Page:CTRL0000034604 - Transcribed Interview of Daniel J. Scavino, Jr., (December 1, 2021).pdf/7

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Ms. Specifically, they are an email exchange between Mr. Woodward, myself, and Mr. who is chief investigative counsel for the select committee, dated from October 20th until November 30th, 2021. This exchange includes emails of service of the November 23rd, 2021, subpoena far Mr. Scavino reflecting extended deadlines.

It also includes a letter from Mr. Woodward and Mr. Brand to the select committee on November 5th, 2021. Attached to that letter is a letter from Mr. Justin Clark, counsel to the former President, Donald J. Trump, to Mr. Scavine on October 6th, 2021.

There is also a letter from the select committee to Mr. Woodward and Mr. Brand dated November 9th, 2021; a letter from Mr. Woodward and Mr. Brand to the select committee dated on November 15th, 2021; a letter from Mr. Woodward and Mr. Brand to the select committee dated November 18th, 2021; a letter from the select committee to Mr. Woodward and Mr. Brand dated November 23rd, 2021; and finally, a letter from Mr. Brand and Mr. Woodward to the select committee dated November 26th, 2021.

I will note for the record that the time is now 10:08 a.m., and Mr. Scavino still has not appeared or communicated to the select committee that he will appear today as required by the subpoena.

Accordingly, as we await Mr. Scavino's compliance with the October 6th and November 23rd subpoenas, this section of the deposition stands in recess, subject to the call of the chair, at 10:09 a.m.

We are off the record.

[Whereupon, at 10:09 a.m., the deposition was recessed, subject to the call of the