Full text: Trump’s answers to Mueller investigation questions – National

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U.S. President Donald Trump answered a sequence of questions for particular counsel Robert Mueller’s investigation into Russian interference.

Within the written solutions, included within the redacted report launched Thursday, Trump continuously states the he doesn’t “recall,” or doesn’t have an “impartial recollection” of occasions.

READ MORE: Mueller’s redacted report says Trump didn’t commit crime — stops wanting exonerating him

However additionally they present some perception into what Trump knew and when.

Right here is the complete textual content of his solutions, a few of which have been calmly reformatted for readability.

WATCH: Extra on the redacted Mueller report


June 9, 2016: Assembly at Trump Tower — Query I

a. When did you first be taught that Donald Trump, Jr., Paul Manafort, or Jared Kushner was contemplating taking part in a gathering in June 2016 regarding doubtlessly unfavourable details about Hillary Clinton? Describe who you discovered the data from and the substance of the dialogue.

b. Hooked up to this doc as Exhibit A is a sequence of emails from June 2016 between, amongst others, Donald Trump, Jr. and Rob Goldstone. Along with the emails mirrored in. Exhibit A, Donald Trump, Jr. had different communications with Rob Goldstone and Emin Agalarov between June three, 2016, and June 9, 2016.

i. Did Mr. Trump, Jr. or anybody else inform you about or present you any of those communications? If sure, describe who mentioned the communications with you,
when, and the substance of the dialogue(s)

ii. When did you first see or find out about all or any a part of the emails mirrored in Exhibit A?

iii. When did you first be taught that the proposed assembly concerned was described as being a part of Russia and its authorities’s help to your candidacy?

iv. Did you counsel to or direct anybody to not focus on or launch publicly all or any portion of the emails mirrored in Exhibit A? If sure, describe who you communicated with, when, the substance of the communication(s), and why you took that motion.

c. On June 9, 2016, Donald Trump, Jr., Paul Manafort, and Jared Kushner attended a gathering at Trump Tower with a number of people, together with a Russian lawyer, Natalia Yeselnitskaya (the “June 9 assembly”).

i. Apart from as set forth in your solutions to I.a and l.b, what, if something, have been you informed about the potential of this assembly happening, or the scheduling of such a gathering? Describe who you mentioned this with, when, and what you have been knowledgeable in regards to the assembly.

ii. When did you be taught that among the people attending the June 9 assembly have been Russian or had any affiliation with any a part of the Russian authorities? Describe who you discovered this data from and the substance of the dialogue(s).

iii. What have been you informed about what was mentioned on the June 9 assembly? Describe every dialog by which you have been informed about whal was mentioned at lhe assembly, who the dialog was with, when it occurred, and the substance of the statements they made in regards to the assembly.

iv. Had been you informed that the June 9 assembly was about, in entire or partly, adoption and/or the Magnitsky Act? If sure, describe who you had that dialogue with, when, and the substance of the dialogue.

TRUMP’S ANSWER (for elements a to c): I’ve no recollection of studying on the time that Donald Trump, Jr., Paul Manafort, or Jared Kushner was contemplating taking part in a gathering in June 2016 regarding doubtlessly unfavourable details about Hillary Clinton. Nor do I recall studying through the marketing campaign that the June 9, 2016 assembly had taken place, that the referenced emails existed. or that Donald J. Trump, Jr., had different communications with Emin Agalarov or Robert Goldstone between June three, 2016 and June 9, 2016.

d. For the interval June 6, 2016 by June 9, 2016, for what portion of every day have been you in Trump Tower?

i. Did you converse or meet with Donald Trump, Jr., Paul Manafort, or Jared Kushner on June 9, 2016? If sure, did any portion of any of these conversations or conferences embody any reference to any side of the June 9 assembly? If sure, describe who you spoke with and the substance of the dialog.

TRUMP’S ANSWER (for half d): I’ve no impartial recollection of what portion of those 4 days in June of 2016 I spent in Trump Tower. This was one in all many busy months throughout a fast-paced marketing campaign, as the first season was ending and we have been getting ready for the final election marketing campaign. I’m now conscious that my Marketing campaign’s calendar signifies that I used to be in New York Metropolis from June 6-9, 2016. Calendars stored in my Trump Tower workplace replicate that I had varied calls and conferences scheduled for every of as of late. Whereas these calls and conferences might or might not even have taken place, they do point out that I used to be in Trump Tower throughout a portion of every of those working days, and I’ve no motive to doubt that I used to be. After I was in New York Metropolis, I stayed at my Trump Tower house.

My Trump Group desk calendar additionally displays that I used to be outdoors Trump Tower throughout parts of as of late. The June 7, 2016 calendar signifies I used to be scheduled to depart Trump Tower within the early night for Westchester the place I gave remarks after profitable the California, New Jersey, New Mexico, Montana, and South Dakota Republican primaries held that day. The June eight, 2016 calendar signifies a scheduled departure in late afternoon to attend a ceremony at my son’s faculty. The June 9, 2016 calendar signifies I used to be scheduled to attend noon conferences and a fundraising luncheon on the 4 Seasons Lodge. At this level, I don’t bear in mind on what dales these occasions occurred, however I don’t at present have a motive to doubt that they happened as scheduled on my calendar.

Broadly obtainable media experiences, together with tv footage, additionally make clear my actions throughout as of late. For instance, I’m conscious that my June 7, 2016 victory remarks on the Trump.

Nationwide Golf Membership in Briarcliff Manor, New York, have been recorded and printed by the media. I bear in mind profitable these primaries and usually recall delivering remarks that night.

At this time limit, I don’t bear in mind whether or not I spoke or met with Donald Trump, Jr., Paul Manafort, or Jared Kushner on June 9, 2016. My desk calendar signifies I used to be scheduled to satisfy with Paul Manafort on the morning of June 9, however I don’t recall if that assembly happened.

It was greater than two years in the past, at a time after I had many calls and interactions day by day.

e. Did you talk straight or not directly with any member or consultant of the Agalarov household after June three, 2016? If sure, describe who you spoke with, when, and the substance of the communication.

TRUMP’S ANSWER (for half e): I’ve no impartial recollection of any communications I had with the Agalarov household or anybody r understood to be a consultant of the Agalarov household after June three, 2016 and earlier than the top of the marketing campaign. Whereas getting ready to reply to these questions, I’ve turn into conscious of written communications with the Agalarovs through the marketing campaign that have been despatched, acquired, and largely authored by my employees and which I perceive have already been produced to you.

Typically, the paperwork embody congratulatory letters on my marketing campaign victories, emails a few portray Emin and Aras Agalarov organized to have delivered to Trump Tower as a birthday current, and emails relating to supply of a ebook written by Aras Agalarov. The paperwork replicate that the deliveries have been screened by the Secret Service.

f. Did you be taught of any communications between Donald Trump, Jr., Paul Manaforl, or Jared Kushner and any member or consultant of the Agalarov household, Natalia Veselnitskaya, Rob Goldstone, or any Russian official or contact that happened after June 9, 2016 and anxious the June 9 assembly or efforts by Russia to help the marketing campaign? If sure. describe who you discovered this data from, when, and the substance of what you discovered.

TRUMP’S ANSWER (for half f): I don’t recall being conscious through the marketing campaign of communications between Donald Trump, Jr., Paul Manafort, or Jared Kushner and any member or consultant of the Agalarov household, Robert Goldstone, Natalia Yeselnitskaya (whose title I used to be not conversant in), or anybody I understood to be a Russian official.

g. On June 7, 2016, you gave a speech by which you stated, partly, “I’m going to present a significant speech on most likely Monday of subsequent week and we’re going to be discussing the entire issues which have taken place with the Clintons.” 

i. Why did you make that assertion?

ii. What data did you intend to share with respect to the Clintons?

iii. What did you consider the supply(s) of that data can be?

iv. Did you count on any of the data to have come from the June 9 assembly?

v. Did anybody assist draft the speech that you simply have been referring to? If that’s the case, who?

vi. Why did you finally not give the speech you referred to on June 7, 2016?

TRUMP’S ANSWER (for half g): In remarks I delivered the evening I gained the California, New Jersey, New Mexico, Montana, and South Dakota Republican primaries, I stated, “I’m going to present a significant speech on most likely Monday of subsequent week and we’re going to be discussing the entire issues which have taken place with the Clintons.” Typically, l anticipated to present a speech referencing the publicly obtainable, unfavourable details about the Clintons, together with, for instance, Mrs. Clinton’s failed insurance policies, the Clintons’ use of the State Division to additional their pursuits and the pursuits of the Clinton Basis, Mrs. Clinton’s improper use of a personal server for State Division enterprise, the destruction of 33,000 emails on that server, and Mrs. Clinton’s temperamental unsuitability for the workplace of President.

In the middle of getting ready to reply to your questions, I’ve turn into conscious that the Marketing campaign paperwork already produced to you replicate the drafting, evolution, and sources of knowledge for the speech I anticipated to present “most likely” on the Monday fol lowing my June 7, 2016 feedback.

These paperwork usually present that the textual content of the speech was initially drafted by Marketing campaign employees with enter from varied outdoors advisors and was primarily based on publicly obtainable materials, together with, particularly, data from the ebook CUnton Money by Peter Schweizer. The Pulse Nightclub terrorist assault happened within the early morning hours of Sunday, June 12, 2016.

In gentle of that tragedy, I gave a speech directed extra particularly to nationwide safety and terrorism than to the Clintons. That speech was delivered on the Saint Anselm School Institute of Politics in Manchester, New Hampshire, and, as reported, opened with the next:

  • This was going to be a speech on Hillary Clinton and the way dangerous a President, particularly in these instances of Radical Islamic Terrorism, she can be. Even her former Secret Service Agent, who has seen her underneath stress and in instances of stress, has acknowledged that she lacks the temperament and integrity to be president. There will likely be loads of alternative to debate these vital points at a later time, and I’ll ship that speech quickly. However at this time there is just one factor to debate: the rising menace of terrorism within our borders.

I continued to talk about Mrs. Clinton’s failings all through the marketing campaign, utilizing the data ready for inclusion within the speech to which I referred on June 7, 2016.

h. Did any particular person or entity inform you through the marketing campaign that Vladimir Putin or the Russian authorities supported your candidacy or opposed the candidacy of Hillary Clinton? If sure, describe the supply(s) of the data. while you have been knowledgeable, and the content material of such dialogue(s). 

TRUMP’S ANSWER (for half h): I’ve no recollection of being informed through the marketing campaign that Vladimir Putin or the Russian authorities “suppotted” my candidacy or “opposed” the candidacy of Hillary Clinton. Nevertheless, I used to be conscious of some experiences indicating that President Putin had made complimentary statements about me.

i. Did any particular person or entity inform you through the marketing campaign that any international authorities or international chief, apart from Russia or Vladimir Putin, had offered, wished to supply, or provided to supply tangible help to your marketing campaign, together with by the use of providing to supply unfavourable data on Hillary Clinton? If sure, describe the supply(s) of the data, while you have been knowledgeable, and the content material of such dialogue(s).

TRUMP’S ANSWER (for half h, i): I’ve no recollection of being informed  through the marketing campaign that any international authorities or international chief had offered, wished to supply, or provided to supply tangible help to my marketing campaign.

Russian Hacking / Russian Efforts Utilizing Social Media/WikiLeaks — Query II

a. On June 14, 2016, it was publicly reported that pc hackers had penetrated the pc community of the Democratic Nationwide Committee (DNC) and that Russian intelligence was behind the unauthorized entry, or hack. Previous to June 14, 20 I 6, have been you offered any details about any potential or precise hacking of the pc methods or e-mail accounts of the DNC, the Democratic Congressional Marketing campaign Committee (DCCC), the Clinton Marketing campaign, Hillary Clinton, or people related to the Clinton marketing campaign? If sure, describe who offered this data, when, and the substance of the data.

TRUMP’S ANSWER (for half a): I don’t bear in mind the date on which it was publicly reported that the DNC had been hacked, however my finest recollection is that I discovered of the hacking at or shortly after the time it grew to become the topic of media reporting. I don’t recall being offered any data through the marketing campaign in regards to the hacking of any of the named entities or people earlier than it grew to become the topic of media reporting.

b. On July 22, 2016, WikiLeaks launched practically 20,000 emails despatched or acquired by Democratic get together officers.

i. Previous to the July 22, 2016 launch, have been you conscious from any supply that WikiLeaks, Guccifer 2.zero, DCLeaks, or Russians had or doubtlessly had possession of or deliberate to launch emails or data that would assist your marketing campaign or harm the Clinton marketing campaign? If sure, describe who you mentioned this difficulty with, when, and the substance of the dialogue(s).

ii. After the discharge of emails by WikiLeaks on July 22, 2016, have been you informed that WikiLeaks possessed or may possess extra data that could possibly be launched through the marketing campaign? If sure, describe who offered this data, when, and what you have been informed.

TRUMP’S ANSWER (for half b): I recall that within the months main as much as the election there was appreciable media reporting in regards to the potential hacking and launch of campaign-related data and there was a variety of speak about this matter. On the time, I used to be usually conscious of those media experiences and should have mentioned these points with my marketing campaign employees or others, however at this time limit – greater than two years later – I’ve no recollection of any explicit dialog, when it occurred, or who the members have been.

c. Are you conscious of any communications through the marketing campaign, straight or not directly, between Roger Stone, Donald Trump, Jr., Paul Manafort, or Rick Gates and (a) WikiLeaks, (b) Julian Assange, (c) different representatives of WikiLeaks, (d) Gucci fer 2.zero, (e) representatives of Gucci fer 2.zero, or (f) representatives of DCLeaks? If sure, describe who offered you with this data, while you discovered of the communications, and what you realize about these communications.

TRUMP’S ANSWER (for half c): I don’t recall being conscious through the marketing campaign of any communications between the people named in Query II (c) and anybody I understood to be a consultant of WikiLeaks or any of the opposite people or entities referred to within the query.

d. On July 27, 2016, you acknowledged at a press convention: “Russia, if you happen to’re listening, I hope you’re capable of finding the 30,000 emails which might be lacking. I believe you’ll most likely be rewarded mightily by our press.”

i. Why did you make that request of Russia, versus another nation, entity, or particular person?

ii. Prematurely of creating that assertion, what discussions, if any, did you have got with anybody else in regards to the substance of the assertion?

iii. Had been you informed at any time earlier than or after you made that assertion that Russia was making an attempt to infiltrate or hack pc methods or e-mail accounts of Hillary Clinton or her marketing campaign? If sure, describe who offered this data, when, and what you have been informed.

TRUMP’S ANSWER (for half d): I made the assertion quoted in Query II (d) in jest and sarcastically, as was obvious to any goal observer. The context of the assertion is obvious within the full studying or viewing of the July 27, 2016 press convention, and I refer you to the publicly obtainable transcript and video of that press convention. I don’t recall having any dialogue in regards to the substance of the assertion prematurely of the press convention. I don’t recall being informed through the marketing campaign of any efforts by Russia to infiltrate or hack the pc methods or e-mail accounts of Hillary Clinton or her marketing campaign previous to them turning into the topic of media reporting and I’ve no recollection of any explicit dialog in that regard.

e. On October 7, 2016, emails hacked from the account of John Podesta have been launched by WikiLeaks.

i. The place have been you on October 7, 20 I 6?

ii. Had been you informed at any time prematurely of, or on the day of, the October 7 launch that WikiLeaks possessed or may possess emails associated to John Podesta? If sure, describe who informed you this, when, and what you have been informed.

iii. Are you conscious of anybody related to you or your marketing campaign, together with Roger Stone, reaching out to WikiLeaks, both straight or by an middleman, on or about October 7, 2016? If sure, determine the particular person and describe the substance of the conversations or contacts.

TRUMP’s ANSWER (for half e): I used to be in Trump Tower in New York Metropolis on October 7, 2016. I’ve no recollection of being informed that WikiLeaks possessed or may possess emails associated to John Podesta earlier than the discharge of Mr. Podesta’s emails was reported by the media. Likewise, I’ve no recollection of being informed that Roger Stone, anybody performing as an middleman for Roger Stone, or anybody related to my marketing campaign had communicated with WikiLeaks on October 7, 2016.

f. Had been you informed of anybody related to you or your marketing campaign, together with Roger Stone, having any discussions, straight or not directly, with WikiLeaks, Guccifer 2.zero, or DCLeaks relating to the content material or timing of launch of hacked emails? If sure, describe who had such contacts, the way you grew to become conscious of the contacts, while you grew to become conscious of the contacts, and the substance of the contacts.

TRUMP’S ANSWER (for half f): I don’t recall being informed through the marketing campaign that Roger Stone or anybody related to my marketing campaign had discussions with any of the entities named within the query relating to the content material or timing of launch of hacked emails.

g. From June 1, 2016 by the top of the marketing campaign, how continuously did you talk with Roger Stone? Describe the character of your communication(s) with Mr. Stone.

i. Throughout that point interval, what efforts did Mr. Stone inform you he was making to help your marketing campaign, and what requests. if any, did you make of Mr. Stone?

ii. Did Mr. Stone ever focus on WikiLeaks with you or, so far as you have been conscious, with anybody else related to the marketing campaign? If sure, describe what you have been informed, from whom. and when.

iii. Did Mr. Stone at anytime inform you about contacts he had with WikiLeaks or any middleman of WikiLeaks. or about forthcoming releases of knowledge? If sure, describe what Stone informed you and when.

TRUMP’S ANSWER (for half g): I spoke by phone with Roger Stone every now and then through the marketing campaign. I’ve no recollection of the specifics of any conversations I had with Mr. Stone between June 1.2016 and November eight, 2016. I don’t recall discussing WikiLeaks with him, nor do I recall being conscious of Mr. Stone having mentioned WikiLeaks with people related to my marketing campaign, though I used to be conscious that WikiLeaks was the topic of media reporting and campaign-related dialogue on the time.

h. Did you have got any discussions previous to January 20, 2017, relating to a possible pardon or different motion to learn Julian Assange? If sure, describe who you had the dialogue(s) with, when, and the content material of the dialogue(s).

TRUMP’S RESPONSE (for half h): I don’t recall having had any dialogue through the marketing campaign relating to a pardon or motion to learn Julian Assange.

i. Had been you conscious of any efforts by international people or firms, together with these in Russia, to help your marketing campaign by using social media postings or the group of rallies? If sure, determine who you mentioned such help with, when, and the content material of the dialogue(s).

TRUMP’S RESPONSE (for half i): I don’t recall being conscious through the marketing campaign of particular efforts by international people or firms to help my marketing campaign by using social media postings or the group of rallies.

The Trump Group Moscow Mission — Query III

a. In October 2015, a “Letter of Intent,” a duplicate of which is connected as Exhibit B, was signed for a proposed Trump Group undertaking in Moscow (the “Trump Moscow undertaking”).

i. When have been you first knowledgeable of discussions in regards to the Trump Moscow undertaking? By whom? What have been you informed in regards to the undertaking?

ii. Did you signal the letter of intent?

b. In an announcement offered to Congress, connected as Exhibit C, Michael Cohen acknowledged: “To the most effective of my information, Mr. Trump was by no means in touch with anybody about this proposal apart from me on three events, together with signing a non-binding letter of intent in 2015.” Describe all discussions you had with Mr. Cohen, or anybody else related to the Trump Group, in regards to the Trump Moscow undertaking, together with who you spoke with, when, and the substance of the dialogue(s).

c. Did you be taught of any communications between Michael Cohen or Felix Sater and any Russian authorities officers, together with officers within the workplace of Dmitry Peskov, relating to the Trump Moscow undertaking? If that’s the case, determine who offered this data to you, when, and the substance of what you discovered.

d. Did you have got any discussions between June 2015 and June 2016 relating to a possible journey to Russia by you and/or Michael Cohen for causes associated to the Trump Moscow undertaking? If sure, describe who you spoke with, when, and the substance of the dialogue(s).

e. Did you at any time direct or counsel that discussions in regards to the Trump Moscow undertaking ought to stop, or have been you knowledgeable at any time that the undertaking had been deserted? If sure, describe who you spoke with, when, the substance of the dialogue(s), and why that call was made.

f. Did you have got any discussions relating to what data can be offered publicly or in response to investigative inquiries about potential or precise investments or enterprise offers the Trump Group had in Russia, together with the Trump Moscow undertaking? If sure, describe who you spoke with, when, and the substance of the dialogue(s).

g. Other than the Trump Moscow undertaking, did you or the Trump Group have another potential or precise enterprise pursuits, investments, or preparations with Russia or any Russian curiosity or Russian particular person through the marketing campaign? If sure, describe the enterprise pursuits, investments, or preparations.

TRUMP’S RESPONSE (for elements a by g): Someday in 2015, Michael Cohen prompt to me the potential of a Trump Group undertaking in Moscow. As I recall, Mr. Cohen described this as a proposed undertaking of a normal kind we’ve achieved up to now in quite a lot of places. I signed the non-binding Letter of Intent connected to your questions as Exhibit B which required no fairness or expenditure on our finish and was according to our ongoing efforts to develop into important markets around the globe.

I had few conversations with Mr. Cohen on this topic. As I recall, they have been temporary, they usually weren’t memorable. I used to be not enthused in regards to the proposal, and 1 don’t recall any dialogue of journey to Russia in reference to it. I don’t bear in mind discussing it with anybody else on the Trump Group, though it’s potential. I don’t recall being conscious on the time of any communications between Mr. Cohen or Felix Sater and any Russian authorities official relating to the Letter of Intent. In the middle of getting ready to reply to your questions, I’ve turn into conscious that Mr. Cohen despatched an e-mail relating to the Letter of Intent to “Mr. Peskov” at a normal, public e-mail account, which ought to present there was no significant relationship with individuals in energy in Russia. I perceive these paperwork have already got been offered to you.

I vaguely bear in mind press inquiries and media reporting through the marketing campaign about whether or not the Trump Group had enterprise dealings in Russia. I could have spoken with marketing campaign employees or Trump Group staff relating to responses to requests for data, however 1 haven’t any present recollection of any explicit dialog, with whom L might have spoken, when, or the substance of any dialog. As I recall, neither I nor the Trump Group had any initiatives or proposed initiatives in Russia through the marketing campaign apart from the Letter of Intent.

Contacts with Russia and Russia-related Points Through the Marketing campaign — Query IV

a. Previous to mid-August 2016, did you turn into conscious that Paul Manafort had ties to the Ukrainian authorities? If sure, describe who you discovered this data from, when, and the substance of what you have been informed. Did Mr. Manafort’s connections to the Ukrainian or Russian governments play any function in your determination to have him be part of your marketing campaign? If sure, describe that function. 

b. Had been you conscious that Paul Manafort provided briefings on the progress of your marketing campaign to Oleg Deripaska? lf sure, describe who you discovered this data from, when, the substance of what you have been informed, what you understood the aim was of sharing such data with Mr. Deripaska, and the way you responded to studying this data.

c. Had been you conscious of whether or not Paul Manafort or anybody else related along with your marketing campaign despatched or directed others to ship inner Trump marketing campaign data to any particular person situated in Ukraine or Russia or related to the Ukrainian or Russian governments? If sure, determine who offered you with this data, when, the substance of the dialogue(s), what you understood the aim was of sharing the inner marketing campaign data, and the way you responded to studying this data.

d. Did Paul Manafort talk to you, straight or not directly. any positions Ukraine or Russia would need the U.S. to help? If sure, describe when he communicated these positions to you and the substance of these communications.

TRUMP’S RESPONSE (for elements a by d): Mr. Manafort was employed primarily due to his delegate work for prior presidential candidates, together with Gerald Ford, Ronald Reagan, George H.W. Bush, and Bob Dole. I knew that Mr. Manafort had achieved worldwide consulting work and, at a while earlier than Mr. Manafort left the marketing campaign, I discovered that he was one way or the other concerned with people regarding Ukraine, however I don’t bear in mind the specifics of what I knew on the time.

l had no information of Mr. Manafort providing briefings on the progress of my marketing campaign to a person named Oleg Deripaska, nor do I bear in mind being conscious of Mr. Manafort or anybody else related to my marketing campaign sending or directing others to ship inner Trump Marketing campaign data to anybody I knew to be in Ukraine or Russia on the time or to anybody I understood to be a Ukrainian or Russian authorities worker or official. I don’t bear in mind Mr. Manafort speaking to me any explicit positions Ukraine or Russia would need the US to help.

e. Through the marketing campaign, have been you informed about efforts by Russian officers to satisfy with you or senior members of your marketing campaign? If sure, describe who you had conversations with on this subject, when, and what you have been informed.

TRUMP’S RESPONSE (for half e): I don’t recall being informed through the marketing campaign of efforts by Russian officers to satisfy with me or with senior members of my marketing campaign. Within the means of getting ready to reply to these questions, I grew to become conscious that on March 17, 2016, my assistant on the Trump Group, Rhona Graff, acquired an e-mail from a Sergei Prikhodko, who recognized himself as Deputy Prime Minister of the Russian Federation, Basis Roscongress, inviting me to take part within the St. Petersburg Worldwide Financial Discussion board to be held in June 2016. The paperwork present that Ms. Graff ready for my signature a quick response declining the invitation. I perceive these paperwork have already got been produced to you.

f. What function, if any, did you have got in altering the Republican Get together platform relating to arming Ukraine through the Republican Nationwide Conference? Previous to the conference, what data did you have got about this platform provision? After the platform provision was modified, who informed you in regards to the change, when did they inform you, what have been you informed about why it was modified, and who was concerned?

TRUMP’s RESPONSE (for half f): I’ve no recollection of the main points of what, when, or from what supply I first discovered in regards to the change to the platform modification relating to arming Ukraine, however I usually recall studying of the problem as a part of media reporting. I don’t recall being concerned in altering the language to the modification.

g. On July 27, 2016, in response to a query about whether or not you’d acknowledge Crimea as Russian territory and elevate sanctions on Russia, you stated: “We’ll be that. Yeah, we’ll be wanting.” Did you propose to speak by that assertion or at another time through the marketing campaign a willingness to elevate sanctions and/or acknowledge Russia’s annexation of Crimea if you happen to have been elected?

i. What consideration did you give to lifting sanctions and/or recognizing Russia’s annexation of Crimea if you happen to have been elected? Describe who you spoke with about this subject, when, the substance of the dialogue(s).

TRUMP’S RESPONSE (for half g): My assertion didn’t talk any place.

Contacts with Russia and Russia-related Points Through the Transition — Query V

a. Had been you requested to attend the World Chess Championship gala on November 10, 2016? If sure, who requested you to attend, when have been you requested, and what have been you informed about about [sic] why your presence was requested?

i. Did you attend any a part of the occasion? If sure, describe any interactions you had with any Russians or representatives of the Russian authorities on the occasion.

TRUMP’S RESPONSE (for half a): I don’t bear in mind having been requested to attend the World Chess Championship gala, and I didn’t attend the occasion. Through the course of getting ready to reply to these questions, I’ve turn into conscious of paperwork indicating that in March of 2016, the president of the World Chess Federation invited the Trump Group to host, at Trump Tower, the 2016 World Chess Championship Match to be held in New York in November 2016. r have additionally turn into conscious that in November 2016, there have been press inquiries to my employees relating to whether or not I had plans to attend the match, which was not being held at Trump Tower. I perceive these paperwork have already been offered to you.

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