Page:Final Report of the Select Committee to Investigate the January 6th Attack on the United States Capitol.pdf/586

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560
CHAPTER 6

  1. boys." Id., at 8. Denney described the hotel he booked as "the same place everyone else is getting in the Proud Boys crew and other militia's until it gets full." Id., at 9. In a separate post on Facebook, Denney stated that the Patriot Boys of North Texas were "allied with the Patriot Prayer and the Proud Boys." Id., at 9. In another Facebook message on December 29, Denney wrote: "We are linking up with thousands of Proud Boys and other militia that will be there. This is going to be huge. And it's going to be a fight." Id., at 10. Similarly, Hazard wrote on Facebook: "I belong to a militia group that's affiliated with the proud boys" and "We're affiliated with the proud boys which have folks of all races as there's several thousand members." Id., at 12.
  1. Criminal Complaint at 8, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  2. Criminal Complaint at 10, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  3. Criminal Complaint at 11, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1. Hazard also echoed this idea. Id., at 14.
  4. Criminal Complaint at 10-11, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  5. Criminal Complaint at 10, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  6. Criminal Complaint at 12, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  7. Criminal Complaint at 12, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  8. Criminal Complaint at 16, United States. v. Hazard, No. 1:21-mj-868 (D.D.C. Dec. 7, 2021), ECF No. 1.
  9. Statement of Facts at 2, United States v. Cole et al., No. 1:22-mj-184-RMM (D.D.C. Aug, 29, 2022), ECF No. 5-1
  10. Statement of Facts at 2, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1.
  11. Statement of Facts at 4, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1.
  12. Statement of Facts at 4, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1.
  13. Statement of Facts at 4, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1.
  14. Statement of Facts at 28, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1.
  15. Statement of Facts at 5, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1.
  16. Select Committee to Investigate the January 6th Attack on the United States Capitol, Deposition of Jeremy Liggett, (May 17, 2022), pp. 50-51.
  17. Statement of Facts at 28, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1; #SeditionHunters (@SeditionHunters), Twitter, June 7, 2021 2:11 p.m. ET, available at https://twitter.com/SeditionHunters/status/1401965056980627458.
  18. Statement of Facts at 5-6, United States v. Cole et al., No. 1:22-mj-184, (D.D.C. Aug. 29, 2022), ECF No. 5-1; #SeditionHunters (@SeditionHunters), Twitter, June 7, 2021 2:11 p.m. ET, available at https://twitter.com/SeditionHunters/status/1401965056980627458.
  19. “Five Florida Men Arrested on Charges for Actions During Jan. 6 Capitol Breach,” United States Department of Justice, (Aug. 24, 2022) available at https://www.justice.gov/usao-dc/pr/five-florida-men-arrested-charges-actions-during-jan-6-capitol-breach.