier MR. A prospective assessment of porphyrins in autistic disorders: a potential marker for heavy metal exposure Neurotox Res. 2006; 10: 57-64.
e. Young HA, Geier DA, Geier MR. Thimerosal exposure in infants and neurodevelopmental disorders: an assessment of computerized medical records in the Vaccine Safety Datalink. J Neurol Sci. 2008 Aug 15; 271(1-2): 110-118. Epub 2008 May 15.
[2] Burbacher TM, et al. Comparison of blood and brain mercury levels in infant monkeys exposed to methyl-mercury or vaccines containing Thimerosal. Environ. Health Persp. 2005; 113(8): 1015-1021.
[3] a. Laurente J, Remuzgo F, Ãvalos B, Chiquinta J, Ponce B, Avendaño R, Maya L. [Neurotoxic effects of thimerosal at vaccines doses on the encephalon and development in 7 days-old hamsters.] An Fac Med Lima 2007; 68(3): 222-237.
b. Shiraki H, Nagashima K. Essential Neuropathology of Alkylmercury Intoxication In Humans from the Acute to the Chronic Stage with Special Reference to Experimental Whole Body Autoradiographic Study Using Labeled Mercury Compounds. Neurotoxicology 1977; 1: 241-260.
c. Tryphonas L, Nielsen NO. Pathology of chronic alkylmercurial poisoning in swine,” Am J Veter.
Res. 1973; 34(3): 379-392.
d. Takahashi T, Kimura T, Sato Y, Shiraki H, Ukita T. Time-Dependent Distribution of 203Hg-Mercury Compounds in Rat and Monkey as studied by Whole Body Autoradiography. Eisei Kagaku [Japanese: J Hygienic Chem.] 1971; 17(2): 93-107.
[4] Cannell JJ, Zasloff M, Garland CF, Scragg R, Giovannucci E. On the epidemiology of influenza.
Virol J. 2008 Feb 25; 5: 29. [Among the issues this paper addresses, this recent electronically published review article reports the lack of high sick-to-well infectivity for human influenza.]
As an example, in a Journal of the American Medical Association study published in 2000, investigators found that children who did not receive measles and pertussis vaccines for philosophical or religious reasons were 22 times more likely to contract measles and 6 times more likely to get pertussis; also, schools with higher numbers of exempted children were associated with more outbreaks that had community wide-implications.
First, the referenced, but not cited, article’s text appears to be more self-serving propaganda than it is important information because the locations, time periods, and diseases chosen seem to have been knowingly chosen to result in the preordained outcomes that the study was “designed” to find.
Second, the locations in which the researchers at the Centers for Disease Control and Prevention (CDC) chose to do this study (in some counties in Colorado) were areas with relatively small populations as compared to the population of the USA (some percentage of Colorado’s population that overall is only about 1% of the population of the USA) that were/are not representative of the population of the USA or the U.S. population’s overall risks of contracting “vaccine-preventable” diseases.
Though the NJ DHSS fails to cite the study reference, based on a search of “PubMeD”
(http://www.ncbi.nlm.nih.gov/sites/entrez), the abstract of the study apparently referenced states (with CAPITALIZATION added for emphasis):
“1: JAMA. 2000 Dec 27;284(24):3145-50. Links Comment in:
JAMA. 2000 Dec 27;284(24):3171-3.
JAMA. 2001 Mar 28;285(12):1573-4.
JAMA. 2001 Mar 28;285(12):1573; author reply 1574.
Individual and community risks of measles and pertussis associated with personal exemptions to immunization. Feikin DR, Lezotte DC, Hamman RF, Salmon DA, Chen RT, Hoffman RE. Respiratory Diseases Branch, Centers for Disease Control and Prevention, 1600 Clifton Rd, MS-C23,
Atlanta, GA 30333, USA. drf0@cdc.gov
CONTEXT: The risk of vaccine-preventable diseases among children who have philosophical and religious exemptions from immunization has been understudied. OBJECTIVES: To evaluate whether personal exemption from immunization is associated with risk of measles and pertussis at individual and community levels. DESIGN, SETTING, AND PARTICIPANTS: Population-based, RETROSPECTIVE COHORT STUDY USING DATA COLLECTED on standardized forms REGARDING ALL REPORTED MEASLES AND PERTUSSIS CASES AMONG CHILDREN AGED 3 TO 18 YEARS IN COLORADO DURING 1987-1998.
MAIN OUTCOME MEASURES: Relative risk of measles and pertussis among exemptors and vaccinated children; association between incidence rates among vaccinated children and frequency of exemptors in Colorado counties; association between school outbreaks and frequency of exemptors in schools; and risk associated with exposure to an exemptor in measles outbreaks. RESULTS: Exemptors were 22.2 times (95% confidence interval [CI], 15.9-31.1) more likely to acquire measles and 5.9 times (95% CI, 4.2-8.2) more likely to acquire pertussis than vaccinated children. AFTER ADJUSTING FOR CONFOUNDERS, THE FREQUENCY OF EXEMPTORS IN A COUNTY WAS ASSOCIATED WITH THE INCIDENCE RATE OF MEASLES (RELATIVE RISK [RR], 1.6; 95% CI, 1.0-2.4) AND PERTUSSIS (RR, 1.9; 95% CI, 1.7-2.1) IN VACCINATED CHILDREN. Schools with pertussis outbreaks had more exemptors (mean, 4.3% of students) than schools without outbreaks (1.5% of students; P =.001). AT LEAST 11% OF VACCINATED CHILDREN IN MEASLES OUTBREAKS ACQUIRED INFECTION THROUGH CONTACT WITH AN EXEMPTOR. CONCLUSIONS: The risk of measles and pertussis is elevated in personal exemptors. Public health personnel should recognize the potential effect of exemptors in outbreaks in their communities, and parents should be made aware of the risks involved in not vaccinating their children.”
Apparently, since none were reported, there were no severe adverse outcomes in any group of children based on the reported 2006 data.
In addition, though this study did report these relative risks for disease as: “Exemptors were 22.2 times (95% confidence interval [CI], 15.9-31.1) more likely to acquire measles and 5.9 times (95% CI, 4.2-8.2) more likely to acquire pertussis than vaccinated children.” it also reported: “After adjusting for confounders, the frequency of exemptors in a county was associated with the incidence rate of measles (relative risk [RR], 1.6; 95% CI, 1.0-2.4) and pertussis (RR, 1.9; 95% CI, 1.7-2.1) in vaccinated children”, indicating that, after the confounding factors were removed, neither of these relative risks was statistically significant (requiring a RR of 2.0 or larger) and, because no other diseases were mentioned, there was no “exemption” effect for the other diseases covered by the MMR vaccine (mumps and rubella) or the DTaP vaccine (diphtheria and tetanus).
Though not mentioned by the NJ DHSS here, the most important fact in this article was: “At least 11% of vaccinated children in measles outbreaks acquired infection through contact with an exemptor” – indicating that, unlike having the measles once, the MMR vaccine is not effective in protecting all those given the MMR vaccine from subsequently contracting measles when exposed to the measles virus.
In the final analysis, there was/is really no statistically significant risk associated with exemptors (religious and medical) and, apparently, the CDC had/has no interest in conducting such studies in the more populous, densely populated, highly mobile, “corridor” states like New Jersey.
All vaccines currently licensed in the United States are safe and effective.
First, the NJ DHSS neither provides nor cites any studies that establish the validity of the preceding
statement.
Second, as cited in previous reviews [5], there is a large and growing body of evidence that some of the current FDA-licensed vaccines are neither truly population safe nor, in some cases, in-use effective even when the effectiveness criterion is loosened to only require that the vaccine be societally cost-effective including:
[5] These reviews are freely available for download from the “Documents” web page of the CoMeD Internet website: http://www.mercury-freedrugs.org/. For example, the most recent 2-part review, “A Draft Review of: ‘Florida Governor’ Task Force on Autism Spectrum Disorders- Task Force Requests to the Florida DoH’, Part 1 (17 October 2008; 68 pages)” and “A Draft Review of: ‘Florida Governor’ Task Force on Autism Spectrum Disorders- Task Force Requests to the Florida DoH’, Part 2 (17 October 2008; 77 pages)” [along with the report that was reviewed, “Florida’s Governor’s Task Force on Autism Spectrum Disorders – Task Force Requests to the Florida DoH (16 Sept. 2008; 49 pages)”], contains a detailed analysis of the current childhood vaccination programs that dispassionately assesses the in-use medical cost-effectiveness of the current vaccines and their associated vaccination programs.
The Current Recommended National Human Influenza Vaccination Program
Published studies have clearly established that the influenza vaccination program is not in-use effective in children, adults and the elderly for a variety of reasons.
Moreover, the majority (greater than 75 %) of the available doses contain a level of Thimerosal that has not been proven safe to administer to either children or adults.
Therefore:
· New Jersey’s mandate for vaccination of young children should be rescinded,
· The current recommended national program for influenza should be abandoned,
· The human influenza vaccines should be removed from the list of vaccines covered by the National Vaccine Injury Compensation Program (NVICP), and
· All petitions filed with the NVICP from the time the influenza vaccines were added to the list of compensable vaccines until 3 years after the vaccine was recognized to be not effective and removed from the national vaccination program should be automatically paid, with the government assessing the manufacturer of the putative causal human influenza vaccine for the costs of that compensation because the human influenza vaccines are not effective drugs.
The Current Recommended National Herpes Varicella Zoster Vaccination Program
Since:
· The recommendations for a national varicella vaccination program were based on an unfulfilled promise of marginal societal cost-effectiveness PROVIDED: a) one dose would produce lifetime protection, b) the vaccine was assumed to cause no serious side effects, and c) the vaccination program would not increase shingles cases,
· The CDC is now recommending 2 doses because one dose has failed to control “wild” chickenpox cases,
· Shingles cases in both children and adults have increased and
· The vaccine has not only the highest level of VAERS- reported adverse side effects of any single-component vaccine but has also been shown to cause serious conditions in some who are vaccinated, it is obvious that the chickenpox vaccination program is not societally cost effective.
Thus,
· The recommendation for inclusion of “varicella” (chickenpox) in the national vaccination program should be rescinded,
· New Jersey should remove it from its list of mandated vaccines for children,
· Varicella should be removed from the list of NVICP-covered vaccines, and
· All petitions filed with the NVICP from the time the varicella vaccine was added to the list of compensable vaccines until 3 years after the vaccine was recognized to be not societally cost-effective and removed from the national vaccination program should be automatically paid, with the government assessing the manufacturer of the varicella vaccines for the costs of that
compensation because, though all drugs, including vaccines, are required to be by U.S. law to be both safe and effective, the varicella vaccines are not effective.
The Current Recommended National Rotavirus Vaccination Program
Because:
· The current rota virus vaccination programs have not significantly reduced the risk of severe adverse
effects (intussusception, Kawasaki’s, and pneumonia) in the inoculees as compared to the unvaccinated,
· The vaccines are live virus vaccines that not only infect those inoculated but also, at a high rate,
those who come into contact with recent inoculees or their fecal waste and
· The costs of the vaccine and its administration greatly exceed the societal cost-effectiveness
level established in the 1990s even after correcting for inflation, it is obvious that the rota virus vaccination programs are not societally cost-effective in the USA.
Thus,
· The recommendation for inclusion of rotavirus in the national vaccination program should be rescinded and rota virus removed from the list of NVICP-covered vaccines,
· New Jersey should not add rotavirus to its list of mandated vaccines, and
· All petitions filed with the NVICP from the time the rota virus vaccine was added to the list of
compensable vaccines until 3 years after the vaccine was recognized to be not societally cost-effective and removed from the national vaccination program should be automatically paid, with
the government assessing the manufacturer of the offending rota virus for the costs of that compensation because, though required by law to be both safe and effective, the rota virus vaccines are clearly not in-use effective.
At best, all that the rota virus vaccines do is give clinical cases of the rota virus strains in the vaccines to those inoculated with no significant reduction in either the number or severity of cases of
rota virus compared to the unvaccinated population, even in the carefully contrived clinical trials where the lack of reduction in life-threatening outcomes in the vaccine arm over the unvaccinated arm was perversely turned into positive because, although some of those inoculated had these life-threatening side effects, the elevation in their level was not statistically significant.
Thus, the licensing and approval of the human-bovine rota virus vaccine rests on a knowing perversion of the reality that, to be effective, the vaccine should have produced a statistically significant reduction in the level of cases for these life-threatening adverse effects.
However, like the previous vaccine, Wyeth’s RotaShield®, the current live-virus rotavirus vaccines, Merck’s RotaTeq® and GlaxoSmithKline’s Rotarix® did not significantly reduce the incidence of the following life-threatening adverse outcomes:
· Intussusception (for either of these vaccines).
· Kawasiki’s [6] (for the RotaTeq vaccine), or
· Pneumonia (for the Rotarix vaccine,
even though the test populations for the Phase 3 clinical trials were selected to be in areas where the back-ground rate of disease was significant to mask the level of harm caused by vaccination so that it would not produce a statistically significant increase in life-threatening outcomes.
[6] Geier DA, King PG, Sykes LK, Geier MR. RotaTeq vaccine adverse events and policy considerations.
Med Sci Monit. 2008 Mar; 14(3): PH9-PH16.
The Current Recommended National Vaccination Programs For Other Vaccines
For discussions of other vaccines, the reader should study the prior applicable posts on the
CoMeD website: http://www.mercury-freedrugs.org/.
The Department only mandates vaccines licensed by the FDA and recommended for universal use by the Centers for Disease Control and Prevention’s (CDC) Advisory Committee on Immunization Practices, American Academy of Pediatrics, and other government and professional organizations.
While the preceding states what the NJ DHSS is doing vis-Ã -vis setting vaccination mandates, one should note that these actions are seemingly at odds with the NJ DHSS’ constitutional duty to only support the use of preventive medicines, including vaccines, that are proven to be effective in protecting the health of New Jersey citizens – a duty that the NJ DHSS and elected state officials, including the governor, have obviously failed to discharge in those instances where vaccines, which have been proven to be in-use ineffective, are being mandated for New Jersey’s children.
The Department, medical experts and practitioners believe that using available vaccines is highly preferable to control individual cases and outbreaks of vaccine-preventable diseases.
Here, it is unambiguous that the “Department, medical experts and practitioners believe” in what they are doing.
Unfortunately, public health policy should not be based on what the NJ DHSS, “medical experts and
practitioners believe”.
Public health policy should only be based on proof that the mandated vaccines are safe and in-use cost-effective when all the costs (including the costs of the adverse events associated with the vaccination program for them) are accurately assessed and included.
Thus, the NJ DHSS should:
· Abandon its unsupported belief-based policies, which have elevated vaccination to quasi-religious prominence, and
· Return to mandating only those vaccines that, based on in-use outcomes that include the costs
of the adverse reactions to a given vaccine or vaccine component and the need for “boosters” and their risks, are proven safe and at least in-use societally cost-effective for New Jersey’s children.
For many of these diseases, effective therapies are not available to treat sick individuals or are ineffective when given at the time of diagnosis.
Since the mandated childhood vaccines are supposedly intended to “protect against” “native” diseases by giving the children:
· “Weakened” strains of the disease (e.g., the live-virus measles, mumps, rubella, varicella,
rotavirus and influenza vaccines),
· Inactivated strains of the disease (e.g., the inactivated-virus polio and influenza vaccines),
· Manufactured components derived from superficial components of the disease organisms (e.g., the hepatitis B, hepatitis A, meningococcal, pneumo-coccal, and HPV vaccines), or
· The modified toxins (“toxoids”) or toxic components produced by the disease (e.g., the diphtheria, tetanus, and pertussis vaccines), the NJ DHSS’ broad “(f)or many diseases” generalization here is, at best, problematic.
Moreover, for those diseases for which the available preventive vaccines have not been shown to be
truly in-use cost-effective, it is wrong to waste public health dollars vaccinating our children because, at best, the vaccine only postpones the age at which our children contract the disease – a move that, for some of the contagious viral childhood diseases, only increases the probable severity of the disease as well as the costs to treat that disease in those instances where our children finally contract that disease.
In addition, the NJ DHSS’ statement ignores:
· The potential long-harm to our children’s developing immune system that injecting them with
vaccines containing not only the disease-related components but also other immune-system-reactive components may cause in some of those injected,and
· The long-term immune-system imbalance that occurs when our developing children are abnormally exposed to disease components by injection rather than by the “natural” exposure routes.
Furthermore, though it is clear that aluminum-based adjuvants may over-stimulate the macrophagic portion of the immune system and, for some, lead to autoimmune disorders and increased susceptibility to some chronic medical conditions, vaccine formulations containing such aluminum-based adjuvants (or other adjuvants that are known to be capable of causing immune-system dysfunction) continue to be approved when, by increasing the level of the disease-related antigens or making other formulation changes, it is, or should be, possible to make an effective vaccine without adding any adjuvant.
Finally, even though the vaccine makers have, as the U.S. Food and Drug Administration (FDA) and the vaccine makers have repeatedly admitted [7], failed to prove that the Thimerosal in Thimerosal-preserved vaccines is safe to the explicit “sufficiently nontoxic …” standard required by law in 21 C.F.R. §610.15(a) and such Thimerosal-preserved drugs are “deemed adulterated” drugs under 21 U.S.C. §351(a)(2)(B), the FDA and the vaccine makers have colluded to continue to approve and market these adulterated vaccines to the American public.
[7] Subcommittee on Human Rights and Wellness, Committee on Government Reform of the House of Representatives, “Mercury in Medicine Report – Taking Unnecessary Risks,” Washington, DC, as published in the Congressional Record, pgs. E1011- E1030, May 21, 2003.
Thus, the NJ DHSS’ decision to be an active party to the preceding collusive actions that expose our children to adulterated vaccines is particularly egregious in the case of the inactivated influenza
vaccines given to our children, where:
· Several publications, including: Geier DA, King PG, Geier MR. Influenza Vaccine: Review of
Effectiveness of the U.S. Immunization Program, and Policy Considerations, Journal of American
Physicians and Surgeons, 2006 Fall; 11: 69-74, have established that the influenza vaccines are
not in-use effective,
· Several studies have clearly established that Thimerosal is not an effective preservative in
any vaccine formulations that contains proteins or other sulfur-containing compounds,
· More than a dozen recent studies have established that injection of Thimerosal-preserved vaccines mercury poisons all of those injected to varying degrees,
· Most of the available doses of these inactivated influenza vaccines are still unnecessarily pre-
served with Thimerosal or contain a lower level of Thimerosal that has been proven to be toxic to
our children, and, worse,
· Studies have shown that daily supplementation with vitamin D-3 [8] apparently protects almost all
adults who take daily 2000-IU vitamin D-3 supplements during the influenza season against most all
strains of influenza while, at best, the current influenza vaccines only provide limited protection:
· For a few of the probable circulating influenza virus strains,
· To only some of those inoculated with them.
[8] Preventive dietary supplementation with vitamin D-3 (1,000 to 5,000 IU per day depending on the child’s or adult’s size, skin color, age, sun exposure, and overall health) has been proven to protect against contracting all strains of human influenza (while the vaccines, at best, only protect against a few strains of influenza) as well as to have other health benefits. [Note: The short-duration administration of high-doses of vitamin D-3 (ca. 50,000 IU per day) has also been shown to be effective in treating influenza cases. References: a. Cannell JJ, Hollis BW. Use of vitamin D in clinical practice. Altern Med Rev. 2008 Mar; 13(1): 6-20. b. Cannell JJ, Vieth R, Umhau JC, Holick MF, Grant WB, Madronich S, Garland CF, Giovannucci E. Epidemic influenza and vitamin D. Epidemiol Infect. 2006 Dec; 134(6): 1129-1140.]
Thus:
q IF the NJ DHSS were truly interested in preventing cases of influenza, as this statement asserts,
q THEN the NJ DHSS would be mandating that all children and the elderly be: a) appropriately tested for their level of vitamin D-3 and b), based on the test results, given an appropriate added daily dose of vitamin D-3 during the “flu” season, which the NJ DHSS would then supply for each child whose family could not afford the cost.
Though diseases still occur among the vaccinated, many more vaccine-preventable illnesses would occur if fewer persons were vaccinated.
Here, the NJ DHSS’ statement is a classic example of Orwellian doublespeak – a statement that begins with a muted truth, “diseases still occur among the vaccinated” – which embodies the reality that even multiple doses of the current vaccines do not provide either short-term or long-protection to all those who have been vaccinated against contracting these diseases when those fully (multiply) vaccinated with them are exposed to the actual disease – and connects that truth to an unclear statement, “many more vaccine-preventable illnesses would occur if fewer persons were vaccinated”, that falsely speaks of “more vaccine-preventable illnesses”.
However, for “vaccine-preventable illnesses”, the truth is:
· There could only be more cases of the illnesses that are claimed to be “vaccine-preventable” – not more “illnesses” (diseases) and
· The evidence is clear that the current USA recommended vaccination programs are, for whatever reasons, major causal factors for the current epidemics of chronic childhood medical conditions (e.g., asthma, severe food allergies and intolerances, type 2 diabetes, MS, certain leukemias, idiopathic dilated cardiomyopathy (IDCM), obesity, and neurodevelopmental and behavioral disorders) that were either rare or non-existent in our children before 1980.
The return and resurgence of vaccine-preventable diseases translates to significant economic and human costs related to time lost from work, medical care, and public health interventions.
Since, except for smallpox, the diseases of which the NJ DHSS speaks have not been reduced to laboratory specimens in every nation on the Earth, it is false to speak of the “return and resurgence of vaccine-preventable diseases” when all that is happening in the USA today, for those diseases where the vaccines seemingly provide effective “long-term” protection, are sporadic isolated outbreaks.
Moreover, except for the disease cases caused by herpes varicella zoster, most of these outbreaks in the USA are being triggered by exposure to recentlyinfected carriers coming from countries where, for whatever reason,
· The native disease is still endemic, or
· A recent live-virus-vaccine inoculee was sheddingthe vaccine’s live viral components and infected
the carrier just before their return to the USA, and
· Those exposed to these returning outbreak initiators:
· Were not vaccinated or,
· If vaccinated, were not adequately protected from contracting the disease by the vaccinations they received.
Second, the actual data for those diseases that the federal government and the NJ DHSS have labeled
“vaccine-preventable diseases” fails to show any nationwide disease resurgence for those few diseases for which the vaccines apparently are at least in-use societally cost-effective.
Third, the “economic and human costs” from the chronnic illnesses that the USA’s current vaccination programs have engendered are orders of magnitude greater than the short-term “economic and human costs” for the current levels of these acute childhood diseases (e.g., measles, mumps, rubella, diphtheria, tetanus, pertussis [whooping cough], rota virus and pneumonia).
The more exemptions we allow, the more difficult it will be to prevent vaccine-preventable diseases from affecting our communities.
The data presented by the Florida Department of Health along with the added information provided to address incidence levels and relative disease levels to address the “philosophical exemptions” issue (see Abbreviated Table “1”) does not support the NJ DHSS’ assertion that the “more exemptions we allow, the more difficult it will be to prevent vaccine-preventable diseases …” in today’s America in the 18 states, including the two most populous states, California and Texas, that have a “conscientious/philosophical exemption” option.
Hopefully, after reviewing this response and the referenced and cited publications, the NJ DHSS will not only drop its opposition to S1071 (and A260) and support the passage of this legislation, but also immediately revoke its mandates for influenza vaccination and, after reviewing the in-use effectiveness data for each of the currently mandated vaccine components, adjust the vaccination mandates to eliminate those other vaccines that are not in-use cost effective, starting with the current vaccines for herpes varicella zoster and rota virus.
Finally, after reviewing this response and all of the cited publications, if the NJ DHSS ignores any of the factual realities set forth in this review, then the people of the state of New Jersey should, in mass, rise up and demand that the New Jersey State Legislature pass and the Governor of the State of New Jersey sign into law a statute that:
q Repeals all vaccination mandates, and
q Simply states that:
All vaccination programs shall be voluntary, and
For those vaccines that are truly provably cost-effective:
· The state will provide the vaccine doses for all of it residents, vaccination programs where vaccination is provably societally cost-effective by truly independent investigators, and
· The NJ DHSS will initiate and support programs for all of the alternative disease-preventive measures, including:
· Better hygiene and sanitation,
· Dietary supplementation and healthy diets, which have been proven to reduce the risk of the initiation and spread of communicable-disease outbreaks,
· Setting the state’s recommendation for daily intake of vitamin D-3 to no less than 1,000 IU (25 micrograms), and
· Requiring:
o All school-related health-screening blood tests include an assessment of serum 25-hydroxy-vitamin D levels, and
o The healthcare provider to furnish or prescribe appropriate vitamin D-3 supplement levels when the measured level is below 45 ng per milliliter (mL) of serum with appropriate follow- ups to ensure that the child’s serum 25-hydroxy-vitamin D levels exceed 45 ng per mL.
Concluding Remarks
As a supporter of vaccines and vaccination programs that are reasonably safe and at least societally cost-effective, the author understands that the current New Jersey mandated vaccination programs have severe problems, which the NJ DHHS should immediately address.
Moreover, the NJ DHSS should address the problems with its vaccination program mandates in a manner that is:
· Truly public-health cost-effective and
· Free of the pernicious influence of those who directly and/or indirectly profit from:
· More vaccines and/or
· Expanding mandated vaccination programs that are intentionally blind to the rise in, and the costs of, the chronic childhood diseases, which the affected children and their families must bear for the rest of their lives.
If the NJ DHSS fails to act in the responsible manner being recommended, then the NJ DHSS should be prepared to be the proverbial “last straw” that will trigger a movement to repudiate all vaccination mandates because it will be knowingly ignoring the actual fiscal and physical harm that its scientifically indefensible vaccination mandates have caused, are causing and will cause.
Finally, in conjunction with this response, the NJ DHSS should carefully study the in-depth two-part review of the September 2008 report issued by the Florida Department of Health, and the report itself, as posted in the “Documents” section on the CoMeD Internet website: http://www.mercury-freedrugs.org (see footnote 5).
About the Reviewer:
Information about this reviewer, Paul G. King, PhD, can be found on the Internet at:
http://www.dr-king.com/.
This reviewer received no compensation for this review; and, other than his advocacies, has no
conflicts of interest.
*It is not medical advice and it does not require any specific action or actions.*
*While the information is thought to be accurate, no representation is made as to the accuracy of the information posted other than it is my best understanding of the facts on the date that this email and any attachments thereto are posted. Everyone should verify the accuracy of the information provided for themselves before acting on it.
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Dr. King http://www.dr-king.com
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