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RFK Junior
Couldn't be loonier
He hates vaccination
And fluoridization
And has frequently dined
On the roadkill he'd find

He's as dumb as a stump
With his head up his rump
So stupid a chump
That he's working for Trump
But I can explain:
A worm ate his brain

-JD

#OverthrowFascism #OverthrowTrump

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Net zero will be easier to achieve if, as a temporary stopgap in the transition to sustainable energy, we use the rendered fat of the fossil fuel plutocrats & the bankers, politicians, PR flacks, rightwing media hacks & corporate lawyers who serve them.

I'm just saying.

#NetZero #OverthrowFascism

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It's more sinister than a pep rally, the glorification of the "warrior ethos" is a declaration of the core fascist belief that war is good & the strong should wage war against the weak.

#WarriorEthos #OverthrowFascism #OverthrowTrumpery

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We will not #OverthrowFascism if we continue to color within the lines.

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We need to overthrow the insurrectionist usurper Trump's fascist regime, and we need to do it now.

#OverthrowFascism #OverthrowTrumpery

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Video

#overthrowfascism

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In WWII it was the united international goal of the Allies to kill as many fascists as possible as quickly as possible. Those were the good old days.

(Photo: my dad when he was a soldier in the Pacific in WWII)

#OverthrowFascism #OverthrowTrumpery

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I wrote a poem about it:

Into RFK's kids' mouths flowed swill.
With him in charge, things now bode ill.
While his cronies get wealthier,
No one gets healthier
With a health tsar who likes eating roadkill.
-JD

#RFKJr #limericks #overthrowfascism

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KILMAR ARMANDO ABREGO
GARCIA et al.,
Plaintiffs,
v.
KRISTI NOEM, Secretary of Homeland
Security, et al.,
Defendants.
Civil No.: 8:25-cv-00951-PX
DEFENDANTS’ RESPONSE TO
AMENDED PRELIMINARY
INJUNCTION ORDER
RESPONSE TO AMENDED PRELIMINARY INJUNCTION ORDER
Defendants are unable to provide the information requested by the Court on
the impracticable deadline set by the Court hours after the Supreme Court issued its
order. The Supreme Court’s order directs the Court to “clarify its directive, with due
regard for the deference owed to the Executive Branch in the conduct of foreign
affairs.” Abrego Garcia v. Noem, 25A949, 604 U. S. ____ (2025), Op. at 2. The Court
has not yet clarified what it means to “facilitate” or “effectuate” the return as it relates
to this case, as Plaintiff is in the custody of a foreign sovereign. Defendants request—
and require—the opportunity to brief that issue prior to being subject to any
compliance deadlines. Needless to say, Defendants were under no obligation to take
action under the court’s order while it was administratively stayed by the Chief
Justice of the United States. In light of the insufficient amount of time afforded to
review the Supreme Court’s Order following the dissolution of the administrative stay

KILMAR ARMANDO ABREGO GARCIA et al., Plaintiffs, v. KRISTI NOEM, Secretary of Homeland Security, et al., Defendants. Civil No.: 8:25-cv-00951-PX DEFENDANTS’ RESPONSE TO AMENDED PRELIMINARY INJUNCTION ORDER RESPONSE TO AMENDED PRELIMINARY INJUNCTION ORDER Defendants are unable to provide the information requested by the Court on the impracticable deadline set by the Court hours after the Supreme Court issued its order. The Supreme Court’s order directs the Court to “clarify its directive, with due regard for the deference owed to the Executive Branch in the conduct of foreign affairs.” Abrego Garcia v. Noem, 25A949, 604 U. S. ____ (2025), Op. at 2. The Court has not yet clarified what it means to “facilitate” or “effectuate” the return as it relates to this case, as Plaintiff is in the custody of a foreign sovereign. Defendants request— and require—the opportunity to brief that issue prior to being subject to any compliance deadlines. Needless to say, Defendants were under no obligation to take action under the court’s order while it was administratively stayed by the Chief Justice of the United States. In light of the insufficient amount of time afforded to review the Supreme Court’s Order following the dissolution of the administrative stay

in this case, Defendants are not in a position where they “can” share any information
requested by the Court. That is the reality. Defendants received the order late in the
evening last night. They are reviewing the order and actively evaluating next steps.
It is unreasonable and impracticable for Defendants to reveal potential steps before
those steps are reviewed, agreed upon, and vetted. Foreign affairs cannot operate on
judicial timelines, in part because it involves sensitive country-specific considerations
wholly inappropriate for judicial review.
Respectfully Submitted,
Yaakov M. Roth
Acting Assistant Attorney General
Civil Division
Drew C. Ensign
Deputy Assistant Attorney General
Office of Immigration Litigation
950 Pennsylvania Avenue
Washington, DC 20530
Phone: (202) 514-2000
Email: drew.c.ensign@usdoj.gov
Ernesto Molina
Deputy Director
Office of Immigration Litigation
Counsel for Defendants
Tarra DeShields (Bar No. 07749)
Assistant United States Attorney
U.S. Attorney’s Office, District of MD
36 S. Charles Street, Fourth Floor
 Baltimore, MD 21201

in this case, Defendants are not in a position where they “can” share any information requested by the Court. That is the reality. Defendants received the order late in the evening last night. They are reviewing the order and actively evaluating next steps. It is unreasonable and impracticable for Defendants to reveal potential steps before those steps are reviewed, agreed upon, and vetted. Foreign affairs cannot operate on judicial timelines, in part because it involves sensitive country-specific considerations wholly inappropriate for judicial review. Respectfully Submitted, Yaakov M. Roth Acting Assistant Attorney General Civil Division Drew C. Ensign Deputy Assistant Attorney General Office of Immigration Litigation 950 Pennsylvania Avenue Washington, DC 20530 Phone: (202) 514-2000 Email: drew.c.ensign@usdoj.gov Ernesto Molina Deputy Director Office of Immigration Litigation Counsel for Defendants Tarra DeShields (Bar No. 07749) Assistant United States Attorney U.S. Attorney’s Office, District of MD 36 S. Charles Street, Fourth Floor Baltimore, MD 21201

USA government telling Judge Xinis and the judiciary it is overstepping and to fuck off until the Executive decides its ready.

Meanwhile, Garcia remains in an El Salvadoran concentration camp.

storage.courtlistener.com/recap/gov.us...

Fascist fuckery.

#ImpeachThemAll
#OverthrowFascism

#News

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what country do we live in??!! What is this dystopian nightmare?! #fuckisreal #isrehell #revolt #resist #fuckthegovernment #overthrowfascism

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Schumer Must Resign! Instead of fighting fascism, he voted to fund this fascist regime and let the destruction and devastation continue!

I just posted on Medium a variation on a letter to my senators (and I'm going to call a bunch of senators in a moment):
sewigget503.medium.com/schumer-must...

#fascism #antifascist #resistance #ChuckSchumer #DoNotObeyInAdvance #overthrowfascism

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Preview
a grim reaper with a skull on his head and a hood ALT: a grim reaper with a skull on his head and a hood

So I guess #DOGE gutting #SocialSecurity, #Medicare, #VABenefits & more is their updated version of #SarahPalin and her #Death Panels?

#NoKings #Overthrowfascism #Trumpunfit

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