Page:CTRL0000034606 - Transcribed Interview of Mark Meadows, (December 8, 2021).pdf/5

5 Consistent with that agreement, Mr. Meadows did produce documents and privilege logs. More specifically, he produced approximately 6,600 pages of records taken from personal email accounts he used to conduct official business, as well as a privilege log describing other emails over which he claims privilege protection. He also produced approximately 2,000 text messages, which Mr. Meadows sent or received using a personal device which he used for official business, in addition to a privilege log, in which he describes privilege claims over other withheld text messages.

Mr. Meadows was scheduled to appear today, December 8th, 2021, for a deposition. However, he has not appeared and is not present today. We received correspondence from Mr. Meadows' attorney yesterday indicating that, despite his prior agreement to appear today, his position has changed and he would not appear.

We are disappointed in Mr. Meadows' failure to appear as planned, as it deprives the select committee of an opportunity to develop relevant information in Mr. Meadows' possession and to, more specifically, understand the contours of his executive privilege claim.

Again, the purpose of today's proceeding was to ask Mr. Meadows questions that we believe would be outside of any cognizable claim of executive, attorney client, Fifth Amendment, or other potentially applicable privilege.

Our hope is that he would answer those questions, which would materially advance the select committee's investigation, given Mr. Meadows' service as White House chief of staff. We expected that he would assert privileges in response to various questions, articulating the specific privilege he believes is implicated and how it applies to the question asked. We planned to evaluate Mr. Meadows' privilege assertions after today's proceeding, engage in further discussions with Mr. Meadows' counsel, and consider whether enforcement steps were appropriate and necessary.