Page:Final Report of the Select Committee to Investigate the January 6th Attack on the United States Capitol.pdf/579

From Wikisource
Jump to navigation Jump to search
This page has been proofread, but needs to be validated.
“BE THERE, WILL BE WILD!”
553

  1. Trial Exhibit 6748, United States v. Rhodes et al., No. 1:22-cr-15 (D.D.C. Oct. 20, 2022); Kyle Cheney, “Prosecutors Detail Oath Keepers’ Mounting Frustration with Trump as Jan. 6 Approached,” Politico, (Oct. 20, 2022), available at https://www.politico.com/news/2022/10/20/oath-keepers-trump-jan-6-00062779.
  2. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Alondra Propes Production), CTRL0000029585, p.1 (Stewart Rhodes writing in ‘OKFL Hangout’ chat).
  3. Stewart Rhodes and Alondra Propes characterized the Proud Boys as street brawlers in contrast to the Oath Keepers’ discipline. See Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Elmer Stewart Rhodes, (Feb. 22, 2022), pp. 40, 43; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Alondra Propes, (Jan. 31, 2022), pp. 42-43, 136. Kellye SoRelle described the Proud Boys as extreme white supremacists. See Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Kellye SoRelle, (Apr. 13, 2022), p. 63-64. Enrique Tarrio characterized the Oath Keepers as “oath breakers” and embarrassing. See Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Henry Tarrio, (Feb. 4, 2022), pp. 77, 193-94.
  4. Documents on file with the Select Committee to Investigate the January 6th Attack on the United States Capitol (Google Voice Production, Feb. 25, 2022).
  5. Government’s Opposition to Defendant’s Renewed Request for Pretrial Release at 7, United States v. Meggs, No. 1:21-cr-28 (D.D.C. Mar. 23, 2021). Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Henry Tarrio, (Feb. 4, 2022), p. 125.
  6. Superseding Indictment at ¶ 28, United States v. Rhodes et al., No. 1:22-cr-25 (D.D.C. June 22, 2022), ECF No. 167.
  7. “Leader of Oath Keepers and 10 Other Individuals Indicted in Federal Court for Seditious Conspiracy and Other Offenses Related to U.S. Capitol Breach,” Department of Justice, (Jan. 13, 2022), available at https://www.justice.gov/usao-dc/pr/leader-oath-keepers-and-10other-individuals-indicted-federal-court-seditious-conspiracy.
  8. See Superseding Indictment at ¶ 17, United States v. Rhodes et al., No. 1:22-cr-25 (D.D.C. June 22, 2022), ECF No. 167; Select Committee to Investigate the January 6th Attack on the United States Capitol, Transcribed Interview of Landon Bentley, (May 12, 2022), p. 11 (discussing use of Signal as an encrypted chat).
  9. Superseding Indictment at ¶ 29, United States v. Rhodes, et al., No. 1:22-cr-15 (D.D.C. June 22, 2022), ECF No. 167.
  10. Superseding Indictment at ¶¶ 38, 39, United States v. Rhodes et al., No. 1:22-cr-15 (D.D.C. June 22, 2022), ECF No. 167.
  11. Third Superseding Indictment at ¶ 37, United States v. Crowl et al., No. 1:21-cr-28 (D.D.C., Mar. 31, 2021), ECF No. 127.
  12. Third Superseding Indictment at ¶ 37, United States v. Crowl et al., No. 1:21-cr-28 (D.D.C., Mar. 31, 2021), ECF No. 127.
  13. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Richard Dockery, (Feb. 2, 2022), pp. 48-52.
  14. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Richard Dockery, (Feb. 2, 2022), p. 49.
  15. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Richard Dockery, (Feb. 2, 2022), p. 51.
  16. Infowars Army, “Alex Jones Show—DOJ Launches National Probe of Election Fraud,” BitChute, Nov. 10, 2020, available at https://www.bitchute.com/video/NoELuXs06RzX/.