Page:CTRL0000034607 - Deposition of Ali Alexander, (Dec. 9, 2021).pdf/178

178 What about was Trumpmarch.Com a website that you controlled?

Not at all.

Okay. Was Wild Protest.com a website you controlled?

Yes, I got that name based off of the President's tweet.

So what did you advertise on WildProtest.com?

Initially that was going to be our sole event, you know, for a morning event that would go until whenever the voting was done. And we advertised the speakers, the location. And we may—I think we may have even done the website prior to getting the permit. That's how fast things were moving. And, so, it was kind of like a precursor that kind of fell apart.

Do you recall creating a website fightfortrump.us to advertise for the events on January 5th and 6th?

I don't recall. I don't recall making a unique site. I vaguely recall getting that URL. I probably pointed it to stopthesteal.us or another property.

Okay. And then what about March to Save America? Was that a website that you maintained control of?

Yes, that was a website that I maintained. And, you know, I got the name from Caroline Wren who said, you know, this was the branding that they were going for. And then, you know, it kind of migrated. It kind of was called several things, you know. But, and you guys can see based off of this and even the MOU agreement that I gave you guys about the event of the 5th, you can see, I was talking with my counsel earlier today. And we observed that—

Mr. We don't want to hear that.

Mr. Kamenar. Yeah, attorney-client privilege.

The Witness. Yeah, I want to say this.