Click on link to download the PDF of the LLoyds lawsuit against Al Saud. http://whowhatwhy.com/2011/11/10/saudi-911-alert-here’s-that-missing-lloyd’s-lawsuit/ Just one of the charges on the lawsuit 25. Each of the defendants named herein was a knowing and material participant in al Qaeda’s conspiracy to wage jihad against the United States, its nationals and allies.
Defendants in the lawsuit 2. Defendant Kingdom of Saudi Arabia is a foreign state within the meaning of 28 U.S.C. §1603(a). Saudi Arabia maintains an Embassy within the United States at 601 New Hampshire Avenue, N.W., Washington, D.C. 20037. 3. Defendant Saudi High Commission for Relief of Bosnia & Herzegovina (“Saudi High Commission” or “SHC” is a controlled agent and alter-ego of the government of Saudi Arabia. Although the Saudi High Commission has its headquarters in the Kingdom, its operations are conducted primarily outside of Saudi Arabia. 4. Defendant Saudi Joint Relief Committee for Kosovo and Chechnya (“SJRC” is a controlled agent and alter-ego of the government of Saudi Arabia. Although the SJRC has its headquarters in the Kingdom, its operations are conducted primarily outside of Saudi Arabia. 5. Defendant Saudi Red Crescent Society (“SRC” is a controlled agent and alter- ego of the government of Saudi Arabia. Although the SRC has its headquarters in the Kingdom, its operations are conducted primarily outside of Saudi Arabia. 6. Defendant National Commercial Bank (“NCB” is a Saudi-based international financial institution, with a principal place of business located at King Abdul Aziz Street, Jeddah, Saudi Arabia. NCB maintains operations throughout the World, providing a broad range of financial services, including Shariah compliant finance products and services, to individual and institutional clients. 7. Defendant al Rajhi Bank (“al Rajhi Bank”, formerly known as al Rajhi Banking and Investment Company, (“al Rajhi Bank” is a Saudi-based international financial institution, with a principal place of business located at Olaya Street, Riyadh, Saudi Arabia. Al Rajhi Bank maintains operations throughout the World, providing a broad range of financial services, including Shariah compliant finance products and services, to individual and institutional clients. 8. Defendant Prince Salman bin Abdul Aziz al Saud (“Prince Salman” is a resident of the Kingdom of Saudi Arabia, and at times material hereto headed the SHC. 9. Defendant Suleiman Abdel Aziz al Rajhi is a citizen and resident of the Kingdom of Saudi Arabia, and at times material hereto was the CEO of al Rajhi Bank, founder of the Saar Foundation, and an officer of the International Islamic Relief Organization. 10. Defendant Yassin al Qadi is a citizen and resident of the Kingdom of Saudi Arabia, and at times material hereto was an agent of National Commercial Bank, employee of al Rajhi Bank, and the founder of the Muwaffaq Foundation.
from the PDF 25. Each of the defendants named herein was a knowing and material participant in al Qaeda’s conspiracy to wage jihad against the United States, its nationals and allies. 26. The conspiracy among the defendants to wage jihad against the United States, its nationals and allies, included the provision of material support and resources to defendant al Qaeda and affiliated terrorist organizations, persons, and entities, as discussed herein. 27. Absent the sponsorship of al Qaeda’s material sponsors and supporters, including the defendants named herein, al Qaeda would not have possessed the capacity to conceive, plan and execute the September 11th Attacks.
Another interesting part of the Llyods of London Lawsuit against the Al Saud family from the PDF As a senior member of the Saudi regime, Prince Salman was expressly aware, at the time of the contributions identified above, that the IIRO, WAMY, SJRC and al Haramain were material sponsors of al Qaeda’s global jihad, and that contributions to those organizations would benefit al Qaeda. 490. Prince Salman also serves as the chairman of the Popular Committees for Support of the Palestinian Jihadis, a Saudi government entity that supports terrorism by donating money to the families of Palestinian suicide bombers. A letter seized by the Israeli Defense Forces during Operation Defensive Shield, evidences the involvement of Prince Salman in financing Palestinian terrorist organizations. The letter dated December 30, 2000, was issued by the Embassy of the State of Palestine in Riyadh to Prince Salman. The Palestinian ambassador, Abu Mazen, expresses the concern of Yasser Arafat regarding funding of radical organizations. The letter, translated into English, reads in part as follows: I wish to inform you that [Yasser Arafat] called me and asked to convey his request to mediate and intervene and express his opinion about what is happening in our homeland. The Saudi committee responsible for transferring contributions to beneficiaries is sending large sums to radical committees and associations, including the Islamic Association which belongs to Hamas, the Al-Salah Association, and brothers belonging to the Jihad in all areas. This has a bad affect on the domestic situation and also strengthens these brothers and thus has a bad impact on everybody. 491. The excerpted section of the letter to Prince Salman confirms the reality of Saudi support for Palestinian terror organizations, and in particular, Prince Salman’s direct role in the funding. 492. Through his official and personal acts, as described herein, Prince Salman has provided critical financial and logistical support to al Qaeda for a period of many years.