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Psychological Coercion and Human Rights: Mind Control
("Brainwashing") Exists
David J. Bardin,
Esq.
Mind control exists. Yet misguided academics like Professor Nancy T.
Ammerman [1], are still trying to pretend otherwise. In a report to the
Departments of Justice and the Treasury [2] last fall, Dr. Ammerman said that
cult followers "need" and "seek" what a Koresh offers and that "cult
brainwashing" [3] is a "thoroughly discredited" concept [4]. In respectful
memory of Koresh's victims, here are highlights of what Dr. Ammerman should have
known:
A. Judicial Insights
Supreme Court Justices Brennan and Marshall described mind control
(psychological coercion) in 1988 when they explained "as a factual matter" why
"the use or threat of physical or legal coercion" are not the only methods by
which a condition of involuntary servitude could be created. They wrote:
[T]he Court does not dispute that other methods can
coerce involuntary labor — indeed it is precisely the broad range of nonphysical
private activities capable of coercing labor that the Court cites as the bases
for its vagueness concerns. Nor do I know of any empirical grounds for assuming
that involuntary servitude can be coerced only by physical or legal means.2
To the contrary, it would seem that certain psychological, economic, and
social means of coercion can be just as effective as physical or legal means,
particularly where the victims are especially vulnerable. Surely threats to
burn down a person's home or business or to rape or kill a person's spouse or
children can have greater coercive impact than the mere threat of a beating, yet
the coercive impact of such threats turns not on any direct physical effect that
would be felt by the laborer but on the psychological, emotional, social, or
economic injury the laborer would suffer as a result of harm to his or her home,
business, or loved ones. And drug addiction or the weakness resulting from a
lack of food, sleep, or medical care can eliminate the will to resist as
readily as the fear of a physical blow. Hypnosis, blackmail, fraud, deceit,
and isolation are also illustrative methods — but it is unnecessary here to
canvas the entire spectrum of nonphysical machinations by which humans coerce
each other. It suffices to observe that one can imagine many situations in
which nonphysical means of private coercion can subjugate the will of a servant.
Indeed, this case and others readily reveal that
the typical techniques now used to hold persons in slavelike conditions are not
limited to physical or legal means.
2In other contexts, we have recognized
that nonphysical coercion can induce involuntary action. For example, we
have interpreted the federal crime of kidnapping to include the imposition of
"an unlawful physical or mental restraint" to confine the victim against his
will. Similarly, in determining when confessions are involuntary, we have
noted "coercion can be mental as well physical.” "When a suspect speaks
because he is overborne, it is immaterial whether he has been subjected to a
physical or a mental ordeal."
(Emphasis added).[5] That was a criminal case. Mind control arises in civil
cases under established "undue influence" concepts [6]. And mind control arises
in destructive cult situations.
B. Psychological coercion, undue influence and mind control
Yet Professor Ammerman advised our Government to disregard the factor of
undue influence by cult leaders over cult followers as a "thoroughly
discredited" concept. According to her report, "real psychological needs" may
lead persons "to seek such groups" as David Koresh's. [Report at 7
¶6.] She flatly asserts that the "vast
majority" who commit themselves to groups such as Koresh's "do so voluntarily"
and that "cult brainwashing" does not exist, having been "thoroughly
discredited." [7] She also observed that "the judgment of" Koresh followers
"may indeed be altered by their participation," but, according to her report,
"neither of those facts constitutes coercion." [Report at 7 ¶6.]
Repeating the rubric that cult brainwashing is "thoroughly discredited" [8]
reveals ignorance, at best. Professor Ammerman was even in conflict with one of
the other academic experts, whose advice the Government had sought, Robert
Cancro, M.D., Professor of Psychiatry and Chairman of the Department at New York
University Medical Center, who specifically referred to "brainwashing" in his
report: "The absence of corrective feedback from a diverse environmental
experience strengthens the belief system through a process that can be described
as a form of brainwashing. It does not matter that this brainwashing may even
be voluntary, because the operational effect will be the same."
- Professor Ammerman ignored literature supporting the existence of
mind control [9]. In responsive letters to the Justice and Treasury
Departments, Margaret T. Singer, Ph.D., Emeritus Adjunct Professor of Psychology
in the University of California (Berkeley) Psychology Department, and Herbert L.
Rosedale, Esquire, President of AFF, cited close to 50 scholarly books, articles
and official reports dealing with mind control, thought reform, coercive
persuasion and brainwashing in the context of destructive cults. [Appendix B
lists such publications. Pertinent excerpts from the Singer and Rosedale
letters are in Appendices D and E.]
- Authors of three of the four publications on which Dr. Ammerman
relied joined in a 1987 amicus curiae brief, which claimed (unsuccessfully) (a)
that "[a]fter searching scrutiny, the scientific community has repudiated" the
conclusions about "coercive persuasion"; (b) that the specific methods (of
reliance on interviews with victims who been subject to mind control) "have also
been rejected by all serious scholars in the field"; and (c) that the "validity"
of:
the claim that, absent physical force or threats,
"systematic manipulation of social influences" can coercively deprive
individuals of free will lacks any empirical foundation and has never been
confirmed by other research. [10]
These statements were untrue, recklessly or
deliberately. The literature does not limit brainwashing to prisoner-of-war or
other conditions of confinement or physical mistreatment — a claim that cult
publicists repeatedly assert even though cursory reading of the research studies
demonstrates its falsity. Two of the seminal researchers have issued explicit
declarations debunking that false contention. Professor Robert Jay Lifton,
M.D., of the John Jay College of Criminal Justice, declared: "Some of the people
I interviewed had been put through ... no physical abuse"; and "thought
reform is a complex psychological procedure involving interpersonal and social
manipulations." [11] Professor Edgar H. Schein, of the M.I.T. Sloan School
of Management, declared:
I never attempt to suggest in my book that the
system of influence used to change targets had to be applied in conjunction with
prison confinement or in conjunction with physical brutality.
One of the essential points I attempt to make ...
is that the effectiveness of coercive persuasion in changing attitudes and
beliefs rests on the fact that the target person is physically, socially, or
psychologically constrained from leaving the situation in which he or she is
actively being persuaded to some new point of view. …
(One-page declaration dated July 25, 1989;
emphasis added). Amici's bogus claim of a unanimous rejection of the
brainwashing thesis did not impress the California Supreme Court. Its 1988
opinion instead held that the brainwashing concept was "controversial.” Some
highly respected authorities conclude brainwashing exists and is remarkably
effective. [Citing Lifton & Schein.] Some commentators additionally conclude
that certain religious groups use brainwashing techniques to recruit and control
members. Courts have recognized the existence of brainwashing in religious
settings. .... [Others] believe brainwashing either does not exist at all ...
or is effective only when combined with physical abuse or physical restraint."
[12]
- Some of Professor Ammerman's criticisms of FBI tactics that hemmed
in David Koresh and bound his followers closer to him are not exceptionable.
However, these are criticisms she shares with secular behavioral scientists,
AFF, CAN, much of what she calls the "anti-cult" movement (as if it were a
monolith) and others, rather than unique insights of a sociologist of religion.
In a joint statement to Congress on March 30, 1993, before the Waco tragedy, AFF
and CAN stressed "the leader's psychological control over the group members" and
the "dependency that cult leaders induce in their followers." [13] AFF issued a
statement immediately after the tragedy (on April 20, 1993, excerpted in
Appendix C) that was critical of FBI "tactics of pressure, harassment and
psychological warfare." As we later learned, the FBI behavioral scientists and
consultants (in contrast to the tactical team), shared AFF's view, which is
widely held in the cult-concern community. As Professor Ammerman herself
admitted, "this understanding of Koresh's ideas was basically accurate and …
their assessment of his likely behaviors was on target." [Report at 4.]
- Professor Singer's letter (excerpted in Appendix D) points out
that powerful leaders who foist dependency on their followers are a key element:
Charismatic, unscrupulous cult leaders such as
David Koresh institute thought reform programs in order to ensure compliance
among their followers. The belief systems of such groups are of secondary
importance. … Members follow the leader not so much because of a rational and
informed acceptance of the belief system, but because of the orchestrated
program of psychological manipulation designed to gain their compliance. … I
recognize that some "new religious movements" do not employ thought reform
programs. For these groups, the belief system may be a central determinant of
members' decisions to join. Such movements, however, are not likely to pose law
enforcement problems. Dr. Ammerman seems not to recognize that some new
movements may be psychologically and socially destructive.
- Dr. Ammerman's view that followers "seek" the Koreshes of the
world ignores the evidence of active recruitment. To some academics it seems
that if few targets accept a Koresh's invitation it proves that those few have a
"need" for what the Koreshes offer. More likely, those few were, in Mr. Justice
Brennan's words, "especially vulnerable" at the time of recruitment. And they
were kept vulnerable thereafter through use of "nonphysical machinations by
which humans coerce each other." How much of the fault lies with the victims?
How much with abuse of hypnotic and other persuasive techniques by recruiters?
How much is debatable, but it is ignorant and unsupportable to claim that there
is no psychological coercion in virtually any of these cases.
- Professor Ammerman's report takes a non-judgmental ("values
neutral") stance. The David Koreshes may demand "strange" commitments, may hold
"unreasonable" or "illogical" beliefs, but nowhere does her report see Mr.
Koresh as a bad man or even a fallible doer of evil. To her, "charisma" is not
"just an individual trait, but a property of the constantly evolving
relationship between a leader and followers." [Report at 7 -8.] Under that
analysis, a leader can never abuse power. The leader and his followers are
merely evolving together! Yet Koresh tore families apart. [14] Do spouses
really have a "need" to be torn apart? Koresh instilled in children the
conviction that natural parents do not count. Only David Koresh counted as
their "family." Koresh prevented children from developing independent selves.
He enslaved them to his whims. What "needs" of the infants and little children
was Koresh addressing? Dr. Ammerman's kind of analysis ignores all that.
C. Attacks against Cult Awareness Network and "anti-cult"
movement
In contrast to her non-judgmental view of destructive cults, Professor
Ammerman's 1993 report attacked, without foundation, the Cult Awareness Network
(CAN) and what she called the "anti-cult community" (as if those concerned about
destructive cults are part of a monolith). [Report at 1.] CAN promptly
challenged her factual basis. An exchange of letters ensued. [15]
Dr. Ammerman partly changed her position. She admitted having misrepresented
the position of the National Council of Churches (NCC): "In this instance, my
statements evidently misrepresent the official position of the NCC on CAN." Her
report had claimed that "[t]he activities of CAN are seen by the National
Council of Churches (among others) as a danger to religious liberty." Although
she retracted that claim, Dr. Ammerman defensively insisted:
My statements were based on personal conversations
with individuals in the ecumenical and religious liberty community, as well as
on general statements (not naming CAN specifically) issued after the Waco
affair. I stand by the assertion that there is general dismay in that community
at the proposition that some religious groups deserve to be labeled 'cults' and
thus not protected by the First Amendment.
Professor Ammerman has not explained how a "cult" label would deprive any
religious group of First Amendment protections. [16]
Similarly without research or basis Dr. Ammerman wrongly identified CAN as
"seemingly" a "major" news source for an extensive series of stories run in the
Waco newspaper beginning February 27. [17] In fact, CAN was a minor source. It
provided some material that was included in a single sidebar of an 11-part
series. [18]
Dr. Ammerman's report is also wrong about CAN's role in the Waco events.
Both her report and a subsequent letter to CAN imply that CAN was a source of
information to one or more of the Government agencies involved at Waco. But
that is not true. CAN provided no information to the FBI or the ATF either
before the ATF raid or during the standoff that followed. Trying to explain
misleading remarks on page one of her report, Dr. Ammerman wrote to CAN that she
was merely alerting the Justice Department that "you are a group with a cause"
just like "the March of Dimes or Mothers Against Drunk Driving." [19] She
should have checked her facts and gotten them straight, instead of releasing a
misleading report. [20]
D. Conclusion
Professor Ammerman confuses "high commitment" groups that are open and
ethical in their practices with those that are totalitarian, deceptive,
manipulative and destructive. [See Appendix F.] "Taking the long view" of
human history and looking at the rest of the world, she urges us to regard
totalist groups as normal and as "widely sought" by millions of people. [Report
at 6 -5.] As AFF President Rosedale responded, "[w]e do not believe we should
take such a view towards racial discrimination, poverty, or other abuses of
power simply because the harm is not great if we take a long enough view and
because the number of abusers is great." [See Appendix E.]
Mind control exists. Some people unduly influence others to a very
significant degree. Most Americans know that. Undue influence arises in
connection with fraudulent investment schemes, totalitarian cults and all too
many other abuses. "[C]ertain psychological ... means of coercion can be just
as effective as physical means" and "reappear with such depressing regularity."
[See Supreme Court opinion quoted in Appendix A.] Yet as April 19 approaches,
cult publicists and apologists will probably trot out all of the stock
misstatements, which Professor Ammerman parroted, including her admitted
misstatements. This memorandum provides information to set the record straight,
hoping to catch up with Big Lies.
Notes
[1] Associate Professor of the Sociology of Religion, Emory University, and
Visiting Scholar, Center for the Study of American Religion, Princeton
University: B.A. Southwest Baptist University 1972; M.A. University of
Louisville 1977; M. Phil. Yale University 1979; Ph.D. Yale University 1983.
[2] U.S. Department of Justice and U.S. Department of the Treasury,
Recommendations of Experts for Improvements in Federal Law Enforcement After
Waco (Washington, D.C. undated; released October 8, 1993). Professor
Ammerman’s report was dated September 3, 1993.
[3] Dr. Ammerman did not define the term “brainwashing.” The serious
literature refers to the extreme levels in a continuum of psychological control
when it uses the terms brainwashing, coercive persuasion, mind control, mental
coercion, psychological coercion, thought reform or undue influence to talk
about exploitative manipulation. Cult apologists sometimes instead address a
straw man, creation of a robot; serious scholars do not.
[4] Dr. Ammerman also gratuitously and ignorantly opined about CAN and what
she called the “anti-cult community” in her report, but later retreated and
qualified her statements. [See Part C., below]
[5] United States v. Kozminski, 487 U.S. 931, 953, 955-56 (1988)
(concurring opinion of Brennan, J., in which Marshall J., joined). Appendix A
provides a fuller excerpt. The entire opinion deserves attention.
[6] For example, judges and juries must often figure out whether a deceased
person was “unduly influenced” by some one else when he signed his will. The
concept also commonly arises in connection with fraud. See Rosedale, “Legal
Analysis of Intent as a Continuum Emphasizing Social Context of Volition,”
Cultic Studies Journal, 6:1, 1989, pages 25-31.
[7] III.
What, in hindsight, should the BATF and the FBI
have taken into consideration in dealing with the Branch Davidians? . . . .
6. They should also understand that the vast
majority of those who make such commitments do so voluntarily. The notion of
“cult brainwashing” has been thoroughly discredited in the academic community,
and “experts, who propagate such notions in the courts have been discredited by
the American Psychological Association and the American Sociological
Association.
[Report at 7 ¶6.] Dr. Ammerman
plainly failed to research or check her two assertions about supposedly
discredited “notions” and “experts.” Both are inaccurate, even silly, assertions
on her part. Indeed, the APA included symposia at its annual conventions with
the supposedly discredited experts as panelists: Drs. Steve Dubrow-Eichel,
Michael Langone, Margaret Singer and Anita Solomon on “psychotherapeutic
techniques for victims of destructive cults” (San Francisco, 1991) and Drs.
Robert Cialdini, Michael Langone, Richard Ofshe, Margaret Singer and Philip
Zimbardo and Herbert Rosedale, Esq. on “coercive psychological influence:
clinical, ethical, cultural, business and legal issues” (New Orleans 1989,
chaired by Dr. Frank Farley).
[8] The rubric, which seems to parrot and may have originated with cult
publicists, is not likely original with Dr. Ammerman, who says up front “various
political and lobbying groups have sent me information.” [Report at 1.]
[9] She cited four publications, none her own product. Dr. Ammerman does not
seem to have a background in cult issues. Her published books include BAPTIST
BATTLES: SOCIAL CHANGE AND RELIGIOUS CONFLICT IN THE SOUTHERN BAPTIST CONVENTION
(New Brunswick: Rutgers Univ. Press 1990) and BIBLE BELIEVERS: FUNDAMENTLAISTS
IN THE MODERN WORLD (New Brunswick: Rutgers Univ. Press 1987). She also edited
SOUTHERN BAPTISTS OBSERVED: MULTIPLE PERSPECTIVES ON A CHANGING DENOMINATION
(Knoxville: U. of Tenn. Press 1993). Her unpublished theses were “The
Fundamentalist Worldview: Ideology and Social Structure in an Independent
Fundamentalist Church” (Yale, Ph.D., 1983) and “Localism, Southern Culture, and
the Role of Clergymen in the Civil Rights Movement in a Southern Community”
(Louisville, M.A. 1977). We do not know why the then Deputy Attorney General
selected Professor Ammerman as one of the ten “experts” appointed after the Waco
tragedy. (Treasury advises that they were not responsible.) Perhaps, the
Justice Department thought (not necessarily correctly) that David Koresh was a
Christian fundamentalist.
[10] Amicus curiae brief dated February 10, 1987 supporting defendants
in Molko v. Holy Spirit Association (Supreme Court of Calif. SF 25038),
originally field in the names of American Psychological Association (APA),
Eileen Barker, David Bromley, James Richardson and others. The APA withdrew its
name from that brief on March 27, 1987.
[11] Undated one-page declaration to whom it may concern: emphasis added:
Some of the people I interviewed had been put
through the thought reform programs in prison settings where physical abuse was
an element of the process. Others I interviewed were subjected to thought
reform programs at universities and other settings throughout the society, in
which no physical abuse was employed.
My work makes clear that thought reform in China
has been carried out in both prison settings and non-confined settings. My work
also makes clear that thought reform in China has been carried out both with and
without utilizing physical abuse as an element of the process.
I found in my research that thought reform is
a complex psychological procedure involving interpersonal and social
manipulations.
….
… When successful, and especially when supported
by a particular social environment, thought reform can render an individual
highly manipulable and susceptible to the demands of those controlling the
environment.
[12]Molko v. Holy Spirit Ass’n., 762 P.2d 46, 54-55 (Cal. 1988),
cert. denied,490 U.S. 1084 (1989). The court used the terms “coercive
persuasion,” “mind control,” and “brainwashing” interchangeably “to refer to the
intense indoctrination procedures discussed herein.” 762 P.2d at 54, n. 10.
[13] “The unfortunate situation concerning the Branch Davidians in Waco,
Texas underscores … [that] … the leader’s psychological control over the group
members can be so powerful that the group essentially becomes a projection of
the leader’s psyche. The future of David Koresh’s followers depends upon how
rational Mr. Koresh is with regard to the question of remaining alive. If he
decides he does not want to live, the probability is that his followers will die
with him. The dependency that cult leaders induce in their followers has grave
consequences – after leaving the cult as well as while in it.” U.S. House of
Representatives, Committee on Ways and Means, Subcommittee on Health, hearings
on Health Care Reform, Serial 103-14, Vol. III at 753.
[14] In America, even the law may recognize a paramount concern of
maintenance of marriage and family relationships while cherishing our religious
liberties. See O’Neil v. Schuckardt, 112 Ida. 472, 733 P.2d 693, 67
ALR4th 1065 (1986) (under guise of exercising religious beliefs one does not
acquire a license to wrongfully interfere with familial relationships);
accord. Bush v. Carrieri, 419 P.2d 132 (Wash. 1966); Bear v. Reformed
Mennonite Church,Pa. 341 A.2d 105 (Pa. 1976) (paramount state concern in
maintenance of marriage and family relationship may authorize regulation
even in light of the First Amendment); cf. Paul v. Watchtower Bible and Tract
Society of N.Y., Inc., 819 F.2d 875 (9th Cir. 1987); annotation,
Invasion of Privacy by a Clergyman, Church, or Religious Group, 67 ALR4th 1086.
[15] Letters dated October 8, 1993 (from CAN), February 6, 1994 (to CAN), and
March 11, 1994 (from CAN).
[16] Apparently, Dr. Ammerman casts herself as advocate for the cause of a
vaguely-defined “community.” However, she keeps her sources to herself and has
not explained upon whose research she relied for her statements, who misled her
into admitted misstatement or for whom she speaks. CAN wrote to Dr. Ammerman on
March 11, 1994: “CAN certainly agrees with your feeling that all religious
groups, no matter how unpopular or controversial they may seem to their critics
or the public at large, deserve equal protection by the First Amendment for
their beliefs and rights to free speech. However, unlawful actions do not
necessarily enjoy such constitutional protection.”
[17] Report at 1, under the heading: “I. What information sources were
available in the Waco affair?”
[18] The Waco-Tribune Herald conducted 175 separate interviews for their
series, “The Sinful Messiah.” Five of the interviews were with David Koresh.
Many of the interviews were with law enforcement officials. Editor Bob Lott
characterizes CAN’s contribution as “minor.” Letter to CAN dated February 28,
1994.
[19] Her misleading remarks appeared under the heading and subheading, “I.
What information sources were available in the Waco affair?” and “A. The
Bureau of Alcohol Tobacco and Firearms” (which is in the Treasury
Deparment). Dr. Ammerman wrote: “All organizations that exist to promote change
have an interest in publicizing the problems they wish to change. …If no one
ever heard stories about groups like the Davidians, you would be out of
business. That does not necessarily impugn your motives. I could say the same
thing about the March of Dimes or Mothers Against Drunk Driving. The point I was
trying to make to the Justice Department was simply that you are a group with a
cause, and they should take that motivation into account in evaluating the
information they receive from you (as they should from any other group with a
cause).” [Ammerman letter to CAN of February 6, 1994.] CAN responded that Dr.
Ammerman “implied that you are under the impression that CAN provided
information to the Justice Department at some time during the Waco standoff.
This is not true, and strikes to the heart of CAN’s assertion to you that our
organization should not have been mentioned at all in your section of the report
entitled “what information sources were available in the Waco affair. … [W]e are
unable to understand why CAN has been singled out among the many organizations
involved in cult awareness activities.” [Letter dated March 11, 1994, to Dr.
Ammerman.]
[20] Dr. Ammerman was briefed orally by both Departments and receive “a list
of the experts consulted by the FBI during the affair.” [Report at 1.] Neither
Department’s extensive published report on the Waco events includes or refers to
receiving any information from CAN. See Report to the Deputy Attorney General
on the Events at Waco, Texas (released October 8, 1993, in redacted form),
Report of the Department of the Treasury on the BATF Investigation of Vernon
Wayne Howell also known as David Koresh (September 1993).
Appendix A: Excerpts from Brennan-Marshall Opinion in United States v.
Kozminski, 487 U.S. 931, 953, 955-57 (1988)
If as a factual matter the use or threat of physical or legal coercion were
the only methods by which a condition of involuntary servitude could be created,
then the constitutional and statutory text might provide some support for the
Court's conclusion. But the Court does not dispute that other methods can
coerce involuntary labor — indeed it is precisely the broad range of nonphysical
private activities capable of coercing labor that the Court cites as the bases
for its vagueness concerns. … I address those concerns below, but the point
here is only that those concerns, however serious, are not textual concerns, for
the text [of the statute implementing Amendment XIII to the Constitution]
suggests no grounds for distinguishing among different means of coercing
involuntary servitude. Nor do I know of any empirical grounds for assuming that
involuntary servitude can be coerced only by physical or legal means.2
To the contrary, it would seem that certain psychological, economic, and social
means of coercion can be just as effective as physical or legal means,
particularly where the victims are especially vulnerable, such as the mentally
disabled victims in this case. Surely threats to burn down a person's home or
business or to rape or kill a person's spouse or children can have greater
coercive impact than the mere threat of a beating, yet the coercive impact of
such threats turns not on any direct physical effect that would be felt by the
laborer but on the psychological, emotional, social, or economic injury the
laborer would suffer as a result of harm to his or her home, business, or loved
ones. And drug addiction or the weakness resulting from a lack of food, sleep,
or medical care can eliminate the will to resist as readily as the fear of a
physical blow. Hypnosis, blackmail, fraud, deceit, and isolation are also
illustrative methods — but it is unnecessary here to canvas the entire spectrum
of nonphysical machinations by which humans coerce each other. It suffices to
observe that one can imagine many situations in which nonphysical means of
private coercion can subjugate the will of a servant.
Indeed, this case and others readily reveal that the typical techniques now
used to hold persons in slave-like conditions are not limited to physical or
legal means. The techniques in this case, for example, included disorienting
the victims with frequent verbal abuse and complete authoritarian domination;
inducing poor health by denying medical care and subjecting the victims to
substandard food, clothing, and living conditions; working the victims from 3
a.m. to 8:30 p.m. with no days off, leaving them tired and without free time to
seek alternative work; denying the victims any payment for their labor; and
active efforts to isolate the victims from contact with outsiders who might help
them.3 Without considering these techniques (and their particular
effect on a mentally disabled person), one would hardly have a complete picture
of whether the coercion inflicted on the victims was sufficient to make their
servitude involuntary. Other involuntary servitude cases have also chronicled a
variety of nonphysical and nonlegal means of coercion including trickery;
isolation from friends, family, transportation or other sources of food,
shelter, clothing, or jobs; denying pay or creating debt that is greater than
the worker's income by charging exorbitant rates for food, shelter, or clothing;
disorienting the victims by placing them in an unfamiliar environment, barraging
them with orders, and controlling every detail of their lives; and weakening the
victims with drugs, alcohol, or by lack of food, sleep, or property medical
care. See, e.g., United States v. Warren, 772 F.2d 827 (CA11 1985); United
States v. Mussry, 726 F. 2d 1448 (CA9 1984); United States v. Ingalls, 73 F.
Supp. 76 (SD Cal. 1947). One presumes these methods of coercion would not
reappear with such depressing regularity if they were ineffective.4
___________________
2 In other contexts, we have recognized that nonphysical coercion
can induce involuntary action. For example, we have interpreted the federal
crime of kidnapping to include the imposition of "an unlawful physical or mental
restraint" to confine the victim against his will. Chatwin v. United States,
326 U.S. 455, 460 (1946)(emphasis added). Similarly, in determining when
confessions are involuntary, we have noted "coercion can be mental as well
physical … T]he efficiency of the rack and the thumbscrew can be matched, given
the proper subject, by more sophisticated modes of 'persuasion.'" Blackburn v.
Alabama, 361 U.S. 199, 206 (1990). "When a suspect speaks because he is
overborne, it is immaterial whether he has been subjected to a physical or a
mental ordeal." Watts v. Indiana, 338 U.S. 49, 53 (1949)(plurality opinion of
Frankfurter, J.).
3Although not detailed by the Court, the Government introduced
evidence that the Kozminskis (1) ripped a phone off the wall in the barn when
one of the victims was caught using it, and did not simply "discourage" contact
with relatives but falsely told relatives who asked to speak to the victims that
the victims did not want to see them and falsely told the victims that their
relatives were not interested in them; (2) …
4Because the Court today adopts an expansive but rather obscure
understanding of what "physical" coercion encompasses, … it is difficult to tell
which, if any, of the means of coercion described in the last two paragraphs the
Court would deem "physical."
Appendix B: Bibliography on Thought Reform and Cults
Asch, S.E. (1952). Effects of group pressure upon the modification and
distortion of judgments. New York: Holt, Rinehart and Winston.
Andersen, S., & Zimbardo, P. (1984). On resisting social influence. Cultic
Studies Journal, 1(2), 196-219.
Brown, J. A. C. (1963). Techniques of persuasion: From propaganda to
brainwashing. New York: Penguin.
Chen, T. E. H. (1960). Thought reform of the Chinese intellectuals. New
York: Oxford University Press for Hong Kong University Press.
Cialdini, R. B. (1984). Influence: How and why people agree to things.
New York: William Morrow and Company, Inc.
Clark, J. G. (1979, July 20). Cults. Journal of the American Medical
Association, 242, 179-181.
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Appendix C: Excerpts from "How Many Jonestowns Will It Take?" (20 April
1993)
Herbert L. Rosedale, Esq., President, AFF; Michael D. Langone, Ph.D.,
Executive Director, AFF
The tragedy at the Branch Davidian compound in Waco, Texas has focused
attention on the Justice Department's effectiveness in dealing with David Koresh
and his followers. Lacking all the information pertaining to the ATF's and
FBI's decision-making, we hesitate to join the "blame chorus." Perhaps the
authorities made serious mistakes. Perhaps not. Their job was exceedingly
difficult. The personal responsibility they must have felt and continue to feel
ought to elicit sympathy in all of us. We doubt that any levelheaded person
would have been eager to step into their shoes.
Cults are not merely weird groups that crazy people find attractive. Cults
are massive, enduring cons. Although individuals may join cults during periods
of stress and demoralization, most cult joiners are more or less within the
normal range psychologically. They do not join groups because they have made a
rational and informed decision that the cult will benefit them. They join
because they are seduced through a gradual, step-by-step process of deceit and
manipulation designed to advance the leader's objectives, regardless of the harm
caused to members. The centrality of sustained, exploitative manipulation
distinguishes cults from benign new movements and mainstream religions.
All cult leaders are charismatic, persuasive personalities. Those that are
at the top of their trade gain virtually absolute control over their followers.
Some cult leaders are con men who are very much aware that their main goal is to
make money. Others are psychopathic personalities whose primary motivation may
be the pleasure of wielding power over others or the satisfaction of endowing
their idiosyncratic delusions with the pseudoreality of their followers'
manipulated adulation. Such leaders may often come to believe in their own
convoluted "theologies," the underlying purpose of which is to enhance their
power and sustain their delusional systems. If David Koresh had been a "mere
con man" who was in it for the money, the FBI probably would have been able to
work out a deal because Koresh would have been rational enough to save his own
skin.
It is now obvious that Koresh became intoxicated by his own charisma and
enslaved by his private voices of doom. There were many signs pointing to this
conclusion before the Waco fire. However, because David Koresh was a mercurial
egomaniac, it is quite possible that no matter what the FBI did, he would have
led his group into tragedy of one sort or another. He apparently preferred
death to surrender. His followers "followed" his lead.
If the FBI can be faulted, it is for what they did and didn't do, not for the
results, which may have been unavoidable. The ultimate responsibility for this
conflagration lies with David Koresh.
The FBI, however, apparently did not appreciate the uniqueness of the cult
mindset, and opted to consult experts on terrorists and hostage taking, rather
than eminent cult experts, such as Dr. Margaret Singer of the University of
California at Berkeley and Dr. Louis J. West of UCLA. If they had, they might
have reconsidered their tactics of pressure, harassment, and psychological
warfare. In a terrorist hostage-taking situation, authorities confront a small
group of fanatics who are usually surprisingly rational, given their
assumptions, and a group of hostages who definitely don't want to be there. In
Waco, the authorities confronted an astoundingly persuasive, but fundamentally
irrational, man whose "hostages," for the most part, wanted to be with him —
even to the death. These differences make for markedly different group
dynamics.
Cultists often depend upon psychological dissociation, a kind of splitting of
the mind, to adapt to the pressures and contradictions of the cult environment.
Koresh clearly had delusional tendencies. Consequently, standard psychological
warfare tactics, such as depriving members of sleep by playing Buddhist chants
in the middle of the night, probably made Koresh and his followers even more
irrational and less open to constructive outside influences.
The primary enemy of the cult mindset is truth — information from outside the
closed, psychological walls of the group. Research on defection from cults
suggests that those who become aware of the leader's hypocrisy and those who are
able to share private doubts with others are much more likely to leave. This is
why cult leaders so often control even the most mundane aspects of their
followers' lives and why cult experts advise parents always to try to keep the
lines of communication open. The leader's hold on members is powerful, yet
paradoxically fragile.
Before pushing Koresh into a corner, the FBI should have permitted the
families of the Branch Davidian members to talk at length to their loved ones in
order to try to connect them psychologically to the outside world and find holes
with which to pry open the psychological cap that made the people in the
compound followers rather than hostages. However, given Koresh's
psychopathology, this probably wouldn't have worked either. But it should have
been tried.
Appendix D: Excerpts from October 29, 1993, letter of Margaret T. Singer,
Ph.D. to Deputy Attorney General and Assistant Secretary of the Treasury
[C]ertain erroneous statements in the report submitted by Dr. Nancy T.
Ammerman ... may seriously mislead the government and the public and, if
uncorrected, cause government authorities to misjudge and mishandle future
situations involving groups similar to the Branch Davidians.
I will focus on the two [factual errors and erroneous implications] that I
deem to be the most destructively misleading.
1.
Although the religious belief systems of groups such as the Branch
Davidians are relevant to a full understanding of the group's psychological
dynamics, Dr. Ammerman greatly exaggerates the role of belief systems and
ignores the central role of thought reform processes. Charismatic,
unscrupulous cult leaders such as David Koresh institute thought reform
programs in order to ensure compliance among their followers. The belief
systems of such groups are of secondary importance. They vary tremendously in
nature. Some are political, others psychotherapeutic, some "biblical," and
others "eastern mystical." The belief systems' common characteristic is that
they serve as "tools" to advance the leader's hidden agendas (which may
sometimes be mere financial fraud, and other times, as with Koresh, the
propping up of the leader's fragile and pathological ego). Members follow the
leader not so much because of a rational and informed acceptance of the belief
system, but because of the orchestrated program of psychological manipulation
designed to gain their compliance. Attached is an article from Psychiatric
Annals [not reproduced] in which Dr. Richard Ofshe and I describe thought
reform programs and the psychiatric casualties that sometimes result from such
programs.
I recognize that some "new religious movements" do
not employ thought reform programs. For these groups, the belief system may be
a central determinant of members' decisions to join. Such movements, however,
are not likely to pose law enforcement problems. Dr. Ammerman seems not to
recognize that some new movements may be psychologically and socially
destructive. Indeed, she even seems to imply that the Jonestown tragedy
resulted from family members' complaints to authorities — an absolutely
ridiculous position.
In her report, Dr. Ammerman states: "The notion of
`cult brainwashing' has been thoroughly discredited in the academic community,
and `experts' who propagate such notions in the courts have been discredited by
the American Psychological Association [APA] and the American Sociological
Association [ASA]."
The two clauses that comprise this statement are
both erroneous. First, contrary to Dr. Ammerman's claim, there is, in fact,
widespread agreement, if not unanimous agreement among behavioral scientists who
have studied intense social influence and indoctrination that thought reform
programs are a reality. Skepticism seems to emanate primarily from some
sociologists of religion and religious studies scholars who are not behavioral
scientists and have not worked clinically with victims of thought reform
programs.
I can point to a number of compelling publications
indicating widespread acknowledgement of the reality of thought reform within
the behavioral and social science communities. Richard Ofshe, a social
psychologist in the Sociology Department of the University of California,
Berkeley, recently published an important article, "Coercive Persuasion and
Attitude Change," in the Encyclopedia of Sociology. I have contributed articles
on this subject to two authoritative texts, the Merck Manual of Diagnosis and
Therapy (15th edition) (the most widely read medical book in the world) and the
Comprehensive Textbook of Psychiatry, III. Furthermore, a large number of
articles on the subject have been published in psychological and psychiatric
journals. Attachment B is a brief bibliography on thought reform and cults.
I also refer you to Dr. Cancro's report. Contrary
to Dr. Ammerman's conclusion, Dr. Cancro treats "brainwashing" (i.e., thought
reform) as an accepted (rather than "thoroughly discredited") scientific
concept. He states: "The absence of corrective feedback from a diverse
environmental experience strengthens the belief system through a process that
can be described as a form of brainwashing. It does not matter that this
brainwashing may even be voluntary, because the operational effect will be the
same."
It is also noteworthy that the DSM-III-R (the
Diagnostic and Statistical Manual of the American Psychiatric Association)
includes the following statement with regard to diagnosis 300.15, Dissociative
Disorder Not Otherwise Specified: "dissociated states that may occur in people
who have been subjected to periods of prolonged and intense coercive persuasion
(e.g., brainwashing, thought reform, or indoctrination while the captive of
terrorists or cultists)."
The second part of Dr. Ammerman's statement, which
claims that APA and ASA have discredited experts who testify on "cult
brainwashing," is also not correct. Although attempts were made to persuade APA
and ASA to take the stand Dr. Ammerman presents as fact, these attempts failed.
(Both APA and ASA withdrew their names from amicus curiae briefs taking that
stand. The egregious conduct of certain individuals in the attempted
manipulation of the APA and ASA is the basis of a civil suit soon to be filed.)
Indeed, APA's Division 36 (Psychologists Interested in Religious Issues)
rejected a proposed resolution that would have condemned expert testimony on
thought reform and passed instead a resolution that acknowledged the reality of
thought reform (while noting a lack of consensus regarding the degree to which
particular groups practice thought reform).
Moreover, even before this year's Daubert decision
by the Supreme Court regarding admissibility of expert testimony, expert
testimony on thought reform had been considered in a number of court cases.
2.
Dr. Ammerman appears to be lobbying for a group of academicians who,
like herself, ignore the crucial role of thought reform in groups such as the
Branch Davidians and, therefore, are not the consultants on whom the
department should rely. Their limited relevance becomes evident in Dr.
Ammerman's analysis. For example, she states on page two, referring to the
outside experts the FBI consulted, that "this list of outside consultants is
sorely wanting. The psychiatrists who were most intimately involved are
undoubtedly experienced in helping the FBI understand `the criminal mind.'
This, however, was a very different situation, and we have no evidence that
any of these men had background or experience in dealing with a
high-commitment religious group." Then on page four, after reviewing some of
the advice the FBI received from its behavioral science consultants, she
says: "It is my belief that this understanding of Koresh's ideas was
basically accurate and that their assessment of his likely behaviors was on
target." It seems, then, that either the consultants had more expertise and
experience than Dr. Ammerman realizes or they were pretty lucky. Knowing Dr.
Park Deitz [a FBI behavioral consultant], I believe the former statement is
more accurate.
Soon after acknowledging the soundness of the advice offered by Dr. Deitz and
his colleagues, Dr. Ammerman provides a list of points that she believes the FBI
should have taken into consideration. Other than the egregiously erroneous
attack on "brainwashing" and the silly suggestion that the Jonestown disaster
resulted from "the actions of government agencies pushed forward by `concerned
families,'" these points are superficial or self-evident. For example, does she
really believe that the agents and their consultants did not realize that "new
or dissident religious groups are often `millennialist' or `apocalyptic'"?
Thus, Dr. Ammerman's analysis seems inconsistent. On the one hand, she
acknowledges that the Waco situation called for special behavioral science
expertise. On the other hand, she is trying to make a case for recommending
individuals who are mostly sociologists and religious scholars lacking the
requisite behavioral science expertise. Moreover, some of these "experts" have
provided expert testimony favoring cultic groups with psychological dynamics
similar to those of the Branch Davidians. These "experts" are neither
behavioral scientists aware of thought reform programs, nor have they had
extensive first-hand experience debriefing and working with persons who have
been subjected to thought reform programs.
The point of view generally advanced by these academicians is, in my view,
superficial and off the mark with respect to groups such as the Branch Davidians
(although their point of view may have more relevance for benign new religious
movements). They overlook the centrality of thought reform in determining the
behavior of group members in destructive "new religious movements." That is why
Dr. Ammerman writes as though all law enforcement personnel need to do is learn
about the diversity of religious groups. She overlooks the crucial fact that
law enforcement will not get involved unless criminal activity is believed to
have occurred. Because such groups are likely to be destructive, law
enforcement personnel must understand the psychological dynamics that make such
groups destructive and set them apart from benign groups to which Dr. Ammerman's
analysis is more relevant.
Those of us who have studied thought reform and cults begin our studies of
cult membership at the point when the potential recruit first makes contact with
the group -- when the seductive process of thought reform begins.
(Parenthetically, let me point out that a common misconception about thought
reform is that it requires the use of force. This most definitely is not the
case, as Dr. Robert Lifton's seminal studies of thought reform among Chinese
civilians demonstrated. See Attachments C and D for statements [partially
reproduced in text; see n. 11] that Drs. Robert Lifton and Edgar Schein, another
pioneer in the study of thought reform, wrote to rebut claims that thought
reform requires physical force.) The sociologists of religion whom Dr. Ammerman
recommends tend to accept at face value the statements members make after they
have already committed to the group and been exposed to the intense social and
psychological manipulations of a thought reform program. These academicians
tend to overlook the deception and psychological manipulation that characterize
the recruitment and indoctrination processes of many cultic groups.
I believe that if the Department of Justice followed Dr. Ammerman's advice,
they would handle future situations involving groups that practice thought
reform less effectively rather than more effectively.
Appendix E: Excerpts from letter dated October 12, 1993, of Herbert L.
Rosedale, Esq., President, AFF, to Deputy Attorney General and Assistant
Secretary of the Treasury
As a practicing attorney, I have been involved on a pro bono basis in this
area of law for upwards of a dozen years. I have become involved in the
representation of victims without any personal or family connection to any group
whatever because of my concern about the threat that destructive cults pose to
our political and judicial systems.
While many destructive cults are organizations which deify their leaders and
proclaim themselves to be "religious," often to take advantage of tax and
perceived other legal benefits, some are totalistic political and abusive
self-help groups.
In her report submitted to you, Dr. Ammerman reached a basic conclusion
which, if followed uncritically, would cause the government to adopt a position
of "benign neglect" with respect to violent and abusive conduct. She writes "...
new religious groups are usually more threatening to cherished notions about how
we all ought to order our lives than to our physical well-being." It is very
hard to reconcile that statement with the deaths at Waco, Jonestown, Matamoros,
etc. Her conclusion is also premised upon inadequate consideration of the
substantial body of academic and clinical evidence that (i) people who join
destructive cults do not do so voluntarily and (ii) people who leave destructive
cults have sustained physical and mental injuries attributable to their stay
with the group.
Appendix B is a list of the authorities and sources, none of which are
referred to in the report of Dr. Ammerman, that support these propositions.
Notably, Recovery from Cults, a series of 20 papers edited by Michael Langone,
the Executive Director of The American Family Foundation, has just been
published by W.W. Norton & Co. It is a current selection of the Behavioral
Science Book Club and is derived from professional papers presented at a
conference sponsored by our organization and five cosponsoring Philadelphia
organizations, including Northwestern Institute, a psychiatric center in
Pennsylvania.
Ms. Ammerman's contention that the "notion of cult brainwashing has been
thoroughly discredited in the academic community, and experts who propagate such
notions in the courts have been discredited" is, simply, factually wrong. Even
a cursory examination in the material included in Appendix B and reference to
the professional stature of the authors of that material, rebuts the conclusion
of Dr. Ammerman. With respect to her statements as to the state of the law, they
ignore the recent decision of the Supreme Court of the United Stats which
discarded the evidentiary approach used by a number of courts in denying
admission of certain testimony as to mind control. Moreover, she has ignored
the numerous cases in which such testimony has been admitted and relied upon by
courts and juries.
Analysis of these issues was made in 1992 by a Committee of the Group for the
Advancement of Psychiatry in a text entitled "Leaders & Followers." In
addressing the question of whether the accusation of brainwashing is satisfied,
this committee concluded that there is an argument that "forced isolation from
family and friends predisposes 'captive' recruits to identification with the
cult's leadership and goals" and that it is simplistic to use the term
"voluntary" in determining the means used of gaining adherence by such groups
since "rational judgment has little to do with any religious affiliation;
indoctrination of those with the need to belong has a lot to do with it." The
above quote is made not because it is the strongest or most complete statement
of the positions with respect to mind control, but because it is the conclusion
of a group having no financial or other commitment to sustaining or denying the
existence of coercive persuasion. Examination of the identity of authors of much
of the material included in Dr. Ammerman's report will disclose financial
support, connection and reliance upon the very groups that they are commenting
about.
Particularly insofar as this report seeks to deal with guidance in future law
enforcement, it would seem blatantly inappropriate to ignore the seminal works
of Robert Lifton on thought reform and totalism where Professor Lifton has
taught law enforcement officials for years in the John Jay College of Criminal
Justice in New York City.
It is clear in the conclusion of the "GAP" study that all sources of
professional information, including those critical of a cult, must be consulted
and considered prior to determining a course of conduct. This seems to me to be
more appropriate guidance for future law enforcement actions than the reliance
of incomplete views advocated by Ms. Ammerman.
It is essential that in adopting a multi-disciplinary approach to the
gathering of information relative to future law enforcement actions, you
consider and evaluate he opinions of those who have had personal knowledge of
particular groups and not rely, as do Dr. Ammerman and many of the authorities
she cites, on the opinions of people who are still within and under the control
of a group. One must also consider the critics of the group and those whose
experience have led them to leave it.
We at the American Family Foundation believe that the suggestion that the
government should turn a blind eye on the harm destructive cults cause to its
victims because of "the long view" and because such group's strange behavior is
"widely sought by millions of people" is inappropriate. We do not believe that
we should take such a view towards racial discrimination, poverty, or other
abuses of power simply because the harm is not great if we take a long enough
view and because the number of abusers is great.
There are embodied in our Constitution certain inalienable rights including
those of life, liberty and the pursuit of happiness. It is not an appropriate
lesson from the tragedies of Waco and Jonestown that the dead are victims of a
religious group pushed over the edge by actions of a government agency or that
their deaths are attributable to their concerned families.
It is our hope that in your evaluation of how to improve federal law
enforcement after Waco you will opt for more knowledge, rather than less, for a
wider scope of consultation, rather than a narrower one, and multi-disciplinary
considerations, rather than sole reliance upon academicians dealing with
comparative religious theology.
Appendix F: Excerpts from letter dated October 29, 1993, of Michael D.
Langone, Ph.D., Executive Director, AFF, and Editor, Cultic Studies Journal, to
Deputy Attorney General and Assistant Secretary of the Treasury
The recently released report on the Branch-Davidian standoff includes three
reports on the subject of "dealing with persons whose motivations and thought
processes are unconventional." The three reports were written by Drs. Nancy
Ammerman, Robert Cancro, and Lawrence Sullivan. Dr. Ammerman's report contains
a number of inaccuracies regarding thought reform (also known as "coercive
persuasion" and colloquially as "brainwashing" or "mind control"), which Dr.
Margaret Singer has addressed in her letter to you. Herbert Rosedale has also
criticized Dr. Ammerman's report for implicitly advocating a "benign neglect"
toward criminal groups with a religious nature, but has written favorably of
Drs. Cancro's and Sullivan's reports. Mr. Rosedale supports their call for a
multidisciplinary perspective, but recommends that experts on thought reform be
included in multidisciplinary deliberations. I write to explain further why the
concept of thought reform is relevant to your deliberations and how thought
reform relates to other behavioral science perspectives and to religious
studies.
Before proceeding, I want to make clear that I define a cult as an abusive,
exploitatively manipulative group that uses thought reform to control members'
behavior, feelings, and thoughts. Cults often are religious, but may also be
psychotherapeutic, or political. I distinguish cults from new groups that are
not abusive and manipulative, whether these be new religious movements,
innovative psychotherapies, or new political movements. Individuals "whose
motivations and thought processes are unconventional" may or may not belong to
cults, such as the Branch Davidians. My comments are most applicable to cult
situations.
The general issue that we all are trying to illuminate is interpersonal
influence, that is, how the behavior of individuals and groups is influenced by
interactions within the subject population and between members of the subject
population and law enforcement authorities. A diagram on page 19 attempts to
clarify this issue. Horizontally, the diagram is divided into religious
contexts and nonreligious contexts. Vertically it is divided into respectful
forms of influence and abusive forms of influence. Abusive forms of influence
are further subdivided into situations involving thought reform and situations
where thought reform is not present.
Obviously, this diagram is a simplification. In real life the boundaries
between respect and abuse, or between religious and nonreligious, are fuzzy, not
sharp. Moreover, no group would fit completely in one category. Even the most
abusive groups will demonstrate forms of respectful influence in certain
situations. However, there are differences in the frequencies and consequences
of abusive influence. I have elsewhere proposed the concept, "climates of
influence," to distinguish between different types of groups.
In an essay on psychological abuse (Langone, 1992), I propose the acronym,
MAID, to explain the difference between respectful and abusive forms of
interpersonal influence. MAID stands for Mind, Autonomy, Integrity
(psychological wholeness), and Dignity (self-esteem, with social dimension).
When influencers honor the minds, autonomy, integrity, and dignity of
influencees, the context is respectful. When influencers dishonor these
fundamental requirements of human happiness, they wrongly use influencees, and
the context is abusive. Respectful interpersonal influence is open, honest, and
caring. Abusive interpersonal influence is manipulative, dishonest, and
exploitative.
Whether or not they have had formal psychological training, law enforcement
personnel develop with experience a keen understanding of psychological abuse,
of how people wrongly use other people. Any training designed to advance their
understanding of unconventional groups and persons should respectfully
acknowledge and build upon what they already know. For example, much sound
advice came from individuals within or associated with the FBI, even if their
understanding was not as great as it might have been. However, as others have
noted, the tacticians rejected this advice.
Law enforcement personnel could sharpen their understanding by integrating
what they already know with relevant concepts and information from religious
studies and behavioral science, including thought reform, or "cultic studies."
This integrated understanding would enable them to assess more accurately
situations such as the Branch Davidian stand-off because they would understand
how religious issues fit into the picture, how the leader's behavior reflects
his psychological dynamics, and how thought reform processes influence members'
behavior.
I will now elaborate upon the relationships described in the diagram on page
19.
Religious scholars are experts on how religious beliefs influence behavior.
Psychologists and other behavioral scientists study the processes by which
individuals may come to adopt these beliefs and the psychological motivations
that often affect behavior. Behavioral scientists who have studied thought
reform have a special expertise pertaining to situations in which the following
conditions are present (or present to a high degree) [from M. Singer & R. Ofshe,
1990, Thought reform and the production of psychiatric casualties. Psychiatric
Annals, 20, 188-193]:
·
obtaining substantial control over an individual's time, and
thought content, typically by gaining control over major elements of the
person's social and physical environment
·
systematically creating a sense of powerlessness in the person
·
manipulating a system of rewards, punishment, and experiences in
such a way as to promote new learning of an ideology or belief system
advocated by management
·
manipulating a system of rewards, punishments, and experiences
in such a way as to inhibit observable behavior that reflects the values and
routines of life organization the individual displayed prior to contact with
the group
·
maintaining a closed system of logic and an authoritarian
structure in the organization
·
maintaining a noninformed state existing in the subject.
In a thought reform situation, such as the Branch-Davidian stand-off,
traditional religious studies formulations about the relationship between belief
and behavior will tend to break down because (a) the belief system becomes an
instrument which the leader uses to enhance his control of followers, (b)
followers are driven more by an induced dependency on the leader than by a
rational, informed evaluation of the belief system, and (c) the leader, whose
primary concern is control over his/her followers rather than maintaining the
integrity of his/her beliefs, will adjust those beliefs to combat circumstances
that threaten his/her control. Consequently, the internal logic -- including
the symbolic logic -- of the belief system, though certainly worth considering,
cannot be exclusively relied upon to understand or predict the behavior of the
leader or followers.
Although traditional behavioral science perspectives can be helpful in
understanding the leader's behavior (e.g., the contention that pulling back
would paradoxically decrease Koresh's power and influence with his followers),
they tend to overestimate the degree to which followers' behavior reflects need
fulfillment (motivation) and underestimate the extent to which it reflects the
leader's exploitation of needs (manipulation). They also tend not to appreciate
the important role that dissociative defenses often play in the followers'
adaptation to the extreme pressures and hidden, often contradictory, agendas of
the cult environment. Dissociation is a mental mechanism that enables cultists
to "split" or "compartmentalize" their minds in order to adapt to powerful
environments with contradictory agendas. For example, a Branch Davidian mother
might have adapted to the contradictory messages of "love and care for your
child" and "obey Koresh" (when what Koresh was advocating placed the child in
danger) by mentally disconnecting from the former message. A behavioral
scientist unfamiliar with thought reform situations might attribute some kind of
unconscious motivation (e.g., suppressed hostility toward a child that
interferes with the mother's life), whereas a thought reform specialist would
not make that assumption and would tend to explain the mother's behavior as a
consequence of Koresh's manipulations of the woman's mind.
How could the thought reform perspective have been applied to the Waco
situation?
Before answering this question, I must emphasize that the reflections
presented in the following paragraphs are not based on full knowledge of the
facts, nor would they necessarily be endorsed by all thought reform experts.
Nor do I intend to imply that "if only the FBI had listened to us, everything
would have turned out fine." My personal suspicion is that, once the ATF raid
was made, Koresh's psychopathology made catastrophe almost a foreordained
conclusion. However, this does not mean that mistakes weren't made, nor does it
mean that it would have been impossible to get more people out before the
catastrophe. We will never know the answers. To the credit of the Departments
of Justice and Treasury, a sincere attempt is being made to learn from the
experiences associated with Waco.
Based on my understanding of thought reform and the situation at Waco, I
would have strongly agreed with the behavioral scientists who recommended a
pulling back and objected to the use of psychological warfare tactics (the
Tibetan chanting was especially counter indicated because it would tend to
magnify the suggestibility of Koresh's followers, not decrease it).
I would have strongly recommended that an expert on the Branch Davidian
theology be consulted. Even though the belief system probably functioned, in
large measure, as a tool, it was a tool that the authorities could have used,
not just Koresh.
I would have strongly recommended that an expert clinician knowledgeable
about thought reform and cults, such as Dr. Margaret Singer, interview as
quickly as possible all available former members and family members. These are
the people who have the raw data on the group's techniques of psychological
manipulation, even though they may not be able to articulate clearly what they
know (which is why clinical expertise is necessary in order to pull out and
organize the valuable information in their heads).
I suspect (though I do not have sufficient information to state confidently)
that the information so gathered would have been useful -- in conjunction with
the theological analysis (which would have helped negotiators to speak Koresh's
"language") -- in negotiating for the release of children and others. Family
members, "coached" by an expert clinician, might have been able to begin to
connect their loved ones to the outside world and find holes with which to pry
open the psychological cap that made them followers, rather than hostages.
Negotiators might also have been able to identify strategies that would have
given them more leverage over Koresh.
As noted earlier, I do not know if these if followed, would have
significantly altered the outcome, for ultimately Koresh's personal needs (the
only needs that truly matter in a cultic group) would have determined the
outcome. If, as seems to be the case, his need for power so outweighed his
instinct for survival that he would opt for death when he believed himself to be
trapped between utter humiliation and death, then death was inevitable. The
"next Koresh," however, may not be so thoroughly trapped, nor so "tipped" toward
death, and a positive outcome may be possible if, as Dr. Sullivan says,
"knowledge is the premise."
Forms of Influence
|
|
Forms of Influence |
|
|
Respectful |
Abusive |
|
Contexts |
|
Not Thought Reform |
Thought Reform |
|
Religious Contexts |
Mainly functioning here are benign new religious movements and other
religious groups, for which religious studies perspectives are most useful.
Little, if any, need for serious law enforcement involvement. |
Abusive religious situations in which the motivations of the abused are
prominent.
Traditional behavioral science view usually sufficient. |
Abusive religious situations in which the manipulations of a leader are
prominent (e.g., cults).
Thought reform expertise needed. |
|
Non-Religious Contexts |
Functioning here would be benign nonreligious groups, such as communes that
do not have a religious character.
Little, if any, need for serious law enforcement involvement.
|
Abusive groups that are political psychotherapeutic, or commercial.
Traditional behavioral science views usually helpful here. |
Abusive groups that are political psychotherapeutic, or commercial.
Thought reform expertise needed. |
|
Obviously, this diagram simplifies boundaries that, in real life, would be
fuzzy, not sharp. Also, no group would fit completely in one category. The
categories are useful only in separating groups with different influence
"climates." |
Cult Abuse Policy & Research Board of Advisers: Peter N. Georgiades,
Esq., Counselor at Law, Pittsburgh, PA; Bruce D. Perry, M.D., Ph.D.; Thomas S.
Trammell Research Professor of Child Psychiatry, Dept. of Psychiatry, Baylor
College of Medicine, Houston, TX; Herbert Rosedale, Esq., President AFF, New
York, NY; Patricia Ryan, M.P.A., Legislative Advocate, S |