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 :On September 13, the Committees wrote to request that you make State Department employees available for transcribed interviews. We asked you to provide, by September 20, dates by which the employees would be made available for transcribed interviews. You failed to comply with the Committees’ request.272

That same day, the Committees sent a letter directly to Mr. Brechbuhl seeking his appearance at a deposition on October 8.273

On October 1, Secretary Pompeo sent a letter to the Committees stating, “Based on the profound procedural and legal deficiencies noted above, the Committee’s requested dates for depositions are not feasible.”274

Later that day, the Committees sent a letter to Deputy Secretary of State John J. Sullivan stating that the State Department “must immediately halt all efforts to interfere with the testimony of State Department witnesses before Congress.”275

On October 2, Mr. Brechbuhl’s personal attorney sent an email to Committee staff stating:


 * My law firm is in the process of being formally retained to assist Mr. Brechbuhl in connection with this matter. It will take us some time to complete those logistics, review the request and associated request for documents, and to meet with our client to insure he is appropriately prepared for any deposition. It will not be possible to accomplish those tasks before October 8, 2019. Thus, as I am sure that you can understand, Mr. Brechbuhl will not be able to appear on that date as he requires a sufficient opportunity to consult with counsel. Moreover, given the concerns expressed in Secretary Pompeo’s letter of October 1, 2019, to Chairman Engel, any participation in a deposition would need to be coordinated with our stakeholders.276

On October 8, Committee staff sent an email to Mr. Brechbuhl’s personal attorney stating: “The Committees have agreed to reschedule Mr. Brechbuhl’s deposition to Thursday, October 17. Please confirm that Mr. Brechbuhl intends to appear voluntarily.”277 On October 9, Committee staff sent an email to Mr. Brechbuhl’s personal attorney asking him to “confirm by COB today whether Mr. Brechbuhl intends to appear voluntarily.”278 Later that day, Mr. Brechbuhl’s personal attorney sent an email to Committee staff stating, “I am still seeking clarification from the State Department regarding this deposition.”279

On October 25, the Committees sent a letter to Mr. Brechbuhl’s personal attorney transmitting a subpoena compelling Mr. Brechbuhl’s appearance at a deposition on November 6.280

On November 5, Mr. Brechbuhl’s personal attorney sent a letter to the Committees stating:


 * Mr. Brechbuhl respects the important Constitutional powers vested in the United States Congress. And, indeed, he would welcome the opportunity to address through testimony