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AFFIDAVIT OF LTC. THERESA LONG M.D. IN SUPPORT OF A MOTION FOR A
PRELIMINARY INJUNCTION ORDER
I, Lieutenant Colonel Theresa Long, MD, MPH, FS being duly sworn, depose and state as
follows:
1. I make this affidavit, as a whistle blower under the Military Whistleblower Protection Act,
Title 10 U.S.C. § 1034, in support of the above referenced MOTION as expert testimony in
support thereof.
2. The expert opinions expressed here are my own and arrived at from my persons, professional
and educational experiences taken in context, where appropriate, by scientific data, publications,
treatises, opinions, documents, reports and other information relevant to the subject matter and
are not necessarily those of the Army or Department of Defense.
Experience & Credentials
3. I am competent to testify to the facts and matters set forth herein. A true and accurate copy of
my curriculum vitae is attached hereto as Exhibit A.
4. After receiving a bachelor’s degree from the University of Texas Austin, completed my
medical degree from the University of Texas Health Science Center at Houston Medical School
in 2008. I served as a Field Surgeon for ten years and went on to complete a residency in
Aerospace and Occupational Medicine at the United States Army School of Aviation Medicine,
Fort Rucker, AL. I hold a Master’s in Public Health, and I have been trained by the Combat
Readiness Center at Ft. Rucker as an Aviation Safety Officer. Additionally, I have trained in the
Medical Management of Chemical and Biological Causalities at Fort Detrick and USAMIIRD.
5. I am board certified in flight Aerospace Medicine and board eligible in Occupational
Medicine.
6. I am currently serving as the Brigade Surgeon for the 1st Aviation Brigade Ft. Rucker,
Alabama and am responsible for certifying the health, mental and physical ability, and readiness
for all nearly 4,000 individuals on flight status on this post.
7. My appended curriculum vitae further demonstrates my academic and scientific achievements
by me over the past thirteen years.
8. Prior to the outset of the pandemic, I received specialized military training from Infectious
Disease doctors from the Army, Navy and Air Force on emerging infectious disease threats,
FEMA training, Emergency preparedness training, Medical effects of Ionizing Radiation, OSHA,
Aerospace Toxicology, Epidemiology, Biostatistics, medical research and disaster planning.
More recently I have functioned as a medical and scientific advisor to an Aviation training
Brigade seeking to identify risk mitigation strategies, and bio statistical analysis of SARS- Cov-2
(“Covid 19”) infections in both vaccinated and unvaccinated Soldiers. In so doing, I have
identified, diagnosed and treated Covid 19 pathogenic infections. I have observed vaccine
adverse events following the administration of EUA vaccines, and followed the success of
Soldiers who obtained various Covid 19 therapies outside the military. The majority of the
service members within the DOD population are young and in good physical condition. Military
aviators are a subset of the military population that has to meet the most stringent medical
standards to be on flight status. The population of student pilots I take care of are primarily in
their 20s-30s, males and in excellent physical condition. The risk of serious illness or death in
this population from SARs-CoV-2 is minimal, with a survival rate of 99.997%.
9. In observing, studying and analyzing all the available data, information, samples, experiences,
histories and results of these treatments and inoculations provided, I have formulated a
professional opinion, which requires me to report those findings to superiors in the chain of
command and colleagues in the military. I have done so with mixed results in terms of
acceptance, rejection and threats of punishment for so sharing.
....
36. I personally observed the most physically fit female Soldier I have seen in over 20 years in
the Army, go from Colligate level athlete training for Ranger School, to being physically
debilitated with cardiac problems, newly diagnosed pituitary brain tumor, thyroid dysfunction
within weeks of getting vaccinated. Several military physicians have shared with me their
firsthand experience with a significant increase in the number of young Soldiers with migraines,
menstrual irregularities, cancer, suspected myocarditis and reporting cardiac symptoms after
vaccination. Numerous Soldiers and DOD civilians have told me of how they were sick, bedridden, debilitated, and unable to work for days to weeks after vaccination. I have also recently
reviewed three flight crew members’ medical records, all of which presented with both
significant and aggressive systemic health issues. Today I received word of one fatality and two
ICU cases on Fort Hood; the deceased was an Army pilot who could have been flying at the
time. All three pulmonary embolism events happened within 48 hours of their vaccination. I
cannot attribute this result to anything other than the Covid 19 vaccines as the source of these
events. Each person was in top physical condition before the inoculation and each suffered the
event within 2 days post vaccination. Correlation by itself does not equal causation, however,
significant causal patterns do exist that raise correlation into a probable cause; and the burden to
prove otherwise falls on the authorities such as the CDC, FDA, and pharmaceutical
manufacturers. I find the illnesses, injuries and fatalities observed to be the proximate and causal
effect of the Covid 19 vaccinations.
38. I can report of knowing over fifteen military physicians and healthcare providers who have
shared experiences of having their safety concerns ignored and being ostracized for expressing or
reporting safety concerns as they relate to COVID vaccinations. The politicization of SARsCoV-2, treatments and vaccination strategies have completely compromised long-standing safety
mechanisms, open and honest dialogue, and the trust of our service members in their health
system and healthcare providers.
39. The subject matter of this Motion for a Preliminary Injunction and its devastating effects on
members of the military compel me to conclude and conduct accordingly as follows:
1. a) None of the ordered Emergency Use Covid 19 vaccines can or will provide better
immunity than an infection-recovered person;
2. b) All three of the EUA Covid 19 vaccines (Comirnaty is not available), in the age group
and fitness level of my patients, are more risky, harmful and dangerous than having no
vaccine at all, whether a person is Covid recovered or facing a Covid 19 infection;
3. c) Direct evidence exists and suggests that all persons who have received a Covid 19
Vaccine are damaged in their cardiovascular system in an irreparable and irrevocable
manner;
4. d) Due to the Spike protein production that is engineered into the user’s genome, each
such recipient of the Covid 19 Vaccines already has micro clots in their cardiovascular
system that present a danger to their health and safety;
5. e) That such micro clots over time will become bigger clots by the very nature of the
shape and composition of the Spike proteins being produced and said proteins are found
throughout the user’s body, including the brain;
5. f) That at the initial stage of this damage the micro clots can only be discovered by a
biopsy or Magnetic Resonance Image (“MRI”) scan;
6. g) That due to the fact that there is no functional myocardial screening currently being
conducted, it is my professional opinion that substantial foreseen risks currently exist,
which require proper screening of all flight crews.
7. h) That, by virtue of their occupations, said flight crews present extraordinary risks to
themselves and others given the equipment they operate, munitions carried thereon and
areas of operation in close proximity to populated areas.
8. i) That, without any current screening procedures in place, including any Aero Message
(flight surgeon notice) relating to this demonstrable and identifiable risk, I must and will
therefore ground all active flight personnel who received the vaccinations until such time
as the causation of these serious systemic health risks can be more fully and adequately
assessed.
9. j) That, based on the DOD’s own protocols and studies, the only two valuable
methodologies to adequately assess this risk are through MRI imaging or cardio biopsy
which must be carried-out.
10. k) That, in accordance with the foregoing, I hereby recommend to the Secretary of
Defense that all pilots, crew and flight personnel in the military service who required
hospitalization from injection or received any Covid 19 vaccination be grounded
similarly for further dispositive assessment.
11. l) That this Court should grant an immediate injunction to stop the further harm to all
military personnel to protect the health and safety of our active duty, reservists and
National Guard troops.
40. I am competent to opine on the medical and flight readiness aspects of these allegations
based upon my above-referenced education and professional medical, aviation and military
experience and the basis of my opinions are formed as a result of my education, practice, training
and experience.
41 As an Aerospace Medicine Specialist, and flight surgeon responsible for the lives of our
Army pilots, I confirm and attest to the accuracy and truthfulness of my foregoing statements,
analysis and attachments or references hereto:
_______________/S/__________________ LTC Theresa Long, MD, MPH, FS
PRELIMINARY INJUNCTION ORDER
I, Lieutenant Colonel Theresa Long, MD, MPH, FS being duly sworn, depose and state as
follows:
1. I make this affidavit, as a whistle blower under the Military Whistleblower Protection Act,
Title 10 U.S.C. § 1034, in support of the above referenced MOTION as expert testimony in
support thereof.
2. The expert opinions expressed here are my own and arrived at from my persons, professional
and educational experiences taken in context, where appropriate, by scientific data, publications,
treatises, opinions, documents, reports and other information relevant to the subject matter and
are not necessarily those of the Army or Department of Defense.
Experience & Credentials
3. I am competent to testify to the facts and matters set forth herein. A true and accurate copy of
my curriculum vitae is attached hereto as Exhibit A.
4. After receiving a bachelor’s degree from the University of Texas Austin, completed my
medical degree from the University of Texas Health Science Center at Houston Medical School
in 2008. I served as a Field Surgeon for ten years and went on to complete a residency in
Aerospace and Occupational Medicine at the United States Army School of Aviation Medicine,
Fort Rucker, AL. I hold a Master’s in Public Health, and I have been trained by the Combat
Readiness Center at Ft. Rucker as an Aviation Safety Officer. Additionally, I have trained in the
Medical Management of Chemical and Biological Causalities at Fort Detrick and USAMIIRD.
5. I am board certified in flight Aerospace Medicine and board eligible in Occupational
Medicine.
6. I am currently serving as the Brigade Surgeon for the 1st Aviation Brigade Ft. Rucker,
Alabama and am responsible for certifying the health, mental and physical ability, and readiness
for all nearly 4,000 individuals on flight status on this post.
7. My appended curriculum vitae further demonstrates my academic and scientific achievements
by me over the past thirteen years.
8. Prior to the outset of the pandemic, I received specialized military training from Infectious
Disease doctors from the Army, Navy and Air Force on emerging infectious disease threats,
FEMA training, Emergency preparedness training, Medical effects of Ionizing Radiation, OSHA,
Aerospace Toxicology, Epidemiology, Biostatistics, medical research and disaster planning.
More recently I have functioned as a medical and scientific advisor to an Aviation training
Brigade seeking to identify risk mitigation strategies, and bio statistical analysis of SARS- Cov-2
(“Covid 19”) infections in both vaccinated and unvaccinated Soldiers. In so doing, I have
identified, diagnosed and treated Covid 19 pathogenic infections. I have observed vaccine
adverse events following the administration of EUA vaccines, and followed the success of
Soldiers who obtained various Covid 19 therapies outside the military. The majority of the
service members within the DOD population are young and in good physical condition. Military
aviators are a subset of the military population that has to meet the most stringent medical
standards to be on flight status. The population of student pilots I take care of are primarily in
their 20s-30s, males and in excellent physical condition. The risk of serious illness or death in
this population from SARs-CoV-2 is minimal, with a survival rate of 99.997%.
9. In observing, studying and analyzing all the available data, information, samples, experiences,
histories and results of these treatments and inoculations provided, I have formulated a
professional opinion, which requires me to report those findings to superiors in the chain of
command and colleagues in the military. I have done so with mixed results in terms of
acceptance, rejection and threats of punishment for so sharing.
....
36. I personally observed the most physically fit female Soldier I have seen in over 20 years in
the Army, go from Colligate level athlete training for Ranger School, to being physically
debilitated with cardiac problems, newly diagnosed pituitary brain tumor, thyroid dysfunction
within weeks of getting vaccinated. Several military physicians have shared with me their
firsthand experience with a significant increase in the number of young Soldiers with migraines,
menstrual irregularities, cancer, suspected myocarditis and reporting cardiac symptoms after
vaccination. Numerous Soldiers and DOD civilians have told me of how they were sick, bedridden, debilitated, and unable to work for days to weeks after vaccination. I have also recently
reviewed three flight crew members’ medical records, all of which presented with both
significant and aggressive systemic health issues. Today I received word of one fatality and two
ICU cases on Fort Hood; the deceased was an Army pilot who could have been flying at the
time. All three pulmonary embolism events happened within 48 hours of their vaccination. I
cannot attribute this result to anything other than the Covid 19 vaccines as the source of these
events. Each person was in top physical condition before the inoculation and each suffered the
event within 2 days post vaccination. Correlation by itself does not equal causation, however,
significant causal patterns do exist that raise correlation into a probable cause; and the burden to
prove otherwise falls on the authorities such as the CDC, FDA, and pharmaceutical
manufacturers. I find the illnesses, injuries and fatalities observed to be the proximate and causal
effect of the Covid 19 vaccinations.
38. I can report of knowing over fifteen military physicians and healthcare providers who have
shared experiences of having their safety concerns ignored and being ostracized for expressing or
reporting safety concerns as they relate to COVID vaccinations. The politicization of SARsCoV-2, treatments and vaccination strategies have completely compromised long-standing safety
mechanisms, open and honest dialogue, and the trust of our service members in their health
system and healthcare providers.
39. The subject matter of this Motion for a Preliminary Injunction and its devastating effects on
members of the military compel me to conclude and conduct accordingly as follows:
1. a) None of the ordered Emergency Use Covid 19 vaccines can or will provide better
immunity than an infection-recovered person;
2. b) All three of the EUA Covid 19 vaccines (Comirnaty is not available), in the age group
and fitness level of my patients, are more risky, harmful and dangerous than having no
vaccine at all, whether a person is Covid recovered or facing a Covid 19 infection;
3. c) Direct evidence exists and suggests that all persons who have received a Covid 19
Vaccine are damaged in their cardiovascular system in an irreparable and irrevocable
manner;
4. d) Due to the Spike protein production that is engineered into the user’s genome, each
such recipient of the Covid 19 Vaccines already has micro clots in their cardiovascular
system that present a danger to their health and safety;
5. e) That such micro clots over time will become bigger clots by the very nature of the
shape and composition of the Spike proteins being produced and said proteins are found
throughout the user’s body, including the brain;
5. f) That at the initial stage of this damage the micro clots can only be discovered by a
biopsy or Magnetic Resonance Image (“MRI”) scan;
6. g) That due to the fact that there is no functional myocardial screening currently being
conducted, it is my professional opinion that substantial foreseen risks currently exist,
which require proper screening of all flight crews.
7. h) That, by virtue of their occupations, said flight crews present extraordinary risks to
themselves and others given the equipment they operate, munitions carried thereon and
areas of operation in close proximity to populated areas.
8. i) That, without any current screening procedures in place, including any Aero Message
(flight surgeon notice) relating to this demonstrable and identifiable risk, I must and will
therefore ground all active flight personnel who received the vaccinations until such time
as the causation of these serious systemic health risks can be more fully and adequately
assessed.
9. j) That, based on the DOD’s own protocols and studies, the only two valuable
methodologies to adequately assess this risk are through MRI imaging or cardio biopsy
which must be carried-out.
10. k) That, in accordance with the foregoing, I hereby recommend to the Secretary of
Defense that all pilots, crew and flight personnel in the military service who required
hospitalization from injection or received any Covid 19 vaccination be grounded
similarly for further dispositive assessment.
11. l) That this Court should grant an immediate injunction to stop the further harm to all
military personnel to protect the health and safety of our active duty, reservists and
National Guard troops.
40. I am competent to opine on the medical and flight readiness aspects of these allegations
based upon my above-referenced education and professional medical, aviation and military
experience and the basis of my opinions are formed as a result of my education, practice, training
and experience.
41 As an Aerospace Medicine Specialist, and flight surgeon responsible for the lives of our
Army pilots, I confirm and attest to the accuracy and truthfulness of my foregoing statements,
analysis and attachments or references hereto:
_______________/S/__________________ LTC Theresa Long, MD, MPH, FS