Case O – International Judicial Review Unit O

《2019-2024: Systematic Intervention in Digital Life During the COVID-19 Pandemic — A Witness Family Evidence Dossier》

Concerning Abnormalities in Internet Platforms, Financial Accounts, and Communication Accounts During the COVID-19 Pandemic (2019)

Summary Statement

Witness Statement: Upon reviewing the entirety of her life experiences during the period relevant to this case, the witness states that the series of events she experienced—both on a psychological and physical level—were, in their overall narrative structure, continuously guided and embedded into religious and cultural storytelling frameworks. These frameworks correspond to ideological narrative patterns found across different religious and cultural traditions, including themes of “suffering,” “being chosen,” “being misunderstood,” “betrayal,” “public suffering,” “execution,” or “rebirth.”

The witness understands that such patterns constitute a form of publicly staged suffering, through which she was assigned the role of a “carrier” and given specific symbolic labels.

The witness further states that, as these narratives were continuously reinforced, certain participating parties obtained long-term economic benefits through brand operations, financial products, and project promotion. The witness observes that these activities exhibited clear stages and objectives. She also notes that elements of her personal life were incorporated into dissemination systems, including the use of her pets’ names (cats and dogs) and related labels within promotional contexts involving cryptocurrency and Bitcoin wallets. The timing of the development and dissemination of so-called “cat coins” and “dog coins” shows a high degree of temporal overlap with the relevant historical context.

The witness declares that she will present a complete and continuous chronological account of the above events to ensure the integrity of the factual record and to prevent the omission of any critical elements.

Witness Statement

Since the early stage of the COVID-19 outbreak in 2019, due to one of the witness’s children suffering from severe asthma, the witness and her family remained in long-term home isolation throughout the pandemic and scarcely went outside for several years. Under these circumstances, the family’s daily life, work, communication, and basic social activities were highly dependent on the internet and mobile devices.

The witness states that during the COVID-19 pandemic, in order to avoid infection, she refrained from dining at any restaurants for several consecutive years and, to date, has never contracted COVID-19.

The witness further states that during this period, her mobile phone, internet accounts, platform accounts, and related communications were placed—without her consent and under abnormal conditions—into an environment of semi-public display, dissemination, monitoring, and utilization. She believes that her personal and family life was continuously subjected to an abnormal state of online exposure and promotion.

During this process, the witness experienced abnormal receipt records, damaged credit records, and interference with bank transfers and account usage. These circumstances correspond with records from Chinese internet platforms, bank transfer records, and mobile and platform account data in the witness’s possession. Together, they constitute important corroborative materials demonstrating the continuous abnormal interference and account damage experienced by the witness during the pandemic period. The nature of these matters remains subject to lawful verification by judicial authorities.

The witness declares that the above statements are a truthful account of her personal experiences, account anomalies, and related evidence, based on the objective circumstances of long-term home isolation and complete reliance on internet-based living during the pandemic. The relevant facts are subject to further verification by judicial authorities.

Account Deactivation and Resulting Damage

Due to the forced deactivation of the witness’s primary mobile phone number, all accounts associated with that number subsequently became inaccessible, blocked, or functionally restricted, resulting in sustained damage. Affected items include: mobile phone numbers, Apple IDs, bank accounts, transfer records, company registration information, and various Chinese platform accounts.

Between 2013 and 2023, the witness’s primary phone numbers and email accounts were bound to and associated with the following platforms and financial institutions. These accounts stored and involved substantial critical data, including but not limited to: transfer records, historical photographs, photographs of her children, IP address records related to abnormal online activities, and abnormal behavioral leads that the witness believes may be connected to certain financial institutions.

Associated platforms and institutions include:

• North American Apple ID

• China Apple ID

• Alipay (Jiebei, Huabei, backup funds, 360 Loan, etc.)

• Taobao, JD Credit products

• WeChat / WeCom / Lianzhong Bank / Xiaoe Loan

• Douyin, Kuaishou, Xiaohongshu, Bilibili

• ICBC, E-Life, China CITIC Bank

• China Unicom

• All major Chinese online lending platforms

Associated numbers and account information (original records, partially redacted):

• Primary phone number: 647–0505

• Associated phone number: 647–1515

• China mobile number: 186–3053

• Email account: [email protected]

Email account: [email protected]

• PRC ID number: 2201043125

• Kabir associated number: 437–0671

• Apple ID: [email protected] (containing all PUA-related evidence)

These accounts and identifiers together constitute a complete timeline and evidentiary network. Their invalidation, blocking, and abnormal status caused substantial obstacles to case organization and factual reconstruction.

Canadian Mobile Numbers

647–0505*

Rogers Telecommunications account.

In 2023, this number was forcibly recorded as having an extremely high outstanding balance without clear justification, with monthly charges reaching approximately CAD 10,000, rendering the account inaccessible. Subsequently, all accounts bound to this number—including but not limited to Alipay, Apple ID, Douyin, Kuaishou, and other platforms—became unusable. Relevant documentation and credit reports have been included in the evidence materials for the August 8, 2018 case.

647–1515*

Lucky Telecommunications account.

During 2023, the witness discovered that this SIM card was, without her authorization, abnormally transferred and linked to the status of a Chinese telecommunications entity. The precise cause and responsible party remain unclear, resulting in loss of control and inability to use the number.

Email accounts:

[email protected] — password unlawfully changed, unrecoverable

[email protected] — password changed, unrecoverable

These phone numbers and email accounts were the witness’s primary contact methods in Canada for registering and managing major platforms and financial accounts. Due to account failure and inability to log in, the witness could no longer access, retrieve, or preserve relevant evidence, nor log into associated Chinese platform accounts.

China-Related Information

• PRC ID number: 220104*3125

• WeChat accounts: two total

• One remains in use

• The other was bound to 647–1515 and became inaccessible when the number failed

China Unicom:

All Chinese internet platform accounts registered using the above PRC ID number became inaccessible. The direct cause was the forced deactivation of the China Unicom real-name registered mobile number 186–3053.

During the period when this number was deactivated, China Unicom continued charging service fees for over one year, totaling more than RMB 8,000.

From 2019 to 2023, all Chinese platform accounts registered under this number and ID were unusable.

The witness made more than ten long-distance calls to China Unicom. Staff at the Changchun service office acknowledged erroneous billing and abnormal deductions but consistently refused substantive remediation.

In 2023, while in Shenzhen, the witness discovered that the number had been formally deactivated and could not be restored.

She later registered a China Telecom number (185–0159) using her Canadian passport; however, during a return trip in 2025, that number was also deactivated without clear reason.

China Unicom’s continued abnormal billing, deliberate deactivation, and prolonged delay in handling directly caused the witness to lose control over her original accounts due to forced number changes.

Promises made by Unicom to retain the number and assist upon the witness’s return were not fulfilled.

As a result, all Chinese internet platform accounts and the China-region Apple ID became inaccessible.

Enterprises Registered Under PRC ID and Associated Platforms

• PRC ID number: 220104*3125

• Registered company: Beijing Jiaji Consulting Services Co., Ltd. (Registered on Taobao; company name confirmed by exclusion)

Associated enterprise or platform accounts include:

• Douyin enterprise account

• Jianying enterprise account

• Kuaishou enterprise account

• Alipay enterprise account

• WeChat enterprise account

• WeChat Bank

• Xiaohongshu

• Bilibili (bullet-comment communications and implied signaling)

• Sina Weibo verified account

Substance Exposure, Gambling Platforms, and Financial Impact

The witness states that during the COVID-19 pandemic she was continuously affected by exposure to narcotics and the online gambling platform HHpoker, placing her in a controlled state. The combined effects of substance use and gambling resulted in sustained financial pressure.

During this period, attempts were made via Chinese online lending platforms to initiate loans in her name. Customer service personnel appeared within Alipay, WeChat, and WeCom, attempting to conduct repeated loan operations on her behalf without success, damaging her credit, and registering personal insurance products under her and her mother’s identities.

Enterprise accounts registered on Kuaishou participated in platform activities. During PK livestreams, a China CITIC Bank service account participated in high-value virtual gifting. Streamers such as Xin Youzhi and “Dandan” were repeatedly promoted as focal figures, contributing to large-scale promotion of livestream commerce.

After severe credit damage, China CITIC Bank provided remote phone-based registration services and mailed the witness a green low-carbon physical bank card, with photographic proof retained.

Narrative Manipulation Mechanism

The witness states that her experience does not constitute isolated incidents, but rather an observable narrative manipulation mechanism. Through repeated overlap of internet dissemination, cultural texts, symbolic elements, and real-world scenes, continuous encirclement and intervention in an individual’s life were formed.

Core characteristics include: a persistent sense of surveillance, continuous attention, invasion of privacy boundaries, and linguistic guidance and psychological pressure (PUA-type patterns) directed at minors.

The witness believes this mechanism operates across platforms, contexts, and time, relying not on single acts but on cumulative repetition, resulting in systematic depletion and control of the individual and family.

Pet Naming and Narrative Indicators

• Kabir named the family’s white cat “LALA.”

• The witness’s daughter, under prolonged PUA-type influence, named the family’s orange cat “MooMoo.”

Subsequently, the music work “All Around The World (La La La) (Alan Walker Remix)” was released as a single around 2022 and distributed on major platforms such as Spotify and Apple Music. The temporal and symbolic overlap between these names and public cultural products is regarded by the witness as indicative within her long-term narrative environment.

Impact on Minors and Family Social Standing

The witness’s children have, since early childhood, experienced adverse circumstances following governmental and judicial intervention. In school and social environments, they have been increasingly excluded and isolated, significantly affecting normal social integration and interpersonal development.

Simultaneously, the witness’s personal character and social reputation have been subject to persistent demeaning evaluations, which were transmitted into the school system, causing long-term negative effects on the minors’ social reputation, relationships, and psychological safety.

Privacy Intrusion and Psychological Pressure

In daily life, the family developed a strong sense of being observed, extending to highly private activities.

Online, family members faced continuous abnormal attention and psychological pressure, manifesting as long-term experiences of internet surveillance and repeated PUA-type psychological influence.

These experiences were not isolated but recurred over time, gradually eroding psychological security and personal boundaries.

Political and Commercial Narrative Context

The witness further believes that certain behaviors she experienced were associated, within the broader narrative environment, with specific political activities, and were understood by her as serving political mobilization or ideological dissemination.

At the corporate level, she perceived continued PUA-type influence exerted on her family, extending to repeated use of financial institution names, symbols, and related narrative elements. She emphasizes that her family remained in a position of being used, influenced, and depleted, and was never a beneficiary.

FUTU & Moomoo — Background Information and Global Structure

(Factual background retained as submitted; no legal conclusions implied.)

Supplementary Witness Statement

The witness states that in the summer of 2024, a person she identified as Prince Harry contacted her by phone on two consecutive days, guided her to register and open a FUTU Moomoo account, and repeatedly urged her to study and register cryptocurrency wallets.

She also observed that during the same period, Apple Books and Disney+ prominently featured content related to Prince Harry and Princess Diana, creating a highly overlapping cultural environment.

On February 14, 2024, Kabir exhibited severe dissociative symptoms accompanied by seizure-like episodes. Before the witness called 911, six police vehicles had already arrived outside her residence. On-site personnel stated they were “collectively watching Netflix content” and repeatedly referenced the platform, objectively generating public exposure for that platform.

The witness believes that this situation demonstrates an abnormal temporal and narrative alignment.

Prince Harry and Meghan’s Netflix projects rely, in terms of corporate registration, content production, platform distribution, and technical dissemination, on California-based technology ecosystems. Through Netflix—headquartered in California and deeply integrated with Silicon Valley systems—these projects are globally distributed, embedding their dissemination, algorithms, and monetization paths within California–Silicon Valley-led digital infrastructures.

EN