visoredavenger
@visoredavenger.bsky.social
440 followers 230 following 1.6K posts
Big NERD: Fan of Action, SciFi, Nintendo, and anime. Politically Independent
Posts Media Videos Starter Packs
visoredavenger.bsky.social
Christ D. Luffy and his Apostles
visoredavenger.bsky.social
Game Freak going beyond Nintendo DS graphics (hyperbole) ? Maybe 20 years from now. (also hyperbole)
visoredavenger.bsky.social
Seems like everyone memory hole'd the entire first Trump term including Trump himself lol
visoredavenger.bsky.social
If it is good or not I know some starving YouTube grifters will be happy they finally got another MCU Disney plus show to feed on they have been starving with dropping views because nobody is there for their personalities.
visoredavenger.bsky.social
I am approaching a year using BlueSky over Twitter and in that entire time I haven't had race baiting videos shoved in my TL so for that alone this site wins.
visoredavenger.bsky.social
Share a cartoon from the past that kids today probably never heard of 📺
Eek the Cat
Reposted by visoredavenger
thetnholler.bsky.social
Amazing what happens when you give the guy a plane
visoredavenger.bsky.social
Oh boy I'm no fortunetelling but...
Screenshot from "The Amazing World of Gumball" with Gumball sitting behind a desk with caption "I think we all know where this is going"
Reposted by visoredavenger
visoredavenger.bsky.social
Yup and even worse is the fact that to him he isn't "lying" when he says "Portland is war ravaged" because HE ACTUALLY BELIEVES IT, that is much worse than lying about it.
He is literally a crazy old man lost in Facebook memes
Reposted by visoredavenger
atrupar.com
New in PN: He's never "just joking"

"Trump is an aspiring autocrat with obvious physical and mental issues, but Johnson and his Republican cronies are insulting our intelligence about it."
He's never "just joking"
And Republicans know it, even as they play dumb.
www.publicnotice.co
visoredavenger.bsky.social
Everything about the show is so off-beat.
The series would fit almost perfectly with "Freddy's Dead" more than that movie fits with the other mainline films.
Reposted by visoredavenger
jdcmedlock.bsky.social
“I’ll declare war on you if you don’t give me the peace prize” is an incredible bit
visoredavenger.bsky.social
Hey @gytkaliba.bsky.social you gonna check of "Freddy's Nightmares" during the A Nightmare on Elm Street run of yours? Looks like it is on Tubi for free (with ads)
Page art of Freddy Kruger from a "Freddy's Nightmares", the A Nightmare on Elm Street Series
Reposted by visoredavenger
kenwhite.bsky.social
I’ve never seen anything remotely this petty charged as bank fraud.
joshuajfriedman.com
NEW: Here's the two-count indictment against NY AG Letitia James. storage.courtlistener.com/recap/gov.us...
INDICTMENT
October 2025 Term - at Alexandria, Virginia
THE GRAND JURY CHARGES THAT:
GENERAL ALLEGATIONS
At all times relevant to this Indictment:
1. Letitia A. James ("JAMES) was a resident of Brooklyn, New York, and the borrower on a
Fannie Mae-backed mortgage loan for the property located at 3121 Peronne Avenue,
Norfolk, Virginia.
2. OVM Financial (also known as Old Virginia Mortgage / AnnieMac) was a mortgage lending business located in Virginia Beach, Virginia, engaged in the business of originating and underwriting residential mortgage loans, including those backed by the Federal National Mortgage Association ("Fannie Mae"). OVM Financial qualified as a "financial institution" within the meaning of 18 U.S.C. § 20(10).
3. Fannie Mae was a federally chartered corporation that purchased and guaranteed mortgages,
operating as a government-sponsored enterprise under the oversight of the Federal Housing
Finance Agency ("FHFA").
4. First Savings Bank was a state-chartered, FDIC-insured financial institution (Certificate
#29961), headquartered in Jeffersonville, Indiana, which acquired mortgage loans through assignment or acquisition. First Savings Bank qualified as a "financial institution" within the meaning of 18 U.S.C. § 20(1).
5. On or about August 17, 2020, JAMES, as sole borrower, purchased the three (3) bedroom,
(1) bathroom property located at 3121 Peronne Avenue, Norfolk, Virginia 23509 (the
"Peronne Property"), for approximately $137,000, financed with a mortgage loan of approximately $109,600 (Loan #4430025978) backed by Fannie Mae.
6. The loan was originated by OVM Financial under a signed Second Home Rider, which required JAMES, as the sole borrower to occupy and use the property as her secondary residence, and prohibited its use as a timesharing or other shared ownership arrangement or agreement that requires her either to rent the property or give any other person any control over the occupancy or use of the property.
7. Despite these representations, the Peronne Property was not occupied or used by JAMES as a secondary residence and was instead used as a rental investment property, renting the property to a family of (3).
8. This misrepresentation allowed JAMES to obtain favorable loan terms not available for investment properties, including a note rate of 3.000% (avoiding a 0.815% higher
comparable investment property rate of 3.815%, resulting in approximately $17,837 in rate savings over the life of the loan), a seller credit of approximately $3,288 (exceeding the seller credit for investment properties by approximately $1,096), for total ill-gotten gains of approximately $18,933 over the life of the loan.
9. JAMES' Universal Property application for homeowners' insurance indicated "owner- occupied non-seasonal use," further misrepresenting the intended use of the property.
10. JAMES filed Schedule E tax forms), under penalties of perjury, treating the Perrone Property as rental real estate, reporting fair rental days, zero personal use days, thousand(s)
of dollars in rents received, and claiming deductions for expenses relating to the property, further contradicting the second home classification.
11. The loan was acquired by or assigned to First Savings Bank by March 2021, exposing it to risks associated with the misrepresented loan.
12. The acts described herein occurred within the Eastern District of Virginia.
COUNT ONE
(Bank Fraud - 18 U.S.C. § 1344)
13. The allegations in paragraphs 1 through 12 are re-alleged and incorporated herein.
14. From on or about August 7, 2020, through at least January 2024, in the Eastern District of Virginia and elsewhere, the Defendant, LETITIA A. JAMES, did knowingly execute and attempt to execute a scheme and artifice to defraud OVM Financial and First Savings Bank,
financial institutions, and to obtain moneys, funds, and credits owned by and under the custody and control of OVM Financial and First Savings Bank by means of false and fraudulent pretenses, representations, and promises.
15. The scheme involved falsely representing the Peronne Property as a secondary residence to obtain favorable mortgage terms, while using it as an investment property with no intended
or actual personal occupancy or use by her.
(In violation of Title 18, United States Code, Section 1344).
COUNT TWO
(False Statements to a Financial Institution - 18 U.S.C. § 1014)
16. The allegations in paragraphs 1 through 12 are re-alleged and incorporated herein. 17. From on or about July 28, 2020, through at least August 31, 2020, in the Eastern District of Virginia and elsewhere, the Defendant, LETITIA A. JAMES, did knowingly make and cause to be made false statements and reports for the purpose of influencing the action of OVM Financial, a Fannie Mae-backed lender, upon an application for a loan, in that JAMES represented and affirmed in uniform residential loan applications and related documents that
the Peronne Property would be used as a secondary residence, when in truth and fact, as JAMES then knew, the property was intended and used as an investment property with no intended or actual personal occupancy or use by her.
(In violation of Title 18, United States Code, Section 1014).
FORFEITURE NOTICE
Pursuant to Federal Rule of Criminal Procedure 32.2(a) and Title 18, U.S.C. §
982(a)(2)(A), upon conviction of the offenses in Counts One and Two, the Defendant, Letitia
A. James, shall forfeit to the United States any property constituting, or derived from, proceeds obtained, directly or indirectly, as a result of such violations, including but not limited to a money judgment in the amount of $18,933.
If any of the property described above, as a result of any act or omission of the Defendant: (a) cannot be located upon the exercise of due diligence; (b) has been transferred or sold to, or deposited with, a third party; (c) has been placed beyond the jurisdiction of the court; (d) has been substantially diminished in value; or (e) has been commingled with other property which cannot be divided without difficulty, the United States shall be entitled to a forfeiture of substitute property pursuant to Title 21, U.S.C. § 853(b), as incorporated by Title
18 U.S.C. § 982(b)(1).
(In accordance with Title 18 U.S.C. § 981(a)(1)(C) and 982(a)(1); Title 28, U.S.C. § 2461(c); and Title 21 U.S.C. § 853(p).)
visoredavenger.bsky.social
Hamas has been willing to come to the table to deal for at least a year and a half and it was always Israel that pulled away.
Now it is pretty obvious Trump talked to BiBi specifically to do this right before the Nobel Prize committee decides.
visoredavenger.bsky.social
Anyone that is actively begging and campaigning for a Nobel Peace Prize doesn't deserve one. Especially when you rename something "The Department of War"
visoredavenger.bsky.social
"Not caused by AI"
Anyone got the screenshot where it quite literally mentions "ChatGPT"
visoredavenger.bsky.social
"If it sticks"
It is pretty transparent that the only reason the Israel/Gaza "Peace Deal" has to be done right now is because the committee is meeting.
How many times has Hamas said "YES" to talks and a deal only for Israel to break it?
I hope leftist don't fall for this too.
visoredavenger.bsky.social
Says a lot about how much things have change. Even though they were small DLC no one got "mad" about Liberation and Freedom Cry