Iran’s Islamo-Nazis Supporting UNLV Anti-Jewish College Protesters

Iran’s Islamo-Nazis Supporting UNLV Anti-Jewish College Protesters

May 30, 2024

Iran’s Islamo-Nazi’s leadership flush with billion so U.S. Tax dollars thanks to Joe Biden, is opening praising UNLV students harassing and terrorizing Jewish students on campus.

Iranian Supreme Leader Ali Khamenei cheered the students in a series of social media posts Wednesday, urging them to keep up the fight. The posts were excerpts from an open letter the dictator wrote last week.

I am writing this letter to the young people whose awakened conscience has moved them to defend the oppressed women and children of Gaza,” he wrote. “Dear university students in the United States of America, this message is an expression of our empathy and solidarity with you. As the page of history is turning, you are standing on the right side of it.”

The leader continued, explaining how Israel is full of “several thousand terrorists” who arrived due to the “capitalist Zionist network.” These terrorists, he claimed, pillaged Palestine and formed the nation of Israel.

“I would like to assure you that today the circumstances are changing,” the supreme leader wrote. “Besides you students from dozens of American universities, there have also been uprisings in other countries among academics and the general public. The support and solidarity of your professors is a significant and consequential development.”

(The New Nazi’s) Nevadans for Palestinian Liberation (NPL), a UNLV-authorized group’s own charter, calls for the destruction of Israel.

Page 1 of their manifesto states clearly:

The core values of Nevadans for Palestinian Liberation are:
● Support for the one-state solution, a Palestinian state, and a dismantling of the
settler-colonial structure occupying the lands.

Their one-state solution means a new Palestinian state “dismantling” destroying Israel. The Palestinians have their own state, where Hamas is the leading political party, supported by 80% of the people.

They go on to declare:

Criticizing Israel, its founding, its existence, and its policies is not anti-Semitic.

Ironically, this comes the same week a local Jewish student filed a federal lawsuit against UNLV for refusing to take any real action. Republican Jewish Leader Sigal Chattah went on the offense with a 72-page detailed Federal Lawsuit.


The lawsuit alleges

Defendants knew that Jewish students were being harassed and demonized on campus and that even members of UNLV’s faculty were participating in the demonetization and antisemitic rhetoric.

Defendants failed to conduct any mitigation efforts over the course of the past seven months to correct any of these acts and engaged in such failures with a complete disregard for student safety or rights.

The Federal lawsuit states All the defendants violated of the Anti-Terrorism Act, 18 U.S.C.§ 2333(d) when they:

Defendants themselves are successor entities to an original material
support enterprise for Hamas. Defendants are operated primarily by many of those who were senior leaders in the original enterprise.

232. It is clear that every time Defendants act in the United States, and more
specifically on UNLV’s campus, there is a direct nexus between the University groups and Hamas, IRGC, Hezbollah and other Foreign Terrorist Organizations.

233. It is also clear that directives being given by Hamas, IRGC, Hezbollah and other Foreign Terrorist organizations are being acted out on U.S. college campuses through Defendants and their organizations on UNLV’s campus.

234. Defendants knowingly provide substantial assistance to Hamas through their services. Indeed, in the NSJP Toolkit, Defendants confirm not only that they are aware that their propaganda and incitement activities support Hamas but also that they perceive themselves as “PART of” Hamas’s “Unity Intifada”—the terror regime that has damaged Plaintiff.

235. Defendants knowingly provided substantial assistance to Hamas and thus aided and abetted Hamas in committing, planning, or authorizing acts of international terrorism, including the acts of international terrorism that injured Plaintiff.

236. Not only do these acts constitute “substantial assistance” under the civil portion of the Antiterrorism Act, but they also satisfy the Antiterrorism Act’s criminalization of providing “material support or resources” to a Foreign Terrorist Organization. See 18 U.S.C. §§ 2339A and 2339B.

237. UNLV has also provided substantial assistance to these radical pro-terrorist organizations by allowing them to terrorize and demonize students on UNLV’s campus.

238. UNLV has also provided substantial assistance under the Antiterrorism Act by allowing them to use the student campus to distribute their literature, paraphernalia, and hosting meetings by providing substantial resources to disseminate their antisemitica and anti-American rhetoric and propaganda.

239. UNLV has provided substantial assistance by emboldening these Defendants, by their actions and meetings with them, “legitimizing” their cause of terrorizing students on campus.

240. Plaintiff has been injured in their persons because of Hamas’s acts of international terrorism.

241. By aiding and abetting Hamas in committing, planning, or authorizing acts of international terrorism, including the acts that caused Plaintiff to be injured in his or her person and property, Defendants are liable pursuant to 18 U.S.C. § 2333(d) for, threefold any and all

BLM supporter and DEI hire UNLV President Whitfield had no comment.

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