by Milo Yiannopoulos at X.com
Being duly sworn, I hereby swear under oath that what follows is a faithful and accurate account of the facts.
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My legal name is Milo Yiannopoulos (the “Affiant”). I am 39 years of age, and I reside at The Garbutt House, 1809 Apex Avenue, Los Angeles, CA 90026. I began my career as a political commentator, New York Times bestselling author and award-winning investigative reporter. Since 2018, I have served Congressmen, Senators, billionaires and most recently megastars in the role of chief operating officer, or Chief of Staff, tasked with solving mysteries and fixing problems where others have failed.
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Between 2022 and 2024, I worked for the rapper, fashion designer and entrepreneur Ye, formerly known as Kanye West. I resigned from his company Yeezy LLC in May 2024, on a matter unrelated to this complaint, at which time I held the position of Chief of Staff. I was the most senior employee in the company, with duties analogous to a combined Chief Executive Officer and Chief Operating Officer.
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Prior to my work with Ye, I served as a senior Congressional aide to Georgia Republican Rep. Marjorie Taylor Greene; before that, I worked for a series of wealthy private individuals in Florida. I therefore possess a respectable track record exposing fraud, theft, and ill intent of every kind. In fact, it is quite excellent, which is why I have been hired by some of the wealthiest and most famous people in the world to do it.
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I offer this account in support of my complaint to the California Dental Board, submitted today, pertaining to reckless, unethical, dishonest, exploitative and, upon information and belief, illegal conduct by DR. THOMAS P. CONNELLY, D.D.S. For the avoidance of doubt, I write in a personal capacity as Ye’s most senior member of staff for nearly two years, motivated by urgent concern for his safety and his health, in my own capacity and on behalf of several individuals close to him. I am not in a position to authorize the release of Ye’s medical records, nor would I presume to do without his consent.
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Persons named in this affidavit include YE, formerly known as KANYE WEST; BIANCA CENSORI, his wife; MILO YIANNOPOULOS; BILLY WALSH, a former advisor to Ye; JOE “THE GROCER” WELSH, an associate of Connelly’s; JOHNATHAN SOLORZANO, former Chief Technology Officer, and IDRISS QIBAA, a business associate and business partner of Connelly’s.
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The subject of this declaration is of sufficient gravity that I have taken the additional and unusual step of providing you a sworn “jurat” affidavit, which means that I write today under penalty of perjury. A copy of this complaint, affidavit and supporting documentation has also been provided to the Federal Bureau of Investigation and Office of the Attorney General, for reasons that will be apparent.
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Thomas Connelly is a dentist licensed in California with the number 101206, who maintains an office at 450 N Roxbury Dr # 432, Beverly Hills, CA 90210, and resides at least some of the time at at 838 W Kings Road, West Hollywood, CA 90069. This affidavit pertains to actions of his which include: (i) The unlawful supply of enormous quantities of nitrous gas to a wealthy, famous patient for explicitly recreational use; (ii) The physical transportation of four surgical sized canisters by Connelly himself into the patient’s home on just one afternoon; (iii) Charging more than $50,000 per month for this service; (iv) Continuing to supply the gas long after the emergence of distressing symptoms that led to widespread comment and concern; (v) Instruction to the patient in the operation of nitrous gas canisters left by Connelly at the patient’s home; (vi) Knowingly encouraging their use in the absence of a qualified anesthetist or medical professional by a person with a history of mental illness and addiction; (vii) The abandonment of said patient to the self-destructive consequences of said dependence, showing indifference or worse to the prospect of permanent damage in brain and in body by Connelly’s negligence, at best, and malice with the intent to defraud, at worst; (viii) Upon information and belief, the wrongful and fraudulent extraction of millions of dollars by Connelly and his business associates from a patient he knew to be in a confused, dependent, weakened and addicted state; (ix) Connelly’s sudden move into the patient’s apartment building, at the patient’s own expense, so as to “better keep an eye on” him, and his subsequent lies about the source of the funds for the move; (x) Text messages which appear to show Connelly enquiring about the possibility of paying a third party to commit violence against the author of this affidavit when he failed to secure a $200,000 per month consultancy arrangement; (xi) Testimony from Connelly’s business partner that he has defrauded dozens of his athlete and celebrity client base by charging them for natural stone diamond orthodontics but in reality using cheap, lab-grown diamonds, for as much as 15,000% in price difference; (xii) A written confession from Connelly the most recent of his two bankruptcies was entered into illegally, for the purposes of evading tax, and upon information and belief was also calculated to excuse Connelly from a potentially large court judgement pertaining to life-altering surgical mistakes made on a woman’s mouth; (xiii) Testimony from Connelly’s business partner that he owes a debt of more than $2m to a Mexican drug cartel, and that this cartel owns his surgical practice in Beverly Hills, and uses it to launder money.
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I was elevated to Chief of Staff,…