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Income Taxes (Details Narrative) - USD ($)
12 Months Ended
Dec. 31, 2023
Dec. 31, 2022
Share-Based Compensation Arrangement by Share-Based Payment Award [Line Items]    
Other description In the event that an entity has an “ownership change” (as defined in Section 382 of the Internal Revenue Code of 1986, as amended ( “IRC”)), an entity’s federal net operating loss carryforwards (“NOLs”) generated prior to an ownership change would be subject to annual limitations, which could defer or eliminate the Company’s ability to utilize these tax losses against future taxable income. Generally, an “ownership change” occurs if one or more stockholders, each of whom owns 5% or more in value of a corporation’s stock, increase their aggregate percentage ownership by more than 50% over the lowest percentage of stock owned by those stockholders at any time during the preceding three-year period. A full Section 382 analysis was prepared in 2023 and it was determined that our NOLs were subject to limitations under IRC Section 382. The Company's ability to use NOLs and other tax attributes to reduce taxable income and income taxes could be materially impacted by a future IRC 382 ownership change.  
Operating loss carryforward $ 24,300,000  
Valuation allowances 8,670,606 $ 7,394,050
Plan 2017 [Member]    
Share-Based Compensation Arrangement by Share-Based Payment Award [Line Items]    
Operating loss carryforward 23,000,000  
Plan Expire Between 2023 to 2037 [Member]    
Share-Based Compensation Arrangement by Share-Based Payment Award [Line Items]    
Operating loss carryforward $ 1,300,000