Page:CTRL0000034607 - Deposition of Ali Alexander, (Dec. 9, 2021).pdf/95

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A They are perimeter people. They are there just because we can't have a rope line on the Capitol stage. We wanted to cooperate with the U.S. Capitol Police.

Q You keep saying you never used PSD. Turn to exhibit 22 for me and go to the second page, please, because on that you literally text, "Means I have 2 PSD guys." The second page on the back. You literally say it. Yet you're sitting here, testifying here today saying you've never used the term PSD.

A I don't recall.

Q So help me understand that.

A Yeah,  . I'll help you understand that.

In all of the evidence that we've reviewed today, I don't recall using PSD. This is on the back of a page that we all reviewed together in which, you know, you're saying that Stephen used PSD first and I responded back with his language.

Q That's fair.

A I'm sorry.

Q I want to go back to the email in exhibit 12 that   was just talking to you about. You said it's probably in your inbox unread.

Which brings me to the point of, how did you search for responsive documents? I'm assuming you searched   right?

A I consulted with my attorneys on providing responsive documents.

Q And I'm assuming you searched for emails of Nathan Martin since he was working at your direction on January 4th, right?

A I worked with my attorneys on providing responsive documents. And we even in a correspondence tried to provide some of the terms that we looked for and asked the committee to specify any particular people that they were drilling down on so that we could do a more expansive search.