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Glenn SimpsonPage 201 evaluate it.

MR. DAVIS: Sure. In general we're asking questions about distribution of the material within the dossier which was the scope of the agreement. If you look at page 4 of that same exhibit, paragraph 30, Steele's attorneys state "The Defendants" — and again, that's Orbis Business Intelligence and Christopher Steele — "did not however provide any of the pre-election memoranda to any of the media or journalists, nor did they authorize anyone to do so, nor did they provide the confidential December memorandum to media organizations or journalists, nor did they authorize anyone to do so."

To the best of your knowledge, did Orbis ever authorize Fusion to make any disclosures of the memoranda to the media?

MR. LEVY: Just before we get into this question, this paragraph began with a sentence you did not read and it says "In the first sentence of subparagraph 8.2.5 as noted." I don't know what they're referring to. Maybe you do. Can you show us that?

MR. DAVIS: I don't have that with me at the moment, but I'll see if we can find it. Regardless, 1-800-FOR-DEPO