Page:CTRL0000034606 - Transcribed Interview of Mark Meadows, (December 8, 2021).pdf/6

6 Mr. Meadows' failure to appear for today's deposition deprives us of the opportunity to engage in that process. Instead, we are left with Mr. Meadows' complete refusal to appear for his deposition or cure his willful noncompliance with the select committee's subpoena.

Had Mr. Meadows appeared for his deposition today, we would have asked him a series of questions about subjects that we believe are well outside of any claim of executive privilege. More specifically, we would have asked Mr. Meadows questions about his use of personal email and cellular phones.

Mr. Meadows' document production includes documents taken from two Gmail accounts. We would've asked him how and for what purpose he used those Gmail accounts and when he used one of them as opposed to his official White House email account. We would've similarly asked him about his use of a personal cellular telephone.

We would have sought to develop information about when Mr. Meadows used his personal cell phone for calls and text messages and when he used his official White House cell phone for those purposes.

Mr. Meadows' production of documents shows that he used the Gmail accounts and his personal cellular phone for official business related to his service as White House chief of staff. Given that fact, we would ask Mr. Meadows about his efforts to preserve those documents and provide them to the National Archives, as required by the Presidential Records Act. Finally, we would have asked Mr. Meadows about his use of a signal account, which is reflected in the text messages he produced.

In addition, we would have asked Mr. Meadows about particular emails that he produced to the select committee. We do not believe these emails implicate any valid claim of executive or other privilege, given that Mr. Meadows has produced the emails to