This appendix will consider the extent to which President Trump’s Campaign and related entities raised an unprecedented amount of political donations using inflammatory messaging alleging that the 2020 U.S. Presidential election was fraudulent or stolen. It will review what tools and methods were used to produce, transmit and optimize these fundraising solicitations; who drafted and approved the messaging and what they knew about the accuracy of the messaging; who ultimately benefitted from these donations; and the impact of these messages on their recipients.
The Select Committee’s investigation demonstrates that President Trump’s baseless claims of election fraud—the Big Lie—served a dual purpose, forming the foundation of his attempts to overturn the 2020 Presidential election and launching a fundraising effort to fund the former President’s other endeavors and to enrich his associates—the Big Rip-off.
The false election fraud narrative embedded in fundraising emails and text messages amplified the Big Lie by perpetuating a belief that the 2020 election was stolen from President Trump and effectuated the Big Rip-off by misleading donors into thinking their donations could alter the election results.
At the same time, the Big Lie helped President Trump and the Republican National Committee (RNC) raise more than $250 million after the election, much of it from small-dollar donors who were promised their money would “Stop the Steal.”
Despite what they told their supporters, however, most of their money was not used to stop any purported steal—it was diverted to accomplish the Big Rip-off. Millions of dollars that were raised ostensibly for “election defense” and “fighting voter fraud” were not spent that way at all.
Moreover, the Select Committee’s investigation shows that the RNC knew that President Trump’s claims about winning the election were baseless and that post-election donations would not help him secure an additional term in office. Yet, both the Trump Campaign and the RNC decided to continue fundraising after the election, a decision that would have come from President Trump himself.
In short, President Trump and his Campaign ripped off supporters by raising more than $250 million by claiming they wanted to fight fraud they knew did not exist and to challenge an election they knew he lost.
As detailed below, the Trump Campaign misled the American public and President Trump’s donors on how they planned to use, and did use, the donated funds while bombarding supporters with hundreds of emails, as many as twenty-five emails per day, stating the election had been stolen. In those emails, they used inflammatory language accusing Democrats of trying to “steal the election,” encouraged supporters to join the “Trump army”; “Defend” the election: and to “fight back” over, and over, and over again.1 They sent these emails out because they knew they were effective at raising money.2 This was made possible by the creation of a fundraising machine powered jointly by the Trump Campaign and the RNC.
During the 2020 election cycle, President Trump operated a structure under which the Trump reelection campaign and the RNC merged programs and raised money jointly through the Trump Make America Great Again Committee (internally referred to by its acronym TMAGAC, which RNC officials pronounced “T-Magic”).3 TMAGAC was focused on raising money online through small-dollar donations.4 Tim Murtaugh, the Trump Campaign’s communications director, described the TMAGAC fundraising operation as “an entity unto itself within the campaign.” 5
The individual charged with leading the digital operation in 2020 was Gary Coby.6 Coby first started working with the RNC in 2016 even before President Trump became the nominee.7 Coby explained that, as digital director, his role during the 2020 Presidential election cycle was to “oversee the digital operation.” 8 Similarly, senior staffers at the Trump Campaign and the RNC all made clear that Coby was the individual in charge of the TMAGAC digital team.9 Both high-level staffers at the Trump Campaign and at the RNC confirmed that Coby had the trust of Jared Kushner, the President’s son-in-law.10
Coby explained that during the 2020 Presidential election cycle, the TMAGAC digital team was a “big team with multiple organizations and vendor teams all working together as one, that include[d] RNC staff, [Donald J. Trump for President] staff, [and] maybe a half dozen vendor teams.” 11 The RNC digital team, a subset of the TMAGAC digital team, was led operationally by Kevin Zambrano, Chief Digital Officer at the RNC. In 2020, members of the digital staff of both the RNC and Trump Campaign merged in an office building in Arlington, Virginia, with some suites jointly hosting RNC and Trump Campaign staff on the digital team, and other suites hosting third-party companies, such as Opn Sesame and Direct Persuasion.12 Thereafter, Zambrano assisted Coby in managing the TMAGAC digital team.13 Zambrano explained, “The majority of the staff was at the RNC doing both RNC and TMAGAC work.” 14 This work was focused squarely on fundraising.15
The RNC digital team included Austin Boedigheimer, who, starting in January 2019, was the RNC’s digital deputy director16 and technically served as Zambrano’s deputy.17 In reality, Boedigheimer reported to both Zambrano and Coby.18 Boedigheimer also led the TMAGAC digital fundraising team, which was comprised of all online fundraising efforts, including fundraising emails and text messages.19 At the end of the 2020 cycle, that team had 20 or 30 people within smaller teams, such as the copy team, the text message team, the data team, the advertising team, and the graphics team.20
The RNC digital team also included a team of copywriters, who were responsible for writing the fundraising emails and text messages to solicit small-dollar donations through TMAGAC.21 These copywriters reported to Hanna Allred, the RNC’s Chief Copywriter.22 By mid-2020, there were three copywriters who reported to Allred: Alex Murglin,23 Ethan Katz,24 and Alex Blinkoff.25 Blinkoff and Katz worked in that role from June 2020 until they were fired approximately three weeks after the 2020 election, while Murglin remains a copywriter at the RNC.
Although the TMAGAC team consisted of both Trump Campaign and RNC staffers, TMAGAC operated as one entity working towards one goal – raising as much money as possible.26
The copywriting process worked like an assembly line, where different individuals performed a task and passed on the work product to someone else, including for internal approval.27 To generate content for fundraising communications, Allred explained, the copywriting fundraising team was “watching the messaging coming out of the committee [RNC] and the campaign and from the President himself and what his family was talking about.” 28 For example, in a November 2020 email, Boedigheimer stated to Allred, “Good to include lines like [‘]we need the resources to make sure they don’t try to steal this election. We saw what happened on election night, we can’t let them take the senate too.[’]” 29
It was evident that the copywriters “would draft a lot of the content based on . . . what the President was saying.” 30 And there was no mistaking it, President Trump “was providing us [the copywriters] with a lot of content online.” 31 Allred said Boedigheimer was encouraging her to use this language because it would cause President Trump’s supporters to donate by “giving a purpose to their donation” 32 and that they used this repeatedly because it worked.33 Boedigheimer did not dispute this, and reaffirmed that such language had been successful at fundraising.34
Further, the emails that were signed by President Trump or “Team Trump” were intentionally drafted to capture President Trump’s voice, tone and messaging.35 Boedigheimer explained, “[President Trump] obviously has a very aggressive[,] excitable tone, and we would try to incorporate that in our messaging as well.” 36 The goal was to make the millions of recipients of aggressive, hyperbolic fundraising emails believe that the emails were coming from President Trump himself. In Zambrano’s words, the purpose was to give recipients “red meat.” 37
Draft emails were submitted for approval to a designated group that handled approvals of all TMAGAC fundraising copy (the “Approvals Group”).38 Boedigheimer retained responsibility for ensuring that TMAGAC’s fundraising copy was approved before being sent to the public.39
The Approvals Group consisted of three sets of stakeholders from the RNC and the Trump Campaign,40 and included a variety of other interested staffers, including Zambrano, Boedigheimer, and Allred.41 TMAGAC’s fundraising copy could not be sent without approval from the legal, communications and research departments.42
After election day, a small group of staffers in the Approvals Group actively reviewed and approved the numerous fundraising emails and text messages that spread false election fraud claims. These staffers included:
Boedigheimer, as head of the fundraising team handling the drafting and propagation of fundraising messaging, told the Select Committee his understanding of the role the three components of the Approvals Group (legal, communications, and research) performed when reviewing emails and text messages.
Regarding legal, Boedigheimer explained that he understood Alex Cannon’s role, as the Trump Campaign’s Deputy General Counsel, was to review the emails from a “legal perspective” by “essentially making sure that there’s no legal issues with the content.” 49
Regarding communications, Boedigheimer stated that the communications staffers in the Approvals Group were reviewing the content and “[m]aking sure that it’s on message and good from a comms perspective.” 50
Lastly, Boedigheimer explained that the research team was “looking for . . . things that are inaccurate.” 51
Although Boedigheimer provided only a vague explanation of the role of the Approvals Group, he emphasized that he had to “trust that the research, the comms, and the legal team are going to do their processes to make sure it’s [the TMAGAC fundraising copy was] accurate.” 52 He further noted, “[I]t was the approval chain[’]s job to see what the accuracy of the email is and whether it’s true or not. . . . We were sending information and then leaning on our approval chain to make sure that it’s accurate.” 53
The Select Committee’s investigation revealed that the Approvals Group did not operate that way, however. The Select Committee interviewed members of the Approvals Group handling the communications, research, and legal functions and confirmed that members of the Approvals Group typically engaged only in cursory reviews of the fundraising messages and did not review substantive claims of election fraud for accuracy.
Zach Parkinson, the Trump Campaign’s Deputy Director of Communications and Research Director, represented the Trump Campaign’s communications and research functions in the Approvals Group. Parkinson made clear, “Generally, our role when it came to fundraising emails and texts was to approve them for the communications team.” 54 Parkinson noted that that he was typically the person who weighed in on behalf of the Trump Campaign’s communications and research team.55 He added, “we would review them for messaging consistency, sometimes we would review them for factual accuracy, and then we would provide the communications approval for those.” 56
Parkinson clarified that the scope of review for “factual accuracy” was limited. Specifically, his review of fundraising emails and text messages for accuracy was limited to questions concerning items such as time and location.57
Critically, Parkinson did not review statements regarding election fraud in the fundraising copy for accuracy because “most political text messages and fundraising emails are political rhetoric, and so a lot of them don’t necessarily require fact checking.” 58 He added that “political rhetoric,” such as “Democrats are trying to steal the election,” was not something he and his team were “necessarily tasked to say no to.” 59 Parkinson made clear that he thought the legal department, namely Alex Cannon, would handle reviewing for accuracy, noting “I deferred to the legal team on the legitimacy and the ability to substantiate claims that were made that were put through these approvals and whether or not we could, again, substantiate them or they were in line with our legal efforts.” 60 Parkinson, as the head of the research team, the very campaign team meant to fact-check and ensure accuracy in the Trump Campaign’s statements, said he was “simply looking for messaging consistency.” 61 Whether Democrats were engaged in fraud to steal the election was a “political argument” to Parkinson, which he did not review for accuracy.62
Like Parkinson, Michael Reed, then the RNC’s Deputy Chief of Staff for Communications, was not reviewing the TMAGAC emails about election fraud for broader accuracy. Notably, Reed could not recall a single email that he researched to do a fact-check or follow up on to see if claims contained in the email were, in fact, true.63
Boedigheimer and the copywriters believed the research staffers were looking for messages that they believed were inaccurate, but they were doing no such thing.
Alex Cannon, the Trump Campaign’s legal representative in the Approvals Group, was no different—the TMAGAC fundraisers thought he was doing far more than he was in fact doing. The Select Committee received a November 4, 2020, email from Nathan Groth, counsel for the Trump Campaign, to Alex Cannon. This email reflected that Cannon was not tasked with substantively reviewing fundraising emails like Boedigheimer thought. Groth wrote to Cannon, “Matt [Morgan, Trump Campaign’s General Counsel] has instructed me to hand off all compliance matters, including approvals, to you.” 64 Cannon confirmed, “I saw myself as doing exactly what I was instructed to do here, which is do what Nathan had previously been doing. So it’s this. It’s compliance issues like disclaimers and typos.” 65 Therefore, when Cannon received emails that included claims such as “the Democrats are trying to steal the election,” he viewed reviewing the veracity of this statement as “outside the purview of what [he] was tasked.” 66 When asked, Cannon stated that he did not know who was tasked with ensuring that fundraising emails were true and accurate.67
Boedigheimer, and other members of the digital fundraising team he led, claimed to see the Approvals Group as a guardrail of sorts in the fundraising effort to protect from the dissemination of false messaging about the election, but the Approvals Group served no such role. The very staffers in the Approvals Group repeatedly told the Select Committee that they did not review the claims about election fraud to confirm whether they were even true.
When all was said and done, no one in the Trump Campaign claimed to be responsible for confirming the accuracy of President Trump’s words, or other allegations of election fraud, before they were blasted to millions of Americans.68
Thus, after the election, the TMAGAC team drafted emails filled with inflammatory and unfounded claims, and the members of the Approvals Group tasked with fact checking these claims did no such thing—effectively, President Trump’s claims were treated as true and blasted to millions of people with little to no scrutiny by those tasked with ensuring accuracy. This process was a fertile ground for the Big Lie to spread through hundreds of emails and text messages.
Boedigheimer spoke with Coby and Zambrano often about how much money TMAGAC was raising, and they provided feedback regarding fundraising goals.69 Trump Campaign leadership was fully aware of post-election fundraising totals. According to Coby, President Trump’s son-in-law and senior advisor Jared Kushner “had the most interest in the digital program” and “would just check in on [fundraising] results,” and routinely received updates regarding fundraising from Coby.70 Coby also made clear that Kushner was heavily involved in the Campaign’s budget process71 and that he updated Kushner on TMAGAC’s post-election fundraising totals.72
The Select Committee received documents confirming Kushner’s involvement. For example, on November 8, 2020, Kushner requested that a daily tracker be created showing the Trump Campaign’s financial position from election day forward.73 In an email, Kushner noted that the tracker would allow the Campaign to consider its cash flow ahead of the creation of “a new entity for POTUS[’s] other political activities.” 74 Just days after the election, and after the Campaign had three of its four best fundraising days ever on November 4th, 5th, and 6th,75 Kushner was preparing for the launch of President Trump’s new leadership PAC, Save America. Kushner stated that he needed this new daily tracker because the Trump Campaign was going to continue fundraising post-election.76 Kushner continued to receive these detailed daily trackers, which included Save America’s fundraising hauls, through at least December 2020.77
Heading into election night of the 2020 Presidential race, as Americans across the country waited in line to vote on election day, the Trump Campaign and the RNC were planning what they would tell the American public about the results in the upcoming days. On election day, Boedigheimer and Darren Centinello, a Trump Campaign staffer, discussed the three message options that the Trump Campaign had on the table.78
The first option was to send out copy claiming President Trump had won the 2020 election. But the Campaign knew this message was false, and Boedigheimer told Centinello that he could not get this messaging approved yet.79 The Trump Campaign’s second option was an email stating they were still waiting on the election results. This message would have been the truth. The Campaign rejected this option.
Instead, the Trump Campaign chose a third option. Boedigheimer confirmed that TMAGAC fundraisers had received approval for copy claiming that the Democrats are going to “try to steal the election” before election night.80
Zambrano confirmed that it would not surprise him that TMAGAC was immediately claiming that Democrats were trying to steal the election, because President Trump has been pushing that message.81 Zambrano added, “That was the President’s phrasing in the messaging that the team was sourcing from.” 82 Importantly, Boedigheimer confirmed that the TMAGAC copywriting team did not base its use of the “trying to steal” language on any awareness of actual fraud.83
Both the Trump Campaign and the RNC directed TMAGAC to continue fundraising after the election.84 Justin Clark, the deputy campaign manager, explained that the decision to continue fundraising after the election would have come from President Trump himself.85
Starting after the election and until January 6th, the Trump Campaign, along with the RNC, sent millions of emails to their supporters, with messaging such as claiming that the election was “RIGGED.” 86 The Trump Campaign viewed the TMAGAC emails as another avenue to get out President Trump’s post-election messaging about the alleged fraud.87 These emails used false claims of voter fraud to create a sense of urgency that the election was being stolen. The Trump Campaign and the RNC told their supporters that their donations could stop Democrats from “trying to steal the election.” They consistently encouraged donors to give money to continue “uncovering” fraud that had not occurred. These emails were sent out after being reviewed and approved by the Approvals Group.88
The TMAGAC fundraisers used inflammatory language and false election fraud claims after the election because it was both effective at fundraising and accurately captured President Trump’s ongoing tone and messaging.89 When the digital fundraising team drafted emails claiming, for example, that “Democrats are trying to steal the election,” they did not bother to confirm whether or not those inflammatory statements were true, and instead they merely took President Trump’s words and made an effective fundraising email.90 As Zambrano stated, “the President issuing statements or tweets would be the genesis of the copy that would then go into the approval process for edits, for checks. That is why the approval process worked.” 91 President Trump was the source of the lies. Not only was President Trump’s fundraising driven by his daily deluge of lies about the election, but these lies were also able to go unchallenged before being spread because TMAGAC had an ineffective process when it came to scrutinizing and correcting those lies.
The TMAGAC fundraising machine continued to churn out hundreds of fundraising emails and text messages regardless of external developments. For example, Zambrano said that, after former Vice President Biden was widely declared the winner of the election, TMAGAC’s fundraising efforts moved ahead the same way they had previously,92 even though he “would say it wasn’t looking good” as soon as one week after the election.93
A number of individuals and entities associated with the TMAGAC fundraising campaign raised concerns about the dangerous and inflammatory language used in the emails issued for this campaign.
Evidence obtained by the Select Committee shows that the RNC knew that President Trump’s claims about winning the election were baseless and that additional donations would not help him secure an additional term in office. They walked as close to the line as they dared—making several changes to fundraising copy that seemingly protected the RNC from legal exposure while still spreading and relying on President Trump’s known lies and misrepresentations.
The Select Committee did not interview a member of the RNC legal team due to concerns surrounding attorney-client privilege, but the Select Committee nonetheless got insight into their role from documents produced by Campaign and RNC staff, as well as interviews with staffers. As detailed below, the RNC lawyers were the only individuals who even attempted to walk back the fundraising emails.
Allred and Katz both received direction from the RNC’s lawyers shortly after the election to not say “steal the election” and instead were told to use “try to steal the election.” 94 Allred also recalled that, at some point, the RNC legal team directed the copywriters not to use the term “rigged.” 95
After the media called the election for former Vice President Joe Biden on Saturday, November 7, 2020, the RNC began to quietly pull back from definitive language about President Trump having won the election and instead used language of insinuation. For example, on November 10, 2020, Justin Reimer, RNC’s then-chief counsel, revised a fundraising email sent to the Approvals Group to remove the sentence that “Joe Biden should not wrongfully claim the office of the President.” 96 Instead, Reimer indicated the email should read, “Joe Biden does not get to decide when this election ends. Only LEGAL ballots must be counted and verified.” 97 Both Alex Cannon and Zach Parkinson signed off on Reimer’s edits.98
On November 11, 2020, Reimer again revised a fundraising email sent to the Approvals Group. This time, he revised a claim that “President Trump won this election by a lot” to instead state that “President Trump got 71 MILLION LEGAL votes.” 99 Once again Cannon and Parkinson signed off on Reimer’s edits.100
Also on November 11, 2020, Jenna Kirsch, associate counsel at the RNC, revised a fundraising email sent to the Approvals Group to, among other things, remove the request “to step up and contribute to our critical Election Defense Fund so that we can DEFEND the Election and secure FOUR MORE YEARS.” 101 Instead of “secure FOUR MORE YEARS,” Kirsch’s revised version stated a contribution would “finish the fight.” 102 Once again Cannon and Parkinson signed off on these edits for the Trump Campaign.103 Regarding the change to finish the fight, Zambrano conceded, “I would say this a substantive change from the legal department.” 104 Kirsch made numerous edits like this, in which she removed assertions about “four more years.” 105 Such edits continued into late November 2020.
Further, Boedigheimer stated that he took questions to RNC legal in the post-election period about TMAGAC fundraisers using the “steal the election” language.106 The RNC was clearly aware that President Trump’s claims regarding the election were not true and tried to have it both ways.
The private split between the RNC and the Trump Campaign became even more pronounced when President Trump decided to double down on his false election fraud claims and chose Rudolph Giuliani to lead his legal efforts to overturn the election.107 On November 19, 2020, Giuliani held a press conference at the RNC’s headquarters in which he falsely suggested that the Biden Campaign orchestrated an elaborate nationwide voter-fraud scheme.108 Cassie Docksey, a senior RNC staffer at the time, recalled that she spoke that day with Michael Ahrens, then the RNC’s communications director, about the diverging from the Trump Campaign.109 Ahrens told her that the RNC would no longer automatically amplify or replicate statements from the Trump Campaign or President Trump’s legal team.110 Docksey understood Ahrens to be relaying a decision made at the most senior levels of the RNC.111
Ahrens asserted that the RNC was unwilling to adopt the wide-ranging, baseless assertions President Trump’s legal team was making and quietly decided to focus its communication strategy elsewhere.112 Distancing the RNC from President Trump’s false statements was a “regular course of the job before the election,” and it “carried through after the election” in relation to President Trump’s false claims about the election.113 Starting at or before the November 19, 2020, press conference, the RNC senior leadership was in agreement that they would not claim that President Trump had won the election,114 although the RNC “frequently” had to have internal discussions about President Trump’s false statements about the election.115
According to Michael Reed, then the RNC’s deputy chief of staff for communications, “there were conversations amongst [RNC] legal and comms and digital to ensure that anything that was being written by the digital team based off of something President Trump or the Campaign said was something we all were more comfortable with.” 116 RNC Chairwoman McDaniel was a part of these conversations.117
RNC leadership knew that President Trump was lying to the American people. Yet, they did nothing to publicly distance themselves from his efforts to overturn the election. The RNC’s response was merely to tinker around the edges of the fundraising copy but never to fundamentally challenge the one message that remained present in TMAGAC’s post-election fundraising copy—President Trump’s Big Lie.
In the end, multiple senior RNC staffers approved fundraising emails raising questions about the election results even though they did not know of any evidence about fraud impacting the winner of the 2020 Presidential election. For example, Cassie Docksey stated that she was not aware of any fraud that impacted the results of the Presidential election.118 Ahrens conceded that “there was not evidence that we [the RNC] had seen that he [President Trump] won the election, that Biden had not won the election.” 119
Similarly, Justin Clark was “not aware of [fraudulent activity . . . to like defraud voters] by an individual or an entity that would have [changed the outcome of an election].” 120 Alex Cannon “did not find or see, in [his] limited ability as one individual . . . evidence that would be sufficient within the time period to change any sort of election results in any of the States.” 121
Nonetheless, the RNC and the Trump Campaign continued to send out hundreds of emails, spreading the Big Lie to and fundraising off of millions of supporters. Even though the RNC had closely held reservations about repeating the most extreme and unsupportable claims of fraud, the RNC stayed the course with a coordinated, single fundraising plan with the Trump Campaign. The RNC privately and quietly softened the most blatantly egregious claims written by its own copywriters but publicly stood shoulder to shoulder with President Trump and his Big Lie.
This is clearly evidenced by multiple TMAGAC emails in late December 2020 that asserted that former Vice President Joe Biden would be an “illegitimate President” when he took office.122 These emails came after December 14, 2020, the day electors from each State met to cast their votes for President and Vice President. These emails came after Senate Majority Leader Mitch McConnell made it clear that he accepted the electoral college’s certification of Biden’s victory. These emails came after President Trump and his allies had lost all but one lawsuit challenging the election.123 None of this made a difference to TMAGAC. When asked why TMAGAC would repeatedly send these emails stating that former Vice President Biden would be an illegitimate President, Hanna Allred, the chief copywriter, stated that it would be because the emails were “effective” for fundraising.124
Alex Cannon was so bothered by the emails he was reviewing as a member of the Approvals Group that he took his concerns to Justin Clark, the campaign’s deputy campaign manager. Cannon explained that he had discussions with Clark about the problematic tone of the post-election TMAGAC emails and noted to Clark that the emails “seemed a little over the top to [him].” 125 Cannon raised those concerns because, after spending weeks researching which fraud claims were verifiable and which were not, Cannon saw that the TMAGAC emails were inconsistent with the fact that systemic fraud did not exist.126 Cannon also recalled that he may have expressed concern to Matt Morgan, the campaign’s general counsel, regarding the difference between claims of election fraud made in the TMAGAC fundraising emails and his conclusion that there was not fraud that impacted the election results.127 Cannon was not aware of any actions taken to address the concerns he had with this inconsistency.128
Justin Clark could not recall whether he looked at any fundraising emails after Cannon raised these concerns or whether Cannon spoke to Gary Coby about the substance of the fundraising emails.129
In the days after the election, one junior copywriter presented senior Campaign staffers with a template for a more honest approach. Shortly after election night, Coby led a meeting of the entire Trump digital team, which included individuals from the Campaign, the RNC, Opn Sesame, Direct Persuasion, and others. In that meeting, as Coby addressed the staff and expressed that the digital team would continue to work, Ethan Katz, an RNC staffer in his early twenties, rose to ask a question:130 How were staffers supposed to tell voters that the Trump Campaign wanted to keep counting votes in Arizona but stop counting votes in other States (like Pennsylvania, Georgia, and Michigan)?131
Katz said that Coby provided an answer without substance, which caused Katz to reiterate his question. His question made clear that the Campaign’s position was wildly inconsistent.132 Allred and Boedigheimer corroborated that Katz confronted leadership.133
Katz also recalled that, shortly after the election, Allred directed him to write an email declaring that President Trump had won the State of Pennsylvania before anyone had called Pennsylvania for either party.134 Katz believed the Trump Campaign wanted to send this email out to preempt a potential call that was likely to be in former Vice President Biden’s favor.135 He refused to write the email. Allred was stunned, and instead assigned it to another copywriter.136 Allred confirmed that Katz expressed discomfort at writing such an email and that she relied on another copywriter.137 On November 4, 2020, the Trump Campaign sent out an email preemptively and falsely declaring that President Trump won Pennsylvania.138
Katz was fired approximately three weeks after the election.139 In an interview with the Select Committee, when Allred was asked why Katz, her direct report, was fired, she explained that she was not sure why because TMAGAC was raising more money than ever after the election, but that the decision was not hers to make.140
The Trump Campaign knew that emails that the Approvals Group had blessed were being rejected by another email service provider. After the election, the Trump Campaign attempted to expand the reach of their false voter fraud emails. The Trump Campaign formed a company named DataPier, owned by Cannon and Sean Dollman.141 DataPier hired an outside company named Iterable to deliver its emails.142 Cannon tried to send “toned-down RNC emails,” through Iterable, but they still had to be “further toned [] down through [an] iterative process[.]” 143 For example, on November 7, 2020, Seth Charles, who was then Iterable’s principal email deliverability and industry relations manager, said that there was an issue with the TMAGAC copy and offered line edits.144 Two days later, Charles recommended to the Trump Campaign staffers that they look for “modified copy there [from TMAGAC emails] to be a little less threatening.” 145 Charles claimed that some TMAGAC copy “obviously insinuates the so far unsubstantiated theory of voter fraud, as well as contributions and legal actions will result in some sort of different outcome.” 146
But Salesforce, TMAGAC’s original email service provider, continued sending millions of Trump Campaign emails up until January 6th.
The Trump Campaign knew that emails that the Approvals Group had blessed were being rejected by Iterable. However, the RNC continued to send millions of Trump Campaign emails through Salesforce, TMAGAC’s original email service provider, up until January 6th. Evidence uncovered by the Select Committee shows that there were internal concerns at Salesforce regarding the content of the TMAGAC emails.
The Select Committee interviewed an individual (“J. Doe”) who worked at Salesforce during the post-election period during which TMAGAC was sending out the fundraising emails concerning false election fraud claims.147 Doe worked for Salesforce’s privacy and abuse management team, colloquially known as the abuse desk.148 An abuse desk is responsible for preventing fraud and abuse emanating from the provider’s user or subscriber network.
Doe indicated to the Select Committee that, as soon as early 2020, they recalled issues arising with the RNC’s use of Salesforce’s services and that a “deluge of abuse would’ve started in June-ish.” 149 Doe noted that Salesforce received a high number of complaints regarding the RNC’s actions, which would have been primarily the fundraising efforts of TMAGAC.150 In the latter half of 2020, Doe noticed that the emails coming from the RNC’s account included more and more violent and inflammatory rhetoric in violation of Salesforce’s Master Service Agreement (“MSA”) with the RNC, which prohibited the use of violent content.151 Doe stated that, near the time of the election, they contacted senior individuals at Salesforce to highlight the “increasingly concerning” emails coming from the RNC’s account.152 Doe explained that senior individuals at Salesforce effectively ignored their emails about TMAGAC’s inflammatory emails153 and Salesforce ignored the terms of the MSA and permitted the RNC to continue to use its account in this problematic manner.154 Doe said, “Salesforce very obviously didn’t care about anti-abuse.” 155
Ultimately, the Trump Campaign and the RNC let the Big Lie spread because they were making hundreds of millions of dollars from President Trump’s supporters who believed that lie. The Big Rip-off needed the Big Lie to motivate unsuspecting individuals to donate their money to a lost cause, and it worked.
The Trump Campaign and the RNC had three of their largest fundraising days of the 2020 election cycle immediately after the election.156 Together, the Trump Campaign and the RNC raised more than one hundred million dollars in three days, telling people they were raising the money for the “Official Election Defense Fund.” According to the TMAGAC fundraising pitches, the Trump Campaign and RNC team had created a so-called “Official Election Defense Fund” to help pay for legal challenges to the election results.157 But there was no “Official Election Defense Fund” – it was simply “a marketing tactic.” 158 The TMAGAC fundraisers did not know where the donated money was actually going.159 The TMAGAC copywriting team simply took the lies that President Trump told them about the need to raise money to overturn the election results and put them into emails to his supporters.
The false claims of election fraud and the “Official Election Defense Fund” were so successful President Trump and his allies raised more than $250 million after the election.160 However, the Trump Campaign was raising too much money to spend solely on their legal efforts to overturn the results of the 2020 election. The Trump Campaign continued to publicly state the election had been stolen by “the Left,” while behind closed doors they prepared a new plan to spend their supporters’ money.
On November 9, 2020, President Trump created a separate leadership PAC called Save America that allowed him to keep millions of dollars raised after the election and spend it with very few restrictions in the future. Jared Kushner worked with Alex Cannon, Deputy General Counsel for the Trump Campaign, in creating the entity.161 Prior to the formation of Save America, any money raised by the Trump Campaign could effectively only be spent on recount and election-contest related expenses, and to pay off campaign debt.162 But now the money raised into Save America could allow President Trump to pay for his personal expenses, such as travel or hotel stays. After Save America was formed, it was added to the TMAGAC joint fundraising agreement with the RNC, and the percentage of the proceeds allocated to the Trump Campaign began to flow to Save America.163
Importantly, Save America, as a leadership PAC, was not even legally permitted to pay for recount and election-contest related expenses in excess of the Federal Election Campaign Act (“FECA”) limit of $5,000.164 Save America never hit that limit in 2020, as it spent no money on recount and election-contest related expenses.165
Several reporters noticed the switch and contacted the Campaign asking about the “bait and switch” and the “misleading” nature of the emails. One reporter said directly: “it’s misleading to raise money for a committee marked on the website as an ‘election defense fund’ if it’s going to a leadership PAC.” 166 Another reporter asked, “Why is the campaign telling its supporters they are contributing toward an ‘Election Defense Fund’ if only a small percentage of those funds are actually going toward funding legal efforts?” and “How can the campaign justify directing 75% of contributions intended for a 2020 legal fund toward the President’s political action committee?” 167
The Trump Campaign came up with a messaging plan about this tactic, which President Trump personally approved.168 Tim Murtaugh, the Trump Campaign’s communications director, repeatedly asked Justin Clark, the deputy campaign manager, whether they should respond to the reporters.169 When Murtaugh flagged that the communications team was not responding to the reporters, Justin Clark said, “Good. Don’t.” 170
The Trump Campaign spent the money on President Trump, giving donations to his associates, and keeping it for himself in Save America. Hundreds of millions of dollars that were raised to go towards “election defense” and “fighting voter fraud” were not spent that way at all. To the contrary, most of the funds remain unspent, and millions have been paid to companies that are known affiliates of President Trump, or payments to entities associated with former Trump administration officials. Since the election, former Trump officials who are still working for President Trump’s PACs, and are publicly receiving salaries as FEC-reported “payroll,” are also associated with these companies.
For example, from July 2021 to the present, Save America has been paying approximately $9,700 per month to Dan Scavino,171 a political adviser who served in the Trump administration as White House Deputy Chief of Staff.172 Save America was also paying $20,000 per month to an entity called Hudson Digital LLC. Hudson Digital LLC was registered in Delaware twenty days after the attack on the Capitol, on January 26, 2021,173 and began receiving payments from Save America on the day it was registered.174 Hudson Digital LLC has received payments totaling over $420,000, all described as “Digital consulting.” 175 No website or any other information or mention of Hudson Digital LLC could be found online.176 Though Hudson Digital LLC is registered as a Delaware company, the FEC Schedule B listing traces back to an address belonging to Dan and Catherine Scavino.177
Nick Luna, President Trump’s former personal assistant and “body man,” was being paid from April 2021 to December 2021 approximately $12,000 per month by Save America for “payroll.” 178 The Make America Great Again PAC (MAGA PAC) – formerly the authorized committee of President Trump’s reelection campaign, Donald J. Trump for President – paid $20,000 per month to a limited liability corporation called Red State Partners LLC from April 2021 through October 2021, and Save America paid Red State Partners LLC $20,000 in February 2022.179 The company was registered in Delaware on March 11, 2021180 and has received a total of $170,000.181 Though it is registered in Delaware, disclosures filed with the Federal Election Committee (FEC) list Red State Partners at an address in Miami, Florida, that is an address for Nick Luna and his wife, Cassidy Dumbauld.182
Further, Vince Haley, Taylor Swindle, and Ross Worthington are corporate officers of a company known as Pericles LLC.183 Haley is a former policy advisor to President Trump,184 Swindle is the Chief Financial Officer for Gingrich 360185, and Ross Worthington is the former White House speechwriter186 who wrote the speech President Trump delivered on the Ellipse on January 6th.187 Pericles LLC was registered on January 27, 2021,188 the day after Scavino’s Hudson Digital LLC, and, since then, has received payments from Save America totaling at least $352,700.189
Another former speechwriter for President Trump, Robert Gabriel, Jr., has also been receiving payments from Save America. Gabriel was involved in writing the speech President Trump delivered on the White House Ellipse on January 6th, and specifically told the speechwriters, including Worthington, to reinsert previously removed incendiary lines about Vice President Pence into the speech.190 This direction came after Vice President Pence told President Trump that he would not try to change the outcome of the election.191 In September 2021, Gabriel formed called Gabriel Strategies LLC,192 which began receiving payments from Save America the following month.193 Since October 2021, Save America has paid Gabriel Strategies LLC at least $167,674.00.194 For both Pericles and Gabriel Strategies, the description of the payments is always for “consulting” in political strategy or communications, and some payments are purported to include travel expenses.
Through October 2022, Save America has paid nearly $100,000 in “strategy consulting” payments to Herve Pierre Braillard,195 a fashion designer who has been dressing Melania Trump for years.196
From January 2021 to June 2022, Save America has also reported over $2.1 million in “legal consulting.” Many firms perform different kinds of practice, but more than 67% of those funds went to law firms that are representing witnesses involved in the Select Committee’s investigation who were subpoenaed or invited to testify.
Additionally, Save America has reported other expenditures, like:
As described above, the Trump Campaign, after paying off its general election debt, raised millions of dollars that flowed into a segregated recount account (“Recount Account”) by encouraging donors to help pay for legal challenges to the election results. Pursuant to the FECA, the Trump Campaign could only spend these funds on a few limited purposes (e.g., for actual recounts and election-contest expenses or, in the case of surplus funds, donations to charitable organizations or transferring the funds to a national party committee’s separate, segregated account for election recounts).206
Justin Clark told the Select Committee that he understood that, “[a]fter election day, . . . you can raise money for a recount and to pay off debt,” 207 and that “[t]he money going into the campaign, principal campaign committee, at that point, [after the election] was dead money. It couldn’t be spent on things.” 208 Alex Cannon agreed.209 That’s why, after the election, the Trump Campaign set up the Recount Account—“a segregated restricted account [held] by the campaign” 210—and raised money for the Recount Account through TMAGAC.211
In February 2021, the Trump Campaign was converted into MAGA PAC.212 In March 2021, MAGA PAC began disclosing on required FEC forms that it was paying millions of dollars to an eDiscovery vendor called 2M Document Management & Imaging LLC (“2M Management”) for what MAGA PAC described as “recount” and “Recount: Research Consulting.” 213
Although the MAGA PAC reported that 2M Management was being paid for recount-related expenses, 2M Management was primarily processing and reviewing documents slated to be produced by the National Archives and Records Administration in response to subpoenas from (1) the House Select Subcommittee on the Coronavirus Crisis (“Covid Subcommittee”) and (2) the Select Committee to Investigate the January 6th Attack.214
From just March 2021 to May 2021, MAGA PAC paid 2M Management almost $1 million from the Recount Account to review documents related solely to the Covid Subcommittee.215 Alex Cannon confirmed that he understood these payments to 2M Management came from the Recount Account.216 Federal campaign finance law requires committees to accurately report information related to expenditures, including the purpose of payments. FEC regulations provide that the “purpose” be described in relevant reports through a brief statement of why the disbursement was made and must be sufficiently specific to make the purpose of the disbursement clear.217
Between the election and January 6th, the Trump Campaign sent out hundreds of emails urging President Trump’s supporters to “fight the Liberal MOB” and “join the Trump army.” Users on the same extreme social media platforms used to plan the attack on the Capitol, repeatedly shared the “Official Election Defense Fund” donation links in the week following election day.218 Links to donate were often accompanied by mentions of voter fraud and calls to save the country, mirroring the language of the fundraising emails and the countless discussions being held by the President’s supporters of coming to Washington, DC, on January 6th to “Stop the steal.” 219
On January 6th, while President Trump was speaking at the Ellipse rally and directing his supporters to march to the Capitol, his Campaign was also sending fundraising emails inflaming people to “fight back.” One email stated, “100 Members of Congress . . . Join them in the FIGHT to DEFEND the Election . . . This is our last line of defense.” 220 Another email stated, “TODAY will be a historic day in our Nation’s history. Congress will either certify, or object to, the Election results. Every single Patriot from across the Country must step up RIGHT NOW if we’re going to successfully DEFEND the integrity of this Election.” 221 A third email stated, “TODAY. This is our LAST CHANCE . . . The stakes have NEVER been higher. President Trump needs YOU to make a statement and publicly stand with him and FIGHT BACK.” 222
Thirty minutes after the last fundraising email was sent, the Capitol was breached. It was then and only then that TMAGAC fundraisers decided to stop sending emails containing baseless claims of election fraud.223 Boedigheimer explained, “And at some point during that time, I don’t know if it was right then, if it was a little after, maybe a little before, but either Gary or Kevin kind of directed us to stop sending fundraising messages out.” 224 Cannon stated, “[O]n January 6th, Gary called me and said, [‘]are you seeing what’s happening? I’m obviously turning everything off.[’]” 225
After raising $250 million dollars on false voter fraud claims, mostly from small-dollar donors, President Trump did not spend it on fighting an election he knew he lost. Instead, a significant portion of the money was deposited into the Save America account and not used for the purposes the Campaign claimed it would be. President Trump got a war chest with millions of dollars, and the American people were left with the U.S. Capitol under attack.
There is evidence suggesting that numerous defendants charged with violations related to the January 6th attack on the U.S. Capitol and others present on the Capitol grounds that day were motivated by false claims about the election.226
Further, J. Doe, the Salesforce employee interviewed by the Select Committee, provided insight into the action that Salesforce took after the attack. Doe explained that after they became aware of the ongoing attack, they (Doe) took unilateral action to block the RNC’s ability to send emails through Salesforce’s platform.227 Doe noted that the shutdown lasted until January 11, 2021, when senior Salesforce leadership directed Doe to remove the block from RNC’s Salesforce account.228 Doe stated that Salesforce leadership told Doe that Salesforce would now begin reviewing RNC’s email campaigns to “make sure this doesn’t happen again.” 229
In the weeks after the 2020 election leading up to January 6, 2021, President Trump’s Campaign and his allies sent his supporters a barrage of emails and text messages pushing lies about a stolen election and asking for contributions to challenge the outcome of the election. In reality, the funds raised went primarily towards paying down the Trump Campaign’s outstanding 2020 debt, financing President Trump’s newly created Save America PAC, and raising money for the RNC.
Overall, only a small amount of the contributions ever went to President Trump’s recount account or were otherwise obviously used in connection with post-election recounts or litigation. As President Trump used the Big Lie as a weapon to attack the legitimacy of the 2020 election, his Campaign used that same Big Lie to raise millions of dollars based on false claims and unkept promises.
Not only did President Trump lie to his supporters about the election, but he also ripped them off.
ENDNOTES
1. Trump Fundraising Emails (@TrumpEmail), Twitter, Nov. 21, 2020, 5:30 a.m. ET, available at https://twitter.com/TrumpEmail/status/1330277503160741888 (“Democrats are attempting to STEAL this Election and the White House. This Election is far from over as long as we have YOU on our team to FIGHT BACK.”); Trump Fundraising Emails (@TrumpEmail), Twitter, Nov. 21, 2020, 7:16 a.m. ET, available at https://twitter.com/TrumpEmail/status/1330122927958859777 (“With your help, we will DEFEND the Election and keep America America.”).
2. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 104 (“I do think those words are effective, because people were upset and they wanted their donation to go towards an effort to – the legal effort.”).
3. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Richard Walters, (May 25, 2022), pp. 15-16; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 9.
4. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 28; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 13.
5. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Timothy Murtaugh, (May 19, 2022), p. 95.
6. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 10. (noting that as digital director he oversaw the digital operation).
7. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), pp. 6-7; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 11.
8. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 10.
9. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of William Stepien, (Feb. 10, 2022), p. 187 (naming Coby as person controlling fundraising operation); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 9 (“And then Gary Colby would have been the kind of the lead of the entire digital team for the Joint Fundraising Committee”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 81 (“Gary ran the campaign’s digital team”).
10. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Kevin Zambrano, (Dec. 16, 2021), p. 3 (Zambrano stated that Coby expressed that he spoke with “the family,” meaning the Trumps, and Zambrano believed that Kushner was the family member to whom Coby spoke most frequently.); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of William Stepien, (Feb. 10, 2022), p. 190; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Cole Blocker, (Dec. 29, 2021), p. 2 (Blocker stated that he knew Coby talked to Jared Kushner a lot, and that their relationship was common knowledge.).
11. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 13.
12. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 11; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 12; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 9.
13. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 11-13.
14. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 11.
15. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 15.
16. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 7.
17. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 10 (“I think that’s fair to say. I think my direct report was Kevin but then we also viewed Gary as a leader of kind of the digital JFC team”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2 (indicating Boedigheimer reported to Coby but that there may have been additional people between Boedigheimer and Coby).
18. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 10.
19. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 7; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 9; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), pp. 16-17 (“Austin led the fundraising team . . [and] [o]versaw the variety of fundraising channels and led that team.”).
20. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 9-10.
21. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 14 (Committee Staff: “Now, the emails that Austin and Hannah and folks were working on, those are primarily drafting emails for TMAGAC, correct?” Zambrano: “Yes, I believe so.”).
22. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 12; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021); Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Jan. 21, 2022), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Alex Murglin, (Mar. 17, 2022), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Alex Blinkoff, (Feb. 7, 2022), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 10.
23. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 11 (“Alex Murglin joined I believe in March of 2020 . . . That summer, Ethan Katz and Alex Blinkoff both joined.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Alex Murglin (Mar. 17, 2022), p. 2.
24. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2.
25. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 12.
26. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 9 (“So, we, as in the RNC digital employees and then Campaign employees and vendors as well, came to work together on the JFC. And the general structure was all working together on that goal.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Hanna Allred, (Dec. 1, 2021), p. 3 (“ALLRED said that on the 5th floor, the RNC and Campaign employees all worked together for joint fundraising committee, and exactly who worked for which entity kind of didn’t matter. . . . Rather, everyone just referred to everything as TMAGAC.”).
27. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2 (“He explained that the copywriting process worked like a Henry Ford style assembly line, where different individuals performed a task and passed on the work product to someone else.”).
28. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 15-16.
29. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Austin Boedigheimer Production), BA-0003821, (Nov. 30, 2020 email from Austin Boedigheimer to Hanna Allred, “Fwd: It’s happening again, Austin.”).
30. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 20.
31. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 30.
32. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 103-104.
33. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 112-113 (“On average, yes, you repeat things that do well.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 21 (“[I]f you were sending it repeatedly[,] it’s the understanding that it’s doing well so you want to keep sending e-mails like that.”).
34. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), pp. 107-108 (“President Trump’s saying it, surrogates are saying it, everybody’s saying it. So my, you know, I don’t remember exactly this but it seems like it was, you know, we should do something like that since it’s been working.”).
35. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 23; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 28; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), p. 8 (agreeing that copywriters sought to capture the voice and tone of President Trump in its messaging); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), p. 9 (agreeing that President Trump was focused on a particular issue, copywriters they would also tend to focus on similar issues).
36. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 12; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 45 (“I think we’ve determined that it’s aggressive language. We would want to use that for this.”).
37. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 25-29.
38. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), pp. 23-24.
39. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 14, 49 (“Austin would have reviewed all the content before it would go up to the approval chains or Hannah.”). Zambrano stated that, on a day-to-day basis, he was not very involved in overseeing Boedigheimer’s handling of the copywriting process. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 16.
40. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 43.
41. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 44.
42. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 63-64.
43. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 10; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 9-10.
44. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 10.
45. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 6 (“And then that’s also where I started doing some of the approval for the fundraising emails, the small-dollar fundraising emails.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), p. 8 (“To the best of my recollection, that was primarily Cassie Docksey, Mike Reed, who handled approvals on that content.”).
46. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), p. 7 (“I had a role in approv[ing] them [the TMAGAC fundraising emails], yes.”).
47. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 138.
48. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 80 (“There would be—I don’t know if my team members were routinely getting those emails as well or if they were just being directed to me, but we were participants in them.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 45-46 (“I know from the Trump Campaign, I remember Zach Parkinson was someone who responded. I was never sure if he was from research or comms, or maybe he did both, I’m not entirely sure, but he would typically, if something was wrong, like, inaccurate, he would flag it.”).
49. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 51.
50. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 51.
51. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 51.
52. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 58.
53. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), pp. 60, 75-76 (“I think what I said earlier was, at the time the election wasn’t over, President Trump was saying those things. I didn’t have a reason to believe it was false. So as far as the accuracy of that in the approval chain, that was up to them to decide.”).
54. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 77.
55. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 78.
56. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 77.
57. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), pp. 77-78.
58. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 77.
59. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), pp. 86-87.
60. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), pp. 88-89 (“I, as best I recall, that is who I assumed would be doing that type of review [about whether it was true that Democrats were trying to steal the election].”).
61. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 91.
62. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 96.
63. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), pp. 54-55.
64. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol, (Alexander Cannon production), AC-0001631, (Nov. 4, 2020, “Re: Hand-off on Compliance Review”).
65. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 138.
66. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 140.
67. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 140.
68. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 89.
69. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 17.
70. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), pp. 19-20.
71. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 26.
72. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 116.
73. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Jared Kushner Production), JK_00367, (Nov. 8, 2020, email from Jared Kushner to Sean Dollman, Gary Coby, Bill Stepien, Justin Clark, and Eric Trump, at 5:51 pm, and Nov. 7, 2020 email from Sean Dollman to Jared Kushner at 2:54 pm).
74. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Jared Kushner Production), JK_00367, (Nov. 8, 2020, email from Jared Kushner to Sean Dollman, Gary Coby, Bill Stepien, Justin Clark, and Eric Trump, at 5:51 pm, and Nov. 7, 2020 email from Sean Dollman to Jared Kushner at 2:54 pm).
75. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Jared Kushner Production), JK_00416, (Nov. 7, 2020, text messages between Jared Kushner and Gary Coby).
76. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Jared Kushner, (Mar. 31, 2022), p. 200.
77. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Sean Dollman Production), DOLLMAN-0003821, (Dec. 23. 2020, emails between Jared Kushner, Sean Dolman, Gary Coby, Justin Clark, and Cassie Dumbauld “Re: [EXTERNAL]Re: 12/22/20 Cash Position Update”). Despite email communications showing his involvement in the Campaign’s finances through late December 2020, Kushner claimed that, from around November 13 onward, he was only “nominally involved” with the Campaign’s budgeting and fundraising. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Jared Kushner, (Mar. 31, 2022), p. 205.
78. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Austin Boedigheimer Production), BA-0006823, (Nov. 3, 2020, Signal chat between Austin Boedigheimer and Darren Centinello); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 54 (“Austin could have. I’m not sure if people on the campaign instructed anyone else on the campaign or anything, but I wouldn’t be surprised if there were a couple different scenarios floating around most people’s heads on that.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 54 (“I don’t recall specific—I don’t recall conversations around it, other than there may have just been general [‘]we need to be ready for whatever may come[’].”).
79. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Austin Boedigheimer Production), BA-0006823, (Nov. 3, 2020, Signal chat between Austin Boedigheimer and Darren Centinello).
80. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Austin Boedigheimer Production), BA-0006823 (Nov. 3, 2020, Signal chat between Austin Boedigheimer and Darren Centinello); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 39 (“I’m basically saying on the victory topic, which is the first one that he covered. We’re waiting until closer to election results are coming in to be able to get that approved and then I’m giving him some copy about how they are trying to steal the election that has already been approved.”).
81. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 55.
82. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 55; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 56 (“But, again, this was the President’s messaging and his phrasing”).
83. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 44 (“I didn’t have a great understanding of what was going to happen or what happened on the ground. I wouldn’t have really any knowledge into that.”).
84. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 52-53; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 55; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 66 (“. . . reported to Austin, so I would’ve received direction from him”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), pp. 52-54.
85. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May. 17, 2022), p. 146 (“Well, it would have been approval by the principal. So Mr. Trump would have had to do that.”).
86. Trump Fundraising Emails (@TrumpEmail), Twitter, Nov. 20, 2020 7:24 a.m. ET, available at https://twitter.com/TrumpEmail/status/1329762574494298112.
87. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 104 (“Yeah, I think they [the Trump Campaign] viewed that as helping to get the message out, especially, you know, that’s the base, right?”).
88. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 57.
89. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 56-57.
90. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 57.
91. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 67.
92. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 86.
93. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), pp. 86-87.
94. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Hanna Allred, (Dec. 1, 2021), p. 4 (“Similarly, they could say the Democrats were trying or tried to steal the election, but not state that they were or had.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2 (“KATZ recalled that Allred told him to say the Democrats were “trying to” steal the elections. He added that he did not have any discussions about why “trying to” was important, but his impression was that it was used to give some legal wiggle room and make the statement about stealing the election to be ‘less false.’”).
95. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 75, (“I do remember at some point we were told we could no longer use the word ‘rigged.’”).
96. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013714, (Nov. 3, 2020, Fundraising email approval chain, “Re: FOR APPROVAL: Pennsylvania & Election Poll”).
97. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013714 (Nov. 3, 2020, Fundraising email approval chain, “Re: FOR APPROVAL: Pennsylvania & Election Poll”).
98. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013714 (Nov. 3, 2020, Fundraising email approval chain, “Re: FOR APPROVAL: Pennsylvania & Election Poll”).
99. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013757 (Nov. 10, 2020, Fundraising email approval chain, “Re: [External]Re: FOR APPROVAL: Defend the Election & Vaccine”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 106 (Zambrano concedes that the revision “creates a new sentence” that means something different.); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of A. Zachary Parkinson, (May 18, 2022), p. 109 (In response to whether fair to say that that this was a substantive change, Parkinson states, “You could characterize it as that, I guess, yeah.”).
100. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013757 (Nov. 10, 2020, Fundraising email approval chain, “Re: [External]Re: FOR APPROVAL: Defend the Election & Vaccine”).
101. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013863 (Nov. 11, 2020, Fundraising email approval chain, “Re: [External]Re: FOR APPROVAL: Alaska & Election Defense”) (emphasis in original).
102. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013863 (Nov. 11, 2020, Fundraising email approval chain, “Re: [External]Re: FOR APPROVAL: Alaska & Election Defense”).
103. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013863 (Nov. 11, 2020, Fundraising email approval chain, “Re: [External]Re: FOR APPROVAL: Alaska & Election Defense”).
104. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Kevin Zambrano, (Apr. 27, 2022), p. 101.
105. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013891 (Nov. 12, 2020, Fundraising email approval chain, “Re: FOR APPROVAL: NC, GA Election Defense” at 3:08 a.m.); Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013928 (Nov. 12, 2020, Fundraising email approval chain, “Re: FOR APPROVAL: NC, GA Election Defense” at 4:49 a.m.); Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0014006 (Nov. 13, 2020, Fundraising email approval chain, “Re: [External]Re: FOR APPROVAL: Defense Fund & GA/NC Victory”).
106. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), pp. 84, 137.
107. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 14-15.
108. Jane C. Timm, “Rudy Giuliani baselessly alleges ‘centralized’ voter fraud at free-wheeling news conference,” NBC News (Nov. 19, 2020), available at https://www.nbcnews.com/politics/donald-trump/rudy-giuliani-baselessly-alleges-centralized-voter-fraud-free-wheeling-news-n1248273.
109. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 37.
110. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 37 (“So on that press conference day, which I think is November 19th, Michael and I talked after that where he was generally telling me, ‘Hey, we don’t need to be out there. It’s not automatic that we’re just going to go out there and parallel or mimic what the campaign or what Rudy Giuliani or that legal team might be saying. Don’t feel the need to put that through on the GOP social channels.’”).
111. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 38.
112. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 15-16. Ahrens thought this press conference was “embarrassing” and that other members of the RNC leadership team shared his view. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 28-29.
113. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 19-20.
114. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 21-22.
115. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), pp. 25-27.
116. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), pp. 56, 58 (“[T]here was a conversation at some point in November, December with either colleagues of mine or the legal team at the RNC” about the messaging that was coming out of TMAGAC.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), p. 65, Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), p. 66 (recalling “that there were conversations at some point that the RNC was more comfortable with more toned-down emails”).
117. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Reed, (July 20, 2022), pp. 85, 86 (“I generally remember in regards to these emails in the post-election period conversations to make sure that the legal team and the chairman’s office or whatever else was comfortable with the language that was going out of the JFC.”).
118. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Cassie Docksey, (Aug. 25, 2022), p. 45.
119. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Michael Ahrens, (Sep. 1, 2022), p. 22.
120. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May 17, 2022), p. 202.
121. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 183.
122. Trump Fundraising Emails (@TrumpEmail), Twitter, Dec. 20, 2020 12:20 p.m. ET, available at https://twitter.com/TrumpEmail/status/1341433522331017217; Trump Fundraising Emails (@TrumpEmail), Twitter, Dec. 27, 2020 3:23 p.m. ET, available at https://twitter.com/TrumpEmail/status/1343291529943781378.
123. William Cummings, Joey Garrison and Jim Sergent, “By the numbers: President Donald Trump’s failed efforts to overturn the election,” USA Today, (Jan. 6, 2021), available at https://www.usatoday.com/in-depth/news/politics/elections/2021/01/06/trumps-failed-efforts-overturn-election-numbers/4130307001/.
124. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 117-118.
125. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 144; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May. 17, 2022), pp. 177-178 (“[I]n terms of people raising concerns about it, Alexander Cannon, at one point, came into my office and said something to the effect—and he was just doing legal reviews. It was like, I can’t believe we’re sending this stuff out, or something to that effect. I said—I told him he should go talk to Gary and speak to him about it, and I told him you don’t need to do legal reviews on these anymore. . . It was just about information that he knew wasn’t correct.”).
126. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 178.
127. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 180.
128. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 180.
129. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May. 17, 2022), p. 178.
130. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Jan. 21, 2022), p. 1.
131. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Jan. 21, 2022), p. 1.
132. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Jan. 21, 2022), p. 1.
133. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 69; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 89.
134. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Jan. 21, 2022), p. 1.
135. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 2; Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Jan. 21, 2022), p. 1.
136. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021).
137. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 83-86. (Allred confirmed that Boedigheimer would have given the directive to draft this email); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 86.
138. Trump Fundraising Emails (@TrumpEmail), Twitter, Nov. 4, 2020, 9:42 a.m. available at https://twitter.com/TrumpEmail/status/1324180321676546050.
139. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Ethan Katz, (Nov. 3, 2021), p. 3.
140. Select Committee to Investigate the January 6th Attack on the United States Capitol, Informal Interview of Hanna Allred, (Dec. 1, 2021), p. 7.
141. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 176.
142. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), pp. 116-117.
143. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 137. Similarly, on January 6th, DataPier stopped sending emails, and the list went cold, and, therefore, DataPier is now defunct; see Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 122.
144. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0002048 (Nov. 7, 2020, email from Seth Charles to Darren Centinello, Alexander Cannon, Sean Dollman, and Sarah Grounder, “FW: [PROOF] Michael – increase your impact NOW”). (“Again this comes in chorus with less inflammatory language that could be misleading as accusatory or assuming intent upon a particular population.”).
145. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0004724 (Nov. 9, 2020, email from Seth Charles to Darren Centinello, Alexander Cannon, Sean Dollman, and Sarah Grounder, “Re: FW: [PROOF] Hanna – I need you.”).
146. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013741 (Nov. 11, 2020, email from Seth Charles to Darren Centinello, Alexander Cannon, Sean Dollman, and Sarah Grounder, “Re: FW: [PROOF] BIG NEWS”).
147. J. Doe expressed safety concerns and a fear of retaliation for cooperating with the Select Committee. Accordingly, the Select Committee has not revealed their identity.
148. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), pp. 7-8.
149. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), p. 30.
150. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), pp. 30-31.
151. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), pp. 42-43.
152. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), p. 46.
153. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), p. 47.
154. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), pp. 49-50.
155. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), p. 25.
156. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 49 (noting that the Trump Campaign had “three of our best four fundraising days occur immediately after the election”).
157. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 86.
158. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 86 (“We frequently use funds as a marketing tactic. . . So I don’t believe there is actually a fund called the ‘Election Defense Fund,’ not that I’m aware of.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), pp. 91-92.
159. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 87; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), pp. 96-97 (Allred noting that she only became aware of Save America in February 2021); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 92 (“From my understanding, the money was going towards, I believe this is a TMAGAC e-mail. So it was going to TMAGAC. And then how the money was spent from there, you know, that’s not something that I would do or have knowledge to.”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 94 (“I’m not sure how the funds went or how they were allocated. I don’t know precisely.”).
160. Shane Goldmacher and Rachel Shorey, “Trump Raised $255.4 Million in 8 Weeks as He Sought to overturn Election Result,” New York Times, (Jan. 31, 2021), available at https://www.nytimes.com/2021/01/31/us/politics/trump-voter-fraud-fundraising.html (“President Donald J. Trump and the Republican Party raised $255.4 million in the eight-plus weeks following the Nov. 3 election, new federal filings show, as he sought to undermine and overturn the results with unfounded accusations of fraud.”).
161. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 153.
162. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May. 17, 2022), p. 143 (“After election day . . . you can raise money for a recount and to pay off debt.”).
163. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Gary Coby, (Feb. 23, 2022), p. 125; Jarrett Renshaw and Joseph Tanfani, “Donations under $8K to Trump ‘election defense’ instead go to president, RNC,” Reuters, (Nov. 11, 2020), available at https://www.reuters.com/article/us-usa-election-trump-fundraising-insigh/donations-under-8k-to-trump-election-defense-instead-go-to-president-rnc-idUSKBN27R309 (“The emailed solicitations send supporters to an ‘Official Election Defense Fund’ website that asks them to sign up for recurring donations to ‘protect the results and keep fighting even after Election Day.’ The fine print makes clear most of the money will go to other priorities. A large portion of the money goes to ‘Save America,’ a Trump leadership PAC, or political action committee, set up on Monday, and the Republican National Committee (RNC).”).
164. Federal Election Commission, Advisory Opinion 2006-24, (Oct. 5, 2006), p. 6, available at https://www.fec.gov/files/legal/aos/2006-24/2006-24.pdf (The Act “prohibits Federal officeholders and candidates, their agents, and entities directly or indirectly established, financed, maintained or controlled by or acting on behalf of one or more Federal officeholders or candidates, from soliciting, receiving, directing, transferring, or spending funds for expenses related to a recount of the votes cast in a Federal election, including the recount activities described above, unless those funds are subject to the limitations, prohibitions, and reporting requirements of the Act. . . . [A] Federal candidate’s recount fund must not receive or solicit donations in excess of the Act’s amount limitations . . . [A]ny recount fund established by a Federal candidate may not receive donations that in the aggregate exceed . . . $5,000 per multicandidate political committee.”).
165. FEC Reported Disbursements in 2020 by Save America, (last accessed on Nov. 18, 2022), available at https://www.fec.gov/data/disbursements/?committee_id=C00762591&two_year_transaction_period=2020&data_type=processed.
166. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0011244, (Nov. 11, 2020, emails between Timothy Murtaugh and Justin Clark, “Re: [EXTERNAL]Trump legal defense and leadership PAC”).
167. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0013276, (Nov. 24, 2020, emails between Timothy Murtaugh and Justin Clark, “Re: [EXTERNAL]Re: Fundraising questions”).
168. When the Trump Campaign learned that reporters were going to write about their misleading fundraising, Murtaugh advised further comment from the Campaign would “serve to highlight the argument that the fundraising pitch is misleading.” Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0018627, (Dec. 1, 2020, emails between Timothy Murtaugh, Jason Miller, Sean Dollman, Justin Clark, and Bill Stepien, “Re: [EXTERNAL ]$$$$$$”). Murtaugh further noted that “POTUS is on board with how it will be described.” Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0018627, (Dec. 1, 2020, emails between Timothy Murtaugh, Jason Miller, Sean Dollman, Justin Clark, and Bill Stepien, “Re: [EXTERNAL ]$$$$$$”).
169. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0011244, (Nov. 11, 2020, emails between Timothy Murtaugh and Justin Clark, “Re: [EXTERNAL]Trump legal defense and leadership PAC”), (Murtaugh asking Justin Clark, “Still ignoring?”); Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0013276, (Nov. 24, 2020, emails between Timothy Murtaugh and Justin Clark, “Re: [EXTERNAL]Re: Fundraising questions”), (Murtaugh telling Justin Clark, “FYI – Still not answering.”).
170. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Timothy Murtaugh Production), XXM-0013276, (Nov. 24, 2020, emails between Timothy Murtaugh and Justin Clark, “Re: [EXTERNAL]Re: Fundraising questions”).
171. FEC Reported Disbursements to Daniel Scavino by Save America, (last accessed on Nov. 10, 2022), available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=scavino%2C+dan.
172. Katelyn Polantz and Ryan Nobles, “Trump’s former deputy chief of staff, Dan Scavino, not ready to cooperate with January 6 committee, attorney says,” CNN, (Oct. 21, 2021), available at https://www.cnn.com/2021/10/20/politics/dan-scavino-january-6-committee/index.html.
173. “Hudson Digital LLC,” State of Delaware Division of Corporations, (last accessed on Dec. 9, 2022), available at https://icis.corp.delaware.gov/Ecorp/EntitySearch/NameSearch.aspx (search “Hudson Digital LLC” in the “Entity Name” field).
174. Schedule B (FEC Form 3x) Itemized Disbursements by Save America, (July 31, 2021), available at https://docquery.fec.gov/cgi-bin/fecimg/?202107319465699743.
175. FEC Reported Disbursements to Hudson Digital LLC, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&recipient_name=hudson+digital+llc.
176. An unrelated company, Hudson Digital, has operated for approximately 10 years in Hudson, NY, over 80 miles from the addresses associated with Hudson Digital LLC.
177. Schedule B (FEC Form 3x) Itemized Disbursements by Save America, (July 31, 2021), available at https://docquery.fec.gov/cgi-bin/fecimg/?202107319465699743.
178. FEC Reported Disbursements to Nicholas Luna by Save America, (last accessed on Nov. 10, 2022), available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=luna%2C+nicholas.
179. FEC Reported Disbursements to Red State Partners LLC, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&recipient_name=red+state+partners.
180. “Red State Partners LLC,” State of Delaware Division of Corporations, (last accessed on Dec. 9, 2022), available at https://icis.corp.delaware.gov/Ecorp/EntitySearch/NameSearch.aspx (search “Red State Partners LLC” in the “Entity Name” field).
181. FEC Reported Disbursements to Red State Partners LLC, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&recipient_name=red+state+partners.
182. Schedule B (FEC Form 3x) Itemized Disbursements by Make America Great Again PAC, (Dec. 2, 2021), available at https://docquery.fec.gov/cgi-bin/fecimg/?202112029469645374.
183. “Pericles, LLC,” District of Columbia Department of Business Licensing Division, (last accessed on Dec. 9, 2022), available at https://corponline.dcra.dc.gov/BizEntity.aspx/ViewEntityData?entityId=4292880.
184. “Vincent M. Haley,” ProPublica: Trump Town, (last accessed on Nov. 10, 2022), available at https://projects.propublica.org/trump-town/staffers/vincent-m-haley.
185. “Taylor Swindle,” Gingrich360, (last accessed on Nov. 10, 2022), available at https://www.gingrich360.com/about/gingrich-360-team/taylor-swindle/.
186. “Ross Worthington,” ProPublica: Trump Town, (last accessed on Nov. 10, 2022), available at https://projects.propublica.org/trump-town/staffers/ross-worthington.
187. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol, (National Archives Production), 076P-R000007531_0001, (January 6, 2021, emails between Ross Worthington, Robert Gabriel, Jr., Vincent Haley, and others).
188. “Pericles, LLC,” District of Columbia Department of Business Licensing Division, (last accessed on Dec. 9, 2022), available at https://corponline.dcra.dc.gov/BizEntity.aspx/ViewEntityData?entityId=4292880.
189. FEC Reported Disbursements to Pericles LLC by Save America, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=pericles+llc.
190. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol, (National Archives Production), 076P-R000007531_0001, (January 6, 2021, emails between Ross Worthington, Robert Gabriel, Jr., Vincent Haley, and others).
191. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol, (National Archives Production), 076P-R000007531_0001, (January 6, 2021, emails between Ross Worthington, Robert Gabriel, Jr., Vincent Haley, and others).
192. The organization was originally formed as Believe in America LLC, then changed its name the following day to Gabriel Strategies LLC. See “Gabriel Strategies LLC”, State of New Jersey Division of Revenue and Enterprise Search, (last accessed on Dec. 9, 2022), available at https://www.njportal.com/DOR/BusinessNameSearch/Search/BusinessName (search “Gabriel Strategies LLC” in the “Business Name” field).
193. Schedule B (FEC Form 3x) Itemized Disbursements by Save America, (May 5, 2022), available at https://docquery.fec.gov/cgi-bin/fecimg/?202205059502664518.
194. FEC Reported Disbursements to Red State Partners LLC by Save America, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=gabriel+strategies.
195. FEC Reported Disbursements to Herve Pierre Braillard by Save America, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=Herve+Pierre+Braillard.
196. Suzy Menkes, “Herve Pierre: Dressing the First Lady,” Vogue, (Apr. 12, 2017), available at https://www.vogue.pt/herve-pierre-dressing-the-first-lady; Rosemary Feitelberg, “Melania Trump’s Former Stylist Addresses $60,000 Save America Payment,” Women’s Wear Daily, (Aug. 8. 2022), available at https://wwd.com/fashion-news/designer-luxury/melania-trump-herve-pierre-60000-save-america-payment-1235294733/.
197. Schedule B (FEC Form 3x) Itemized Disbursements by Save America, (July 31, 2021), available at https://docquery.fec.gov/cgi-bin/fecimg/?202107319465699856.
198. Schedule B (FEC Form 3x) Itemized Disbursements by Save America, (May 5, 2022), available at https://docquery.fec.gov/cgi-bin/fecimg/?202205059502664847.
199. FEC Reported Disbursements to Event Strategies Inc by Save America, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=event+strategies+inc.
200. FEC Reported Disbursements to Trump Hotel and Mar-A-Lago by Save America, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=mar-a-lago&recipient_name=trump+hotel.
201. Schedule B (FEC Form 3x) Itemized Disbursements by Save America, (June 15, 2022), available at https://docquery.fec.gov/cgi-bin/fecimg/?202206159514906341.
202. FEC Reported Disbursements to National Public Affairs by Save America, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00762591&recipient_name=National+Public+Affairs.
203. “Meet Our Team,” National Public Affairs, (last accessed on Nov. 10, 2022), available at https://natpublicaffairs.com/.
204. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of William Stepien, (Feb. 10, 2022), p. 174.
205. FEC disclosures show that other than Save America, National Public Affairs LLC received payments from only three other organizations since 2021. All three are campaigns for election deniers, Kelly Tshibaka (AK-Senate), Jason Smith (MO-08), and Harriett Hageman (WY-AL). See FEC Reported Disbursements to National Public Affairs LLC since 2021, (last accessed on Nov. 10, 2022), available at https://www.fec.gov/data/disbursements/?data_type=processed&recipient_name=national+public+affairs+llc&min_date=01%2F01%2F2021.
206. Federal Election Commission, Advisory Opinion 2019-02, (Mar. 28, 2019), available at https://www.fec.gov/files/legal/aos/2019-02/2019-02.pdf.
207. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May. 17, 2022), p. 143.
208. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Justin Clark, (May. 17, 2022), p. 145.
209. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 156 (“[G]enerally after an election, you can raise money for debt retirement, and you can raise money for recount.”).
210. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013889 (Nov. 12, 2020, emails between Alexander Cannon and Cleta Mitchell, “Re: [External]Legal defense fund”).
211. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alexander Cannon Production), AC-0013889 (Nov. 12, 2020, emails between Alexander Cannon and Cleta Mitchell, “Re: [External]Legal defense fund”).
212. Statement of Organization FEC Form 1, filed by Make America Great Again PAC, (Feb. 27, 2021), available at https://docquery.fec.gov/pdf/093/202102279429078093/202102279429078093.pdf#navpanes=0.
213. FEC Reported Disbursements to 2M Document Management and Imaging, LLC by Make America Great Again PAC, (last accessed on Nov. 10, 2022) available at https://www.fec.gov/data/disbursements/?data_type=processed&committee_id=C00580100&recipient_name=2m+document&two_year_transaction_period=2022.
214. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Matthew Clarke (Aug. 4, 2022), p. 28 (agreeing that “the vast majority of the work that 2M has done to date that has been paid for by MAGA PAC relates to January 6th documents or COVID-related documents coming from NARA”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Aug. 18, 2022), p. 31 (“There was a House Oversight investigation into the administration’s COVID response, and there were a large number of documents that were coming through that needed to be processed.”).
215. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Matthew Clarke, (Aug. 4, 2022), pp. 31-32 (“During that time, I believe all we were doing was work related to the White House – the Trump administration’s response to COVID.”).
216. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Aug. 18, 2022), pp. 15-16 (noting his understanding that “if the funds were raised to DJTFP and they were not spent on debt retirement, any remaining funds that were not spent on debt retirement would have gone to this segregated, restricted account for recounts for MAGA PA?”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Aug. 18, 2022), p. 16; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Aug. 18, 2022), pp. 37-38 (agreeing that if funds paid to 2M are labeled recount then he would assume they came from Recount Account).
217. See Statement of Policy: “Purpose of Disbursement” Entries for Filings with the Commission, 72 Fed. Reg. 887 (Jan. 9, 2007) (citing 11 C.F.R. § § 104.3(b)(3)(i)(b), (4)(i)(A)).
218. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Aug. 21, 2022, Memorandum regarding Fundraising communication rhetoric’s influence on social media).
219. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Aug. 21, 2022, Memorandum regarding Fundraising communication rhetoric’s influence on social media).
220. Trump Fundraising Emails (@TrumpEmail), Twitter, Jan. 6, 2021, 12:20 p.m. ET, available at https://twitter.com/TrumpEmail/status/1346794824591093763.
221. Trump Fundraising Emails, (@TrumpEmail), Twitter, Jan. 6, 2021, 1:31 p.m. ET, available at https://twitter.com/TrumpEmail/status/1346887173438636032.
222. Trump Fundraising Emails (@TrumpEmail), Twitter, Jan. 6, 2021, 11:29 a.m. ET, available at https://twitter.com/TrumpEmail/status/1346856536338030601.
223. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 42 (noting “yes, we stopped sending emails on January 6”); Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Hanna Allred, (Mar. 30, 2022), p. 128 (“I believe we got some sort of message, either on Microsoft Teams or Signal from Austin, saying pause everything.”).
224. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Austin Boedigheimer, (Apr. 20, 2022), p. 140.
225. Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alexander Cannon, (Apr. 13, 2022), p. 124.
226. See Criminal Complaint, United States v. Grayson, No. 1:21-mj-00163 (D.D.C. Jan. 25, 2021); Criminal Complaint, United States v. Fitzsimmons, No. 1:21-cr-00158-RC (D.D.C. Feb. 1, 2021); (noting that the defendant in that case “believed voter fraud occurred” and that “[c]onvinced that the election results had been fraudulently reported, he was moved by the words of then-President Trump to travel to the District of Columbia for the ‘Save America Rally.’”).
227. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), pp. 64-65.
228. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), pp. 68-69.
229. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of J. Doe, (May 20, 2022), p. 72.