Page:Internet Research Agency Indictment Feb 2018 with text.pdf/27

Case 1:18-cr-00032-DLF   Document 1     Filed 02/16/18     Page 27 of 37 "location and recruiting more activists. This is why we ask you to spread this info and participate in the flash mob."

71. On or about August 4, 2016, Defendants and their co-conspirators created and purchased Facebook advertisements for the “Florida Goes Trump” rally. The advertisements reached over 59,000 Facebook users in Florida, and over 8,300 Facebook users responded to the advertisements by clicking on it, which routed users to the ORGANIZATION’s “Being Patriotic” page.

72. Beginning on or about August 5, 2016, Defendants and their co-conspirators used the false U.S. persona @March_for_Trump Twitter account to recruit and later pay a real U.S. person to wear a costume portraying Clinton in a prison uniform at a rally in West Palm Beach.

73. Beginning on or about August 11, 2016, Defendants and their co-conspirators used the false U.S. persona “Matt Skiber” Facebook account to recruit a real U.S. person to acquire signs and a costume depicting Clinton in a prison uniform.

74. On or about August 15, 2016, Defendants and their co-conspirators received an email at one of their false U.S. persona accounts from a real U.S. person, a Florida-based political activist identified as the “Chair for the Trump Campaign” in a particular Florida county. The activist identified two additional sites in Florida for possible rallies. Defendants and their co-conspirators subsequently used their false U.S. persona accounts to communicate with the activist about logistics and an additional rally in Florida.

75. On or about August 16, 2016, Defendants and their co-conspirators used a false U.S. persona Instagram account connected to the ORGANIZATION-created group “Tea Party News” to purchase advertisements for the “Florida Goes Trump” rally.

76. On or about August 18, 2016, the real “Florida for Trump” Facebook account responded to the false U.S. persona “Matt Skiber” account with instructions to contact a member of the Trump Campaign (“Campaign Official 1”) involved in the campaign’s Florida operations and provided 27