Trump Georgia Indictment

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Fulton County Superior Court INDICTMENT

FILED CA
Date: August 14, 2023
ClerkNo.
Che Alexander, Clerk of Court

FULTONSUPERIOR

THE STATE OF GEORGIA 1 VIOLATION OF THE GEORGIA RICO


(RACKETEER INFLUENCED AND CORRUPT
V.
ORGANIZATIONS) ACT
O.C.G.A. 16-14-4
(c)
DONALD JOHN TRUMP
Counts 1 5 , 9 , 11, 13 , 15, 17, 19, 2 SOLICITATIONOF VIOLATIONOF OATH
27-29, 38-39 BY PUBLICOFFICER

O.C.G.A. 16-4-7 & 16-10-1


RUDOLPH WILLIAM LOUIS
GIULIANI 3 FALSESTATEMENTSAND WRITINGS
Counts 1-3, 6-7, 9 , 11, 13, 15, 17, 19, 16-10-20
O.C.G.A.
23-24

4 FALSESTATEMENTSAND WRITINGS
JOHN CHARLES EASTMAN
O.C.G.A. 16-10-20
Counts 1-2, 9 , 11, 13, 15, 17, 19, 27
5 SOLICITATION OF VIOLATION OF OATH
MARK RANDALL MEADOWS BY PUBLIC OFFICER
Counts 1 , 28
O.C.G.A. 16-4-7& 16-10-1

KENNETH JOHN CHESEBRO 6 SOLICITATIONOF VIOLATIONOF OATH


Counts 1 , 9 , 11, 13, 15, 17, 19 BYPUBLICOFFICER

O.C.G.A. 16-4-7 & 16-10-1


JEFFREY BOSSERT CLARK
Counts 1 , 22
FALSE STATEMENTS AND WRITINGS
O.C.G.A. 16-10-20
JENNA LYNN ELLIS
Counts 1-2 8 IMPERSONATINGA PUBLIC OFFICER
O.C.G.A. 16-10-23
RAY STALLINGS SMITH III
Counts 1-2, 4 , 6, 9 , 11, 13, 15 , 17, 19, 9 CONSPIRACY TO COMMIT
23, 25 IMPERSONATINGA PUBLIC OFFICER
O.C.G.A. 16-4-8& 16-10-23
ROBERT DAVID CHEELEY
Counts 1 , 9 , 11, 13, 15, 17, 19, 23, 26, 10 FORGERY IN THE FIRST DEGREE
41
O.C.G.A. 16-9-1(b)

MICHAEL A.ROMAN
11 CONSPIRACY TO COMMIT
Counts 1 , 9 , 11, 13, 15, 17, 19
FORGERY IN THE FIRST DEGREE
O.C.G.A. 16-4-8 & 16-9-1(b )
DAVID JAMES SHAFER
Counts 1 , 8 , 10, 12, 14, 16, 18, 40
SHAWN MICAH TRESHER STILL 12 FALSESTATEMENTSAND WRITINGS
Counts 1 , 8 , 10 , 12, 14 , 16, 18 O.C.G.A. 16-10-20

STEPHEN CLIFFGARD LEE 13 CONSPIRACYTO COMMIT

Counts 1 , 20-21, 30-31 FALSESTATEMENTSAND WRITINGS


O.C.G.A.§§ 16-4-8& 16-10-20
HARRISONWILLIAMPRESCOTT
FLOYD 14 CRIMINAL ATTEMPT TO COMMIT
Counts 1 , 30-31 FILING FALSE DOCUMENTS
O.C.G.A. §§ 16-4-1 & 16-10-20.1(b ) ( 1)
TREVIANC.KUTTI
Counts1 , 30-31 15 CONSPIRACY TO COMMIT
FILINGFALSEDOCUMENTS
SIDNEY KATHERINE POWELL O.C.G.A. 16-4-8& 16-10-20.1
(b ) ( )
Counts 1 , 32-37
16 FORGERYINTHE FIRST DEGREE
CATHLEEN ALSTON LATHAM O.C.G.A. 16-9-1( b)
Counts 1 , 8 , 10, 12, 14, 32-37
17 CONSPIRACYTO COMMIT
SCOTT GRAHAM HALL
FORGERYIN THE FIRST DEGREE
Counts 1, 32-37
O.C.G.A. §§ 16-4-8 & 16-9-1(b )

MISTY HAMPTON
18 FALSESTATEMENTS AND WRITINGS
AKA EMILY MISTY HAYES
O.C.G.A. 16-10-20
Counts 1 , 32-37

19 CONSPIRACY TO COMMIT
FALSE STATEMENTSAND WRITINGS
O.C.G.A. §§ 16-4-8 & 16-10-20

20 CRIMINAL ATTEMPT TO COMMIT


INFLUENCING WITNESSES
O.C.G.A. 16-4-1& 16-10-93(b ) ( 1)( A )

21 CRIMINAL ATTEMPT TO COMMIT


INFLUENCING WITNESSES
O.C.G.A. §§ 16-4-1 & 16-10-93 (b )( 1) ( A )

22 CRIMINAL ATTEMPT TO COMMIT

FALSE STATEMENTS AND WRITINGS

O.C.G.A. §§ 16-4-1& 16-10-20

23 SOLICITATIONOF VIOLATIONOF OATH


BY PUBLICOFFICER

O.C.G.A.§§ 16-4-7& 16-10-1

24 FALSESTATEMENTS AND WRITINGS


O.C.G.A. 16-10-20

25 FALSE STATEMENTS AND WRITINGS


O.C.G.A. 16-10-20

2
26 FALSESTATEMENTS
ANDWRITINGS

O.C.G.A. 16-10-20

27 FILING FALSE DOCUMENTS


O.C.G.A. 16-10-20.1 b

28 SOLICITATION OF VIOLATION OF OATH


BY PUBLIC

O.C.G.A. 16-4-7 & 16-10-1

29 FALSE STATEMENTSAND WRITINGS

O.C.G.A. 16-10-20

30 CONSPIRACY TO COMMIT SOLICITATIONOF

FALSESTATEMENTSANDWRITINGS
O.C.G.A. 16-4-8, 16-4-7 & 16-10-20

31 INFLUENCING WITNESSES

O.C.G.A. 16-10-93(b ) ( 1) ( A )

32 CONSPIRACYTO COMMITELECTIONFRAUD
O.C.G.A. 21-2-603 & 21-2-566

33 CONSPIRACY TO COMMIT ELECTIONFRAUD

O.C.G.A. 21-2-603 & 21-2-574

34 CONSPIRACYTO COMMIT
COMPUTERTHEFT
O.C.G.A. 16-4-8 & 16-9-93( a)

35 CONSPIRACYTO COMMIT
COMPUTERTRESPASS
O.C.G.A.§§ 16-4-8& 16-9-93( b)

36 CONSPIRACY
TO COMMIT

COMPUTERINVASIONOF PRIVACY
O.C.G.A. 16-4-8& 16-9-93( c)

37 CONSPIRACYTO DEFRAUDTHE STATE


O.C.G.A. 16-10-21

38 SOLICITATIONOF VIOLATIONOF OATH


BY PUBLICOFFICER

O.C.G.A. 16-4-7 & 16-10-1

39 FALSE STATEMENTS AND WRITINGS

O.C.G.A. 16-10-20

40 FALSE STATEMENTS AND WRITINGS


O.C.G.A. 16-10-20

3
41 PERJURY

O.C.G.A. 16-10-70( a)

BILL

2023

GrandJury Foreperson

FANIT. WILLIS, District Attorney

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses , indictment , list of witnesses , indictment, list of witnesses ,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty .

Defendant Defendant Defendant

Attorney for Defendant Attorney for Defendant Attorney for Defendant

AssistantDistrictAttorney AssistantDistrictAttorney Assistant District Attorney

This day of This day of This day of

4
The Defendant waives copy of The Defendantwaives copy of The Defendant waives copy of
indictment, list of witnesses , indictment, list of witnesses, indictment , list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty . Guilty Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorney for Defendant Attorney for Defendant

Assistant District Attorney AssistantDistrictAttorney Assistant District Attorney

This day of This day of This day of

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses , indictment, list ofwitnesses , indictment, list of witnesses ,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorneyfor Defendant Attorney for Defendant

Assistant District Attorney AssistantDistrictAttorney Assistant DistrictAttorney

This day of of

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses , indictment, list of witnesses , indictment , list of witnesses ,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty . Guilty . Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorneyfor Defendant Attorneyfor Defendant

AssistantDistrictAttorney AssistantDistrictAttorney Assistant District Attorney

This day of This day of This day of

5
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses , indictment, list of witnesses , indictment, list of witnesses ,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.

Defendant Defendant Defendant

Attorney for Defendant Attorneyfor Defendant Attorneyfor Defendant

AssistantDistrict Attorney Assistant District Attorney AssistantDistrictAttorney

This day of This day of This day of

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment , list of witnesses , indictment, list of witnesses , indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty . Guilty. Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorney for Defendant Attorneyfor Defendant

Assistant District Attorney Assistant District Attorney AssistantDistrictAttorney

day of This day of This day of

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorney for Defendant Attorneyfor Defendant

Assistant District Attorney AssistantDistrictAttorney AssistantDistrictAttorney

This day of This day of This day of


The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses , indictment , list of witnesses , indictment, list ofwitnesses ,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty . Guilty . Guilty.

Defendant Defendant Defendant

Attorney for Defendant Attorney for Defendant Attorney for Defendant

Assistant District Attorney AssistantDistrictAttorney AssistantDistrictAttorney

day of This day of This day of

The Defendant waives copy of The Defendantwaives copy of The Defendant waives copy of
indictment, list of witnesses, indictment, list ofwitnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty Guilty. Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorneyfor Defendant Attorneyfor Defendant

Assistant District Attorney AssistantDistrictAttorney AssistantDistrictAttorney

day of This day of This dayof

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list ofwitnesses , indictment, list of witnesses, indictment, list ofwitnesses ,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty Guilty Guilty .

Defendant Defendant Defendant

Attorneyfor Defendant Attorneyfor Defendant AttorneyforDefendant

AssistantDistrictAttorney AssistantDistrictAttorney AssistantDistrictAttorney

This day of This day of This day of

7
The Defendant waives copy of The Defendant waives copy of The Defendantwaives copy of
indictment , list ofwitnesses, indictment, list of witnesses , indictment, listof witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignmentandpleads
Guilty. Guilty. Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorneyfor Defendant Attorneyfor Defendant

Assistant District Attorney Assistant District Attorney AssistantDistrictAttorney

This day of This dayof This dayof

The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses , indictment , list of witnesses , indictment, list ofwitnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty . Guilty . Guilty.

Defendant Defendant Defendant

Attorney for Defendant Attorney for Defendant Attorneyfor Defendant

Assistant District Attorney AssistantDistrict Attorney Assistant District Attorney

This day of of of

The Defendant waives copy of The Defendant waives copy of The Defendantwaives copy of
indictment, list of witnesses, indictment , list of witnesses , indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignmentand pleads
Guilty. Guilty Guilty.

Defendant Defendant Defendant

Attorneyfor Defendant Attorney for Defendant Attorney for Defendant

Assistant District Attorney AssistantDistrictAttorney AssistantDistrict Attorney

This day of This day of This


day of

8
STATEOF GEORGIA, COUNTYOF FULTON

INTHE SUPERIORCOURT OF SAID COUNTY

THE GRAND JURORS, selected, chosen, and sworn for the County of Fulton, to wit:

1.ROBERTWELLS, Foreperson 14.GREGORYPETRALIA

2. ASHLEY MELVIN, . FP 15.JENNIFERPRICE

3. 16. GEORGEPRINGLE

, Asst. Sec.
4.JULIADECREDICO 17.PAVANPULAVARTY

5. ERLE ARNOLD 18. FRANEENSARIF

6. DANIELLE BROWN 19.EMMAST. JOHN

7. CAROL DICK 20.VLADIMIRTCHAKAROV

8. KATHY GOLD 21. CEDRIC TRICE

22. ESTHER UDOJI


WILLISHARDY
WELBORN
23. MARCUS
10.BRENDAHART
11. ANTIONETTE HUDSON

12. ILE LIN 25. KATHLEEN CHEN

13. MAX MORTENSEN


TABLE OF CONTENTS

COUNT1 : VIOLATIONOF THE GEORGIARICO

(RACKETEERINFLUENCEDAND CORRUPT ORGANIZATIONS) ACT


.13
O.C.G.A. 16-14-4( c) .
Introduction .14

The Enterprise.. .15

16
Mannerand Methods of the Enterprise
Acts ofRacketeering Activity and Overt Acts in Furtherance ofthe
..20
Conspiracy

COUNT 2 : SOLICITATIONOF VIOLATIONOF OATHBYPUBLIC OFFICER


O.C.G.A. 16-4-7 & 16-10-1. ..72

COUNT 3 : FALSE STATEMENTSAND WRITINGS


.72
O.C.G.A. 16-10-20

COUNT 4 : FALSE STATEMENTS AND WRITINGS


16-10-20 ..73
O.C.G.A.

COUNT5 : SOLICITATIONOF VIOLATIONOF OATHBY PUBLIC OFFICER,


..74
O.C.G.A.§§ 16-4-7 & 16-10-1

COUNT 6 : SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER


O.C.G.A. §§ 16-4-7 & 16-10-1 ..74

COUNT 7 : FALSE STATEMENTS AND WRITINGS


O.C.G.A. 16-10-20 .75

COUNT 8 : IMPERSONATINGA PUBLIC OFFICER


O.C.G.A. 16-10-23.. ..76

COUNT 9 : CONSPIRACYTO COMMIT IMPERSONATINGA PUBLIC OFFICER


O.C.G.A. 16-4-8 & 16-10-23 ..76

COUNT 10: FORGERY IN THE FIRST DEGREE


O.C.G.A. 16-9-1(b ) ..77

COUNT 11 CONSPIRACY TO COMMIT FORGERY IN THE FIRST DEGREE


O.C.G.A. §§ 16-4-8 & 16-9-1( b ) ... ..77

COUNT 12 FALSE STATEMENTS AND WRITINGS

O.C.G.A. 16-10-20 .78

COUNT 13: CONSPIRACY TO COMMIT FALSE STATEMENTS AND WRITINGS


O.C.G.A. 16-4-8 & 16-10-20 ..78

10
COUNT 14: CRIMINALATTEMPT TO COMMITFILINGFALSE DOCUMENTS
O.C.G.A. 16-4-1& 16-10-20.1
( b ) ( 1) .. .79

COUNT 15 CONSPIRACY TO COMMIT FILING FALSE DOCUMENTS


.79
O.C.G.A. §§ 16-4-8 & 16-10-20.1( b) ( )

COUNT 16: FORGERY INTHE FIRST DEGREE


.80
O.C.G.A. § 16-9-1(b) ..

COUNT 17 CONSPIRACY TO COMMIT FORGERY IN THE FIRST DEGREE


O.C.G.A. §§ 16-4-8 & 16-9-1(b) .

COUNT 18: FALSE STATEMENTS


AND WRITINGS

O.C.G.A. 16-10-20

COUNT 19 CONSPIRACY TO COMMIT FALSE STATEMENTS AND WRITINGS


O.C.G.A. §§ 16-4-8 & 16-10-20 81

20 CRIMINAL ATTEMPT TO COMMIT INFLUENCING WITNESSES


O.C.G.A. §§ 16-4-1 & 16-10-93( b) ( 1) (A ) ...

COUNT 21: CRIMINAL ATTEMPT TO COMMIT INFLUENCING WITNESSES


.82
O.C.G.A. §§ 16-4-1 & 16-10-93 (b ) ( 1 ( A)

COUNT 22 CRIMINAL ATTEMPT TO COMMIT

FALSE STATEMENTS AND WRITINGS


.83
O.C.G.A. §§ 16-4-1 & 16-10-20

23 : SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER


84
O.C.G.A. §§ 16-4-7 & 16-10-1

COUNT 24 FALSE STATEMENTS AND WRITINGS


.84
O.C.G.A. 16-10-20

COUNT 25: FALSE STATEMENTSANDWRITINGS


16-10-20 ..85
O.C.G.A.

COUNT 26: FALSE STATEMENTS AND WRITINGS


O.C.G.A. 16-10-20 85

COUNT27 FILINGFALSEDOCUMENTS
86
O.C.G.A. 16-10-20.1(b ) ( 1)

COUNT 28 SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER


O.C.G.A. 16-4-7 & 16-10-1 87

11
COUNT 29 FALSE STATEMENTSAND WRITINGS
O.C.G.A. 16-10-20

COUNT30: CONSPIRACYTO COMMITSOLICITATION


OF

FALSESTATEMENTSAND WRITINGS
O.C.G.A. §§ 16-4-8, 16-4-7, & 16-10-20 ..89

COUNT 31: INFLUENCING WITNESSES


O.C.G.A. 16-10-93( b ) ( 1) (A ) .89

32 : CONSPIRACY TO COMMIT ELECTIONFRAUD


.90
O.C.G.A. 21-2-603 & 21-2-566

COUNT 33 : CONSPIRACY TO COMMIT ELECTIONFRAUD


O.C.G.A. 21-2-603 & 21-2-574 .91

COUNT 34: CONSPIRACYTO COMMIT COMPUTERTHEFT


..92
O.C.G.A. §§ 16-4-8& 16-9-93( a)

COUNT 35: CONSPIRACYTO COMMITCOMPUTERTRESPASS


O.C.G.A. §§ 16-4-8& 16-9-93( b) ..93

COUNT 36: CONSPIRACY TO COMMIT COMPUTER INVASION OF PRIVACY


..94
O.C.G.A. §§ 16-4-8 & 16-9-93( c) ..

COUNT 37 CONSPIRACY TO DEFRAUD THE STATE

O.C.G.A. 16-10-21 .95

COUNT 38 SOLICITATIONOF VIOLATIONOF OATHBY PUBLICOFFICER


95
O.C.G.A.§§ 16-4-7& 16-10-1

COUNT 39 FALSE STATEMENTS AND WRITINGS


..96
O.C.G.A. 16-10-20

COUNT 40 FALSE STATEMENTSAND WRITINGS


O.C.G.A. 16-10-20 .96

COUNT41: PERJURY
.97
O.C.G.A. § 16-10-70( a) .

12
COUNT1 of41

The GrandJurors aforesaid, inthe name and behalfofthe citizensof Georgia, do hereby
chargeand accuse:

DONALD JOHN TRUMP,


RUDOLPH WILLIAM LOUIS ,
JOHN CHARLES EASTMAN ,
MARK RANDALL MEADOWS ,
KENNETH JOHN CHESEBRO ,
JEFFREY BOSSERT CLARK ,
JENNA LYNN ELLIS,
RAYSTALLINGSSMITHIII,
ROBERTDAVIDCHEELEY,
MICHAELA. ROMAN,
DAVIDJAMESSHAFER,
SHAWNMICAHTRESHERSTILL,

STEPHENCLIFFGARDLEE,

HARRISONWILLIAMPRESCOTTFLOYD,
TREVIAN C. KUTTI,
SIDNEY KATHERINE POWELL,
CATHLEEN ALSTON LATHAM ,
SCOTT GRAHAM HALL, and
MISTY HAMPTON

with the offense of VIOLATION OF THE GEORGIA RICO (RACKETEER


INFLUENCED AND CORRUPT ORGANIZATIONS ) ACT , O.C.G.A. § 16-14-4( c) , for the
said accused , individually and as persons concerned in the commission of a crime, and together
with unindicted co- conspirators , in the State of Georgia and County of Fulton, on and between
the 4th day ofNovember 2020 and the 15th day of September 2022 , while associated with an
enterprise , unlawfully conspired and endeavored to conduct and participate in, directly and
indirectly , such enterprise through a pattern of racketeering activity in violation of O.C.G.A.
16-14-4( b) , as described below and incorporated by reference as iffully set forth herein, contrary
to the laws ofsaid State, the good order, peace, and dignity thereof;

13
INTRODUCTION

Defendant Donald John Trump lost the United States presidential election held on
November 3 ,2020. One of the states he lost was Georgia . Trump and the other Defendants
charged in this Indictment refused to accept that Trump lost, and they knowingly and willfully
joined a conspiracy to unlawfully change the outcome of the election in favor of Trump .That
conspiracy contained a common plan and purpose to commit two or more acts of racketeering
activity in Fulton County , Georgia ,elsewhere in the State of Georgia , and in other states .

14
THE ENTERPRISE

At all times relevant to this Count of the Indictment ,the Defendants , as well as others not

named as defendants , unlawfully conspired and endeavored to conduct and participate in a


criminal enterprise in Fulton County , Georgia ,and elsewhere . Defendants Donald John Trump ,
Rudolph William Louis Giuliani , John Charles Eastman , Mark Randall Meadows ,Kenneth John

Chesebro , Jeffrey Bossert Clark , Jenna Lynn Ellis,Ray Stallings Smith III, Robert David
Cheeley, Michael A. Roman , David James Shafer , Shawn Micah Tresher Still, Stephen Cliffgard
Lee,Harrison William Prescott Floyd, Trevian C. Kutti, Sidney Katherine Powell ,Cathleen
Alston Latham , Scott Graham Hall,Misty Hampton ,unindicted co-conspirators Individual
through Individual 30 , and others known and unknown to the Grand Jury , constituted a criminal
organization whose members and associates engaged in various related criminal activities
including ,but not limited to , false statements and writings ,impersonating a public officer ,
forgery , filing false documents , influencing witnesses , computer theft , computer trespass ,
computer invasion of privacy, conspiracy to defraud the state , acts involving theft , and perjury.
This criminal organization constituted an enterprise as that term is defined in O.C.G.A. §
16-14-3(3) , that is,a group of individuals associated in fact. The Defendants and other members
and associates of the enterprise had connections and relationships with one another and with the
enterprise.The enterprise constituted an ongoing organization whose members and associates
functioned as a continuing unit for a common purpose of achieving the objectives of the
enterprise. The enterprise operated in Fulton County, Georgia, elsewhere in the State of Georgia,
in other states,including,but not limited to,Arizona ,Michigan, Nevada, New Mexico,
Pennsylvania, and Wisconsin,and in the District of Columbia . The enterprise operated for a
period of time sufficient to permit its members and associates to pursue its objectives.

15
MANNER AND METHODS OF THE ENTERPRISE

The manner and methods used by the Defendants and other members and associates of

the enterprise to further the goals of the enterprise and to achieve its purposes included, but were
not limited to,the following:

1. False Statements to and Solicitation of State Legislatures

Members of the enterprise , including several of the Defendants, appeared at hearings in


Fulton County ,Georgia ,before members of the Georgia General Assembly on December 3 ,
2020 , December 10 ,2020 , and December 30 , 2020. At these hearings ,members of the enterprise
made false statements concerning fraud in the November 3 , 2020 , presidential election.The
purpose ofthese false statements was to persuade Georgia legislators to reject lawful electoral
votes cast by the duly elected and qualified presidential electors from Georgia . Members of the
enterprise corruptly solicited Georgia legislators instead to unlawfully appoint their own

presidential electors for the purpose of casting electoral votes for Donald Trump . Members ofthe
enterprise also made false statements to state legislators during hearings and meetings in
Arizona,Michigan, and Pennsylvania in November and December 2020 to persuade legislators
in those states to unlawfully appoint their own presidential electors.
2. False Statements to and Solicitation of High- Ranking State Officials

Members ofthe enterprise, including several of the Defendants , made false statements in
Fulton County and elsewhere in the State of Georgia to Georgia officials, including the
Governor,the Secretary of State, and the Speaker of the House of Representatives .Members of
the enterprise also corruptly solicited Georgia officials , including the Secretary of State and the
Speaker of the House of Representatives , to violate their oaths to the Georgia Constitution and to
the United States Constitution by unlawfully changing the outcome of the November 3 ,2020,

16
presidentialelectionin Georgia infavor ofDonald Trump. Members ofthe enterprise also made
falsestatements to and solicited state officials inArizona, Michigan, and Pennsylvania.
3. Creation and Distribution of False Electoral College Documents

Members ofthe enterprise ,including several of the Defendants , created false Electoral
College documents and recruited individuals to convene and cast false Electoral College votes at
the Georgia State Capitol, in Fulton County ,on December 14 ,2020. After the false Electoral
College votes were cast, members of the enterprise transmitted the votes to the President of the
United States Senate, the Archivist of the United States, the Georgia Secretary of State, and the
ChiefJudge of the United States District Court for the Northern District of Georgia . The false
documents were intended to disrupt and delay the joint session of Congress on January 6,2021,

in order to unlawfully change the outcome ofthe November 3,2020, presidential election in
favor of Donald Trump . Similar schemes were executed by members of the enterprise in Arizona,
Michigan,Nevada, New Mexico,Pennsylvania, and Wisconsin.

4. Harassment and Intimidation of Fulton County Election Worker Ruby Freeman

Members of the enterprise , including several of the Defendants , falsely accused Fulton
County election worker Ruby Freeman of committing election crimes in Fulton County ,Georgia .
These false accusations were repeated to Georgia legislators and other Georgia officials in an
effort to persuade them to unlawfully change the outcome of the November 3 ,2020 ,presidential
election in favor of Donald Trump . In furtherance of this scheme , members of the enterprise
traveled from out of state to harass Freeman, intimidate her, and solicit her to falsely confess to
election crimes that she did not commit .

17
5. Solicitation of High-Ranking United States Department of Justice Officials
Members of the enterprise , including several of the Defendants , corruptly solicited high
ranking United States Department of Justice officials to make false statements to government
officials in Fulton County , Georgia , including the Governor ,the Speaker of the House of
,
Representatives and the President Pro Tempore of the Senate . In one instance ,Donald Trump
stated to the Acting United States Attorney General , Just say that the election was corrupt , and
leave the rest to me and the Republican congressmen .

6. Solicitation of the Vice President of the United States

Members ofthe enterprise , including several of the Defendants , corruptly solicited the
Vice President ofthe United States to violate the United States Constitution and federal law by
unlawfully rejecting Electoral College votes cast in Fulton County , Georgia , by the duly elected

and qualified presidential electors from Georgia . Members of the enterprise also corruptly
solicited the Vice President to reject votes cast by the duly elected and qualified presidential
electors from several other states .

7. UnlawfulBreachof Election Equipmentin Georgia and Elsewhere

Members ofthe enterprise, including several ofthe Defendants , corruptly conspired in


Fulton County, Georgia, and elsewhere to unlawfully access secure voting equipment and voter
data . In Georgia, members of the enterprise stole data , including ballot images ,voting equipment
software, and personal voter information . The stolen data was then distributed to other members

of the enterprise , including members in other states.

18
8. ObstructiveActs in Furtheranceofthe Conspiracyand the Cover Up

Membersofthe enterprise, includingseveral ofthe Defendants, filed false documents,

made false statements to government investigators, and committed perjury injudicial


proceedings in Fulton County, Georgia, and elsewhere in furtherance of and to cover up the

conspiracy

19
ACTS OF RACKETEERING ACTIVITY AND

OVERT ACTS IN FURTHERANCE OF THE CONSPIRACY

As part ofand on behalf of the criminal enterprise detailed above , the Defendants and

other members and associates ofthe enterprise committed overt acts to effect the objectives of

the enterprise, including but not limited to :


Act 1 .

or about the 4th day of November 2020 , DONALD JOHN TRUMP made a
nationally televised speech falsely declaring victory in the 2020 presidential election.
Approximately four days earlier , on or about October 31 , 2020 , DONALD JOHN TRUMP
discussed a draft speech with unindicted co- conspirator Individual 1, whose identity is known to
the Grand Jury, that falsely declared victory and falsely claimed voter fraud . The speech was an
overt act in furtherance of the conspiracy .

Act 2 .

or about the 15th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI placed a telephone call to unindicted co- conspirator Individual 2 , whose identity is
known to the Grand Jury, and left an approximately 83- second - long voicemail message for
unindicted co- conspirator Individual 2 making statements concerning fraud in the November 3 ,
2020, election in Fulton County , Georgia . This telephone call was an overt act in furtherance of
the conspiracy .

Act2 .

or about the 19th day of November 2020, RUDOLPH WILLIAM LOUIS


GIULIANI, JENNA LYNN ELLIS, SIDNEY KATHERINE POWELL, and unindicted co
conspirator Individual 3, whose identity is known to the Grand Jury , appeared at a press
conference at the Republican National Committee Headquarters on behalf of DONALD JOHN
TRUMP and Donald J. Trump for President, Inc. (the Trump Campaign ) and made false
statements concerning fraud in the November 3, 2020, presidential election in Georgia and
elsewhere. These were overt acts in furtherance of the conspiracy.

Act 4 .

On or about the 20th day of November 2020, DAVID JAMES SHAFER sent an e-mail
to unindicted co- conspirator Individual 4, whose identity is known to the Grand Jury, and other
individuals . Inthe e-mail, DAVID JAMES SHAFER stated that SCOTT GRAHAM HALL , a
Georgia bailbondsman, has been looking into the election on behalf of the President at the
request of David Bossie and asked unindicted co-conspirator Individual 4 to exchange contact
information with SCOTT GRAHAM HALL and to help him as needed. This was an overt act
in furtherance of the conspiracy .

20
Act 5 .

On or about the 20th day of November 2020 , DONALD JOHN TRUMP and MARK
RANDALL MEADOWS met with Majority Leader of the Michigan Senate Michael Shirkey,
Speaker of the Michigan House ofRepresentatives Lee Chatfield , and other Michigan legislators
inthe Oval Office at the White House, and DONALD JOHN TRUMP made false statements
concerning fraud in the November 3 , 2020 , presidential election in Michigan . RUDOLPH
WILLIAM LOUIS GIULIANI joined the meeting by telephone . This meeting was an overt act
in furtherance ofthe conspiracy .

Act 6 .

On or about the 21st day of November 2020 , MARK RANDALL MEADOWS sent a
text message to United States Representative Scott Perry from Pennsylvania and stated , Can
you send me the number for the speaker and the leader of PA Legislature . POTUS wants to chat
with them . This was an overt act in furtherance of the conspiracy .

Act 7 .

or about the 22nd day of November 2020 , JOHN TRUMP and


RUDOLPH WILLIAM LOUIS GIULIANI placed a telephone call to Speaker of the Arizona
House ofRepresentatives Russell Rusty Bowers . During the telephone call, RUDOLPH
WILLIAM GIULIANI made false statements concerning fraud in the November 3,
2020 , presidential election in Arizona and solicited, requested , and importuned Bowers to
unlawfully appoint presidential electors from Arizona . Bowers declined and later testified to the
United States House of Representatives Select Committee to Investigate the January 6th Attack
on the United States Capitol that he told DONALD JOHN TRUMP , I would not break my
oath The false statements and solicitations were overt acts in furtherance of the conspiracy .

Act 8 .

On or about the 25th day of November 2020, RUDOLPH WILLIAM LOUIS


GIULIANI and JENNA LYNN ELLIS appeared, spoke , and presented witnesses at a meeting
of Pennsylvania legislators in Gettysburg, Pennsylvania . During the meeting, RUDOLPH
WILLIAM LOUIS GIULIANI made false statements concerning fraud in the November 3,
2020, presidential election in Pennsylvania and solicited, requested, and importuned the
Pennsylvania legislators present at the meeting to unlawfully appoint presidential electors from
Pennsylvania . During the meeting, JENNA LYNN ELLIS solicited, requested, and importuned
the Pennsylvania legislators present at the meeting to unlawfully appoint presidential electors
from Pennsylvania . DONALD JOHN TRUMP joined the meeting by telephone , made false
statements concerning fraud in the November 3, 2020, presidential election in Pennsylvania, and
solicited, requested, and importuned the Pennsylvania legislators present at the meeting to
unlawfully appoint presidential electors from Pennsylvania . These were overt acts in furtherance
ofthe conspiracy.

21
Act 9 .

On or about the 25th day of November 2020 , immediately after the meeting of
Pennsylvania legislators in Gettysburg, Pennsylvania , where RUDOLPH WILLIAM LOUIS
GIULIANI and JENNA LYNN ELLIS appeared, spoke, and presented witnesses , DONALD
JOHN TRUMP invited a group of the Pennsylvania legislators and others to meet with him at
the White House. Later that day, DONALD JOHN TRUMP , MARK RANDALL
MEADOWS , RUDOLPH WILLIAM LOUIS GIULIANI , JENNA LYNN ELLIS and
unindicted co-conspirators Individual 5 and Individual 6, whose identities are known to the
Grand Jury, met with the group of Pennsylvania legislators at the White House and discussed
holding a special session of the Pennsylvania General Assembly . These were overt acts in
furtherance ofthe conspiracy .

Act 10.

On or about the 26th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI and JENNA LYNN ELLIS placed a telephone call to Speaker of the Pennsylvania
House of Representatives Bryan Cutler and left Cutler a voicemail message for the purpose of
soliciting requesting , and importuning him to unlawfully appoint presidential electors from
Pennsylvania . This was an overt act in furtherance of the conspiracy .

Act 11
.

or about the 26th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI placed a telephone call to President Pro Tempore of the Pennsylvania Senate Jacob
Jake Corman for the purpose of soliciting , requesting , and importuning Corman to unlawfully
appoint presidential electors from Pennsylvania . This was an overt act in furtherance ofthe
conspiracy

Act 12.

On or about the 27th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI and JENNA LYNN ELLIS placed a telephone call to Speaker of the Pennsylvania
House of Representatives Bryan Cutler and left Cutler a voicemail message for the purpose of
soliciting , requesting , and importuning him to unlawfully appoint presidential electors from
Pennsylvania . This was an overt act in furtherance ofthe conspiracy .

Act 12.

On or about the 27th day of November 2020 , RUDOLPH WILLIAM


GIULIANI and JENNA LYNN ELLIS placed a telephone call to President Pro Tempore ofthe
Pennsylvania Senate Jake Corman for the purpose of soliciting, requesting, and importuning
Corman to unlawfully appoint presidential electors from Pennsylvania. This was an overt act in
furtherance of the conspiracy.

22
Act 14.

On or about the 27th day of November 2020 , DONALD JOHN TRUMP placed a
telephone call to President Pro Tempore of the Pennsylvania Senate Jake Corman for the purpose
of soliciting, requesting , and importuning Corman to unlawfully appoint presidential electors
from Pennsylvania . This was an overt act in furtherance ofthe conspiracy .

Act 15.

On or about the 28th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI placed a telephone call to Speaker ofthe Pennsylvania House of Representatives
Bryan Cutler and left Cutler a voicemail message for the purpose of soliciting, requesting, and
importuning him to unlawfully appoint presidential electors from Pennsylvania . This was an
overt act in furtherance of the conspiracy .

Act 16.

or about the 29th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI placed a telephone call to Speaker ofthe Pennsylvania House of Representatives
Bryan Cutler and left Cutler a voicemail message for the purpose of soliciting , requesting, and
importuning him to unlawfully appoint presidential electors from Pennsylvania . This was an
overt act in furtherance ofthe conspiracy .

Act 17

On or about the 30th day of November 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI and JENNA LYNN ELLIS appeared, spoke, and presented witnesses at a meeting
of Arizona legislators in Phoenix, Arizona . Unindicted co-conspirators Individual 5 and
Individual 6 , whose identities are known to the Grand Jury , were also present. During the
meeting, RUDOLPH WILLIAM LOUIS GIULIANI made false statements concerning fraud
inthe November 3 , 2020, presidential election in Arizona and solicited, requested, and
importuned the Arizona legislators present at the meeting to unlawfully appoint presidential
electors from Arizona. During the meeting, JENNA LYNN ELLIS solicited, requested, and
importuned the Arizona legislators present at the meeting to unlawfully appoint presidential
electors from Arizona . DONALD JOHN TRUMP joined the meeting by telephone and made
false statements concerning fraud in the November 3, 2020, presidential election in Arizona .
These were overt acts in furtherance ofthe conspiracy.

Act 18.

or about the 30th day of November 2020 , MICHAEL A. ROMAN instructed


unindicted co-conspirator Individual 7, whose identity is known to the Grand Jury, to coordinate
with individuals associated with the Trump Campaign to contact state legislators in Georgia and
elsewhere on behalf of DONALD JOHN TRUMP and to encourage them to unlawfully appoint
presidential electors from their respective states. This was an overt act in furtherance of the
conspiracy

23
Act 19

On orbetween the 1st day of December 2020 and the 31st day of December 2020,
DONALD JOHN TRUMP and MARK RANDALL MEADOWS met with John McEntee and
requested that McEntee prepare a memorandum outlining a strategy for disrupting and delaying
the joint session of Congress on January 6 , 2021, the day prescribed by law for counting votes
cast by the duly elected and qualified presidential electors from Georgia and the other states . The
strategy included having Vice President Michael R. Mike Pence count only half of the electoral
votes from certain states and then return the remaining electoral votes to state legislatures. The
request was an overt act in furtherance ofthe conspiracy.

Act 20.

or about the 1st day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI and JENNA LYNN ELLIS met with Speaker ofthe Arizona House of
Representatives Rusty Bowers, President of the Arizona Senate Karen Fann, and other Arizona
legislators in Phoenix, Arizona . Unindicted co-conspirator Individual 5, whose identity is known
to the Grand Jury, was also present . During the meeting, RUDOLPH WILLIAM LOUIS
GIULIANI made false statements concerning fraud in the November 3, 2020, presidential
election in Arizona and solicited, requested, and importuned the legislators present to call a
special session of the Arizona State Legislature . These were overt acts in furtherance of the
conspiracy

Act 21.

On or about the 2nd day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI and JENNA LYNN ELLIS appeared , spoke, and presented witnesses at a meeting
ofthe Michigan House of Representatives Oversight Committee . During the meeting,
RUDOLPH WILLIAM LOUIS GIULIANI made false statements concerning fraud inthe
November 3, 2020, presidential election in Michigan and solicited, requested, and importuned
the Michigan legislators present at the meeting to unlawfully appoint presidential electors from
Michigan. During the meeting, JENNA LYNN ELLIS solicited, requested, and importuned the
Michigan legislators present at the meeting to unlawfully appoint presidential electors from
Michigan. These were overt acts in furtherance ofthe conspiracy .

Act 22.

On or about the 3rd day of December 2020 , DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump, Georgia hearings now on @OANN.
Amazing This was an overt act in furtherance of the conspiracy.

24
Act 23.

On or about the 3rd day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI, JOHN CHARLES EASTMAN, JENNA LYNN ELLIS, and RAY STALLINGS
SMITH IIIcommitted the felony offense of SOLICITATION OF VIOLATION OF OATH
BY PUBLIC OFFICER, in violation of O.C.G.A. §§ 16-4-7 & 16-10-1, in Fulton County,
Georgia , by unlawfully soliciting, requesting, and importuning certain public officers then
serving as elected members of the Georgia Senate and present at a Senate Judiciary
Subcommittee meeting, including unindicted co-conspirator Individual 8 , whose identity is
known to the Grand Jury, Senators Lee Anderson, Brandon Beach, Matt Brass , Greg Dolezal,
Steve Gooch, Tyler Harper, Bill Heath, Jen Jordan, John F. Kennedy, William Ligon, Elena
Parent, Michael Rhett, Carden Summers, and Blake Tillery, to engage in conduct constituting the
felony offense of Violation of Oath by Public Officer, O.C.G.A. § 16-10-1, by unlawfully
appointing presidential electors from Georgia, in willful and intentional violation of the terms of
the oath of said persons as prescribed by law, with intent that said persons engage in said
conduct. This was an overt act in furtherance of the conspiracy .

Act 24.

or about the 3rd day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI committed the felony offense of FALSE STATEMENTS AND WRITINGS, in
violation of O.C.G.A. § 16-10-20, in Fulton County, Georgia, by knowingly, willfully, and
unlawfully making at least one ofthe following false statements and representations to members
of the Georgia Senate present at a Senate Judiciary Subcommittee meeting:

1. That at least96,600 mail- in ballots were counted in the November3, 2020, presidential
election in Georgia, despite there being no record ofthose ballots having been returned to
a county elections office;

2. That Dominion Voting Systems equipment used in the November 3 , 2020 , presidential
election in Antrim County , Michigan , mistakenly recorded 6,000 votes for Joseph R.
Biden when the votes were actually cast for Donald John Trump ;

said statements being within the jurisdiction of the Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government, and county
and city law enforcement agencies . This was an act of racketeering activity under O.C.G.A. § 16
14-3(5)(A)(xxii ) and an overt act in furtherance of the conspiracy.

25
Act 25.

or about the 3rd day of December 2020 , RAY STALLINGS SMITH committed
the felony offense of FALSE STATEMENTS AND WRITINGS , inviolation of O.C.G.A. §
16-10-20, in Fulton County, Georgia, by knowingly, willfully , and unlawfully making at least
one ofthe following false statements and representations to members of the Georgia Senate
present at a Senate Judiciary Subcommittee meeting:

1. That 2,506 felons voted illegally in the November 3 , 2020, presidential election in
Georgia;

2. That 66,248 underage people illegally registered to vote before their seventeenth birthday
prior to the November 3, 2020, presidential election in Georgia

3. That at least2,423 people voted in the November 3 , 2020, presidential election in


Georgiawho were not listed as registered to vote;

4. That 1,043 people voted in the November 3, 2020, presidential election in Georgia who
had illegally registered to vote using a post office box;

5. That 10,315 or more dead people voted in the November 3, 2020 , presidential election in
Georgia ;

6. That FultonCountyelectionworkers at StateFarmArena orderedpollwatchers and


membersofthe mediato leavethe tabulationarea on the nightof November3 , 2020, and
continuedto operate after orderingeveryoneto leave;

said statements being within the jurisdiction of the Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government , and county
and city law enforcement agencies . This was an act of racketeering activity under O.C.G.A. § 16
14-3(5)(A)(xxii ) and an overt act in furtherance of the conspiracy.

Act26.

oraboutthe 3rdday ofDecember2020, DONALDJOHNTRUMPcausedto be


tweetedfromthe Twitter account@RealDonald
Trump, Wow! Blockbustertestimonytaking
placerightnow in Georgia. Ballotstuffingby DemswhenRepublicanswereforcedto leavethe
largecountingroom. Plentymorecoming, but this aloneleadsto an easy win ofthe State!" This
was anovertact in furtheranceofthe conspiracy
.

Act 27.

Onor about the 3rd day of December 2020, DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump, People in Georgia got caught cold
bringing in massive numbers of ballots and puttingthem in voting machines. Greatjob
@BrianKempGA! This was an overt act in furtherance of the conspiracy

26
Act 28.

Onor aboutthe 3rd day of December2020, DONALDJOHN TRUMP met with


Speakerofthe PennsylvaniaHouse of RepresentativesBryanCutlerinthe Oval Office atthe
WhiteHouseand discussedholdinga special sessionofthe PennsylvaniaGeneralAssembly.
This was anovert act in furtheranceof the conspiracy.

Act 29.

or between the 3rd day of December 2020 and the 26th day of December 2020,
RUDOLPH WILLIAM LOUIS GIULIANI placed a telephone call to President Pro Tempore
ofthe Georgia Senate Cecil Terrell Butch Miller for the purpose of making false statements
concerning fraud in the November 3, 2020, presidential election in Georgia. This was an overt
act in furtherance of the conspiracy.

Act 30 .

orbetweenthe 3rd day of December2020 and the 26th day ofDecember2020,


DONALDJOHNTRUMPplaced a telephone call to PresidentPro Tempore of the Georgia
SenateButchMiller. This was an overt act in furtheranceofthe conspiracy.

Act 31.

or about the 5th day of December 2020 , DONALD JOHN TRUMP placed a
telephone call to Georgia Governor Brian Kemp and solicited, requested, and importuned Kemp
to call a special session of the Georgia General Assembly . This was an overt act in furtherance of
the conspiracy .

Act32.

oraboutthe 6th day of December2020, DONALDJOHNTRUMP caused to be


tweetedfromthe Twitter account@RealDonald Trump, Gee, what a surprise. Has anyone
informedthe so- called( says he has no powerto do anything!) Governor @BrianKempGA& his
puppetLt. Governor @GeoffDuncanGA
, thatthey could easily solve this mess, & WIN.
Signatureverification& call a Special Session. So easy! https://t.co/5cb4QdYzpU
. This was an
overtact infurtheranceof the conspiracy.

Act 33.

On or about the 6th day of December 2020, SIDNEY KATHERINE POWELL entered
into a written engagement agreement with SullivanStrickler LLC, a forensic data firm located in
Fulton County , Georgia, for the performance of computer forensic collections and analytics on
Dominion Voting Systems equipment in Michigan and elsewhere . The unlawful breach of
election equipment in Coffee County , Georgia, was subsequently performed under this
agreement. This was an overt act in furtherance of the conspiracy.

27
Act 34.

or aboutthe 6thday of December2020, ROBERTDAVIDCHEELEY sent an e


mailto JOHN CHARLESEASTMAN, unindictedco-conspiratorIndividual8, whose identity
isknownto the GrandJury, and Georgia SenatorBrandonBeachthat stated, I am workingon
settingup a call for you with the Speaker and the President Pro Temporetomorrow. I am also
makingthe leadership awareofthe importancefor Trump electors to meet on December 14.
Pleaseprovide the citation to the requirements ofthe duties whichthey must comply with. This
was an overtact in furtherance ofthe conspiracy.

Act 35.

or about the 6th day of December 2020 , JOHN CHARLES EASTMAN sent an e
mail to ROBERT DAVID CHEELEY , unindicted co-conspirator Individual 8, whose identity is
known to the Grand Jury, and Georgia Senator Brandon Beach that stated that the Trump
presidential elector nominees in Georgia needed to meet on December 14, 2020, sign six sets of
certificates of vote , and mail them to the President of the Senate and to other officials . This
was an overt act in furtherance of the conspiracy .

Act 36 .

or about the 6th day of December 2020, ROBERT DAVID CHEELEY sent an e
mailto unindicted co-conspirator Individual 2, whose identity is known to the Grand Jury, that
stated he had been speaking with JOHN CHARLES EASTMAN and was attempting to set up a
call with Speaker of the Georgia House of Representatives David Ralston and President Pro
Tempore ofthe Georgia Senate Butch Miller to encourage them to call a special session ofthe
Georgia General Assembly . Inthe e -mail, ROBERT DAVID CHEELEY stated, Professor
Eastman told me tonight that it is critical that the 16 Electors for President Trump meet next
Monday and vote in accordance with 3 U.S.C. 7. Inthe e-mail, ROBERT DAVID
CHEELEY further stated , I assume you can make sure this happens. This was an overt act in
furtherance ofthe conspiracy .

Act 37

or about the 7th day ofDecember 2020 , unindicted co-conspirator Individual 2 ,


whose identity is known to the Grand Jury , sent an e- mail to ROBERT DAVID CHEELEY and
DAVID JAMES SHAFER that stated , Bob, can u get on a call with David Shafer , state GOP
chair and I later this morning to discuss . David has been on top of a lot of efforts in the state . I
get offof a board call around 10:30 . This was an overt act in furtherance of the conspiracy .

28
Act 38 .

or about the 7th day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI caused to be tweeted from the Twitter account @RudyGiuliani a retweet of
unindicted co-conspirator Individual 8 , whose identity is known to the Grand Jury, that stated,
Georgia Patriot Call to Action : today is the day we need you to call your state Senate & House
Reps & ask them to sign the petition for a special session . We must have free & fair elections in
GA & a this is our only path to ensuring every legal vote is counted . @realDonaldTrump . This
was an overt act in furtherance ofthe conspiracy .

Act 39.

or about the 7th day of December 2020, JOHN CHARLES EASTMAN sent ane
mailto RUDOLPH WILLIAM LOUIS GIULIANI with an attached memorandum titled The
Real Deadline for Settling a State's Electoral Votes. The body of the e-mail stated, Here's the
memo we discussed. The memorandum was written by KENNETH JOHN CHESEBRO to
James R.Troupis, an attorney associated with the Trump Campaign, and advocates for the
position that Trump presidential elector nominees in Wisconsin should meet and cast electoral
votes for DONALD JOHN TRUMP on December 14, 2020, despite the fact that DONALD
JOHN TRUMP lost the November 3 , 2020, presidential election in Wisconsin. This e-mail was
an overt act in furtherance ofthe conspiracy.

Act 40.

or aboutthe 7th day of December 2020 , DONALD JOHN TRUMP requested that
Bill White, an individual associated with the Trump Campaign then residing in Fulton County ,
Georgia , provide him with certain information, including contact information for Majority
Leader of the Georgia Senate Mike Dugan and President Pro Tempore of the Georgia Senate
ButchMiller. The following day, White sent an e-mail containing the requested information to
RUDOLPH WILLIAM LOUIS GIULIANI, unindicted co-conspirator Individual 5, whose
identity is known to the Grand Jury , and others . This request was an overt act in furtherance of
the conspiracy.

Act 41.

On or about the 7th day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI placed a telephone call to Speaker of the Georgia House of Representatives David
Ralston and discussed holding a special session of the Georgia General Assembly . This was an
overt act in furtherance of the conspiracy .

29
Act42.

On or about the 7th day of December 2020, DONALD JOHN TRUMP committed the
felony offense of SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER, in
violation of O.C.G.A. §§ 16-4-7 & 16-10-1, in Fulton County , Georgia , by unlawfully soliciting,
requesting, and importuning Speaker ofthe Georgia House of Representatives David Ralston, a
public officer, to engage in conduct constituting the felony offense of Violation of Oath by
Public Officer, O.C.G.A. § 16-10-1, by calling a special session ofthe Georgia General
Assembly for the purpose of unlawfully appointing presidential electors from Georgia, in willful
and intentional violation ofthe terms of the oath of said person as prescribed by law, with intent
that said person engage in said conduct . This was an overt act in furtherance of the conspiracy.

Act43.

or about the 8th day of December 2020 , DONALD JOHN TRUMP placed a
telephone call to Georgia Attorney General Chris Carr for the purpose of making false statements
concerning fraud in the November 3 , 2020 , presidential election in Georgia and elsewhere .
During the telephone call , DONALD JOHN TRUMP asked Carr not to discourage other state
attorneys general from joining a federal lawsuit filed by the State of Texas contesting the
administration ofthe November 3, 2020 , presidential election in Georgia , Michigan ,
Pennsylvania , and Wisconsin. This was an overt act in furtherance ofthe conspiracy .

Act 44.

oraboutthe 8th day ofDecember2020, DONALDJOHNTRUMPandJOHN


CHARLESEASTMANplaceda telephonecallto RepublicanNationalCommittee
ChairwomanRonnaMcDanielto requesther assistancegatheringcertainindividualsto meetand
castelectoralvotes for DONALDJOHNTRUMP on December14, 2020, in certainstates
despitethe factthat DONALDJOHNTRUMPlostthe November3 , 2020, presidentialelection
inthosestates. This was an overt act infurtheranceofthe conspiracy.

Act45.

or about the 8th day of December 2020 , MICHAEL A. ROMAN sent a text
message to unindicted co- conspirator Individual 4 , whose identity is known to the Grand Jury,
stated that he had spoken to MISTY HAMPTON , and asked unindicted co- conspirator
Individual 4 to get MISTY HAMPTON to attend the hearing before the Georgia House of
Representatives Governmental Affairs Committee on December 10, 2020. This was an overt act
infurtherance of the conspiracy.

30
Act 46.

On or about the 9th day of December 2020, KENNETH JOHN CHESEBRO wrote a
memorandum titled Statutory Requirements for December 14 Electoral Votes to James R.
Troupis , an attorney associated with the Trump Campaign. The memorandum provides detailed
state- specific instructions for how Trump presidential elector nominees in Georgia, Arizona,
Michigan, Nevada, Pennsylvania , and Wisconsin would meet and cast electoral votes for
DONALD JOHN TRUMP on December 14, 2020, despite the fact that DONALD JOHN
TRUMP lost the November 3, 2020, presidential election in those states. This was an overt act
in furtherance of the conspiracy.

Act 47

or aboutthe 10th day of December2020, KENNETHJOHN CHESEBRO sent an


e-mailto Georgia RepublicanParty ChairmanDAVID JAMES SHAFERand unindictedco
conspirator Individual9, whose identity is knownto the GrandJury. KENNETHJOHN
CHESEBRO stated inthe e-mailthat certain individualsassociated with the Trump Campaign
askedhim to help coordinate withthe other 5 contested States, to help with logisticsofthe
electorsin other States hopefullyjoining incastingtheir votes on Monday. This was an overt
act in furtherance of the conspiracy.

Act 48.

or about the 10th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e- mail with attached documents to DAVID JAMES SHAFER and unindicted co- conspirators
Individual 9 , Individual 10, and Individual 11, whose identities are known to the Grand Jury. The
documents were to be used by Trump presidential elector nominees in Georgia for the purpose of
casting electoral votes for DONALD JOHN TRUMP on December 14, 2020 , despite the fact
that DONALD JOHN TRUMP lost the November 3 , 2020 , presidential election in Georgia .
This was an overt act in furtherance of the conspiracy .

Act 49.

or about the 10thday of December2020, KENNETHJOHNCHESEBROsent an


e- mailwithattacheddocumentsto ArizonaRepublicanParty ExecutiveDirectorGreg Safsten
and others. The documentswere to be usedby Trumppresidentialelectornomineesin Arizona
forthepurposeofcastingelectoralvotes for DONALDJOHNTRUMPon December14, 2020,
despitethe factthat DONALDJOHNTRUMP lost the November3 , 2020, presidentialelection
in Arizona. This was an overt act in furtheranceof the conspiracy.

31
Act 50.

On or about the 10th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e - mail to Republican Party of Wisconsin Chairman Brian Schimming with proposed language
for documents to be used by Trump presidential elector nominees in Wisconsin for the purpose
ofcasting electoral votes for DONALD JOHN TRUMP on December 14 , 2020 , despite the fact
that DONALD JOHN TRUMP lost the November 3 , 2020 , presidential election in Wisconsin .
This was an overt act in furtherance ofthe conspiracy .

Act 51.

or about the 10th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e-mail to Nevada Republican Party Vice Chairman Jim DeGraffenreid . KENNETH JOHN
CHESEBRO stated in the e-mail that RUDOLPH WILLIAM LOUIS GIULIANI and other
individuals associated with the Trump Campaign asked him to reach out to you and the other
Nevada electors to run point on the plan to have all Trump -Pence electors in all six contested
States meet and transmit their votes to Congress on Monday , Dec. 14. This was an overt act in
furtherance ofthe conspiracy .

Act 52.

or about the 10th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e-mailwith attached documents to Jim DeGraffenreid. The documents were to be used by Trump
presidential elector nominees in Nevada for the purpose of casting electoral votes for DONALD
JOHN TRUMP on December 14, 2020, despite the fact that DONALD JOHN TRUMP lost
the November 3, 2020, presidential election in Nevada. This was an overt act in furtherance of
the conspiracy .

Act 52.

or aboutthe 10thday ofDecember2020, KENNETHJOHNCHESEBROsent an


e- mailwithattacheddocumentsto RepublicanPartyofPennsylvaniaGeneralCounselThomas
KingIII. The documentswereto be usedby Trump presidentialelectornomineesin
Pennsylvaniafor the purposeofcastingelectoralvotes for DONALDJOHNTRUMP on
December14, 2020, despitethe factthat DONALDJOHNTRUMPlostthe November3 , 2020,
presidentialelectioninPennsylvania
. This was an overtact in furtheranceofthe conspiracy.

Act 54.

On or between the 10th day of December 2020 and the 14th day of December 2020 ,
DAVID JAMES SHAFER contacted unindicted co- conspirator Individual 2 , whose identity is
known to the Grand Jury, by telephone and discussed unindicted co- conspirator Individual
attendance at the December 14, 2020 , meeting of Trump presidential elector nominees in Fulton
County, Georgia . This was an overt act in furtherance ofthe conspiracy.

32
Act 55.

or about the 10th day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI and RAY STALLINGS SMITH IIIcommitted the felony offense of
SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER, in violation of
O.C.G.A. §§ 16-4-7 & 16-10-1, in Fulton County , Georgia, by unlawfully soliciting, requesting,
and importuning certain public officers then serving as elected members of the Georgia House of
Representatives and present at a House Governmental Affairs Committee meeting, including
Representatives Shaw Blackmon, Jon Burns , Barry Fleming , Todd Jones, Bee Nguyen, Mary
Margaret Oliver , Alan Powell, Renitta Shannon, Robert Trammell , Scot Turner, and Bruce
Williamson, to engage in conduct constituting the felony offense of Violation of Oath by Public
Officer , O.C.G.A. § 16-10-1, by unlawfully appointing presidential electors from Georgia, in
willful and intentional violation of the terms of the oath of said persons as prescribed by law,
with intent that said persons engage in said conduct . This was an overt act in furtherance ofthe
conspiracy

33
Act56.

On or about the 10th day of December 2020, RUDOLPH WILLIAM LOUIS


GIULIANI committed the felony offense of FALSE STATEMENTS AND WRITINGS , in
violation of O.C.G.A. § 16-10-20, in Fulton County, Georgia , by knowingly , willfully , and
unlawfully making at least one of the following false statements and representations to members
ofthe Georgia House of Representatives present at a House Governmental Affairs Committee
meeting:

1. That it is quite clear from the State Farm Arena video from November 3 , 2020 , that
Fulton County election workers were stealing votes and that Georgia officials were
covering up a crime in plain sight;

2. That at State Farm Arena on November 3 , 2020 , Democratic officials got rid of all of the
reporters , all the observers , anyone that couldn't be trusted , used the excuse of a
watermain break , cleared out the voting area and then went about their dirty , crooked
business ;

3. That between12,000and 24,000 ballotswere illegallycountedby FultonCountyelection


workersat State Farm Arenaon November3, 2020;

4. That in Michigan, there were 700,000 more ballots counted than were sent out to voters
inthe November 3, 2020, presidential election, which was accounted for by quadruple
counting ballots;

That Ruby Freeman, Shaye Moss, and an unidentifiedmanwere quite obviously


surreptitiouslypassingaroundUSBports as if they're vials ofheroinor cocaine" at State
FarmArenato be usedto infiltratethe crooked Dominionvotingmachines ;

6. That 96,600 mail-inballotswere countedinthe November 3 , 2020, presidentialelection


in Georgia, despite there beingno record of those ballots havingbeenreturnedto a
county elections office;

said statements being within the jurisdiction of the Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government , and county
and city law enforcement agencies . This was an act of racketeering activity under O.C.G.A. § 16
14-3 (5)(A)(xxii ) and an overt act in furtherance ofthe conspiracy .

34
Act57

or about 11th day of December 2020 , DAVID JAMES SHAFER reserved Room
216 at the Georgia State Capitol in Fulton County , Georgia, for the December 14, 2020, meeting
of Trump presidential elector nominees in Fulton County , Georgia . This was an overt act in
furtherance ofthe conspiracy .

58 .

or about the 11th day of December 2020, KENNETH JOHN CHESEBRO sent an
e-mail to Jim DeGraffenreid and stated that the purpose of having the electoral votes sent into
Congress isto provide the opportunity to debate the election irregularities in Congress , and to
keep alive the possibility that the votes could be flipped to Trump. This was an overt act in
furtherance of the conspiracy.

Act 59.

oraboutthe 11thday ofDecember2020, KENNETHJOHNCHESEBROsent an


e- mailwithattacheddocumentsto Greg Safstenand others. The documentswereto be usedby
Trumppresidentialelectornomineesin Arizonafor the purposeofcastingelectoralvotesfor
DONALDJOHNTRUMPon December14, 2020, despite the fact that DONALDJOHN
TRUMPlostthe November3 , 2020, presidentialelectioninArizona. This was an overtact in
furtheranceofthe conspiracy.

Act 60.

Onor aboutthe 11thday ofDecember2020, KENNETHJOHNCHESEBROsent an


mailwithattacheddocumentsto MICHAEL RO and other individualsassociated
withthe Trump Campaign. The documentswereto be used by Trumppresidentialelector
nomineesinNevadafor the purposeofcastingelectoralvotes for DONALDJOHNTRUMPon
December14, 2020, despitethe fact that DONALDJOHNTRUMPlostthe November3 , 2020,
presidentialelectioninNevada. This was an overtact in furtheranceofthe conspiracy.

Act 61.

or about the 11th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e- mail with attached documents to MICHAEL A. ROMAN, unindicted co- conspirator
Individual 5, whose identity is known to the Grand Jury, and others . The documents were to be
used by Trump presidential elector nominees in Georgia for the purpose of casting electoral
votes for DONALD JOHN TRUMP on December 14, 2020, despite the fact that DONALD
JOHN TRUMP lost the November 3, 2020 , presidential election in Georgia . This was an overt
act in furtherance of the conspiracy .

35
Act 62.

On or about the 12th day of December 2020, DAVID JAMES SHAFER contacted
unindicted co-conspirator Individual 12, whose identity is known to the Grand Jury, and
discussed unindicted co-conspirator Individual 12's attendance at the December 14, 2020,
meeting of Trump presidential elector nominees in Fulton County, Georgia . This was an overt act
in furtherance ofthe conspiracy.

Act 63.

or about the 12th day of December 2020, MICHAEL A. ROMAN sent an e-mail to
unindicted co-conspirators Individual 4 and Individual 7, whose identities are known to the
Grand Jury, and other individuals associated with the Trump Campaign. Inthe e-mail,
MICHAEL A. ROMAN stated, I need a tracker for the electors , and instructed individuals
associated with the Trump Campaign to populate entries on a shared spreadsheet listing Trump
presidential elector nominees in Georgia , Arizona, Michigan, Nevada, Pennsylvania, and
Wisconsin . The entries on the spreadsheet included contact information for the Trump
presidential elector nominees , whether the Trump presidential elector nominees had been
contacted, and whether the Trump presidential elector nominees had confirmed that they would
attend the December 14, 2020, meetings of Trump presidential elector nominees intheir
respective states, despite the fact that DONALD JOHN TRUMP lost the November 3, 2020,
presidential election in those states. This was an overt act in furtherance ofthe conspiracy.

Act 64.

On or about the 12th day of December 2020 , KENNETH JOHN CHESEBRO met
with Brian Schimming and discussed the December 14, 2020 , meeting of Trump presidential
elector nominees in Wisconsin . RUDOLPH WILLIAM LOUIS GIULIANI joined the meeting
by telephone and stated that the media should not be notified of the December 14, 2020 , meeting
ofTrump presidential elector nominees in Wisconsin . These were overt acts in furtherance ofthe
conspiracy

Act65

Onoraboutthe 12thday of December2020, MICHAELA. ROMANinstructedan


individualassociatedwiththe TrumpCampaignto distributecertaininformationrelatedto the
December14, 2020, meetings ofTrump presidentialelectornomineesin Georgia, Arizona,
Michigan
, Nevada, NewMexico, Pennsylvania , and sin to unindictedco-conspirator
Individual4 , whoseidentityis knownto the GrandJury, and to other individualsassociatedwith
the TrumpCampaign. This was an overt act infurtheranceofthe conspiracy.

36
Act 66.

or about the 12th day of December 2020 , unindicted co- conspirator Individual 4 ,
whose identity is known to the Grand Jury, sent an e-mail to MICHAEL A. ROMAN and
DAVID JAMES SHAFER with updates on the progress oforganizing the December 14, 2020,
meeting of Trump presidential elector nominees in Fulton County, Georgia. The e-mail stated
which elector nominees had confirmed they would attend the meeting, that other individuals had
been secured in case some of the elector nominees refused to participate in the meeting, that
Georgia legislators had been contacted to ensure access to the Georgia Capitol, and that DAVID
JAMES SHAFER had reserved Room 216 for the meeting. This was an overt act in furtherance
ofthe conspiracy .

Act 67

On or about the 12th day of December 2020 , DAVID JAMES SHAFER sent an e-mail
to unindicted co - conspirator Individual 4 , whose identity is known to the Grand Jury, advising
them to touch base with each of the Trump presidential elector nominees in Georgia advance
ofthe December 14, 2020 , meeting to confirm their attendance . This was an overt act in
furtherance ofthe conspiracy .

Act 68.

On or about the 12th day of December 2020, unindicted co-conspirator Individual 4,


whose identity is known to the Grand Jury, sent a text message with contact information for
unindicted co-conspirator Individual 8 , whose identity is known to the Grand Jury, and Georgia
Senator Brandon Beach to MICHAEL A. ROMAN for the purpose of providing the contact
information to RUDOLPH WILLIAM LOUIS GIULIANI . This was an overt act in
furtherance ofthe conspiracy .

Act 69.

On or about the 13th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e - mail with attached documents to MICHAEL A. ROMAN . The documents were to be used by
Trump presidential elector nominees in New Mexico for the purpose of casting electoral votes
for DONALD JOHN TRUMP on December 14, 2020 , despite the fact that DONALD JOHN
TRUMP lost the November 3 , 2020, presidential election in New Mexico . This was an overt act
in furtherance ofthe conspiracy .

37
Act 70.

or aboutthe 13th day of December 2020, KENNETH JOHN CHESEBRO sent an


e-mail to RUDOLPH WILLIAM LOUIS GIULIANI with the subject PRIVILEGED AND
CONFIDENTIAL Brief notes on President ofthe Senate strategy. Inthe e-mail, KENNETH
JOHN CHESEBRO outlined multiple strategies for disrupting and delaying the joint session of
Congress on January 6 , 2021, the day prescribed by law for counting votes cast by the duly
elected and qualified presidential electors from Georgia and the other states. In the e-mail,
KENNETH JOHN CHESEBRO stated that the strategies outlined by him were preferable to
allowing the Electoral Count Act to operate by its terms. This was an overt act in furtherance of
the conspiracy.

Act 71.

or about the 13th day of December 2020 , KENNETH JOHN CHESEBRO sent an
e- mail with attached documents to MICHAEL A. ROMAN and unindicted co -conspirator
Individual 4, whose identity is known to the Grand Jury. The documents were to be used by
Trump presidential elector nominees in Georgia for the purpose of casting electoral votes for
DONALD JOHN TRUMP on December 14, 2020 , despite the fact that DONALD JOHN
TRUMP lost the November 3 , 2020 , presidential election in Georgia . This was an overt act in
furtherance of the conspiracy .

Act 72.

or about the 13th day of December 2020, KENNETH JOHN CHESEBRO sent an
e-mail to MICHAEL A. ROMAN and unindicted co-conspirator Individual 4, whose identity is
known to the Grand Jury, and stated that RUDOLPH WILLIAM LOUIS GIULIANI wants to
keep this quiet until after all the voting is done, in reference to the December 14, 2020, meeting
ofTrump presidential elector nominees in Fulton County, Georgia. This was an overt act in
furtherance ofthe conspiracy.

Act 73

oraboutthe 13thday of December2020, DAVIDJAMESSHAFERsenta text


messageto unindictedco-conspiratorIndividual4 , whose identityis knownto the GrandJury,
andstatedthatunindictedco- conspiratorIndividual8 , whose identityis knownto the Grand
Jury, would attendthe December14, 2020, meetingofTrumppresidentialelectornomineesin
FultonCounty, Georgia, inthe place of a Trump presidentialelectornomineewho refusedto
participateinthe meeting. This was an overtact infurtheranceofthe conspiracy.

38
Act 74.

or about the 13th day of December 2020 , unindicted co- conspirator Individual 9
whose identity is known to the Grand Jury , sent a text message to DAVID JAMES
and confirmed that he and unindicted co- conspirator Individual 13, whose identity is known to
the Grand Jury, would attend the December 14, 2020 , meeting of Trump presidential elector
nominees in Fulton County, Georgia . This was an overt act in furtherance of the conspiracy.

Act 75.

or about the 14th day of December 2020 , DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump , What a fool Governor @BrianKempGA
of Georgia is. Could have been so easy, but now we have to do itthe hard way. Demand this
clown call a Special Session and open up signature verification , NOW. Otherwise , could be a bad
day for two GREAT Senators on January 5th ." This was an overt act in furtherance ofthe
conspiracy

76 .

or about the 14th day of December 2020 , JAMES SHAFER sent a text
message to unindicted co- conspirator Individual 4, whose identity is known to the Grand Jury
that stated , Listen. Tell them to go straight to Room 216 to avoid drawing attention to what we
are doing in reference to the December 14 , 2020 , meeting of Trump presidential elector
nominees in Fulton County, Georgia. This was an overt act in furtherance of the conspiracy.

Act 77

or about the 14th day of December 2020 , MICHAEL A. ROMAN sent an e- mail to
unindicted co- conspirators Individual 4 and Individual 7 , whose identities are known to the
Grand Jury, and stated , Please send me an update as soon as the State Electoral College has
adjourned and all paperwork is secured. This was an overt act in furtherance of the conspiracy .

Act 78.

On or about the 14th day of December 2020 , RAY STALLINGS SMITH III and
DAVID JAMES SHAFER encouraged certain individuals present at the December 14 , 2020 ,
meeting of Trump presidential elector nominees in Fulton County , Georgia , to sign the document
titled CERTIFICATE OF THE VOTES OF THE 2020 ELECTORS FROM GEORGIA . This
was an overt act in furtherance of the conspiracy .

39
Act 79.

or about the 14th day of December 2020 , DAVID JAMES SHAFER , SHAWN
MICAH TRESHER STILL , CATHLEEN ALSTON LATHAM , and unindicted co
conspirators Individual 2 , Individual 8 , Individual 9, Individual 10 , Individual 11, Individual 12,
Individual 13 , Individual 14, Individual 15, Individual 16, Individual 17, Individual 18, and
Individual 19 , whose identities are known to the Grand Jury, committed the felony offense of
IMPERSONATING A PUBLIC OFFICER , in violation of O.C.G.A. § 16-10-23 , in Fulton
County , Georgia , by unlawfully falsely holding themselves out as the duly elected and qualified
presidential electors from the State of Georgia , public officers , with intent to mislead the
President ofthe United States Senate, the Archivist of the United States , the Georgia Secretary of
State, and the Chief Judge ofthe United States District Court for the Northern District of Georgia
into believing that they actually were such officers by placing in the United States mail to said
persons a document titled CERTIFICATE OF THE VOTES OF THE 2020 ELECTORS FROM
GEORGIA This was an act of racketeering activity under O.C.G.A. § 16-14-3 ( 5) (A )(xxiii) and
an overt act infurtherance ofthe conspiracy .

Act 80.

or about the 14th day of December 2020 , DAVID JAMES SHAFER , SHAWN
MICAH TRESHER STILL , CATHLEEN ALSTON LATHAM , and unindicted co
conspirators Individual 2 , Individual 8, Individual 9, Individual 10, Individual 11, Individual 12,
Individual 13 , Individual 14 , Individual 15, Individual 16 , Individual 17, Individual 18, and
Individual 19, whose identities are known to the Grand Jury, committed the felony offense of
FORGERY IN THE FIRST DEGREE , in violation of O.C.G.A. § 16-9-1(b) , in Fulton
County , Georgia , by, with the intent to defraud , knowingly making a document titled
CERTIFICATE OF THE VOTES OF THE 2020 ELECTORS FROM GEORGIA , a writing
other than a check , in such manner that the writing as made purports to have been made by
authority of the duly elected and qualified presidential electors from the State of Georgia , who
did not give such authority , and uttered and delivered said document to the Archivist ofthe
United States . This was an act of racketeering activity under O.C.G.A. § 16-14-3 (5) (A ) (xvi) and
an overt act in furtherance ofthe conspiracy .

40
Act 81.

or aboutthe 14th day ofDecember2020, DAVIDJAMES SHAFER, SHAWN


MICAHTRESHERSTILL, CATHLEENALSTONLATHAM, andunindictedco
conspiratorsIndividual2, Individual8, Individual9, Individual10, Individual11, Individual12,
Individual13, Individual14, Individual15, Individual16, Individual17, Individual18, and
Individual19, whose identitiesare knownto the GrandJury, committedthe felony offense of
FALSESTATEMENTSANDWRITINGS, inviolationofO.C.G.A. § 16-10-20, in Fulton
County, Georgia, by knowingly, willfully, and unlawfullymakingand usinga false document
titled CERTIFICATEOF THE VOTES OF THE 2020 ELECTORSFROMGEORGIA, with
knowledgethat said document containedthe false statement, WE, THE UNDERSIGNED ,
beingthe duly elected and qualifiedElectorsfor Presidentand Vice President ofthe United
States ofAmericafrom the State ofGeorgia, do herebycertifythe following said document
beingwithinthe jurisdictionofthe Office ofthe Georgia SecretaryofState and the Officeofthe
GovernorofGeorgia, departmentsandagencies ofstate government. This was an actof
racketeeringactivity under O.C.G.A.§ 16-14-3( 5)( A)(xxii) and an overt act in furtheranceofthe
conspiracy.

Act 82.

or aboutthe 14th day of December 2020, DAVID JAMES SHAFER, SHAWN


MICAHTRESHER STILL, CATHLEENALSTONLATHAM, and unindictedco
conspiratorsIndividual2 , Individual8, Individual9, Individual10, Individual11, Individual12
Individual 13, Individual 14, Individual 15, Individual 16, Individual 17, Individual 18, and
Individual19, whose identitiesare known to the Grand Jury, attempted to committhefelony
offenseofFILINGFALSEDOCUMENTS, in violation ofO.C.G.A. 16-10-20.1(b )( 1) , in
Fulton County, Georgia, by placing in the United States maila documenttitled CERTIFICATE
OF THE VOTES OF THE 2020 ELECTORS FROM GEORGIA, addressedto ChiefJudge,
U.S.DistrictCourt, NorthernDistrictofGeorgia, 2188 RichardD. RussellFederalOffice
Buildingand U.S. Courthouse, 75 Ted Turner Drive, SW, Atlanta, GA 30303, with intent to
knowinglyfile, enter, and record said documentina court ofthe United States, having reasonto
know that said document containedthe materially false statement, WE, THE UNDERSIGNED,
beingthe duly elected and qualified Electors for Presidentand Vice Presidentofthe United
States ofAmerica from the State ofGeorgia, do hereby certify the following. This was an actof
racketeeringactivity under O.C.G.A.§ 16-14-3(5 )(A )(xxii) and an overt act infurtheranceofthe
conspiracy

41
Act 83.

On or about the 14th day of December 2020, DAVID JAMES SHAFER and SHAWN
MICAH TRESHER STILL committed the felony offense of FORGERY IN THE FIRST
DEGREE, in violation of O.C.G.A. § 16-9-1(b ) , in Fulton County, Georgia, by, with the intent
to defraud, knowingly making a document titled RE: Notice of Filling of Electoral College
Vacancy a writing other than a check, in such manner that the writing as made purports to have
beenmade by the authority of the duly elected and qualified presidential electors from the State
of Georgia, who did not give such authority, and uttered and delivered said document to the
Archivist ofthe United States . This was an act of racketeering activity under O.C.G.A. § 16-14
3( 5) (A ) (xvi) and an overt act in furtherance of the conspiracy.

Act 84.

On or about the 14th day of December 2020, DAVID JAMES SHAFER and SHAWN
MICAH TRESHER STILL committed the felony offense of FALSE STATEMENTS AND
, in violation of O.C.G.A. § 16-10-20, in Fulton County, Georgia, by knowingly,
willfully, and unlawfully making and using a false document titled RE: Notice of Filling of
Electoral College Vacancy with knowledge that said document contained the false statements
that DAVID JAMES SHAFER was Chairman of the 2020 Georgia Electoral College Meeting
and SHAWN MICAH TRESHER was Secretary ofthe 2020 Georgia Electoral College
Meeting, said document being within the jurisdiction of the Office of the Georgia Secretary of
State and the Office ofthe Governor of Georgia, departments and agencies ofstate government.
This was an act ofracketeering activity under O.C.G.A. § 16-14-3(5) (A )(xxii) and an overt act in
furtherance ofthe conspiracy.

Act 85

or about the 14th day of December 2020 , DAVID JAMES SHAFER instructed
unindicted co-conspirator Individual 15, whose identity is known to the Grand Jury, to deliver to
the Office ofthe Governor of Georgia a document signed by DAVID JAMES SHAFER and
SHAWN MICAH TRESHER STILL titled RE : Notice of Filling of Electoral College
Vacancy The document contained multiple false statements . This was an overt act in
furtherance ofthe conspiracy .

Act86.

On or about the 14th day of December 2020 , unindicted co-conspirator Individual 4 ,


whose identity is known to the Grand Jury, sent an e-mail to MICHAEL A. ROMAN,
unindicted co-conspirator Individual 7, whose identity is known to the Grand Jury, and others
that stated, All votes cast, paperwork complete, being mailed now. Ran pretty smoothly in
reference to the December 14, 2020, meeting of Trump presidential elector nominees in Fulton
County, Georgia . This was an overt act in furtherance of the conspiracy.

42
Act 87.

or about the 14th day of December 2020, STEPHEN CLIFFGARD LEE attempted
to commit the felony offense of INFLUENCING WITNESSES , in violation of O.C.G.A. § 16
10-93(b )( 1) (A) , in Fulton County, Georgia, by traveling to the home of Ruby Freeman, a Fulton
County, Georgia, election worker, and speaking to her neighbor, with intent to knowingly engage
in misleading conduct toward Ruby Freeman, by purporting to offer her help, and with intent to
influence her testimony in an official proceeding inFulton County, Georgia, concerning events
at State Farm Arena in the November 3, 2020, presidential election in Georgia. This was an act
ofracketeering activity pursuant to O.C.G.A. § 16-14-3( 5) (A) (xxvii) and an overt act in
furtherance of the conspiracy.

Act 88.

or about the 15th day of December 2020 , STEPHEN CLIFFGARD LEE attempted
to commit the felony offense of INFLUENCING WITNESSES, in violation of O.C.G.A. § 16
10-93(b) (1) (A), in Fulton County, Georgia, by traveling to the home ofRuby Freeman, a Fulton
County, Georgia, election worker, and knocking on her door, with intent to knowingly engage in
misleading conduct toward Freeman, by purporting to offer her help, and with intentto
influence her testimony in an official proceeding in Fulton County, Georgia, concerning events
at State Farm Arena in the November 3, 2020, presidential election in Georgia. This was an act
of racketeering activity pursuant to O.C.G.A. § 16-14-3(5) (A) xxvii) and an overt act in
furtherance ofthe conspiracy.

Act 89.

On or between the 15th day of December 2020 and the 4th day ofJanuary 2021 ,
STEPHEN CLIFFGARD LEE solicited HARRISON WILLIAM PRESCOTT FLOYD , an
individual associated with the organization Black Voices for Trump , to assist with his effort to
speak to Ruby Freeman , a Fulton County, Georgia , election worker . STEPHEN CLIFFGARD
LEE stated to HARRISON WILLIAM PRESCOTT FLOYD that Freeman was afraid to talk
to STEPHEN CLIFFGARD LEE because he was a white man. These were overt acts in
furtherance ofthe conspiracy .

Act 90 .

or about the 18th day of December 2020, DONALD JOHN TRUMP met with
RUDOLPH WILLIAM LOUIS GIULIANI, SIDNEY KATHERINE POWELL , unindicted
co- conspirator Individual 20, whose identity is known to the Grand Jury , and others at the White
House. The individuals present at the meeting discussed certain strategies and theories intended
to influence the outcome of the November 3 , 2020 , presidential election, including seizing voting
equipment and appointing SIDNEY KATHERINE POWELL as special counsel with broad
authority to investigate allegations of voter fraud in Georgia and elsewhere . This was an overt act
in furtherance of the conspiracy .

43
Act 91.

or about the 21st day of December 2020 , SIDNEY KATHERINE POWELL sent
an e- mail to the Chief Operations Officer of SullivanStrickler LLC and instructed him that she
and unindicted co-conspirators Individual 6, Individual 21, and Individual 22, whose identities
areknown to the Grand Jury, were to immediately receive a copy of all data obtained by
SullivanStrickler LLC from Dominion Voting Systems equipment in Michigan . This was an
overt act in furtherance of the conspiracy.

Act 92.

Onor about the 22nd day of December 2020 , MARK RANDALL MEADOWS
traveled to the Cobb County Civic Center in Cobb County, Georgia, and attempted to observe the
signature match audit being performed there by law enforcement officers from the Georgia
Bureau of Investigation and the Office of the Georgia Secretary of State , despite the fact that the
audit process was not open to the public. While present at the center , MARK RANDALL
MEADOWS spoke to Georgia Deputy Secretary of State Jordan Fuchs, Office ofthe Georgia
Secretary of State Chief Investigator Frances Watson , Georgia Bureau of Investigation Special
Agent in Charge Bahan Rich, and others, who prevented MARK RANDALL MEADOWS from
entering into the space where the audit was being conducted . This was an overt act in furtherance
ofthe conspiracy.

Act 93.

On or about the 23rd day of December 2020 , DONALD JOHN TRUMP placed a
telephone call to Office of the Georgia Secretary of State Chief Investigator Frances Watson that
had been previously arranged by MARK RANDALL MEADOWS . During the phone call
DONALD JOHN TRUMP falsely stated that he had won the November 3 , 2020, presidential
election in Georgia by hundreds of thousands of votes and stated to Watson that when the
right answer comes out you'll be praised." This was an overt act in furtherance ofthe conspiracy .

Act 94.

On or about the 23rd day of December 2020 , JOHN CHARLES EASTMAN sent an e
mail to KENNETH JOHN CHESEBRO and unindicted co-conspirator Individual 3 , whose
identity is known to the Grand Jury , with the subject FW: Draft 2 , with edits . In the e-mail ,
JOHN CHARLES EASTMAN attached a memorandum titled PRIVILEGED AND
CONFIDENTIAL Dec 23 memo on Jan 6 scenario.docx and stated , As for hearings , I think
both are unnecessary The fact that we have multiple slates of electors demonstrates the
.
uncertainty of either. That should be enough . And I agree with Ken that Judiciary Committee
hearings on the constitutionality of the Electoral Count Act could invite counter views that we do
not believe should constrain Pence (or Grassley) in the exercise of power they have under the
12th Amendment . Better for them just to act boldly and be challenged , since the challenge would
likely lead to the Court denying review on nonjusticiable political question grounds . This was
an overt act in furtherance of the conspiracy.

44
Act 95.

or about the 25th day of December 2020 , DONALD JOHN TRUMP placed a
telephone call to Speaker of the Arizona House of Representatives Rusty Bowers for the purpose
of soliciting, requesting, and importuning Bowers to unlawfully appoint presidential electors
from Arizona . During the call, Bowers stated to Trump , voted for you . I worked for you. I
campaigned for you. I just won't do anything illegal for you. This telephone call was an overt
act in furtherance of the conspiracy .

Act 96.

or about the 27th day of December 2020 , MARK RANDALL MEADOWS sent a
text message to Office of the Georgia Secretary of State Chief Investigator Frances Watson that
stated in part, Is there a way to speed up Fulton county signature verification in order to have
results before Jan 6 ifthe trump campaign assist financially This was an overt act in furtherance
ofthe conspiracy .

Act 97.

or about the 27th day of December 2020 , DONALD JOHN TRUMP solicited
Acting United States Attorney General Jeffrey Rosen and Acting United States Deputy Attorney
General Richard Donoghue to make a false statement by stating , Just say that the election was
corrupt , and leave the rest to me and the Republican congressmen . This was an overt act in
furtherance ofthe conspiracy .

Act 98.

On or about the 28th day of December 2020, JEFFREY BOSSERT CLARK attempted
to commit the felony offense of FALSE STATEMENTS AND WRITINGS , in violation of
O.C.G.A. 16-10-20, in Fulton County, Georgia, by knowingly and willfully making a false
writing and document knowing the same to contain the false statement that the United States
Department ofJustice had identified significant concerns that may have impacted the outcome
ofthe election in multiple States, including the State of Georgia , said statement being within the
jurisdiction ofthe Office ofthe Georgia Secretary of State and the Georgia Bureau of
Investigation, departments and agencies of state government , and county and city law
enforcement agencies ;

And on or aboutthe 28th day ofDecember 2020, JEFFREY BOSSERT CLARK sent
an e-mailto Acting United StatesAttorney General Jeffrey Rosen and Acting United States
DeputyAttorney General Richard Donoghue and requested authorization to send said false
writing and document to Georgia Governor Brian Kemp, Speaker of the Georgia House of
RepresentativesDavid Ralston, and President Pro Tempore ofthe Georgia Senate Butch Miller,
which constitutes a substantialstep toward the commission of False Statements and Writings,
O.C.G.A. 16-10-20. This was an act of racketeering activity under O.C.G.A. § 16-14
3( 5)( A) (xxii) and an overt act in furtherance of the conspiracy.

45
Act 99.

or about the 28th day of December 2020 , JEFFREY BOSSERT CLARK solicited
Acting United States Attorney General Jeffrey Rosen and Acting United States Deputy Attorney
General Richard Donoghue to sign and send a document that falsely stated that the United States
Department of Justice had identified significant concerns that may have impacted the outcome
of the election in multiple States, including the State of Georgia ," to Georgia Governor Brian
Kemp, Speaker ofthe Georgia House of Representatives David Ralston, and President Pro
Tempore of the Georgia Senate Butch Miller. This was an overt act in furtherance ofthe
conspiracy

Act 100

On or about the 30th day of December 2020 , DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump, Hearings from Atlanta on the Georgia
Election overturn now being broadcast. Check it out. @OANN @newsmax and many more.
@BrianKempGA should resign from office . He is an obstructionist who refuses to admit that we
won Georgia, BIG! Also won the other Swing States. This was an overt act in furtherance ofthe
conspiracy.

Act 101.

On or about the 30th day of December 2020 , DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump, Hearings from Atlanta on the Georgia
Election overturn now being broadcast LIVE via @RSBNetwork! https://t.co/ogBvLbKfqG.
This was an overt act in furtherance ofthe conspiracy.

Act 102.

or about the 30th day of December 2020 , RUDOLPH WILLIAM LOUIS


GIULIANI, RAY STALLINGS SMITH III, and ROBERT DAVID CHEELEY committed
the felony offense of SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER,
in violation of O.C.G.A. §§ 16-4-7 & 16-10-1, in Fulton County, Georgia, by soliciting
requesting , and importuning certain public officers then serving as elected members ofthe
Georgia Senate and present at a Senate Judiciary Subcommittee meeting, including unindicted
co-conspirator Individual 8 , whose identity is known to the Grand Jury , Senators Brandon Beach,
Bill Heath, William Ligon, Michael Rhett, and Blake Tillery , to engage in conduct constituting
the felony offense of Violation of Oath by Public Officer , O.C.G.A. § 16-10-1, by unlawfully
appointing presidential electors from the State of Georgia , in willful and intentional violation of
the terms of the oath of said persons as prescribed by law, with intent that said persons engage in
said conduct . This was an overt act in furtherance of the conspiracy.

46
Act 103.

or about the 30th day of December 2020, RUDOLPH WILLIAM LOUIS


GIULIANI committed the felony offense of FALSE STATEMENTS AND WRITINGS, in
violation of O.C.G.A. § 16-10-20, in Fulton County, Georgia, by knowingly, willfully, and
unlawfully making at least one ofthe following false statements and representations to members
ofthe Georgia Senate present at a Senate Judiciary Subcommittee meeting:

1. That Fulton County election workers fraudulently counted certain ballots as many
as five times at State Farm Arena on November 3 , 2020 ;

2. That 2,560 felons voted illegally in the November 3, 2020, presidential election in
Georgia

3. That 10,315 dead people voted inthe November 3 , 2020, presidential election in
Georgia

said statements being within the jurisdiction of the Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government, and county
and city law enforcement agencies . This was an act ofracketeering activity under O.C.G.A. § 16
14-3 (5)(A )(xxii) and an overt act in furtherance ofthe conspiracy .

Act104.

or about the 30th day of December 2020 , RAY STALLINGS SMITH III
committed the felony offense of FALSE STATEMENTS AND WRITINGS , in violation of
O.C.G.A. § 16-10-20, in Fulton County, Georgia , by knowingly, willfully, and unlawfully
making at least one of the following false statements and representations to members ofthe
Georgia Senate present at a Senate Judiciary Subcommittee meeting:

That Georgia Secretary of State General Counsel Ryan Germany stated that his
office had sent letters to 8,000 people who voted illegally in the November 3,
2020 , presidential election and told them not to vote in the January 5 , 2021, runoff
election;

2. That the Georgia Secretary of State admitted that they had a 90% accuracy rate
in the November 3 , 2020 , presidential election and that there's still a 10% margin
that's not accurate ;

said statements being within the jurisdiction of the Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies ofstate government, and county
and city law enforcement agencies. This was an act of racketeering activity under O.C.G.A. § 16
14-3( 5 )( A )(xxii) and an overt act in furtherance ofthe conspiracy.

47
105.

or about the 30th day of December 2020 , ROBERT DAVID CHEELEY committed
the felony offense of FALSE STATEMENTS AND WRITINGS, in violation of O.C.G.A. §
16-10-20, in Fulton County, Georgia, by knowingly, willfully, and unlawfully making at least
one ofthe following false statements and representations to members of the Georgia Senate
present at a Senate Judiciary Subcommittee meeting:

1. That poll watchers and mediaat State FarmArena weretold lateinthe eveningof
November3 , 2020, that the vote count was beingsuspendeduntilthe next
morningand to go homebecause of a major watermainbreak ;

2. That Fulton County election workers at State Farm Arena voted the same
ballots over and over again on November 3 , 2020 ;

said statements being within the jurisdiction of the Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government, and county
and city law enforcement agencies. This was an act of racketeering activity under O.C.G.A. § 16
14-3(5)( A)(xxii ) and an overt act in furtherance of the conspiracy.

Act 106.

or about the 30th day of December 2020, JOHN TRUMP caused to be


tweeted from the Twitter account @RealDonaldTrump , We now have far more votes than
needed to flip Georgia inthe Presidential race. Massive VOTER FRAUD took place. Thank you
to the Georgia Legislature for today's revealing meeting! " This was an overt act in furtherance of
the conspiracy

Act 107

or about the 31st day of December 2020 , JENNA LYNN ELLIS wrote a
memorandum titled Memorandum Re : Constitutional Analysis of Vice President Authority for
January 6 , 2021 Electoral College Vote Count to DONALD JOHN TRUMP . The
memorandum outlined a strategy for disrupting and delaying the joint session of Congress on
January 6 , 2021, the day prescribed by law for counting votes cast by the duly elected and
qualified presidential electors from Georgia and the other states, and stated , the Vice President
should therefore not open any ofthe votes from six states , including Georgia , that were falsely
characterized as having electoral delegates in dispute . This was an overt act in furtherance of
the conspiracy .

48
Act 108.

On or about the 31st day of December 2020, DONALD JOHN TRUMP and JOHN
CHARLES EASTMAN committed the felony offense of FILING FALSE DOCUMENTS , in
violation of O.C.G.A. § 16-10-20.1(b)( 1), in Fulton County, Georgia, by knowingly filing a
document titled VERIFIED COMPLAINT FOR EMERGENCY INJUNCTIVE AND
DECLARATORY RELIEF in the matter of Trump v . Kemp, Case 1:20-cv-05310-MHC, in the
United States District Court for the Northern District of Georgia, a court of the United States
having reason to know that said document contained at least one of the following materially false
statements :

1. That as many as 2,506 felons with an uncompleted sentence voted illegally inthe
November 3 , 2020, presidential election in Georgia

2. That at least 66,247 underage people voted illegally in the November 3, 2020,
presidential election in Georgia

3. That at least 2,423 individuals voted illegally in the November 3, 2020, presidential
election in Georgia who were not listed in the State's records as having been registered
to vote ;

4. That at least 1,043 individuals voted illegally in the November 3, 2020, presidential
election who had illegally registeredto vote using a postal office box as their
habitation

5. That as many as 10,315 or more" dead people voted in the November 3 , 2020,
presidential election in Georgia

6. That [d eliberate misinformation was used to instruct Republican poll watchers and
members ofthe press to leave the premises for the night at approximately 10:00 p.m. on
November 3 , 2020 at State Farm Arena in Fulton County, Georgia ;

Earlier on the same day, JOHN CHARLES EASTMAN sent an e-mail to attorneys associated
with the Trump Campaign admitting his knowledge that at least some of the allegations in the
verified complaint were not accurate. This filing was an act of racketeering activity under
O.C.G.A. § 16-14-3 (5)(A ) (xxii) and an overt act in furtherance ofthe conspiracy.

Act 109.

or about the 1st day of January 2021, KENNETH JOHN CHESEBRO sent an e
mail to JOHN CHARLES EASTMAN and unindicted co-conspirator Individual 3 , whose
identity is known to the Grand Jury. In the e-mail , KENNETH JOHN CHESEBRO outlined a
strategy for disrupting and delaying the joint session of Congress on January 6, 2021, the day
prescribed by law for counting votes cast by the duly elected and qualified presidential electors
from Georgia and the other states . This was an overt act in furtherance ofthe conspiracy .

49
Act110.

On or about the 2nd day of January 2021, SCOTT GRAHAM HALL, a Georgia bail
bondsman, placed a telephone call to JEFFREY BOSSERT CLARK and discussed the
November 3, 2020, presidential election in Georgia. The telephone call was 63 minutes in
duration. This was an overt act in furtherance of the conspiracy .

Act 111.

On or about the 2nd day of January 2021, JEFFREY BOSSERT CLARK solicited
Acting United States Attorney General Jeffrey Rosen and Acting United States Deputy Attorney
General Richard Donoghue to sign and send a document that falsely stated that the United States
Department ofJustice had identified significant concerns that may have impacted the outcome
ofthe election in multiple States, including the State of Georgia, to Georgia Governor Brian
Kemp, Speaker of the Georgia House of Representatives David Ralston, and President Pro
Tempore ofthe Georgia Senate Butch Miller. This was an overt act in furtherance ofthe
conspiracy.

Act 112.

On or about the 2nd day of January 2021, DONALD JOHN TRUMP and MARK
RANDALL MEADOWS committed the felony offense of SOLICITATION OF VIOLATION
OF OATH BY PUBLIC OFFICER, in violation of O.C.G.A. §§ 16-4-7 & 16-10-1, in Fulton
County, Georgia, by unlawfully soliciting, requesting, and importuning Georgia Secretary of
State Brad Raffensperger, a public officer, to engage in conduct constituting the felony offense of
Violation ofOath by Public Officer, O.C.G.A. § 16-10-1, by unlawfully altering, unlawfully
adjusting, and otherwise unlawfully influencing the certified returns for presidential electors for
the November 3, 2020, presidential election in Georgia, in willful and intentional violation of the
terms ofthe oath of said person as prescribed by law, with intent that said person engage in said
conduct. This was an overt act in furtherance of the conspiracy.

50
Act 113.

On or about the 2nd day of January 2021, DONALD JOHN TRUMP committed the
felony offense of FALSE STATEMENTS AND WRITINGS , in violation of O.C.G.A. 16
10-20, in Fulton County , Georgia , by knowingly, willfully , and unlawfully making at least one of
the following false statements and representations to Georgia Secretary of State Brad
Raffensperger , Georgia Deputy Secretary of State Jordan Fuchs, and Georgia Secretary ofState
General Counsel Ryan Germany:

That anywherefrom 250,000 to 300,000 ballotswere dropped mysteriously


intothe rolls in the November3 , 2020, presidentialelectioninGeorgia;

2. That thousands of people attempted to vote in the November 3 , 2020,


presidential election in Georgia and were told they could not because a ballot
had already been cast in their name;

3. That 4,502 people voted in the November 3 , 2020, presidential election in


Georgiawho were not on the voter registrationlist;

4. That 904 people voted in the November 3 , 2020 , presidential election in


Georgia who were registered at an address that was a post office box;

That Ruby Freeman was a professional vote scammer and a known political
operative

6. That Ruby Freeman , her daughter , and others were responsible for
fraudulently awarding at least 18,000 ballots to Joseph R. Biden at State Farm
Arena in the November 3 , 2020 , presidential election in Georgia;

7. That close to 5,000 dead people voted in the November 3 , 2020 , presidential
election in Georgia;

8. That 139% ofpeoplevoted inthe November3 , 2020, presidentialelectionin


Detroit;

9. That 200,000 more votes were recorded than the numberofpeople who voted
in the November 3 , 2020, presidential election in Pennsylvania;

10. That thousands of dead people voted in the November 3 , 2020, presidential
election in Michigan;

That Ruby Freeman stuffed the ballot boxes;

12. Thathundredsofthousands of ballots had been dumped into FultonCounty


andanothercounty adjacentto FultonCounty in the November3 , 2020,
presidentialelectionin Georgia;

51
13. That he won the November 3, 2020, presidential election in Georgia by
400,000 votes ;

said statements being within the jurisdiction of the Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies of state government . This was an
actofracketeering activity under O.C.G.A. § 16-14-3(5) (A )(xxii) and an overt act in furtherance
ofthe conspiracy.

Act 114

or about the 3rd day of January 2021, DONALD JOHN TRUMP caused to be
tweeted the Twitter account @RealDonaldTrump, spoke to Secretary of State Brad
Raffensperger yesterday about Fulton County and voter fraud in Georgia. He was unwilling, or
unable, to answer questions such as the ballots under table scam, ballot destruction, out of state
voters' , dead voters , and more. He has no clue " This was an overt act in furtherance of the
conspiracy

52
Act 115

On or about the 3rd day of January 2021, STEPHEN CLIFFGARD LEE,


HARRISON WILLIAM FLOYD, and TREVIAN C. KUTTI placed multiple
telephone calls and sent text messages to each other and to other individuals involved inthe
conspiracy . They include the following :

1. At 7:48 p.m., HARRISON WILLIAM PRESCOTT FLOYD placed a telephone


call to Ruby Freeman , a Fulton County , Georgia , election worker , that was
unsuccessful .

2. At 7:49 p.m., HARRISON WILLIAM PRESCOTT FLOYD placed a telephone


callto Ruby Freemanthat was unsuccessful.

3. At 7:49p.m., HARRISONWILLIAMPRESCOTTFLOYDplaceda telephone


callto TREVIANC. KUTTI.

4. At 7:53 p.m., HARRISONWILLIAMPRESCOTTFLOYDsent a text messageto


Ruby Freeman.

5. At 8:03p.m., TREVIANC.KUTTIplaceda telephonecallto HARRISON


WILLIAMPRESCOTTFLOYD.

6. At 8:11p.m., HARRISONWILLIAMPRESCOTTFLOYDplaced a telephone


callto unindictedco- conspiratorIndividual23, whoseidentity is knownto the Grand
Jury

7. At 8:18 p.m., HARRISONWILLIAMPRESCOTTFLOYDplaceda telephone


callto STEPHENCLIFFGARDLEE.

8. At 8:48 p.m., HARRISONWILLIAMPRESCOTTFLOYDplaceda telephone


callto TREVIANC. KUTTI.

9. At 9:16 p.m., HARRISONWILLIAMPRESCOTTFLOYDplaceda telephone


callto TREVIANC. KUTTI.

10. At 9:33 p.m., HARRISONWILLIAM PRESCOTT FLOYD placed a telephone


callto TREVIAN C. KUTTI.

11. At 9:50 p.m., HARRISON WILLIAM PRESCOTT FLOYD placed a telephone


call to STEPHEN CLIFFGARD LEE .

Thesewereovertacts infurtheranceofthe conspiracy


.

53
Act 116

or about the 4th day of January 2021, TREVIAN C. KUTTI, having been recruited
by HARRISON WILLIAM PRESCOTT FLOYD , traveled from Chicago, Illinois, to Atlanta,
Georgia, and caused a certain individual, whose identity is known to the Grand Jury, to pick her
up from a train station in Fulton County , Georgia, for the purpose of attempting to contact Ruby
Freeman, a Fulton County , Georgia , election worker. This was an overt act in furtherance ofthe
conspiracy

117

or about the 4th day of January 2021, TREVIAN C. KUTTI traveled to


Freeman's home in Cobb County , Georgia , and attempted to contact her but was unsuccessful .
TREVIAN C. KUTTI spoke with Freeman's neighbor and falsely stated that she was a crisis
manager attempting to help Freeman before leaving Freeman's home. This was an overt act in
furtherance ofthe conspiracy .

Act 118.

or about the 4th day of January 2021, TREVIAN C. KUTTI, while in Fulton
County , Georgia , placed a telephone call to Ruby Freeman and stated that Freeman was in
danger TREVIAN C. KUTTI stated that she could help Freeman and requested that Freeman
meet with and speak to her that night at a Cobb County Police Department precinct in Cobb
County , Georgia . This was an overt act in furtherance of the conspiracy .

Act 119.

or about the 4th day of January 2021, TREVIAN C. KUTTI traveled to a Cobb
County Police Department precinct in Cobb County , Georgia, and met with and spoke to Ruby
Freeman for approximately one hour. HARRISON WILLIAM PRESCOTT FLOYD joined
the meeting by telephone . TREVIAN C. KUTTI and HARRISON WILLIAM PRESCOTT
FLOYD stated to Freeman that she needed protection and purported to offer her help. This was
an overt act in furtherance ofthe conspiracy .

54
Act 120.

or about the 4th day of January 2021 STEPHEN CLIFFGARD LEE,


HARRISON WILLIAM PRESCOTT FLOYD, and TREVIAN C. KUTTI committed the
felony offense of SOLICITATION OF FALSE STATEMENTS AND WRITINGS , in
violation ofO.C.G.A. §§ 16-4-7 & 16-10-20, in Cobb County, Georgia , by soliciting, requesting,
and importuning Ruby Freeman, a Fulton County , Georgia , election worker , to engage in
conduct constituting the felony offense of False Statements and Writings , O.C.G.A. § 16-10-20 ,
by knowingly and willfully making a false statement and representation concerning events at
State Farm Arena in the November 3 , 2020, presidential election in Georgia, said statement and
representation being within the jurisdiction ofthe Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies of state government, and county
and city law enforcement agencies , with intent that said person engage in said conduct . This was
an act ofracketeering activity under O.C.G.A. § 16-14-3( 5)(A )(xxii) and an overt act in
furtherance ofthe conspiracy.

.
Act 121

or about the 4th day of January 2021 STEPHEN CLIFFGARD LEE,


HARRISON WILLIAM PRESCOTT FLOYD , and TREVIAN C. KUTTI committed the
felony offense of INFLUENCING WITNESSES , in violation of O.C.G.A. § 16-10
93(b) (1)(A ) , in Fulton County, Georgia, by knowingly and unlawfully engaging in misleading
conduct toward Ruby Freeman, a Fulton County , Georgia, election worker, by stating that she
needed protection and by purporting to offer her help, with intent to influence her testimony in
an official proceeding in Fulton County , Georgia, concerning events at State Farm Arena inthe
November 3, 2020 , presidential election in Georgia. This was an act ofracketeering activity
under O.C.G.A. § 16-14-3(5)(A )( xxvii) and an overt act in furtherance of the conspiracy.

55
Act 122.

or about the 4th day of January 2021, STEPHEN CLIFFGARD LEE,


HARRISON WILLIAM PRESCOTT FLOYD, and TREVIAN C. KUTTI placed multiple
telephone calls and sent text messages to each other and to other individuals involved in the
conspiracy . They include the following :

1. At 9:41a.m., STEPHENCLIFFGARDLEEplaced a telephonecallto HARRISON


WILLIAMPRESCOTTFLOYD.

2. At 11:24 a.m., HARRISON WILLIAM PRESCOTT FLOYD placed a telephone call


to DAVID JAMES SHAFER.

3. At 12:25p.m., STEPHENCLIFFGARDLEEplaceda telephonecall to


WILLIAMPRESCOTTFLOYD.

4. At 12:32 p.m., STEPHENCLIFFGARDLEE sent a text message to HARRISON


WILLIAM PRESCOTT FLOYD.

5. At 8:10 p.m., HARRISONWILLIAMPRESCOTTFLOYDplaceda telephonecallto


DAVIDJAMESSHAFER.

6. At 10:00 p.m., HARRISONWILLIAM PRESCOTT FLOYD placed a telephone call


to STEPHEN CLIFFGARD LEE.

7. At 10:19p.m., HARRISONWILLIAMPRESCOTTFLOYDplaced a telephone call


to TREVIANC. KUTTI.

8. At 10:43 p.m., TREVIAN C. KUTTI placed a telephone call to HARRISON


WILLIAM PRESCOTT FLOYD.

9. At 11:10 p.m., TREVIANC. KUTTIplaceda telephonecallto HARRISON


WILLIAMPRESCOTTFLOYD.

10. At 12:12 a.m. on January 5 , 2021, TREVIAN C. KUTTIplaced a telephone call to


HARRISON WILLIAMPRESCOTTFLOYD.

These were overt acts in furtherance of the conspiracy.

56
Act 123.

or about the 4th day of January 2020 , JOHN CHARLES EASTMAN placed a
telephone call to Speaker of the Arizona House of Representatives Rusty Bowers and solicited,
requested , and importuned Bowers to unlawfully appoint presidential electors from Arizona .
Duringthe telephone call , Bowers declined to comply with Eastman's request and stated that he
would not risk violating his oath of office. The request was an overt act in furtherance ofthe
conspiracy .

Act 124.

or about the 4th day of January 2021, KENNETH JOHN CHESEBRO sent an e
mail to JOHN CHARLES EASTMAN with the subject Fwd: Draft 2 , with edits and included
within the body of the e-mail another e-mailthat KENNETH JOHN CHESEBRO previously
sent to RUDOLPH WILLIAM LOUIS GIULIANI with the subject PRIVILEGED AND
CONFIDENTIAL Brief notes on President of the Senate strategy. In the e-mail , KENNETH
JOHN CHESEBRO outlined multiple strategies for disrupting and delaying the joint session of
Congress on January 6, 2021, the day prescribed by law for counting votes cast by the duly
elected and qualified presidential electors from Georgia and the other states , and stated that the
outcomes of any of these strategies were preferable to allowing the Electoral Count Act to
operate by its terms . This was an overt act in furtherance of the conspiracy.

Act 123.

or about the 4th day of January 2021, DONALD JOHN TRUMP and JOHN
CHARLES EASTMAN met with Vice President Mike Pence, Chief of Staff to the Vice
President Marc Short, and Counsel to the Vice President Greg Jacob in the Oval Office at the
White House. During the meeting, DONALD JOHN TRUMP and JOHN CHARLES
EASTMAN argued to Pence that he could either reject electoral votes from certain states or
delay the joint session of Congress on January 6, 2021, the day prescribed by law for counting
votes cast by the duly elected and qualified presidential electors from Georgia and the other
states , for the purpose of allowing certain state legislatures to unlawfully appoint presidential
electors in favor of DONALD JOHN TRUMP . During the meeting, JOHN CHARLES
EASTMAN admitted both options violated the Electoral Count Act . This was an overt act in
furtherance ofthe conspiracy.

57
Act 126.

On or about the 5th day of January 2021, JENNA LYNN ELLIS wrote a memorandum
titled Re: Vice President Authority in Counting Electors pursuant to U.S. Constitution and 3
U.S. Code 5 and 15 to an attorney associated with DONALD JOHN TRUMP . The
memorandum outlined a strategy for disrupting and delaying the joint session of Congress on
January 6, 2021, the day prescribed by law for co votes cast by the duly elected and
qualified presidential electors from Georgia and the other states , and stated , the Vice President
should begin alphabetically in order of the states , and coming first to Arizona, not open the
purported certification, but simply stop the count at that juncture . This was an overt act in
furtherance ofthe conspiracy.

58
Act 127

or about the 5th day of January 2021, ROBERT DAVID CHEELEY , STEPHEN
CLIFFGARD LEE, HARRISON WILLIAM PRESCOTT FLOYD, TREVIAN C. KUTTI,
and SCOTT GRAHAM HALL placed multiple telephone calls to each other and to other
individuals involved in the conspiracy . They include the following:

1. At 11:32 a.m., STEPHEN CLIFFGARD LEE placed a telephone call to TREVIAN


C. KUTTI

2. At 12:14 p.m., HARRISON WILLIAM PRESCOTT FLOYD, TREVIAN C.


KUTTI, STEPHEN CLIFFGARD LEE, and unindicted co-conspirator Individual
23 , whose identity is known to the Grand Jury, participated in a four-way telephone
call.

3. At 12:19 p.m., SCOTT GRAHAM HALL placed a telephone call to ROBERT


DAVID CHEELEY

4. At 12:34 p.m., SCOTT GRAHAM HALL placed a telephone call to ROBERT


DAVID CHEELEY.

5. At 1:07p.m., ROBERTDAVIDCHEELEYplaceda telephonecallto SCOTT


GRAHAMHALL.

6. At 1:09p.m., ROBERTDAVID CHEELEYplaceda telephonecall to SCOTT


GRAHAMHALL.

7. At2:30 p.m., ROBERTDAVIDCHEELEYplaced a telephone call to HARRISON


WILLIAM PRESCOTTFLOYD.

8. At 2:45 p.m., HARRISON WILLIAM PRESCOTT FLOYD placed a telephone


call to ROBERT DAVID CHEELEY .

9. At 3:59 p.m., ROBERTDAVIDCHEELEYplaceda telephonecallto SCOTT


GRAHAMHALL.

10.At4:42 p.m., STEPHENCLIFFGARDLEEplaceda telephonecall to ROBERT


DAVIDCHEELEY

11. At 4:50 p.m., STEPHEN CLIFFGARD LEE placed a telephone call to


HARRISON WILLIAM PRESCOTT FLOYD.

12. At 5:05 p.m., STEPHENCLIFFGARDLEEplaceda telephonecallto


HARRISONWILLIAMPRESCOTTFLOYD.

59
13. At 7:19 p.m. , TREVIAN C. KUTTI placed a telephone call to ROBERT DAVID
CHEELEY

14. At 7:48 p.m., ROBERT DAVID CHEELEY placed a telephone call to TREVIAN
C. KUTTI

15. At 8:27 p.m. , ROBERT DAVID CHEELEY placed a telephone call to TREVIAN
C. KUTTI

16. At 8:49p.m., ROBERTDAVIDCHEELEYplaceda telephonecallto STEPHEN


CLIFFGARDLEE.

17. At 9:18 p.m., SCOTTGRAHAMHALLplaceda telephonecall to ROBERT


DAVIDCHEELEY.

18. At 9:31 p.m., TREVIAN C. KUTTI placed a telephone call to ROBERT DAVID
CHEELEY

19.At 10:14 p.m., ROBERTDAVIDCHEELEYplaceda telephonecallto STEPHEN


CLIFFGARDLEE.

20. At 11:16p.m., ROBERTDAVIDCHEELEYplaceda telephonecallto TREVIAN


C.KUTTI

21. At 11:25 p.m., SCOTT GRAHAM HALL placed a telephone call to ROBERT
DAVID CHEELEY

22. At 11:35 p.m., ROBERT DAVID CHEELEY, TREVIAN C. KUTTI, and SCOTT
GRAHAM HALL participated in a three- way telephonecall.

23.At 12:09a.m. on January6 , 2021, TREVIANC. KUTTIplaceda telephonecallto


ROBERTDAVIDCHEELEY.

Thesewereovertacts infurtheranceofthe conspiracy


.

Act 128

Onor aboutthe 5th day of January 2021, DONALD JOHN TRUMP causedto be
tweeted from the Twitter account @RealDonaldTrump, The Vice Presidenthasthe powerto
rejectfraudulently chosen electors. This was an overt act in furtherance of the conspiracy.

60
Act 129.

On or about the 5th day of January 2021, JOHN CHARLES EASTMAN met with
ChiefofStaffto the Vice President Marc Short and Counsel to the Vice President Greg Jacob for
the purpose of requesting that Vice President Mike Pence reject slates of presidential electors
from Georgia and certain other states during the joint session of Congress on January 6, 2021,
the day prescribed by law for counting votes cast by the duly elected and qualified presidential
electors from Georgia and the other states. This was an overt act in furtherance ofthe conspiracy.

Act 130.

or about the 5th day of January 2021, DONALD JOHN TRUMP met with Vice
President Mike Pence in the Oval Office at the White House. During the meeting, DONALD
JOHN TRUMP stated that Pence had the power to decertify the November 3, 2020, presidential
election results, that people cheated, and that Pence wanted to play by Marquess ofQueensberry
rules When Pence stated that it was his duty to support and defend the Constitution and that
only Congress had the power to decide to reject slates of presidential electors, DONALD JOHN
TRUMP stated that Pence was naive, implied that he lacked courage, and stated that Pence was
doing a great disservice. This was an overt act in furtherance ofthe conspiracy.

Act 131.

On or about the 5th day of January 2021, DONALD JOHN TRUMP placed a
telephone call to Vice President Mike Pence . During the telephone call, DONALD JOHN
TRUMP and JOHN CHARLES EASTMAN attempted to persuade Pence to reject slates of
presidential electors or return the slates of presidential electors to state legislatures . This was an
overt act in furtherance of the conspiracy .

Act 132.

On or about the 5th day of January 2021 , DONALD JOHN TRUMP placed a second
telephone call to Vice President Mike Pence. During the telephone call, DONALD JOHN
TRUMP asked Pence if he had received a copy of a letter from a group of Pennsylvania
legislators urging Congress to return the state's electoral college votes and stated to Pence , You
gotta be tough tomorrow This was an overt act in furtherance of the conspiracy.

Act 133.

or about the 5th day of January 2021, DONALD JOHN TRUMP issued a
statement through the Trump Campaign that falsely stated, The Vice President and I are in total
agreement that the Vice President has the power to act. Our Vice President has several options
under the U.S. Constitution . He can decertify the results or send them back to the states for
change and certification . He can also decertify the illegal and corrupt results and send them to
the House of Representatives for the one vote for one state tabulation. This was an overt act in
furtherance of the conspiracy

61
Act 134.

Onor about the 6th day of January 2021, CATHLEEN ALSTON LATHAM placed a
telephone call to SCOTT GRAHAM HALL. Several hours later, SCOTT GRAHAM HALL
placed a telephone call to CATHLEENALSTON LATHAM . During at least one of the phone
calls , they discussed SCOTT GRAHAM HALL's request to assist with the unlawful breach of
election equipment at the Coffee County Board of Elections & Registration Office in Coffee
County, Georgia. These were overt acts in furtherance ofthe conspiracy.

135.

On or about the 6th day of January 2021, DONALD JOHN TRUMP appeared and
spoke at a rally at the Ellipse in Washington , D.C. During the rally, DONALD JOHN TRUMP
made false statements concerning fraud inthe November 3 , 2020, presidential election in
Georgia and elsewhere , solicited Vice President Mike Pence to disrupt and delay the joint session
of Congress on January 6 , 2021, the day prescribed by law for counting votes cast by the duly
elected and qualified presidential electors from Georgia and the other states , and encouraged
those in attendance at the rally to to the United States Capitol. This was an overt act in
furtherance ofthe conspiracy .

Act 136.

or about the 6th day of January 2021, RUDOLPH WILLIAM LOUIS GIULIANI
appeared and spoke at a rally at the Ellipse in Washington, D.C. During the rally , RUDOLPH
WILLIAM LOUIS GIULIANI made false statements concerning fraud in the November 3 ,
2020, presidential election in Georgia and elsewhere and solicited Vice President Mike Pence to
disrupt and delay the joint session ofCongress on January 6 , 2021, the day prescribed by law for
counting votes cast by the duly elected and qualified presidential electors from Georgia and the
other states . This was an overt act in furtherance ofthe conspiracy

137

or about the 6th day of January 2021, JOHN CHARLES EASTMAN appeared and
spoke at a rally at the Ellipse in Washington , D.C. During the rally, JOHN CHARLES
EASTMAN made false statements concerning fraud in the November 3 , 2020 , presidential
election and solicited Vice President Mike Pence to disrupt and delay the joint session of
Congress on January 6 , 2021, the day prescribed by law for counting votes cast by the duly
elected and qualified presidential electors from Georgia and the other states . This was an overt
act in furtherance of the conspiracy .

62
Act 138.

On or about the 6th day of January 2021, DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump, IfVice President @Mike_Pencecomes
through for us, we will win the Presidency. Many States want to decertify the mistake they made
in certifying incorrect & even fraudulent numbers in a process NOT approved by their State
Legislatures (which itmust be) . Mike can send it back This was an overt act in furtherance of
the conspiracy.

Act139.

or about the 6th day ofJanuary 2021, DONALD JOHN TRUMP caused to be
tweeted from the Twitter account @RealDonaldTrump, States want to correct their votes, which
they now know were based on irregularities and fraud, plus corrupt process never received
legislative approval. Mike Pence has to do is send them back to the States, AND WE WIN.
Do it Mike, this is a time for extreme courage This was an overt act in furtherance ofthe
conspiracy.

Act 140.

or about the 6th day ofJanuary 2021, DONALD JOHN TRUMP placed a
telephone call to Vice President Mike Pence and solicited him to disrupt and delay the joint
session of Congress on January 6, 2021, the day prescribed by law for counting votes cast by the
duly elected and qualified presidential electors from Georgia and the other states . When Pence
refused, DONALD JOHN TRUMP stated that Pence would go down as a wimp and that
Pence was not protecting the United States . This was an overt act in furtherance ofthe
conspiracy .

63
.
Act141

or about the 6th day of January 2021 ,JOHN CHARLES EASTMAN sent an e
mail to Counsel to the Vice PresidentGreg Jacob that stated :

The Senate and House have both violated the Electoral Count Act this evening
they debated the Arizona objections for more than 2 hours . Violation of 3 USC
17. And the VP allowed further debate or statements by leadership after the
question had been voted upon. Violation of 3 USC 17. And they had that debate
upon motion approved by the VP, in violation of the requirement in 3 USC 15 that
after the vote in the separate houses, they shall immediately again meet.

So now that the precedent has been set that the Electoral Count Act is not quite so
sacrosanct as was previously claimed, I implore you to consider one more
relatively minor violation and adjourn for 10 days to allow the legislatures to
finish their investigations , as well as to allow a full forensic audit of the massive
amount of illegal activity that has occurred here. Ifnone ofthat moves the
needle, at least a good portion of the 75 million people who supported President
Trump will have seen a process that allowed the illegality to be aired.

John

This was an overt act in furtherance ofthe conspiracy.

Act 142.

On or about the 7th day of January 2021, CATHLEEN ALSTON LATHAM sent a
text message to the Chief Operations Officer of SullivanStrickler LLC with the address for the
Douglas Municipal Airport in Coffee County , Georgia , to coordinate picking up SCOTT
GRAHAM HALL from the airport and driving him to the Coffee County Board ofElections &
Registration Office for the purpose of assisting with the unlawful breach of election equipment at
the Coffee County Board of Elections & Registration Office . This was an act ofracketeering
activity under O.C.G.A. § 16-14-3 ( 5 ) (B ) and an overt act in furtherance of the conspiracy.

143.

or about the 7th day of January 2021, SCOTT GRAHAM HALL and unindicted
co-conspirator Individual 24, whose identity is known to the Grand Jury , flew from DeKalb
Peachtree Airport in DeKalb County, Georgia , to Douglas Municipal Airport in Coffee County,
Georgia, for the purpose ofassisting with the unlawful breach ofelection equipment at the
Coffee County Board of Elections & Registration Office. This was an act ofracketeering activity
under O.C.G.A. 16-14-3 ( 5) (B) and an overt act in furtherance ofthe conspiracy .

64
Act 144.

or about the 7th day ofJanuary 2021, SIDNEY KATHERINE POWELL,


CATHLEEN ALSTON LATHAM, SCOTT GRAHAM HALL, and MISTY HAMPTON
committed the felony offense of INTERFERENCE WITH PRIMARIESAND ELECTIONS
in violation of O.C.G.A. § 21-2-566, in Coffee County, Georgia, by willfully and unlawfully
tampering with electronic ballot markers and tabulating machines in Coffee County, Georgia.
This was anovert act in furtherance of the conspiracy.

Act 145.

or about the 7th day of January 2021, SIDNEY KATHERINE POWELL,


CATHLEEN ALSTON LATHAM , SCOTT GRAHAM HALL , and MISTY HAMPTON
committed the felony offense of UNLAWFUL POSSESSION OF BALLOTS, in violation of
O.C.G.A. 21-2-574 , in Coffee County , Georgia , by causing certain members of the conspiracy,
who were not officers charged by law with the care of ballots and who were not persons
entrusted by any such officer with the care of ballots for a purpose required by law, to possess
official ballots outside ofthe polling place in Coffee County, Georgia . This was an overt act in
furtherance of the conspiracy.

Act 146.

On or about the 7th day of January 2021, SIDNEY KATHERINE POWELL ,


CATHLEEN ALSTON LATHAM, SCOTT GRAHAM HALL, and MISTY HAMPTON
committed the felony offense of COMPUTER THEFT , in violation of O.C.G.A. § 16-9-93(a),
in Coffee County , Georgia , by using a computer with knowledge that such use was without
authority and with the intention of taking and appropriating information, data, and software , the
property ofDominion Voting Systems Corporation in Coffee County , Georgia . This was an act of
racketeering activity under O.C.G.A. § 16-14-3(5)(A )(xix ) and an overt act in furtherance ofthe
conspiracy

147

or aboutthe 7th day of January 2021, SIDNEY KATHERINEPOWELL,


CATHLEENALSTONLATHAM, SCOTT GRAHAM HALL, and MISTY HAMPTON
committedthe felony offense of COMPUTER TRESPASS, in violationof O.C.G.A. § 16-9
93(b), inCoffee County, Georgia, by usinga computer with knowledge that such use was
without authority and with the intentionof removingvoter data and DominionVoting Systems
Corporationdatafrom said computer in Coffee County, Georgia. This was an act of racketeering
activity under O.C.G.A. § 16-14-3( 5)(A) (xix) and an overt act infurtherance of the conspiracy.

65
Act 148

or about the 7th day of January 2021, SIDNEY KATHERINE POWELL,


CATHLEEN ALSTON LATHAM, SCOTT GRAHAM HALL, and MISTY HAMPTON
committed the felony offense of COMPUTER INVASION OF PRIVACY , in violation of
O.C.G.A. 16-9-93(c), in Coffee County , Georgia , by using a computer with the intention of
examining personal data with knowledge that such examination was without authority . This
was an act of racketeering activity under O.C.G.A. § 16-14-3 (5) (A )(xix ) and an overt act in
furtherance ofthe conspiracy.

Act 149.

On and between the 6th day of December 2020 and the 7th day of January 2021,
SIDNEY KATHERINE POWELL, CATHLEEN ALSTON LATHAM, SCOTT GRAHAM
HALL, and MISTY HAMPTON committed the felony offense of CONSPIRACY TO
DEFRAUD THE STATE , in violation of O.C.G.A. § 16-10-21, in Coffee County, Georgia, by
unlawfully conspiring and agreeing to commit theft of voter data, property which was under the
control of Georgia Secretary of State Brad Raffensperger, a state officer, in his official capacity.
This was an act ofracketeering activity under O.C.G.A. § 16-14-3 (5)(B ) and an overt act in
furtherance of the conspiracy .

Act 150.

or about the 9th day ofJanuary 2021, the 10th day of January 2021, the 11th day
ofJanuary 2021, and the 13th day of January 2021, unindicted co-conspirator Individual 25,
whose identity is known to the Grand Jury, unlawfully accessed certain data copied from
Dominion Voting Systems equipment at the Coffee County Board ofElections & Registration
Office in Coffee County, Georgia , by downloading said data from a server maintained by
SullivanStrickler LLC. This was an act of racketeering activity under O.C.G.A. § 16-14-3( 5) (B )
and an overt act in furtherance of the conspiracy .

Act 151.

or about the 9th day of January 2021, the 10th day of January 2021, the 11th day
ofJanuary 2021, the 18th day of January 2021, and the 19th day of January 2021,
unindicted co- conspirator Individual 26, whose identity is unknown to the Grand Jury,
unlawfully accessed certain data copied from Dominion Voting Systems equipment at the Coffee
County Board of Elections & Registration Office in Coffee County , Georgia, by downloading
said data from a server maintained by SullivanStrickler LLC. This was an act of racketeering
activity under O.C.G.A. § 16-14-3( 5) (B ) and an overt act in furtherance of the conspiracy.

66
152.

or about the 10th day of January 2021, the 12th day of January 2021, the 13th
day of January 2021, the 25th day of February 2021, and the 26th day of February 2021,
unindicted co-conspirator Individual 27, whose identity is unknown to the Grand Jury,
unlawfully accessed certain data copied from Dominion Voting Systems equipment at the Coffee
County Board ofElections & Registration Office in Coffee County, Georgia, by downloading
said data from a server maintained by SullivanStrickler LLC. This was an act of racketeering
activity under O.C.G.A. § 16-14-3( 5)(B ) and an overt act in furtherance ofthe conspiracy.

Act153.

On or about the 13th day of January 2021, unindicted co-conspirator Individual 28,
whose identity is known to the Grand Jury, unlawfully accessed certain data copied from
Dominion Voting Systems equipment at the Coffee County Board of Elections & Registration
Office in Coffee County, Georgia, by downloading said data from a server maintained by
SullivanStrickler LLC . This was an act of racketeering activity under O.C.G.A. § 16-14-3(5)(B )
and an overt act in furtherance ofthe conspiracy.

Act 154.

On or about the 18th day ofJanuary 2021, MISTYHAMPTON allowed unindictedco


conspirators Individual25 and Individual29, whose identities are knownto the Grand Jury, to
access non-public areas ofthe Coffee County Boardof Elections & Registration Office inCoffee
County, Georgia, and facilitated their access to Dominion Voting Systems equipment. This was
an overt act in furtherance ofthe conspiracy.

Act155.

On or about the 22nd day of April 2021, unindicted co- conspirator Individual 28, whose
identity is known to the Grand Jury, sent an e - mail to the Chief Operations Officer of
SullivanStrickler LLC directing him to transmit all data copied from Dominion Voting Systems
equipment at the Coffee County Board of Elections & Registration Office in Coffee County,
Georgia , to unindicted co- conspirator Individual 30, whose identity is known to the Grand Jury,
an attorney associated with SIDNEY KATHERINE POWELL and the Trump Campaign . This
was an act of racketeering activity under O.C.G.A. § 16-14-3 ( 5) ( B ) and an overt act in
furtherance ofthe conspiracy .

67
Act 156.

or about the 17th day of September 2021, DONALD JOHN TRUMP committed
the felony offense of SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER ,
in violation of O.C.G.A. §§ 16-4-7 and 16-10-1, in Fulton County, Georgia, by unlawfully
soliciting, requesting, and importuning Georgia Secretary of State Brad Raffensperger, a public
officer, to engage in conduct constituting the felony offense ofViolation of Oath by Public
Officer, O.C.G.A. § 16-10-1, by unlawfully decertifying the Election, or whatever the correct
legalremedy is, and announce the true winner in willful and intentional violation of the terms
of the oath ofsaid person as prescribed by law, with intent that said person engage in said
conduct. This was an overt act in furtherance ofthe conspiracy.

Act 157

or about the 17th day of September 2021, DONALD JOHN TRUMP committed the
felony offense of FALSE STATEMENTS AND WRITINGS , in violation of O.C.G.A. § 16
10-20, in Fulton County , Georgia, by knowingly , willfully , and unlawfully making the following
false statement and representation to Georgia Secretary of State Brad Raffensperger :

1. As stated to you previously, the number of false and/or irregular votes is far greater than
needed to change the Georgia election result ;

said statement being within the jurisdiction of the Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government , and county
and city law enforcement agencies . This was an act of racketeering activity under O.C.G.A. § 16
14-3 (5)(A )(xxii ) and an overt act in furtherance ofthe conspiracy .

68
Act 158.

or about the 25th day of April 2022, DAVID JAMES SHAFER committed the
felony offense of FALSE STATEMENTS AND WRITINGS, in violation of O.C.G.A. § 16
10-20, in Fulton County, Georgia, by knowingly, willfully, and unlawfully making at least one of
the following false statements and representations in the presence of FultonCounty District
Attorney's Office investigators :

1. That he attendedandconvened the December14, 2020, meetingofTrumppresidential


electornomineesin FultonCounty, Georgia, butthat he did not calleach ofthe
individual members and notify them of the meeting or make any ofthe other preparations
necessary for the meeting ;

2. That a court reporter was not present at the December 14 , 2020 , meeting of Trump
presidential elector nominees in Fulton County, Georgia

said statements being within the jurisdiction of the Fulton County District Attorney's Office, a
department and agency of the government of a county of this state . This was an act of
racketeering activity under O.C.G.A. § 16-14-3 ( 5) (A ) ( xxii) and an overt act in furtherance ofthe
conspiracy

Act 159

or about the 7th day of May 2022 , SIDNEY KATHERINE POWELL made at least
one ofthe following false statements and representations in a sworn deposition with the United
States House of Representatives Select Committee to Investigate the January 6th Attack on the
United States Capitol :

1. That she didn't have any role in really setting up efforts to access voting machines in
Coffee County, Georgia , or Antrim County , Michigan;

2. That she was aware there was an effortby some people to get accessto voting
machines in Georgia but that she did not know what happenedwith that and did not
rememberwhether that was Rudy or other folks

This was anovertact infurtheranceofthe conspiracy


.

69
Act 160.

or aboutthe 1st day of September2022, CATHLEENALSTONLATHAM


committedthe felony offense of PERJURY, in violation of O.C.G.A. § 16-10-70(a) , in Houston
County, Georgia, by knowingly, willfully, and unlawfully makingat least one of the following
false statements in a deposition inthe matter of Curling v. Raffensperger, Case 1:17-cv-02989
inthe United States District Court for the NorthernDistrictof Georgia, a judicial proceeding
afterhavingbeen administered a lawfuloath:

1. That she was only present at the Coffee County Board of Elections & RegistrationOffice
inCoffee County, Georgia, for just a few minutes on January 7 , 2021;

2. That she only walked into the front part of the Coffee County Board of Elections &
RegistrationOffice on January 7, 2021, and didn't go into the office ;

3. That she had no idea if employees of SullivanStrickler met Eric Chaney at the Coffee
County Board of Elections & Registration Office on January 7 , 2021;

4. That she did not see Misty Hampton at the Coffee County Board of Elections &
Registration Office on January 7 , 2021;

5. That her only interaction with Scott Hall at the Coffee County Boardof Elections&
RegistrationOffice on January 7 , 2021, was meetinghim, speaking to him outside of the
office, and then leavingthe office;

6. That she did not see Scott Hall speak to anyone other than herself at the Coffee County
Board of Elections & Registration Office on January 7, 2021;

saidstatementsbeingmaterialto the accused's owninvolvementin the January7 , 2021,


unlawfulbreachof electionequipmentatthe CoffeeCounty BoardofElections& Registration
Officeandto the accused'scommunicationswithothers involved, the issues inquestion. This
was an act ofracketeeringactivityunder O.C.G.A.§ 16-14-3( 5 ) ( A ) ( xxv) and an overtactin
furtheranceofthe conspiracy
.

70
Act 161.

On or about the 15th day of September 2022 , ROBERT DAVID CHEELEY


committed the felony offense of PERJURY, in violation of O.C.G.A. § 16-10-70 ( a) , in Fulton
County , Georgia , by knowingly, willfully , and unlawfully making at least one of the following
false statements before the Fulton County Special Purpose Grand Jury, a judicial proceeding ,
after having been administered a lawful oath :

1. That he was unaware of the December 14 , 2020, meeting of Trump presidential elector
nominees in Fulton County , Georgia, until after the meeting had already taken place;

2. That he had no substantive conversations with anyone concerning the December 14,
2020, meeting of Trump presidential elector nominees in Fulton County, Georgia, until
after the meeting had already taken place;

3. That he never suggested to anyone that the Trump presidential elector nominees in
Georgia should meet on December 14, 2020 ;

4. That the only communication he had with John Eastman concerning the November 3,
2020, presidential election was for the purpose of connecting Eastman to Georgia Senator
Brandon Beach and unindicted co- conspirator Individual 8, whose identity is known to
the Grand Jury, for possible legal representation ;

5. That he never worked to connect John Eastman with any Georgia legislators other than
Georgia Senator Brandon Beach and unindicted co- conspirator Individual 8 , whose
identity is known to the Grand Jury;

said statements being material to the accused's own involvement in the December 14 , 2020 ,
meeting of Trump presidential elector nominees in Fulton County , Georgia , and to the accused's
communications with others involved in the meeting, the issues in question . This was an actof
racketeering activity under O.C.G.A. § 16-14-3( 5) ( A ) ( xxv ) and an overt act in furtherance ofthe
conspiracy

The acts setforth above were committedinfurtheranceofthe conspiracyalleged above


and hadthe sameand similar intents, results, accomplices, victims, and methodsofcommission
andotherwisewere interrelatedby distinguishingcharacteristicsandwere not isolatedacts.

71
2 of41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse RUDOLPH WILLIAM LOUIS GIULIANI , JOHN CHARLES
EASTMAN, JENNA LYNN ELLIS, and RAY STALLINGS SMITH IIIwith the offense of
SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER, O.C.G.A. §§ 16-4-7
& 16-10-1, for the said accused, individually and as persons concerned in the commission ofa
crime, and together with unindicted co-conspirators , in the County of Fulton and State of
Georgia, on the 3rd day of December 2020, unlawfully solicited, requested, and importuned
certain public officers then serving as elected members of the Georgia Senate and present at a
Senate Judiciary Subcommittee meeting , including unindicted co-conspirator Individual 8
whose identity is known to the Grand Jury, Senators Lee Anderson, Brandon Beach, Matt Brass,
Greg Dolezal, Steve Gooch, Tyler Harper, Bill Heath, Jen Jordan, John F. Kennedy, William
Ligon, Elena Parent, Michael Rhett, Carden Summers, and Blake Tillery, to engage in conduct
constituting the felony offense of Violation of Oath by Public Officer, O.C.G.A. 16-10-1, by
unlawfully appointing presidential electors from the State of Georgia, in willful and intentional
violation ofthe terms ofthe oath of said persons as prescribed by law, with intent that said
persons engage in said conduct, said date being a material element ofthe offense, contrary to the
laws ofsaid State, the good order, peace and dignity thereof;

COUNT 3 of41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia , do
charge and accuse RUDOLPH WILLIAM LOUIS GIULIANI with the offense of FALSE
STATEMENTS AND WRITINGS , O.C.G.A. § 16-10-20 , for the said accused , in the County
ofFulton and State of Georgia , on or about the 3rd day of December 2020, knowingly, willfully,
and unlawfully made at least one ofthe following false statements and representations to
members ofthe Georgia Senate present at a Senate Judiciary Subcommittee meeting:

1. That at least 96,600 mail-in ballots were counted in the November 3, 2020, presidential
election in Georgia, despite there being no record of those ballots having been returned to
a county elections office;

2. That a Dominion Voting Systems machine used in the November3 , 2020, presidential
electionin Antrim County, Michigan, mistakenlyrecorded 6,000 votes for Joseph R.
Bidenwhenthe votes were actually cast for Donald Trump;

said statements being within the jurisdiction ofthe Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies ofstate government , and county
and city law enforcement agencies, contrary to the laws of said State, the good order, peace and
dignity thereof;

72
4 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse RAY STALLINGS SMITH IIIwith the offense of FALSE STATEMENTS
AND WRITINGS , O.C.G.A. § 16-10-20 , for the said accused, in the County of Fulton and
State of Georgia, on or about the 3rd day of December 2020, knowingly, willfully, and
unlawfully made at least one ofthe following false statements and representations to members of
the Georgia Senate present at a Senate Judiciary Subcommittee meeting:

1. That 2,506 felons voted illegally in the November 3, 2020, presidential election in
Georgia;

2. That 66,248 underage people illegally registered to vote before their seventeenth birthday
priorto the November 3 , 2020, presidential election inGeorgia;

3. That at least2,423 people voted in the November 3 , 2020 , presidential election in


Georgia who were not listed as registered to vote ;

4. That 1,043 people voted in the November 3, 2020, presidential election in Georgia who
had illegally registered to vote using a post office box;

5. That 10,315or moredeadpeoplevoted in the November 3 , 2020, presidentialelectionin


Georgia;

6. That FultonCountyelectionworkersat StateFarmArena ordered pollwatchersand


membersofthe mediato leavethe tabulationarea on the nightofNovember3, 2020, and
continuedto operate after orderingeveryoneto leave;

said statements being within the jurisdiction ofthe Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government , and county
and city law enforcement agencies , contrary to the laws of said State, the good order, peace and
dignity thereof;

73
COUNT 5 of41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia , do
charge and accuse DONALD JOHN TRUMP with the offense of SOLICITATION OF
VIOLATION OF OATH BY PUBLIC OFFICER , O.C.G.A. §§ 16-4-7 & 16-10-1, for the
said accused, in the County of Fulton and State of Georgia , on or about the 7th day of
December 2020 , unlawfully solicited, requested , and importuned Speaker ofthe Georgia House
of Representatives David Ralston, a public officer, to engage in conduct constituting the felony
offense of Violation of Oath by Public Officer, O.C.G.A. § 16-10-1, by calling for a special
session ofthe Georgia General Assembly for the purpose ofunlawfully appointing presidential
electors from the State of Georgia , in willful and intentional violation of the terms ofthe oath of
said person as prescribed by law, with intent that said person engage in said conduct, contrary to
the laws of said State, the good order , peace and dignity thereof;

COUNT 6 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse RUDOLPH WILLIAM LOUIS GIULIANI and RAY STALLINGS
SMITH IIIwith the offense of SOLICITATION OF VIOLATION OF OATH BY PUBLIC
OFFICER O.C.G.A. §§ 16-4-7 & 16-10-1, for the said accused, individually and as persons
concerned inthe commission of a crime , and together with unindicted co-conspirators, in the
County ofFulton and State of Georgia, on the 10th day of December 2020, unlawfully solicited
requested, and importuned certain public officers then serving as elected members ofthe Georgia
House of Representatives and present at a House Governmental Affairs Committee meeting,
including Representatives Shaw Blackmon, Jon Burns, Barry Fleming, Todd Jones , Bee Nguyen,
Mary Margaret Oliver, Alan Powell, Renitta Shannon, Robert Trammell, Scot Turner, and Bruce
Williamson, to engage in conduct constituting the felony offense of Violation of Oath by Public
Officer, O.C.G.A. § 16-10-1, by unlawfully appointing presidential electors from the State of
Georgia, in willful and intentional violation of the terms ofthe oath of said persons as prescribed
by law, with intent that said persons engage in said conduct , said date being a material element of
the offense, contrary to the laws of said State, the good order, peace and dignity thereof;

74
COUNT 7 of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse RUDOLPH WILLIAM LOUIS GIULIANI with the offense of FALSE
STATEMENTS AND WRITINGS, O.C.G.A. § 16-10-20, for the said accused, inthe County
ofFulton and State of Georgia, on or about the 10th day of December 2020 , knowingly,
willfully, and unlawfully made at least one of the following false statements and representations
to members ofthe Georgia House of Representatives present at a House Governmental Affairs
Committee meeting:

That it is quite clear from the State FarmArena video fromNovember3 , 2020, that
FultonCountyelectionworkers were stealingvotes and that Georgia officialswere
coveringup a crime inplainsight;

2. That at State FarmArena on November3 , 2020, Democraticofficials got ridofallofthe


reporters, all the observers, anyonethat couldn't be trusted, used the excuse ofa
watermainbreak, cleared out the votingarea andthen went about their dirty, crooked
business ;

3. That between 12,000 and 24,000 ballots were illegally counted by Fulton County election
workers at State Farm Arena on November 3 , 2020 ;

4. That in Michigan, there were 700,000 more ballots counted than were sent out to voters
inthe November 3 , 2020 , presidential election , which was accounted for by quadruple
counting ballots;

5. That Ruby Freeman, ShayeMoss, andan unidentifiedmanwere quite obviously


surreptitiouslypassingaroundUSB ports as ifthey're vials ofheroinor cocaine atState
Farm Arenato be usedto infiltratethe crookedDominionvotingmachines ;

6. That 96,600 mail- in ballots were counted in the November 3 , 2020, presidential election
in Georgia, despite there being no record of those ballots having been returned to a
county elections office;

said statements being within the jurisdiction ofthe Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government , and county
and city law enforcement agencies , contrary to the laws of said State, the good order, peace and
dignity thereof ;

75
COUNT 8 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse DAVID JAMES SHAFER, SHAWN MICAH TRESHER STILL, and
CATHLEEN ALSTON LATHAM with the offense of IMPERSONATING A PUBLIC
OFFICER, O.C.G.A. § 16-10-23, for the said accused, individually and as persons concerned in
the commission of a crime, and together with unindicted co-conspirators , in the County of Fulton
and State of Georgia, on or about the 14th day of December 2020 , unlawfully falsely held
themselves out as the duly elected and qualified presidential electors from the State of Georgia,
public officers, with intent to mislead the President ofthe United States Senate, the Archivist of
the United States , the Georgia Secretary of State, and the Chief Judge ofthe United States
District Court for the Northern District of Georgia into believing that they actually were such
officers by placing in the United States mail to said persons a document titled CERTIFICATE
OF THE VOTES OF THE 2020 ELECTORS FROM GEORGIA , contrary to the laws of said
State, the good order, peace and dignity thereof;

9 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse DONALD JOHN TRUMP , RUDOLPH WILLIAM LOUIS GIULIANI,
JOHN CHARLES EASTMAN, KENNETH JOHN CHESEBRO , RAY STALLINGS
SMITH III, ROBERT DAVID CHEELEY, and MICHAEL A. ROMAN with the offense of
CONSPIRACY TO COMMIT IMPERSONATING A PUBLIC OFFICER , O.C.G.A. §§
16-4-8 & 16-10-23 , for the said accused, individually and as persons concerned in the
commission ofa crime, and together with indicted and unindicted co-conspirators , inthe County
of Fulton and State of Georgia , on and between the 6th day of December 2020 and the 14th
day of December 2020, unlawfully conspired to cause certain individuals to falsely hold
themselves out as the duly elected and qualified presidential electors from the State of Georgia,
public officers, with intent to mislead the President ofthe United States Senate, the Archivist of
the United States, the Georgia Secretary of State, and the Chief Judge ofthe United States
District Court for the Northern District of Georgia into believing that they actually were such
officers

And the Defendants named in Count 8 , acting as co- conspirators , as described above and
incorporated by reference as iffully set forth herein, falsely held themselves out as said public
officers by placing in the United States mail to said persons a document titled CERTIFICATE
OF THE VOTES OF THE 2020 ELECTORS FROM GEORGIA in Fulton County , Georgia ,
which was an overt act to effect the object of the conspiracy , contrary to the laws of said State ,
the good order, peace and dignity thereof;

76
COUNT 10 of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse DAVID JAMES SHAFER, SHAWN MICAH TRESHER STILL, and
CATHLEEN ALSTON LATHAM with the offense of FORGERY INTHE FIRST
DEGREE, O.C.G.A. § 16-9-1(b ) , for the said accused, individually and as persons concerned in
the commission of a crime , and together with unindicted co-conspirators, in the County of Fulton
and State of Georgia, on or about the 14th day of December 2020, unlawfully and with the
intent to defraud , knowingly made a document titled CERTIFICATE OF THE VOTES OF THE
2020 ELECTORS FROM GEORGIA, a writing other than a check, in such manner that the
writing as made purports to have been made by authority of the duly elected and qualified
presidential electors from the State of Georgia, who did not give such authority , and uttered and
delivered said document to the Archivist of the United States, contrary to the laws ofsaid State,
the good order, peace and dignity thereof;

COUNT 11of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia , do
charge and accuse DONALD JOHN TRUMP , RUDOLPH WILLIAM LOUIS GIULIANI,
JOHN CHARLES EASTMAN, KENNETH JOHN CHESEBRO , RAY STALLINGS
SMITH III, ROBERT DAVID CHEELEY , and MICHAEL A. ROMAN with the offense of
CONSPIRACY TO COMMIT FORGERY IN THE FIRST DEGREE, O.C.G.A. §§ 16-4-8
& 16-9-1(b ) , for the said accused, individually and as persons concerned in the commission of a
crime, and together with indicted and unindicted co-conspirators, in the County of Fulton and
State of Georgia, on and between the 6th day of December 2020 and the 14th day of
December 2020, unlawfully conspired , with the intent to defraud, to knowingly make a
document titled CERTIFICATE OF THE VOTES OF THE 2020 ELECTORS FROM
GEORGIA, a writing other than a check , in such manner that the writing as made purports to
have been made by authority of the duly elected and qualified presidential electors from the State
of Georgia, who did not give such authority , and to utter and deliver said document to the
Archivist of the United States;

And the Defendants named in Count 10, acting as co- conspirators , as described above
and incorporated by reference as iffully set forth herein, made said document in Fulton County
Georgia, and uttered and delivered said document to the Archivist of the United States in Fulton
County, Georgia, which were overt acts to effect the object of the conspiracy , contrary to the
laws of said State, the good order, peace and dignity thereof;

77
COUNT 12 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse DAVID JAMES SHAFER, SHAWN MICAH TRESHER STILL , and
CATHLEEN ALSTON LATHAM with the offense of FALSE STATEMENTS AND
WRITINGS , O.C.G.A. § 16-10-20 , for the said accused, individually and as persons concerned
in the commission of a crime, and together with unindicted co-conspirators, in the County of
Fulton and State of Georgia, on or about the 14th day of December 2020, knowingly , willfully ,
and unlawfully made and used a false document titled CERTIFICATE OF THE VOTES OF
THE 2020 ELECTORS FROM GEORGIA with knowledge that said document contained the
false statement , WE, THE UNDERSIGNED , being the duly elected and qualified Electors for
President and Vice President of the United States of America from the State of Georgia, do
hereby certify the following said document being within the jurisdiction of the Office ofthe
Georgia Secretary of State and the Office of the Governor of Georgia , departments and agencies
ofstate government , contrary to the laws of said State, the good order, peace and dignity thereof;

COUNT 13 of 41

Andthe GrandJurors aforesaid, inthe name and behalfofthe citizens ofGeorgia, do


chargeand accuse DONALDJOHNTRUMP, RUDOLPHWILLIAM LOUIS GIULIANI,
JOHN CHARLESEASTMAN, KENNETHJOHNCHESEBRO, RAYSTALLINGS
SMITHIII, ROBERTDAVID CHEELEY, and MICHAEL A. ROMANwiththe offenseof
CONSPIRACYTO COMMITFALSESTATEMENTSAND WRITINGS, O.C.G.A.§§ 16
4-8 & 16-10-20, for the said accused, individuallyand as personsconcernedin the commission
ofa crime, and together with indictedand unindictedco-conspirators, in the County ofFulton
and StateofGeorgia, on and betweenthe 6thday ofDecember2020 and the 14thday of
December2020, unlawfullyconspiredto knowinglyand willfully makeand use a false
documenttitled CERTIFICATEOF THE VOTES OF THE 2020 ELECTORSFROM
GEORGIA, with knowledgethat said documentcontainedthe false statement, WE, THE
UNDERSIGNED, beingthe duly elected and qualifiedElectorsfor Presidentand Vice President
ofthe UnitedStates ofAmericafrom the State of Georgia, do hereby certify the following said
documentbeingwithin thejurisdictionofthe Office ofthe Georgia Secretaryof Stateandthe
OfficeoftheGovernorof Georgia, departmentsand agencies ofstate government;

And the Defendants named in Count 12 , acting as co-conspirators , as described above


and incorporated by reference as iffully set forth herein , made and used said document in Fulton
County , Georgia , which were overt acts to effect the object of the conspiracy , contrary to the
laws of said State , the good order , peace and dignity thereof ;

78
COUNT 14 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse DAVID JAMES SHAFER , SHAWN MICAH TRESHER STILL, and
CATHLEEN ALSTON LATHAM with the offense of CRIMINAL ATTEMPT TO
COMMIT FILING FALSE DOCUMENTS, O.C.G.A. §§ 16-4-1 & 16-10-20.1(b) (1), for the
said accused, individually and as persons concerned inthe commission of a crime, and together
with unindicted co-conspirators, in the County of Fulton and State of Georgia, on or aboutthe
14th day of December 2020, unlawfully, with intent to commit the crime of FilingFalse
Documents, O.C.G.A. § 16-10-20.1(b) (1) , placed in the United States mail a document titled
CERTIFICATE OF THE VOTES OF THE 2020 ELECTORS FROM GEORGIA, addressed
to Chief Judge, U.S. District Court, Northern District of Georgia, 2188 Richard D. Russell
FederalOffice Building and U.S. Courthouse, 75 Ted Turner Drive, SW, Atlanta, GA 30303, a
substantial step toward the commission of Filing False Documents, O.C.G.A. § 16-10-20.1(b )( ),
with intent to knowingly file, enter, and record said document in a court of the United States,
having reason to know that said document contained the materially false statement, WE, THE
UNDERSIGNED, being the duly elected and qualified Electors for President and Vice President
ofthe United States ofAmerica from the State of Georgia, do hereby certify the following
contrary to the laws of said State, the good order, peace and dignity thereof;

15 of41

Andthe Grand Jurors aforesaid, inthe nameandbehalfofthe citizens ofGeorgia, do


charge andaccuse DONALDJOHNTRUMP, RUDOLPHWILLIAMLOUISGIULIANI,
JOHNCHARLESEASTMAN, KENNETHJOHN CHESEBRO, RAY STALLINGS
SMITHIII, ROBERTDAVIDCHEELEY, andMICHAELA. ROMANwiththe offenseof
CONSPIRACYTO COMMIT FILINGFALSEDOCUMENTS, O.C.G.A.§§ 16-4-8& 16
10-20.1(b) ( 1) , forthe saidaccused, individuallyandas personsconcernedinthe commissionof
a crime, andtogetherwithindictedandunindictedco-conspirators, inthe CountyofFultonand
StateofGeorgia, on andbetweenthe 6th day ofDecember2020 andthe 14thday of
December2020, unlawfullyconspiredto knowinglyfile, enter, andrecorda documenttitled
CERTIFICATEOF THEVOTES OF THE 2020 ELECTORSFROMGEORGIA, ina court of
the UnitedStates, havingreasonto knowthat said document containedthe materiallyfalse
statement, WE, THE UNDERSIGNED,beingthe duly elected andqualifiedElectorsfor
PresidentandVice Presidentofthe UnitedStates ofAmericafromthe State ofGeorgia, do
hereby certifythe following

And the Defendants named in Count 14 , acting as co- conspirators , as described above
and incorporated by reference as iffully set forth herein, placed in the United States mail said
document, addressed to Chief Judge , U.S. District Court , Northern District of Georgia, 2188
Richard D. Russell Federal Office Building and U.S. Courthouse , 75 Ted Turner Drive, SW,
Atlanta , GA 30303 , in Fulton County , Georgia, which was an overt act to effect the object ofthe
conspiracy , contrary to the laws of said State, the good order , peace and dignity thereof;

79
COUNT 16 of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia , do
charge and accuse DAVID JAMES SHAFER and SHAWN MICAH TRESHER STILL with
the offense of FORGERY IN THE FIRST DEGREE , O.C.G.A. § 16-9-1(b ) , for the said
accused , individually and as persons concerned in the commission of a crime, and together with
unindicted co-conspirators , in the County of Fulton and State of Georgia , on or about the 14th
day of December 2020, unlawfully and with the intent to defraud, knowingly made a document
titled RE: Notice of Filling of Electoral College Vacancy a writing other than a check , in such
manner that the writing as made purports to have been made by the authority of the duly elected
and qualified presidential electors from the State of Georgia, who did not give such authority,
and uttered and delivered said document to the Archivist of the United States and the Office of
the Governor of Georgia , contrary to the laws of said State, the good order , peace and dignity
thereof

COUNT 17 of41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia, do
charge and accuse DONALD JOHN TRUMP , RUDOLPH WILLIAM LOUIS GIULIANI,
JOHN CHARLES EASTMAN, KENNETH JOHN CHESEBRO , RAY
SMITH III, ROBERT DAVID CHEELEY, and MICHAEL A. ROMAN with the offense of
CONSPIRACY TO COMMIT FORGERY IN THE FIRST DEGREE , O.C.G.A. §§ 16-4-8
& 16-9-1(b), for the said accused, individually and as persons concerned in the commission of a
crime, and together with indicted and unindicted co-conspirators , in the County of Fulton and
State ofGeorgia , on and between the 6th day of December 2020 and the 14th day of
December 2020, unlawfully conspired , with the intent to defraud, to knowingly make a
document titled RE: Notice of Filling of Electoral College Vacancy , a writing other than a
check , in such manner that the writing as made purports to have been made by the authority of
the duly elected and qualified presidential electors from the State of Georgia , who did not give
such authority, and to utter and deliver said document to the Archivist of the United States and
the Office ofthe Governor of Georgia;

Andthe Defendantsnamedin Count 16, actingas co- conspirators, as describedabove


andincorporatedbyreferenceas iffully set forthherein, madesaid documentin FultonCounty,
Georgia, andutteredanddeliveredsaid documenttothe Archivistofthe UnitedStatesandthe
Officeofthe Governorof Georgiain FultonCounty, Georgia, which were overtacts to effectthe
objectofthe conspiracy, contraryto the laws ofsaid State, the good order, peace anddignity
thereof;

80
COUNT 18 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia , do
charge and accuse DAVID JAMES SHAFER and SHAWN MICAH TRESHER STILL with
the offense of FALSE STATEMENTS AND WRITINGS , O.C.G.A. § 16-10-20, for the said
accused, individually and as persons concerned in the commission of a crime, and together with
unindicted co-conspirators , in the County of Fulton and State ofGeorgia , on or about the 14th
day of December 2020 , knowingly, willfully , and unlawfully made and used a false docunient
titled RE: Notice of Filling of Electoral College Vacancy with knowledge that said document
contained the false statements that DAVID JAMES SHAFER was Chairman of the 2020
Georgia Electoral College Meeting and SHAWN MICAH TRESHER was Secretary of
the 2020 Georgia Electoral College Meeting, said document being within the jurisdiction ofthe
Office ofthe Georgia Secretary of State and the Office of the Governor of Georgia, departments
and agencies ofstate government, contrary to the laws of said State , the good order, peace and
dignity thereof;

COUNT 19 of 41

Andthe GrandJurors aforesaid, in the nameandbehalfofthe citizensofGeorgia, do


charge andaccuse DONALDJOHNTRUMP, RUDOLPHWILLIAMLOUIS GIULIANI,
JOHNCHARLESEASTMAN, KENNETHJOHNCHESEBRO, RAYSTALLINGS
SMITHIII, ROBERTDAVIDCHEELEYandMICHAELA. ROMANwiththe offenseof
CONSPIRACYTO COMMITFALSE STATEMENTSANDWRITINGS, O.C.G.A.§§ 16
4-8 & 16-10-20, for the said accused, individuallyand as personsconcernedinthe commission
ofa crime, andtogetherwithindictedand unindictedco-conspirators, inthe County ofFulton
andState ofGeorgia, on and betweenthe 6th day ofDecember2020 and the 14thday of
December2020, unlawfullyconspiredto knowinglyand willfully make andusea false
documenttitled RE: NoticeofFillingofElectoralCollegeVacancy, withknowledgethat said
documentcontainedthe false statementsthat DAVIDJAMES SHAFERwas Chairmanofthe
2020 GeorgiaElectoralCollege Meetingand SHAWNMICAHTRESHERSTILL was
Secretaryofthe 2020 Georgia ElectoralCollegeMeeting, saiddocumentbeingwithin the
jurisdictionofthe Office of the Georgia Secretaryof State andthe Office ofthe Governorof
Georgia, departmentsand agenciesof state government;

And the Defendants named in Count 18, acting as co- conspirators , as described above
and incorporated by reference as if fully set forth herein, made and used said document in Fulton
County, Georgia , which were overt acts to effect the object of the conspiracy , contrary to the
laws ofsaid State, the good order , peace and dignity thereof;

81
COUNT 20 of 41

And the Grand Jurors aforesaid , in the name and behalf ofthe citizens of Georgia, do
charge and accuse STEPHEN CLIFFGARD LEE with the offense of CRIMINAL
ATTEMPT TO COMMIT INFLUENCING WITNESSES , O.C.G.A. §§ 16-4-1 & 16-10
93(b)( 1) (A ) , for the said accused , in the County of Fulton and State of Georgia , on the 14th day
ofDecember 2020 , unlawfully , with intent to commit the crime of Influencing Witnesses ,
O.C.G.A. § 16-10-93 (b) (1)(A ) , traveled to the home of Ruby Freeman, a Fulton County,
Georgia , election worker , and spoke to her neighbor , a substantial step toward the commission of
Influencing Witnesses , O.C.G.A. § 16-10-93 (b)( 1)(A ) , with intent to knowingly engage in
misleading conduct toward Ruby Freeman , by purporting to offer her help , and with intent to
influence her testimony in an official proceeding in Fulton County, Georgia, concerning events
at State Farm Arena in the November 3 , 2020 , presidential election in Georgia , said date being a
material element of the offense , contrary to the laws of said State , the good order, peace and
dignity thereof

21 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia , do
charge and accuse STEPHEN CLIFFGARD LEE with the offense of CRIMINAL
ATTEMPT TO COMMIT INFLUENCING WITNESSES , O.C.G.A. §§ 16-4-1 & 16-10
93(b) (1)(A ), for the said accused , in the County of Fulton and State of Georgia , on the 15th day
of December 2020 , unlawfully , with intent to commit the crime ofInfluencing Witnesses ,
O.C.G.A. 16-10-93 (b ) ( 1) (A ), traveled to the home of Ruby Freeman , a Fulton County
Georgia , election worker , and knocked on her door , a substantial step toward the commission of
Influencing Witnesses , O.C.G.A. § 16-10-93 (b ) ( 1) (A ), with intent to knowingly engage in
inisleading conduct toward Ruby Freeman , by purporting to offer her help , and with intent to
influence her testimony in an official proceeding in Fulton County , Georgia , concerning events
at State Farm Arena in the November 3 , 2020 , presidential election in Georgia , said date being a
material element ofthe offense , contrary to the laws of said State, the good order, peace and
dignity thereof;

82
22 of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia , do
charge and accuse JEFFREY BOSSERT CLARK with the offense of CRIMINAL ATTEMPT
TO COMMIT FALSE STATEMENTS AND WRITINGS , O.C.G.A. §§ 16-4-1 & 16-10-20,
for the said accused, individually and as a person concerned in the commission of a crime , and
together with unindicted co - conspirators , in the County of Fulton and State of Georgia , on and
between the 28th day of December 2020 and the 2nd day of January 2021, unlawfully, with
intent to commit the crime of False Statements and Writings , O.C.G.A. § 16-10-20, knowingly
and willfully made a false writing and document knowing the same to contain the false statement
that the United States Department of Justice had identified significant concerns that may have
impacted the outcome of the election in multiple States, including the State of Georgia ," said
statement being within the jurisdiction of the Office of the Georgia Secretary of State and the
Georgia Bureau of Investigation, departments and agencies of state government, and county and
city law enforcement agencies ;

And , on or about the 28th day of December 2020 , the said accused sent an e-mail to
Acting United States Attorney General Jeffrey Rosen and Acting United States Deputy Attorney
General Richard Donoghue and requested authorization to send said false writing and document
to Georgia Governor Brian Kemp , Speaker of the Georgia House of Representatives David
Ralston, and President Pro Tempore of the Georgia Senate Butch Miller ;

And, on or about the 2nd day of January 2021, the said accused met with Acting United
States Attorney General Jeffrey Rosen and Acting United States Deputy Attorney General
Richard Donoghue and requested authorization to send said false writing and document to
Georgia Governor Brian Kemp , Speaker of the Georgia House of Representatives David Ralston,
and President Pro Tempore of the Georgia Senate Butch Miller;

And said acts constituted substantial steps toward the commission of False Statements
and Writings , O.C.G.A. § 16-10-20 , and said conduct committed outside the state of Georgia
constituted an attempt to commit a crime within the state of Georgia , pursuant to O.C.G.A. § 17
2-1(b)(2), contrary to the laws of said State, the good order, peace and dignity thereof;

83
23 of 41

And the Grand Jurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse RUDOLPH WILLIAM LOUIS GIULIANI , RAY STALLINGS SMITH
III, and ROBERT DAVID CHEELEY with the offense of SOLICITATION OF VIOLATION
OF OATH BY PUBLIC OFFICER , O.C.G.A. §§ 16-4-7 & 16-10-1, for the said accused,
individually and as persons concerned inthe commission of a crime, and together with
unindicted co-conspirators , in the County of Fulton and State of Georgia, on the 30th day of
December 2020, unlawfully solicited, requested, and importuned certain public officers then
serving as elected members ofthe Georgia Senate and present at a Senate Judiciary
Subcommittee meeting, including unindicted co- conspirator Individual 8, whose identity is
known to the Grand Jury, Senators Brandon Beach, Bill Heath , William Ligon, Michael Rhett
and Blake Tillery, to engage in conduct constituting the felony offense of Violation of Oath by
Public Officer, O.C.G.A. § 16-10-1, by unlawfully appointing presidential electors from the State
ofGeorgia , in willful and intentional violation of the terms ofthe oath of said persons as
prescribed by law, with intent that said persons engage in said conduct , said date being a material
element ofthe offense, contrary to the laws of said State, the good order, peace and dignity
thereof;

COUNT 24 of41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse RUDOLPH WILLIAM LOUIS GIULIANI with the offense of FALSE
STATEMENTS AND WRITINGS , O.C.G.A. § 16-10-20, for the said accused, inthe County
of Fulton and State of Georgia, on or about the 30th day of December 2020 , knowingly
willfully, and unlawfully made at least one of the following false statements and representations
to members ofthe Georgia Senate present at a Senate Judiciary Subcommittee meeting:

1. That Fulton County election workers fraudulently counted certain ballots as many as five
times at State Farm Arena on November 3 , 2020 ;

2. That 2,560 felons voted illegally in the November 3, 2020, presidential election in
Georgia;

3. That 10,315 dead people voted in the November 3 , 2020, presidentialelection in Georgia;

said statements being within the jurisdiction of the Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation , departments and agencies of state government , and county
and city law enforcement agencies , contrary to the laws ofsaid State, the good order, peace and
dignity thereof;

84
COUNT 25 of41

And the GrandJurors aforesaid, in the name and behalf ofthe citizens of Georgia, do
charge and accuse RAY STALLINGS SMITH with the offense of FALSE STATEMENTS
AND WRITINGS, O.C.G.A. § 16-10-20, for the said accused , in the County of Fulton and
State ofGeorgia, on or about the 30th day of December 2020, knowingly, willfully, and
unlawfully made at least one of the following false statements and representations to members of
the Georgia Senate present at a Senate Judiciary Subcommittee meeting:

That Georgia Secretary of State General Counsel Ryan Germany stated that his office had
sent letters to 8,000 people who voted illegally in the November 3 , 2020 , presidential
election and told them not to vote in the January 5, 2021, runoff election;

2. That the Georgia SecretaryofState admitted that they hada 90% accuracyrate inthe
November3 , 2020, presidentialelectionand that there's still a 10% marginthat's not
accurate ;

said statements being within the jurisdiction of the Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies of state government , and county
and city law enforcement agencies , contrary to the laws of said State, the good order, peace and
dignity thereof;

COUNT26 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia , do
charge and accuse ROBERT DAVID CHEELEY with the offense of FALSE STATEMENTS
AND WRITINGS , O.C.G.A. § 16-10-20, for the said accused , in the County of Fulton and
State of Georgia, on or about the 30th day of December 2020, knowingly, willfully, and
unlawfully made at least one of the following false statements and representations to members of
the Georgia Senate present at a Senate Judiciary Subcommittee meeting:

That pollwatchers and media at State Farm Arena weretold late in the evening of
November3 , 2020, that the vote count was beingsuspendeduntilthe next morningand to
go home because of a major watermainbreak ;

2. That FultonCounty election workers at State Farm Arena voted the same ballots over
and over again" on November 3 , 2020;

said statements being within the jurisdiction ofthe Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies of state government, and county
and city law enforcement agencies, contrary to the laws of said State, the good order, peace and
dignity thereof;

85
27 of 41

And the Grand Jurors aforesaid, in the name and behalfof the citizens of Georgia , do
charge and accuse DONALD JOHN TRUMP and JOHN CHARLES EASTMAN with the
offense of FILING FALSE DOCUMENTS , O.C.G.A. § 16-10-20.1(b) (1) , for the said accused,
individually and as persons concerned in the commission of a crime, and together with
unindicted co-conspirators , in the County of Fulton and State of orgia , on or about the 31st
day of December 2020, knowingly and unlawfully filed a document titled VERIFIED
COMPLAINT FOR EMERGENCY INJUNCTIVE AND DECLARATORY RELIEF in the
matter of Trump v . Kemp, Case 1:20 -cv-05310 -MHC, in the United States District Court for the
Northern District of Georgia , a court of the United States, having reason to know that said
document contained at least one ofthe following materially false statements :

1. That as manyas 2,506 felons with an uncompletedsentence voted illegally inthe


November3 , 2020, presidentialelectionin Georgia;

2. That at least 66,247 underage people voted illegally in the November 3 , 2020,
presidentialelection inGeorgia

3. That at least 2,423 individuals voted illegally inthe November3, 2020, presidential
electioninGeorgia who were not listed inthe State's records as having beenregistered
to vote ;

4. That at least 1,043 individuals voted illegally in the November3 , 2020, presidential
election who had illegally registeredto vote using a postal officebox astheir
habitation

5. That as many as 10,315 or more dead people voted in the November 3 , 2020,
presidentialelection in Georgia;

6. That [ d eliberate misinformationwas used to instruct Republicanpoll watchers and


membersof the press to leave the premisesfor the night at approximately 10:00 p.m. on
November3 , 2020 at State FarmArena in Fulton County, Georgia

contrary to the laws of said State, the good order, peace and dignity thereof;

86
COUNT 28 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia, do
charge and accuse DONALD JOHN TRUMP and MARK RANDALL MEADOWS with the
offense of SOLICITATION OF VIOLATION OF OATH BY PUBLIC OFFICER , O.C.G.A.
§§ 16-4-7 & 16-10-1, for the said accused, individually and as persons concerned in the
commission of a crime, and together with unindicted co-conspirators , in the County of Fulton
and State of Georgia , on or about the 2nd day of January 2021, unlawfully solicited , requested,
and importuned Georgia Secretary of State Brad Raffensperger, a public officer, to engage in
conduct constituting the felony offense of Violation of Oath by Public Officer, O.C.G.A. 16
10-1, by unlawfully altering, unlawfully adjusting , and otherwise unlawfully influencing the
certified returns for presidential electors for the November 3 , 2020, presidential election in
Georgia, in willful and intentional violation ofthe terms of the oath of said person as prescribed
by law, with intent that said person engage in said conduct , contrary to the laws of said State, the
good order, peace and dignity thereof;

87
COUNT 29 of 41

And the Grand Jurors aforesaid , the name and behalf ofthe citizens of Georgia, do
charge and accuse DONALD JOHN TRUMP with the offense of FALSE STATEMENTS
AND WRITINGS , O.C.G.A. § 16-10-20, for the said accused , in the County of Fulton and
State of Georgia , on or about the 2nd day of January 2021, knowingly, willfully , and unlawfully
made at least one of the following false statements and representations to Georgia Secretary of
State Brad Raffensperger , Georgia Deputy Secretary of State Jordan Fuchs, and Georgia
Secretary of State General Counsel Ryan Germany :

That anywherefrom 250,000 to 300,000ballotswere droppedmysteriouslyinto the rolls


inthe November3 , 2020, presidentialelectionin Georgia;

2. Thatthousandsofpeople attempted to vote inthe November3, 2020, presidential


election in Georgia and were told they could not because a ballot had already beencast in
their name;

3. That 4,502 people voted in the November3 , 2020, presidential election in Georgia who
were not on the voter registration list;

4. That 904 people voted in the November 3, 2020, presidential election in Georgia who
were registered at an address that was a post office box;

5. That Ruby Freeman was a professionalvote scammer and a known political operative;

6. That Ruby Freeman, her daughter , and others were responsible for fraudulently awarding
at least 18,000 ballots to Joseph R. Biden at State Farm Arena in the November 3, 2020 ,
presidential election in Georgia;

7. That closeto 5,000 dead people voted in the November 3, 2020 , presidential election in
Georgia;

8. That 139% ofpeople voted in the November 3 , 2020 , presidential election in Detroit;

9. That 200,000 more votes were recorded than the number of people who voted inthe
November3 , 2020, presidential election in Pennsylvania;

10. That thousands of dead people voted inthe November 3 , 2020 , presidential election in
Michigan

11. That Ruby Freeman stuffed the ballot boxes ;

12. That hundreds of thousands of ballots had been dumped into Fulton County and
another county adjacent to Fulton County in the November 3, 2020, presidential election
in Georgia

88
13.That he won the November 3 , 2020, presidential election in Georgia by 400,000 votes;

said statements being within the jurisdiction of the Office ofthe Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies of state government , contrary to
the laws ofsaid State, the good order, peace and dignity thereof;

COUNT 30 of 41

Andthe GrandJurorsaforesaid, in the nameandbehalfofthe citizens of Georgia, do


chargeandaccuseSTEPHENCLIFFGARDLEE, HARRISONWILLIAM PRESCOTT
FLOYD, and TREVIANC. KUTTIwith the offense of CONSPIRACYTO COMMIT
SOLICITATIONOF FALSE STATEMENTSANDWRITINGS, O.C.G.A.§§ 16-4-8, 16-4
7 , & 16-10-20, for the saidaccused, individuallyand as personsconcernedinthe commissionof
a crime, and togetherwith unindictedco- conspirators, inthe CountyofFultonand State of
Georgia, on or about the 4th day ofJanuary2021, unlawfullyconspiredto solicit, request, and
importuneRuby Freeman, a FultonCounty, Georgia, election worker, to engageinconduct
constitutingthe felony offense of False StatementsandWritings, O.C.G.A.§ 16-10-20, by
knowinglyandwillfully makinga false statementandrepresentationconcerningevents at State
FarmArenainthe November3, 2020, presidentialelectionin Georgia, said statementand
representationbeingwithinthejurisdictionofthe Office ofthe GeorgiaSecretaryofState and
the GeorgiaBureauofInvestigation , departmentsand agencies of state government, andcounty
and city law enforcementagencies, with intentthat saidperson engagein said conduct; and
TREVIANC.KUTTItraveled to FultonCounty, Georgia, and placeda telephone callto Ruby
Freemanwhilein FultonCounty, Georgia, which were overt acts to effectthe objectofthe
conspiracy, contraryto the laws ofsaid State, the goodorder, peace anddignitythereof

COUNT 31 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia , do
charge and accuse STEPHEN CLIFFGARD LEE , HARRISON WILLIAM PRESCOTT
FLOYD and TREVIAN C. KUTTI with the offense of INFLUENCING WITNESSES,
O.C.G.A. § 16-10-93 (b) (1) ( A ), for the said accused, individually and as persons concerned in
the commission of a crime, and together with unindicted co- conspirators , in the County ofFulton
and State of Georgia, on or about the 4th day of January 2021 , knowingly and unlawfully
engaged in misleading conduct toward Ruby Freeman, a Fulton County , Georgia , election
worker , by stating that she needed protection and by purporting to offer her help, with intent
influence her testimony in an official proceeding in Fulton County , Georgia , concerning events
at State Farm Arena in the November 3, 2020, presidential election in Georgia , contrary to the
laws ofsaid State, the good order , peace and dignity thereof;

89
COUNT 32 of 41

And the Grand Jurors aforesaid, inthe name and behalfof the citizens of Georgia, do
charge and accuse SIDNEYKATHERINEPOWELL, CATHLEENALSTONLATHAM,
SCOTT GRAHAMHALL, and MISTY HAMPTONwiththe offense of CONSPIRACYTO
COMMIT ELECTIONFRAUD, O.C.G.A.§§ 21-2-603 & 21-2-566, for the said accused,
indi dually and persons concerned in the commissionof a crime, and together with
unindictedco- conspirators, in the County of Fultonand State of Georgia, on and betweenthe 1st
day of December2020 and the 7th day of January2021, unlawfullyconspiredand agreedto
willfully tamper with electronic ballot markers and tabulating machines in the State of Georgia

And SIDNEY KATHERINE POWELL entered into a contract with SullivanStrickler


LLC inFulton County , Georgia, delivered a payment to SullivanStrickler LLC inFultonCounty,
Georgia, and caused employees of SullivanStrickler LLC to travel from FultonCounty, Georgia,
to Coffee County, Georgia, for the purpose ofwillfully tampering with said electronic ballot
markers andtabulating machines, which were overt acts to effect the object ofthe conspiracy;

And CATHLEEN ALSTON LATHAM , SCOTT GRAHAM HALL , and MISTY


HAMPTON aided, abetted , and encouraged employees of SullivanStrickler LLC in willfully
tampering with electronic ballot markers and tabulating machines while inside the Coffee County
Elections & Registration Office in Coffee County , Georgia , which were overt acts to effect the
object ofthe conspiracy , contrary to the laws of said State , the good order, peace and dignity
thereof;

90
COUNT33 of41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse SIDNEY KATHERINE POWELL, CATHLEEN ALSTON LATHAM ,
SCOTT GRAHAM HALL, and MISTY HAMPTON with the offense of CONSPIRACY TO
COMMIT ELECTION FRAUD, O.C.G.A. §§ 21-2-603 & 21-2-574, for the said accused,
individually and as persons concerned in the commission of a crime, and together with
unindicted co-conspirators , in the County of Fulton and State of Georgia, on and betweenthe 1st
day ofDecember 2020 and the 7th day ofJanuary 2021, unlawfully conspired and agreed to
cause certain members of the conspiracy, who were not officers charged by law with the care of
ballots and who were not persons entrusted by any such officer with the care of ballots for a
purpose required by law, to possess official ballots outside ofthe polling place in the State of
Georgia;

And SIDNEY KATHERINE POWELL entered into a contract with SullivanStrickler


in Fulton County, Georgia, delivered a payment to SullivanStrickler LLC in Fulton County,
Georgia, and caused employees of SullivanStrickler LLC to travel from Fulton County, Georgia,
to Coffee County, Georgia, for the purpose of causing certain members ofthe conspiracy, who
were not officers charged by law with the care of ballots and who were not persons entrusted by
any such officer with the care of ballots for a purpose required by law, to possess official ballots
outside ofthe polling place, which were overt acts to effect the object ofthe conspiracy;

And CATHLEEN ALSTON LATHAM, SCOTT GRAHAM HALL, and MISTY


HAMPTON aided, abetted, and encouraged employees of SullivanStrickler LLC in accessing
election equipment while inside the Coffee County Elections & Registration Office in Coffee
County, Georgia , for the purpose of causing certain members of the conspiracy , who were not
officers charged by law with the care of ballots and who were not persons entrusted by any such
officer with the care of ballots for a purpose required by law, to possess official ballots outside of
the polling place, which were overt acts to effect the object ofthe conspiracy, contrary to the
laws of said State, the good order , peace and dignity thereof;

91
COUNT 34 of 41

And the Grand Jurors aforesaid, in the name and behalfof the citizens of Georgia, do
charge and accuse SIDNEY KATHERINE POWELL , CATHLEEN ALSTON LATHAM ,
SCOTT GRAHAM HALL, and MISTY HAMPTON with the offense of CONSPIRACY TO
COMMIT COMPUTER THEFT , O.C.G.A. §§ 16-4-8 & 16-9-93(a ), for the said accused,
individually and as persons concerned in the commission of a crime , and together with
unindicted co-conspirators , in the County of Fulton and State of Georgia, on and between the 1st
day ofDecember 2020 and the 7th day of January 2021, unlawfully conspired to use a
computer with knowledge that such use was without authority and with the intention oftaking
and appropriating information, data, and software, the property of Dominion Voting Systems
Corporation,

And SIDNEY KATHERINE POWELL entered into a contract with SullivanStrickler


LLC in Fulton County, Georgia, delivered a payment to SullivanStrickler LLC in Fulton County,
Georgia, and caused employees of SullivanStrickler LLC to travel from Fulton County, Georgia,
to Coffee County, Georgia, for the purpose of using a computer with knowledge that such use
was without authority and with the intention of taking and appropriating information, data, and
software, the property of Dominion Voting Systems Corporation, which were overt acts to effect
the object of the conspiracy ;

And CATHLEEN ALSTON LATHAM , SCOTT GRAHAM HALL, and MISTY


HAMPTON aided, abetted , and encouraged employees of SullivanStrickler LLC in using a
computer with knowledge that such use was without authority and with the intention of taking
and appropriating information , data , and software, the property of Dominion Voting Systems
Corporation , while inside the Coffee County Elections & Registration Office in Coffee County,
Georgia , which were overt acts to effect the object ofthe conspiracy , contrary to the laws ofsaid
State, the good order, peace and dignity thereof;

92
COUNT 35 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia, do
charge and accuse SIDNEY KATHERINE POWELL , CATHLEEN ALSTON LATHAM ,
SCOTT GRAHAM HALL, and MISTY HAMPTON with the offense of CONSPIRACY TO
COMMIT COMPUTER TRESPASS , O.C.G.A. §§ 16-4-8 & 16-9-93( b ) , for the said accused,
individually and as persons concerned inthe commission of a crime, and together with
unindicted co- conspirators, in the County of Fulton and State of Georgia, on and between the 1st
day ofDecember 2020 and the 7th day of January 2021, unlawfully conspired to use a
computer with knowledge that such use was without authority and with the intention of removing
voter data and Dominion Voting Systems Corporation data from said computer ;

And SIDNEY KATHERINE POWELL entered into a contract with SullivanStrickler


LLC in Fulton County, Georgia , delivered a payment to SullivanStrickler LLC in Fulton County ,
Georgia , and caused employees of SullivanStrickler LLC to travel from Fulton County , Georgia ,
to Coffee County , Georgia, for the purpose of using a computer with knowledge that such use
was without authority and with the intention of removing voter data and Dominion Voting
Systems Corporation data from said computer , which were overt acts to effect the object ofthe
conspiracy;

And CATHLEEN ALSTON LATHAM, SCOTT GRAHAM HALL, and MISTY


HAMPTON aided, abetted, and encouraged employees of SullivanStrickler LLC in using a
computer with knowledge that such use was without authority and with the intention ofremoving
voter data and Dominion Voting Systems Corporation data from said computer , while inside the
Coffee County Elections & Registration Office in Coffee County , Georgia , which were overt
acts to effect the object of the conspiracy , contrary to the laws of said State, the good order,
peace and dignity thereof;

93
COUNT 36 of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse SIDNEY KATHERINE POWELL , CATHLEEN ALSTON LATHAM,
SCOTT GRAHAM HALL, and MISTY HAMPTON with the offense of CONSPIRACY TO
COMMIT COMPUTER INVASION OF PRIVACY, O.C.G.A. §§ 16-4-8 & 16-9-93( c) , for
the said accused, individually and as persons concerned in the commission of a crime, and
together with unindicted co-conspirators , in the County of Fulton and State of Georgia, on and
between the 1st day of December 2020 and the 7th day of January 2021, unlawfully conspired
to use a computer with the intention of examining personal voter data with knowledge that such
examination was without authority

And SIDNEY KATHERINE POWELL entered into a contract with SullivanStrickler


LLC in Fulton County , Georgia, delivered a payment to SullivanStrickler LLC in Fulton County ,
Georgia , and caused employees of SullivanStrickler LLC to travel from Fulton County , Georgia ,
to Coffee County, Georgia, for the purpose of using a computer with the intention ofexamining
personal voter data with knowledge that such examination was without authority , which were
overt acts to effect the object of the conspiracy ;

And CATHLEEN ALSTON LATHAM , SCOTT GRAHAM HALL , and MISTY


HAMPTON aided, abetted , and encouraged employees of SullivanStrickler LLC in using a
computer with the intention of examining personal voter data with knowledge that such
examination was without authority , while inside the Coffee County Elections & Registration
Office in Coffee County , Georgia, which were overt acts to effect the object of the conspiracy ,
contrary to the laws of said State , the good order , peace and dignity thereof ;

94
COUNT 37 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia, do
charge and accuse SIDNEY KATHERINE POWELL , CATHLEEN ALSTON LATHAM ,
SCOTT GRAHAM HALL, and MISTY HAMPTON with the offense of CONSPIRACY TO
DEFRAUD THE STATE , O.C.G.A. § 16-10-21, for the said accused , individually and as
persons concerned in the commission of a crime, and together with unindicted co-conspirators , in
the County of Fulton and State of Georgia , on and between the 1st day of December 2020 and
the 7th day of January 2021, unlawfully conspired and agreed to commit theft of voter data,
property which was under the control of Georgia Secretary of State Brad Raffensperger , a state
officer, in his official capacity

And SIDNEY KATHERINE POWELL entered into a contract with SullivanStrickler


LLC in Fulton County , Georgia , delivered a payment to SullivanStrickler LLC in Fulton County,
Georgia, and caused employees of SullivanStrickler LLC to travel from Fulton County , Georgia,
to Coffee County, Georgia, for the purpose of committing theft of voter data , property which was
under the control of Georgia Secretary of State Brad Raffensperger , a state officer, in his official
capacity , which were overt acts to effect the object of the conspiracy;

And CATHLEEN ALSTON LATHAM, SCOTT GRAHAM HALL , and MISTY


HAMPTON aided, abetted , and encouraged employees of SullivanStrickler LLC in accessing
election equipment while inside the Coffee County Elections & Registration Office in Douglas,
Georgia , for the purpose of committing theft of voter data, property which was under the control
of Georgia Secretary of State Brad Raffensperger , a state officer, in his official capacity, which
were overt acts to effect the object of the conspiracy , contrary to the laws of said State, the good
order, peace and dignity thereof;

COUNT 38 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia, do
charge and accuse DONALD JOHN TRUMP with the offense of SOLICITATION OF
VIOLATION OF OATH BY PUBLIC OFFICER , O.C.G.A. §§ 16-4-7 and 16-10-1, for the
said accused, in the County of Fulton and State of Georgia, on or about the 17th day of
September 2021, unlawfully solicited, requested, and importuned Georgia Secretary of State
Brad Raffensperger, a public officer , to engage in conduct constituting the felony offense of
Violation of Oath by Public Officer , O.C.G.A. § 16-10-1, by unlawfully decertifying the
Election, or whatever the correct legal remedy is, and announce the true winner, in willful and
intentional violation of the terms of the oath of said person as prescribed by law, with intent that
said person engage in said conduct, contrary to the laws of said State, the good order, peace and
dignity thereof;

95
COUNT 39 of 41

And the Grand Jurors aforesaid , in the name and behalf ofthe citizens of Georgia , do
charge and accuse DONALD JOHN TRUMP with the offense of FALSE STATEMENTS
AND WRITINGS , O.C.G.A. § 16-10-20 , for the said accused , in the County ofFulton and
State of Georgia, on or about the 17th day of September 2021, knowingly, willfully , and
unlawfully made the following false statement and representation to Georgia Secretary of State
Brad Raffensperger:

1. As stated to you previously, the number of false and/ or irregular votes is far greater than
needed to change the Georgia election result ;

said statement being within the jurisdiction ofthe Office of the Georgia Secretary of State and
the Georgia Bureau of Investigation, departments and agencies of state government, and county
and city law enforcement agencies, contrary to the laws of said State, the good order, peace and
dignity thereof;

COUNT 40 of 41

And the Grand Jurors aforesaid , in the name and behalf of the citizens of Georgia , do
charge and accuse DAVID JAMES SHAFER with the offense of FALSE STATEMENTS
AND WRITINGS , O.C.G.A. § 16-10-20, for the said accused , in the County of Fulton and
State ofGeorgia, on or about the 25th day of April 2022, knowingly , willfully , and unlawfully
made at least one ofthe following false statements and representations in the presence of Fulton
County District Attorney's Office investigators :

1. That he attended and convened the December 14, 2020, meeting of Trump presidential
elector nominees in Fulton County, Georgia, but that he did not call eachofthe
individualmembersand notifythem of the meetingor makeany ofthe other preparations
necessaryfor themeeting ;

2. That a court reporter was not present at the December 14, 2020 , meeting of Trump
presidential elector nominees in Fulton County , Georgia ;

saidstatementsbeing withinthe jurisdictionof the FultonCountyDistrictAttorney'sOffice, a


departmentand agencyofthe governmentof a county of this state, contraryto the lawsofsaid
State, the goodorder, peace and dignitythereof;

96
COUNT 41 of 41

And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do
charge and accuse ROBERT DAVID CHEELEY with the offense of PERJURY, O.C.G.A. §
16-10-70(a) , for the said accused, in the County of Fulton and State of Georgia , on or about the
15th day of September 2022 , knowingly, willfully , and unlawfully made at least one ofthe
following false statements before the Fulton County Special Purpose Grand Jury , a judicial
proceeding, after having been administered a lawful oath:

1. That he was unaware of the December 14, 2020, meeting of Trump presidentialelector
nominees in Fulton County, Georgia, until after the meeting had already taken place;

2. That he had no substantive conversations with anyone concerning the December 14,
2020 , meeting of Trump presidential elector nominees in Fulton County , Georgia , until
after the meeting had already taken place;

3. That he never suggested to anyone that the Trump presidential elector nominees in
Georgia should meet on December 14, 2020;

4. That the only communication he had with John Eastman concerning the November 3 ,
2020 , presidential election was for the purpose of connecting Eastman to Georgia Senator
Brandon Beach and unindicted co- conspirator Individual 8 , whose identity is known to
the Grand Jury, for possible legal representation ;

5. That he never workedto connectJohn Eastmanwith any Georgialegislatorsother than


GeorgiaSenatorBrandonBeachandunindictedco- conspiratorIndividual8 , whose
identity is knownto the Grand Jury;

said statements being material to the accused's own involvement in the December 14, 2020 ,
meeting of Trump presidential elector nominees in Fulton County , Georgia , and to the accused's
communications with others involved in said meeting , the issues in question , contrary to the laws
ofsaid State, the good order, peace and dignity thereof.

FANIT. WILLIS, DistrictAttorney

97
WITNESS LIST

Asst. ChiefInv. M.Hill FCDADA14

Sr. Inv. T. Swanson


- Lucas FCDADA72

98

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