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 Campaign Ofﬁcial 1’s email address at the campaign domain donaldtrumpcom. On approximately the same day, Defendants and their co-conspirators used the email address of a false U.S. persona, joshmilton024@gmail.com, to send an email to Campaign Ofﬁcial l at that donaldtrump.com email account, which read in part:

Hello [Campaign Official l], [w]e are organizing a state-wide event

in Florida on August, 20 to support Mr. Trump. Let us introduce

ourselves ﬁrst. “Being Patriotic” is a grassroots conservative online

movement trying to unite people ofﬂine. . . . [W]e gained a huge lot

of followers and decided to somehow help Mr. Trump get elected.

You know, simple yelling on the lntemet is not enough. There should

be real action. We organized rallies in New York before. Now we're

focusing on purple states such as Florida. The email also identiﬁed thirteen “conﬁrmed locations" in Florida for the rallies and requested the campaign provide “assistance in each location." 77. On or about August 18. 2016. Defendants and their co-conspirators sent money via interstate wire to another real U.S. person recruited by the ORGANIZATION, using one of their false U.S. personas, to build a cage large enough to hold an actress depicting Clinton in a prison uniform. 78. On or about August 19, 2016, a supporter of the Trump Campaign sent a message to the ORGANIZATION-controlled “March for Trump” Twitter account about a member of the Trump Campaign (“Campaign Ofﬁcial 2”) who was involved in the campaign’s Florida operations and provided Campaign Official 2’s email address at the domain donaldtrump.com. On or about the same day, Defendants and their co-conspirators used the false U.S. persona joshmilton024@gmail.com account to send an email to Campaign Official 2 at that donaldtrump.com email account.

79. On or about August I9, 2016, the real “Florida for Trump” Facebook account sent another

message to the false U.S. persona “Matt Skiber" account to contact a member of the Trump

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