@RandPaul It would help to pass “The fourth amendment is not for sale act” we’d have them buy the balls then because they’re all selling our fourth amendment rights
More foreign men seen emerging from New York Man Holes…
Other incidents that have occurred resulted in arrests, but charges were not pursued. That is very suspect.
“City officials say they may just be searching for underground valuables.” Yeah, that’s bullshit.
I’m sure they’re not planting any bombs or anything like that… they look like operators.
https://t.co/nURCyFBOox
Treasury promised to sever every economic lifeline Tehran has left and finally end the threat of the Iranian regime. We also warned that Iran’s enablers cannot continue to enjoy access to the U.S. dollar and the global financial system. Banque Misr UAE decided to find out the hard way, and today, we are taking the first step in holding it accountable for its continued, egregious support of the Iranian regime.
Taxpayer-funded programs aren't piggy banks for fraudsters.
That's why @VP Vance's Anti-Fraud Task Force and @DrOzCMS have taken bold action to BLOCK $1.6 BILLION in potentially improper Medicare laboratory payments. 🇺🇸
@AutistDivision finCEN excluded “Egypt based” from the definition of Banquer Misr UAE, in this proposal document published yesterday 08/28/2026
https://t.co/JWt9jAUNrT
I have highlighted a few things here:
>”Banque Misr UAE not only presents a significant money laundering risk for Iranian shadow banking. Because of the nature and extent of illicit funds transiting Banque Misr UAE, any special measure intended to mandate additional information collection would likely be ineffective and insufficient to address the risks posed by Banque Misr UAE’s continued access to the U.S. financial system” (Page 15)
>”FinCEN determined that imposing any condition would not be an effective measure to safeguard the U.S. financial system. FinCEN assesses that the estimated USD 1.8 billion worth of potential Iranian shadow banking funds laundered through Banque Misr UAE outweighs the value in providing conditioned access to the U.S. financial system for any purportedly legitimate business activity. Conditions on the opening or maintaining of correspondent accounts would likely be inefficient or, given Banque Misr UAE’s inadequate AML/CFT controls, insufficient to prevent illicit financial flows through the U.S. financial system.” (Page 17)
>”Banque Misr UAE. The term “Banque Misr UAE” means all five branches of Banque Misr located in the United Arab Emirates as well as any other offices, branches, affiliates, or subsidiaries of Banque Misr located in the United Arab Emirates. Egypt-based Banque Misr, and its offices, branches, affiliates, and operations in countries other than the United Arab Emirates are expressly excluded from the definition of “Banque Misr UAE”.” (Page 35)
https://t.co/x0N29fAa6Y
>”Banque Misr UAE not only presents a significant money laundering risk for Iranian shadow banking. Because of the nature and extent of illicit funds transiting Banque Misr UAE, any special measure intended to mandate additional information collection would likely be ineffective and insufficient to address the risks posed by Banque Misr UAE’s continued access to the U.S. financial system” (Page 15)
>”FinCEN determined that imposing any condition would not be an effective measure to safeguard the U.S. financial system. FinCEN assesses that the estimated USD 1.8 billion worth of potential Iranian shadow banking funds laundered through Banque Misr UAE outweighs the value in providing conditioned access to the U.S. financial system for any purportedly legitimate business activity. Conditions on the opening or maintaining of correspondent accounts would likely be inefficient or, given Banque Misr UAE’s inadequate AML/CFT controls, insufficient to prevent illicit financial flows through the U.S. financial system.” (Page 17)
>”Banque Misr UAE. The term “Banque Misr UAE” means all five branches of Banque Misr located in the United Arab Emirates as well as any other offices, branches, affiliates, or subsidiaries of Banque Misr located in the United Arab Emirates. Egypt-based Banque Misr, and its offices, branches, affiliates, and operations in countries other than the United Arab Emirates are expressly excluded from the definition of “Banque Misr UAE”.” (Page 35)
https://t.co/x0N29fAa6Y
Alpa Trading FZCO. Alpa Trading FZCO, a UAE-based front company operated
by Iranian financial facilitators, knowingly facilitated illicit flows of funds, including for the
purchase of products on behalf of Iran’s Ministry of Defense and Armed Forces Logistics
(MODAFL) and the Islamic Revolutionary Guard Corps (IRGC), both of which have been
designated as Specially Designated Global Terrorists (SDGTs) by OFAC.” “Alpa Trading FZCO was designated as an SDGT pursuant to E.O. 13224” (Page 9)
“Naba Alzaki Raw Materials Trading LLC. Naba Alzaki Raw Materials Trading LLC, a UAE-based front company, has been used by Iran-based Mohsen Khandan and Partners General Partnership Company (Khandan Exchange) as part of Iran’s shadow banking network. In July 2026, OFAC designated Naba Alzaki Raw Materials Trading LLC pursuant to E.O. 13902, for operating in the financial sector of the Iranian economy” (Page 10)
“Midas Oil Trading DMCC. According to press reporting, UAE-based Midas Oil Trading DMCC is a key money laundering entity on behalf of Iranian Supreme Leader Mojtaba
Khamenei.” (Page 10)
https://t.co/x0N29fAa6Y
Alpa Trading FZCO. Alpa Trading FZCO, a UAE-based front company operated
by Iranian financial facilitators, knowingly facilitated illicit flows of funds, including for the
purchase of products on behalf of Iran’s Ministry of Defense and Armed Forces Logistics
(MODAFL) and the Islamic Revolutionary Guard Corps (IRGC), both of which have been
designated as Specially Designated Global Terrorists (SDGTs) by OFAC.” “Alpa Trading FZCO was designated as an SDGT pursuant to E.O. 13224” (Page 9)
“Naba Alzaki Raw Materials Trading LLC. Naba Alzaki Raw Materials Trading LLC, a UAE-based front company, has been used by Iran-based Mohsen Khandan and Partners General Partnership Company (Khandan Exchange) as part of Iran’s shadow banking network. In July 2026, OFAC designated Naba Alzaki Raw Materials Trading LLC pursuant to E.O. 13902, for operating in the financial sector of the Iranian economy” (Page 10)
“Midas Oil Trading DMCC. According to press reporting, UAE-based Midas Oil Trading DMCC is a key money laundering entity on behalf of Iranian Supreme Leader Mojtaba
Khamenei.” (Page 10)
https://t.co/x0N29fAa6Y
>”FinCEN identified 103 potential Iranian shadow banking front companies” (Page 9)
>”Banque Misr UAE consists of five UAE-based branches of the Arab Republic of Egypt (Egypt)-based state-owned commercial bank, Banque Misr”(Page 5-6)
>”Banque Misr UAE serves as a critical access node to the U.S. dollar (USD) for Iranian illicit finance”(Page 6)
>”These shadow banking networks consist of Iran-based exchange houses and front companies”(Page 7)
>”Front companies are predominantly registered in third-country jurisdictions such as the UAE and the Special Administrative Region of Hong Kong (Hong Kong) to obscure beneficial ownership, disguise the origin of funds, and enable movement of proceeds linked to Iranian sanctions evasion and other illicit activity”(Page 7)
>”Banque Misr UAE operates under UAE banking regulations
and is regulated by the Central Bank of the UAE (CBUAE)” (Page 8)
https://t.co/x0N29fAa6Y
>”FinCEN identified 103 potential Iranian shadow banking front companies” (Page 9)
>”Banque Misr UAE consists of five UAE-based branches of the Arab Republic of Egypt (Egypt)-based state-owned commercial bank, Banque Misr”(Page 5-6)
>”Banque Misr UAE serves as a critical access node to the U.S. dollar (USD) for Iranian illicit finance”(Page 6)
>”These shadow banking networks consist of Iran-based exchange houses and front companies”(Page 7)
>”Front companies are predominantly registered in third-country jurisdictions such as the UAE and the Special Administrative Region of Hong Kong (Hong Kong) to obscure beneficial ownership, disguise the origin of funds, and enable movement of proceeds linked to Iranian sanctions evasion and other illicit activity”(Page 7)
>”Banque Misr UAE operates under UAE banking regulations
and is regulated by the Central Bank of the UAE (CBUAE)” (Page 8)
https://t.co/x0N29fAa6Y
Treasury promised to sever every economic lifeline Tehran has left and finally end the threat of the Iranian regime. We also warned that Iran’s enablers cannot continue to enjoy access to the U.S. dollar and the global financial system. Banque Misr UAE decided to find out the hard way, and today, we are taking the first step in holding it accountable for its continued, egregious support of the Iranian regime.
@AutistDivision That first one hasn’t come through my feed. I am just now seeing this second one and it’s already been 5 hours since you posted it. I definitely have the will and I love to dig.
>”We find that the persistence of climate shocks could have a substantial impact on food inflation, making it challenging for the central bank to maintain price stability. This could lead to higher interest rates” (Page 3)
>”The Middle East and Central Asia (ME&CA) region is highly vulnerable to climate shocks, given its arid and semi-arid climate, along with high dependence on agriculture and natural resources “ (Page 3)
>”To conduct our empirical analysis, we combine country-level data from Haver Analytics, global-level variables from Bloomberg, and other sources including IMF, World Bank and New-York Federal Reserve data. Our dataset covers 18 ME&CA countries over the period 2013Q1-2022Q2. Climate shocks are constructed using the Climate Change Knowledge Portal (CCKP) of the World Bank.” ( Page 5)
>”The international community could help finance such project through environment-friendly facilities such as the Resilience and Sustainability Facility (RSF) of the IMF” (Page 5)
>”The RSF provides affordable long-term financing to countries undertaking reforms to reduce risks to prospective balance of
payments stability, including those related to climate change and pandemic preparedness”(Page 5)
https://t.co/u2fVIfBAGM
@AutistDivision There’s definitely appears to be an eye in the sky, call me crazy but it looks like there’s an actual pupil moving.
The green light appears every four seconds or three seconds? Not sure what the importance of that is though or if it���s important.
I have applied to whatever best fit what I do on X with researching to connect dots and solve puzzles. I wanted to be close to my grandmothers grave in WPB, FL and near a good school for my 16 year to attend a school for marine biology. I leave it in the Lords hands. If I meant to work with the SpaceForce he will make it so.
Thanks for the link.
@realDonaldTrump It’s the worst. Everytime I share information with a brainwashed friend she goes straight to Google and comes back and says that’s not true and provide a screenshot of what Google says. Oh my goodness, it’s ridiculous.
Just putting this here. Might be useful later.
On November 2017, SolarWinds can now connect to Amazon Web Services and on January 8, 2021 SolarWinds hired former CISA Director Chris Krebs.
SolarWinds Corporation is an American company that develops software for businesses to help manage their networks, systems, and information technology infrastructure. It is headquartered in Austin, Texas, with sales and product development offices in a number of locations in the United States and several other countries