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Covid-19 & Falsifying Death Certificates: The CDC’s “More Often Than Not” Clause

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Covid-19 and the Falsification of Death Certificates: The CDC’s “More Often Than Not” Clause

According to the CDC: “… the rules for coding and selection of the underlying cause of death are expected to result in COVID-19 being the underlying cause [of death] more often than not.”

The following text is an excerpt from Chapter III of Michel Chossudovsky’s E Book entitled The 2020 Worldwide Corona Crisis: Destroying Civil Society, Engineered Economic Depression, Global Coup d’État and the “Great Reset”

Introduction

At the outset of the Covid pandemic, the CDC had been instructed to change the methodology regarding Death Certificates with a view to artificially inflating the numbers of “Covid deaths”. According to H. Ealy, M. McEvoy et al

“The 2003 guidelines for establishing death certificates had been cancelled. “Had the CDC used its industry standard, Medical Examiners’ and Coroners’ Handbook on Death Registration and Fetal Death Reporting Revision 2003, as it has for all other causes of death for the last 17 years, the COVID-19 fatality count would be approximately 90.2% lower than it currently is.” (Covid-19: Questionable Policies, Manipulated Rules of Data Collection and Reporting. Is It Safe for Students to Return to School? By H. Ealy, M. McEvoy, and et al., August 09, 2020

CDC Deaths Attributed to COVID-19. Comorbidities

A December 2020 CDC report confirms that 94% of the deaths attributed to Covid have “comorbidities”,(i.e. deaths dues other causes).

For 6% of the deaths, COVID-19 was the only cause mentioned. For deaths with conditions or causes in addition to COVID-19, on average, there were 2.6 additional conditions or causes per death. The number of deaths with each condition or cause is shown for all deaths and by age groups.

COVID-19: The “Underlying Cause of Death” and the CDC’s “More Often Than Not” Clause

On March 21, 2020 (barely a week after the March 13 lockdown, the following specific guidelines were introduced by the CDC regarding Death Certificates (and their tabulation in the National Vital Statistics System (NVSS)

Will COVID-19 be the underlying cause of death? This concept is fundamental.

The underlying cause of death is defined by the WHO as “the disease or injury that initiated the train of events leading directly to death”.

What the CDC is recommending with regards to statistical coding and categorization is that COVID-19 is expected to be the underlying cause of death “more often than not.”

The CDC combines these two criteria. “underlying cause of death”, “more often than not”

Will COVID-19 be the underlying cause of death?

“The underlying cause depends upon what and where conditions are reported on the death certificate. However, the rules for coding and selection of the underlying cause of death are expected to result in COVID- 19 being the underlying cause more often than not.”

CDC Now Admits that 94% of COVID Deaths Had “Another Cause of Death”

The above directive is categorical.

Below are CDC concepts and justifications

The Certifier is not allowed to report coronavirus without identifying a specific strain. And the guidelines recommend that COVID-19 must always be indicated.(see below): (source CDC)

The certifier cannot depart from the CDC criteria. Covid-19 is imposed. Read carefully the criteria below:

“What happens if certifiers report terms other than the suggested terms?

If a death certificate reports coronavirus without identifying a specific strain or explicitly specifying that it is not COVID-19, NCHS will ask the states to follow up to verify whether or not the coronavirus was COVID-19.

As long as the phrase used indicates the 2019 coronavirus strain, NCHS expects to assign the new code. However, it is preferable and more straightforward for certifiers to use the standard terminology (COVID-19).

What happens if the terms reported on the death certificate indicate uncertainty?

If the death certificate reports terms such as “probable COVID-19” or “likely COVID-19,” these terms would be assigned the new ICD code. It Is not likely that NCHS will follow up on these cases.

If “pending COVID-19 testing” is reported on the death certificate, this would be considered a pending record. In this scenario, NCHS would expect to receive an updated record, since the code will likely result in R99. In this case, NCHS will ask the states to follow up to verify if test results confirmed that the decedent had COVID- 19.

… COVID-19 should be reported on the death certificate for all decedents where the disease caused or is assumed to have caused or contributed to death. Certifiers should include as much detail as possible based on their knowledge of the case, medical records, laboratory testing, etc.”

(emphasis added)

There are no loopholes. These CDC directives have contributed to falsifying the recorded “cause of death”. Two fundamental concepts prevail throughout:

  1. The “underlying cause of death”

  2. The “More Often than Not” Clause which falsifies the Cause of Death

And these criteria are imposed despite the fact that the RT-PCR test used to corroborate the “cause of death” provides misleading results.

In practice, as outlined above: “probable COVID-19” or “likely COVID-19,” will be considered as the cause of death without the conduct of a PCR test and without performing an autopsy.



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