JW v State Mills deposition 01363
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Transcript Cheryl Mills, Esq. Date: May 27, 2016 Case: Judicial Watch, Inc. -v- U.S. Department State Planet Depos, LLC Phone: 888-433-3767 Fax: 888-503-3767 Email: transcripts@planetdepos.com Internet: www.planetdepos.com Worldwide Court Reporting Interpretation Trial Services Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages THE UNITED STATES DISTRICT COURT FOR THE DISTRICT COLUMBIA --------------x JUDICIAL WATCH, INC., Plaintiff, Civil Action No. U.S. DEPARTMENT STATE, 13-cv-1363(EGS) Defendant. --------------X Videotaped Deposition CHERYL MILLS, ESQ. Washington, Friday, May 27, 2016 9:25 a.m. Job No.: 112361 Reported by: Debra Whitehead APPEARANCES BEHALF PLAINTIFF: RAMONA COTCA, ESQUIRE JAMES PETERSON, ESQUIRE MICHAEL BEKESHA, ESQUIRE PAUL ORFANEDES, ESQUIRE JUDICIAL WATCH, INC. 425 Third Street, Suite 800 Washington, 20024 (202) 646-5172 BEHALF DEFENDANT: ELIZABETH SHAPIRO, ESQUIRE MARCIA BERMAN, ESQUIRE STEVEN MYERS, ESQUIRE LARA NICOLE BERLIN, ESQUIRE U.S. DEPARTMENT JUSTICE CIVIL DIVISION Massachusetts Avenue, Washington, 20530 (202) 514-2205 Videotaped Deposition CHERYL MILLS, ESQ., held the offices of: PLANET DEPOS 1100 Connecticut Avenue, Suite 950 Washington, 20036 (888) 433-3767 Pursuant notice, before Debra Whitehead, Approved Reporter the United States District Court and Notary Public the District Columbia. APPEARANCES CONTINUED BEHALF THE WITNESS: BETH WILKINSON, ESQUIRE HAL BREWSTER, ESQUIRE ALEXANDRA WALSH, ESQUIRE WILKINSON WALSH ESKOVITZ 1900 Street, Suite 800 Washington, 20036 (202) 847-4000 ALSO PRESENT: JEREMY DINEEN, Video Specialist THOMAS FITTON, President, Judicial Watch GREGORY LAUDADIO, Judicial Watch PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages CONTENTS EXAMINATION CHERYL MILLS, ESQ. Ms. Cotca PAGE Ms. Wilkinson 255 Ms. Berman 262 Ms. Cotca 263 EXHIBITS (Attached the Transcript) DEPOSITION EXHIBIT PAGE Exhibit Subpoena Testify Deposition Civil Action Exhibit E-mail String Exhibit E-mail String Exhibit 12/5/14 Letter from Ms. Mills The Honorable Patrick Kennedy Exhibit E-mail String Exhibit E-mail Strings 122 Exhibit E-mail Strings 146 Exhibit E-mail Strings 155 Exhibit E-mail Strings 163 Exhibit E-mail String 174 PROCEEDINGS (Deposition Exhibit marked for identification and attached the transcript.) VIDEO SPECIALIST: Here begins Tape Number the videotaped deposition Cheryl Mills the matter Judicial Watch, Inc., versus the U.S. Department State, the U.S. District Court for the District Columbia, Case Number 13-CV-1363. Todays date May 27, 2016. The time the video monitor 9:25. The videographer today Jeremy Dineen, representing Planet Depos. This video deposition taking place Planet Depos, 1100 Connecticut Avenue, Northwest, Washington, DC. Would counsel please voice-identify themselves and state whom they represent. MS. COTCA: Ramona Cotca, for Judicial Watch. MR. ORFANEDES: Paul Orfanedes, for Judicial Watch. MR. BEKESHA: Michael Bekesha, for Judicial Watch. EXHIBITS CONTINUED DEPOSITION EXHIBIT PAGE Exhibit E-mail Strings 216 Exhibit 1/27/16 Letter from Senator 218 Grassley The Honorable John Kerry MR. PETERSON: James Peterson, for Judicial Watch. MR. FITTON: Tom Fitton, President Judicial Watch. MR. LAUDADIO: Gregory Laudadio, for Judicial Watch. MS. BERLIN: Lara Berlin, Department State. MR. MYERS: Steven Myers from the Justice Department, behalf State. MR. BREWSTER: Hal Brewster, representing Cheryl Mills. MS. SHAPIRO: Elizabeth Shapiro, for the Department State and the witness her capacity former State Department employee. MS. BERMAN: Marcia Berman, from the Department Justice, representing the State Department and Ms. Mills her official capacity former State Department employee. MS. WALSH: Alexandra Walsh, for Cheryl Mills. MS. WILKINSON: Beth Wilkinson, for Cheryl PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 12) Mills. THE WITNESS: Cheryl Mills. VIDEO SPECIALIST: The court reporter today Debbie Whitehead, representing Planet Depos. Would the reporter please swear the witness. CHERYL MILLS, ESQ., having been duly sworn, testified follows: EXAMINATION COUNSEL FOR PLAINTIFF MS. COTCA: Good morning, Ms. Mills. Thanks very much for coming. Thank you. introduced myself, Ramona Cotca, and represent Judicial Watch this matter. you could please just for the record identify your name just one more time? name Cheryl Mills. Okay. Ms. Mills, know youre attorney, you may very well familiar with depositions, but just want over some ground you can and and Ill try best so. Thank you. Will you that? (No verbal response.) Okay. may take while. There are lot attorneys the room. not sure the other side will have any questions you. But you need break any point, let know. Well happy Ill happy try come good stopping point for break. But well also try have routine breaks, necessary. Just let know. that fair? Thank you. Sure. you know, youve been sworn in. You understand that the deposition taken under oath. are there any reasons why you would not able answer truthfully here today? Not that know of. Okay. think that covers all the ground rules. theres anything that comes mind, Ill rules beforehand. appreciate that. Sure thing. you can see, there court reporter here, and the deposition being videotaped. can get clear transcript everything thats being said here, would just ask well, first, will make sure let you finish answering questions, let you finish answering. And then you could just let finish asking question, dont speak over each other and have clear transcript. that fair? Sure. Okay. Also, you could please provide verbal responses rather than head nods that would helpful for the court reporter well, and for when ahead and read the transcript after today. The other thing would say, there question that you not understand you need some clarification, please let know. you not, will assume that you would have understood it. let you know. Thank you. Sure. just want briefly over your youre attorney. you can just tell briefly your education background, college and law school. went the University Virginia for undergraduate, and then for law school went Stanford University out California. Okay. And when did you graduate from Virginia, from UVA? have say that? old. graduated from UVA 1987, and graduated from Stanford Law School 1990. Okay. Great. Thank you. And right out law school, you went law firm. that right? did. went work Hogan Hartson, which law firm here Washington, DC, though their name has now changed. Okay. And what did you for them, practice litigator, which PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 16) represented school districts that were still seeking implement the promises Brown vs. The Board Education. Okay. that litigation? was conglomerate activities, but also included litigation. Okay. And then after that? After that went work the White House. the in-between period went and worked the Clinton campaign and the transition. And then went work the White House, and was the the White House for about seven years. Okay. And when did you start working the White House? Not specific date, but year-wise. Oh, know. would have been 1993. 1993. God, old. Okay. Sorry. Okay. 1993 then takes you 99? 1993 takes about 1999, thats right. the White House. Okay. And you can just tell me, what was House. MS. BERMAN: Ill join that objection. MS. COTCA: dont dont need with everything that was done the White House but, rather, with respect the background Ms. Mills the context litigating and her experience with subpoenas for documents, requests for documents litigation. Which goes FOIA requests that may have come litigations that may have come the Secretarys office. And her background and experience that relevant the scope. MS. WILKINSON: Maybe you can rephrase the question and ask it, you know, with more more particularity, she can answer. MS. COTCA: Sure. Sure. MS. COTCA: Ms. Mills, while you were the White House, were you involved did your work all include involve responding subpoenas for documents litigations and discovery requests with respect document requests? what was your position the White House? And changed over time, you can just tell what you started with and where you ended. started associate counsel, and ended deputy counsel. Okay. And how long were you associate counsel there? Four years so. Four years. And then promoted deputy? Yes. Okay. And can you briefly tell your duties, responsibilities, day-to-day work? MS. WILKINSON: Objection. going object because its beyond the scope and not really relevant what the four corners the mean, general background, but doesnt relate what she did. She wasnt acting lawyer the State Department. going direct her not answer and just ask you through her background the relevant parts, but not kind the full documentation everything she did the White did. did involve responding requests for information and documents and materials. Okay. And did that include e-mails, e-mail records? when first arrived the White House once again dating there wasnt use. think were the administration that ultimately ended having e-mail over the course that think that was, like, the time period where e-mail was becoming more prevalent. the time left, would say that that might have been part the paradigm. But general matter, most the time when were looking records and materials, they were hard copy. Hard copy. Okay. But there were some litigations that included requests for e-mails which you were witness. Yes. The Alexander matter, for example? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 20) dont know the name the matter. But thats correct, that was thats absolutely correct. Okay. And that included e-mail records. Correct? Request for e-mail records? believe so. Sorry, youre dating memory, just doing best. Thats okay. But believe thats correct. going try help refresh you Well, thanks. refresh your recollection. appreciate that. Sure. Sure. Okay. After moving from the White House, what did you before coming the State Department? worked Oxygen Media, which media company for that was designed programming for women. And after was Oxygen Media, went work NYU. Okay. the White House. Right. you recall that? dont. Okay. Were you ever informed are you aware Judge Lamberths ruling that matter being critical others, but including your actions, with respect handling the matter for the request e-mails that were requested the White House? when was the request for e-mails the White House? That was while you were there. when you say that, just trying ask because dont dont know how step through the sequencing what youre you are articulating. would help theres something that you could that could help me, that would that. But wont able that from own memory, and apologize. Sure. you remember providing testimony Which New York University. And managed the business operations there, and then also was lawyer there. Okay. And when did you start the State Department? started the State Department transitioned into the State Department uncompensated temporary employee January. And then ultimately joined the department full time in, think around May And thats 2009. Thats fault for speaking over you and not letting you finish. 2009. Thank you. Sure. Now, just going back, and again the context your experience with attorney with requests for records, and specifically e-mail records. 2008 there was ruling Judge Lamberth that came out that the Alexander matter that just mentioned before from your time before Judge Lamberth the Alexander case? Before Judge Lamberth? Yes. dont believe Ive had occasion meet Judge Lamberth, but that might just inaccurate. Okay. you remember there being mail this case involving mail sever issue when you were the White House? definitely remember there were multiple different kinds litigation while were the White House. this about kind remember know that there was litigation the White House? Absolutely. But youre asking pull memory right now sit here, cant that. Well, not asking general litigation. asking actually case which you provided testimony Okay. with respect requests for e-mails, and that case there being issue with the mail PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 24) server. And the capture dont remember the mail server. quite confident should start with had provide lot different testimony during the time period when served the government. happy have memory refreshed, theres something that could that. Okay. Lets just let just ask this way: Shortly before coming the State Department, Judge Lamberth ruled the Alexander case, which criticized your conduct, well some others, the White House with respect handling e-mail requests. And believe the word used was loathsome. Loathsome? MS. BERMAN: mean, object the form the question terms characterizing the opinion. MS. COTCA: Okay. was the opinion was critical. Did you ever read the opinion? Did anybody ever make you the opinion and specifically said that you agreed upon. And talking about another case from many years ago and opinion Judge Lamberth, dont understand the relevance the topics which you agreed upon were the, you know, stated basis for the deposition. MS. BERMAN: Objection well. This beyond the scope discovery. MS. COTCA: Okay. Merely just establish Ms. Mills experience with respect -as attorney with respect handling requests -MS. BERMAN: Youre not asking -MS. COTCA: for documents. MS. BERMAN: sorry. Youre not asking about FOIA requests right now. MS. COTCA: Were just establishing the background. MS. WILKINSON: No, youre -MS. COTCA: With respect Ms. Mills. MS. BERMAN: have very specific scope permissible discovery. And the portion your conduct was loathsome. have not had occasion read the opinion. Okay. And, you know, cant speak both his observations the set facts that regard, because think would need that well, Ive always tried best responsive and tried best the best that could. And think get each day trying that. not perfect and would never say was. But certainly best. Sure. Sure. You said you never read the opinion. But were you aware, did anybody tell you about it, did you ever become aware that opinion that came out -MS. WILKINSON: going excuse me. going object. Compound and the form the question. And, also, just you could direct why this relevant the matters which the judge has repeatedly said are circumscribed what that believe your questioning purportedly directed the process, the the State Departments approach and practice for processing FOIA requests that potentially implicated former Secretary Clinton and Ms. Abedins e-mails. And dont see how this relevant that all. Ms. Mills, what was your position the State Department during Secretary Clintons tenure? was the chief staff and counselor. Okay. MS. COTCA: Just respond now the objection. the chief staff and counselor the Secretarys office, Judge Sullivans order this case goes specifically sensitivity with respect e-mail issues and how FOIA requests were processed the Secretarys office. think that Ms. Mills experience that regard the chief staff for her entire tenure and her counselor relevant and within the scope. MS. BERMAN: sorry. does not solely does not just her sensitivity PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 28) e-mail issues. within the specific context responding FOIA requests with regard e-mail. MS. WILKINSON: Let also make let make suggestion. Why dont you ask her what she did counselor and chief staff. She did not act lawyer for the Secretary the State Department. youre asking her about her experiences lawyer before with FOIA. That wasnt her responsibilities State. Thats why dont think its also relevant here. maybe you could establish that first and then see you have any basis. But dont believe there factual basis for what youre asking. MS. COTCA: Okay. MS. COTCA: you can tell your duties and responsibilities chief staff, lets start with that. was chief staff and counselor. And chief staff was there were issues policy matter, food security, well as, the extent there were other initiatives that the Secretary was seeking launch, being able provide support and navigate all the different elements that might required doing that. And all kind fits into framework, you think about what secretaries do, there really the immediate, and then there short term and then theres long term. tended more the immediate. there was something that needed addressed, was conflict among bureaus that had navigated, those were the types issues that typically would front any given day. But they -they varied enormously. Okay. Correct wrong, but traditionally, normally speaking, those two positions are separate positions the State Department prior you coming and since then. think those two have been. The chief staff role has often been combined with other roles. the chief staff, theres been chief matters that maybe should step back and give some context. the department there are broad array kind both policy and programmatic issues that the department handles and has done those, obviously, for decades. And diplomacy itself has long history. And lot about what has been done the past and how you the future, particularly when youre dealing with nation states. And the role the chief staff often try provide both advice and guidance but also, more particularly, support for navigating the multiplicity issues that come before the Secretary. Which given day can really range from Iraq Iceland and everything between, well development that are doing and development investments that might making countries around the world. And counselor, responsibilities typically were focused particular policy areas that were focus. For that was Haiti staff and they were the head leg affairs, theres been chief staff that was also the head our public affairs. think the chief staff role often shouldnt say often has been the past combined with other roles well. Okay. think dont know that was that unique, maybe better way say it, though like think always unique. there reason you combined the chief staff and you held both positions chief staff well the counselor? think given that there had been practice some these the chief staff position having multiple roles for for, think, Secretary Clinton would have provided the opportunity was, where there were certain policy areas that might not always prioritized the department historically with either with the resources focus. And this presented opportunity able that. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 32) And certainly global food security was not issue that the State Department had ever elevated that level. And President Obama, having that priority for his administration, created opportunity for some those types issues actually have the focus and attention not only the Secretary, but also way prioritizing for the department. Okay. lets just back up. How did you come the State Department, you can talk through that with respect what brought you the State Department? Okay. -MS. WILKINSON: Let object foundation. Well, not foundation but the form. Its vague. MS. COTCA: Okay. Sure. MS. WILKINSON: And kind again, want stick the areas discovery. And understand, you know, thats background question. But not -MS. COTCA: Just with respect the Secretarys office and that sort thing, what was your involvement? when secretaries transition in, one the terrific things about the State Department they have and are used the experience every four years maybe every six years, transition their leadership. And they have transition process that they put place that designed help brief the Secretary all the various substantive issues that are front the department. And that process one that they run without regard whos coming in. Obviously its theyre career officials and they very well. And that was process that got participate with her, and that was the process that she stepped through and that the rest who were part assisting her could either sometimes those meetings not. But thats the process. And you said she stepped through. Are you speaking Secretary Clinton? transition. MS. WILKINSON: There could 20-year answer that, you might imagine. MS. COTCA: Sure. And just talking about with respect, how was that Secretary Clinton came you and did she come you and ask you chief staff and come board the State Department? How did that come about? Thanks. had been previously working with Secretary Clinton her campaign. was intending back job NYU. And she, you could say invited stay and back into government. And having served government once and recognizing the demands both your time and other things, had had small children. for thought better life balance would going back NYU. But ultimately she successfully convinced stay, and did. Okay. Thank you. Can you discuss prior January 2009, during the transition process setting the Secretary Clinton. Okay. they actually provide you with set briefings about all the different policy bureaus and what the work and what are the key conflicts, challenges issues that are confronting different regions the world and different issues that are continuing enduring the diplomacy space. Okay. And from Secretary Clintons standpoint, was there sort transition team that was also involved with you? MS. WILKINSON: Objection. Foundation. And form. when you say that, can you just step through what you mean? Sure. Because think that they actually put place full transition team the department. And the presidential transition also puts place full transition team. And those teams actually typically are working together. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 36) just President Obama will transitioning out, hes designated who will his transition team. They will partner with whoever ends being the successful nominee guess electee. Yes, electee. And they will then obviously work that transition from the standpoint what are the policies and the issues that are confronting our government and how you that effectively. Okay. who else was part this process from the campaign for Secretary Clinton? Well, -MS. WILKINSON: Objection form and also beyond the scope. MS. BERMAN: Objection. Beyond the scope. MS. COTCA: The transition process the State Department definitely within the scope, the extent about office setups and what equipment was provided and what devices were provided Secretary Clinton with respect e-mail questions. MS. BERMAN: You can ask those questions. MS. WILKINSON: Just make more individuals who basically help you step through and arrive and provide for the transition and the operational setup the Secretarys office. Okay. MS. WILKINSON: Can Can you -MS. WILKINSON: Excuse me. Can off the record for minute and take break? going talk the State Department see can help. MS. COTCA: Sure. VIDEO SPECIALIST: are off the record 9:48. recess was taken.) VIDEO SPECIALIST: are back the record 9:50. MS. COTCA: Okay. going call this transition period. the process Secretary Clinton coming the State Department and whoever her staff may have been picked, including you, that context, specific, and think she can answer. MS. COTCA: Okay. Sure. MS. COTCA: Were you involved what was your role with respect the transition? MS. WILKINSON: Again, objection. Foundation and form. Its and beyond the scope. Just With respect setting that was already asked earlier. MS. WILKINSON: sorry. didnt understand that. With respect setting with respect setting the Secretarys office, setting the office. didnt set Secretary Clintons office. Okay. There there Exec Secretariat, well what call the -theres team that actually are part the existing State platform that actually are terrific with respect making sure that Day Secretary Clinton has e-mail, phone use, that sort thing, was there point contact from from the campaign setting that and coordinating that with the State Department? MS. BERMAN: Objection. Assumes facts not evidence. No. No. Okay. you know Lewis Lukens? Yes. Okay. Who he? Lewis Lukens Department State official. Okay. you know what his role was the time that you 2009? Lou Lukens, memory serves, was serving the office the Executive Secretary. believe that was the office that was serving in. you know what capacity? dont know his title, but obviously knew was somebody who was serving that position. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 40) Okay. not asking for his title, but you know what his role was what did the office the Secretary? dont know the breadth his responsibilities. know was somebody who served the Executive Secretarys office, and that office provides support the Secretary. His deposition was taken, and Ill just tell you this. His deposition was taken last week, and identified you the point contact with respect issues involving setting the different offices the Secretarys office, and that sort thing. Were you the point contact? MS. BERMAN: Objection. Mischaracterizing Mr. Lukens testimony. cant speak what thought about. Sure. But you are asking whether not was the point contact that context, think would depend what the matter was. Okay. Did you have lot conversations anybody the State Department, lets say, November, December and January, before coming the State Department, with respect where your office would located? believe January, and probably close the time she was confirmed, would have had discussions about office location. Okay. How about devices communicate via e-mail? MS. BERMAN: Objection. Vague. Whose devices? Devices for you, for example, Ms. Mills. dont know when conversations about our device would have occurred. But would have imagined would have occurred close time when were onboarding. Okay. you recall what the conversations were? No. sorry. mean, its just harder for actually remember conversations the time. Probably just werent significant mind. with him? had not -MS. BERMAN: Objection the form the question. Sorry. Not that recall lot conversations with Lou Lukens. certainly did have conversations with him. Okay. Can you tell what those were? MS. BERMAN: Objection. Vague. No, cant recall them. Okay. sorry, was long time ago. dont want every single dont want you describe every single conversation you had with him. But with respect setting the -making sure that everything set the office. MS. WILKINSON: Objection. Vague. Form. its not recollection that was typically engaging with Lou Lukens lot those matters. Okay. Did you have any discussions with Okay. dont have memory now, sadly. Many years ago. Okay. Did you receive BlackBerry from the State Department when you came board? Yes, did have State Department BlackBerry. Okay. Did you ask for it? dont recall asked for not, but know received one. Okay. And did you have State Department e-mail when you came board? dont know when they created State Department e-mail, but did have State Department e-mail that used when was the department. Okay. And was that e-mail synced with the BlackBerry that the State Department provided? believe was. only hesitating because know initially you couldnt access e-mail from outside the department. But believe was synced from the beginning. wrong about that, would have happened soon thereafter. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 44) Okay. With respect your e-mail account from the State Department, you remember you had make request for that, was that something just issued you? believe that was issued, but could wrong about that. dont know. dont have specific memory how came about. But believe was issued. Okay. you recall who the State Department shouldnt say issued. Sorry. Let correct that. believe was created, maybe thats the best way. dont know how they structured that. Okay. How did you find out about the e-mail, your e-mail account, use the State Department? MS. WILKINSON: Again, going object beyond -MS. BERMAN: Objection. Beyond the form. MS. WILKINSON: And beyond the scope. Youre supposed talking about the instructing the witness not answer, which dont want do. And understood that were going stay within the scope. happy to, say, most objections, say form foundation. And otherwise with scope, will continue put the basis on, just you know why think your question has gone beyond. And you can rephrase it, like you have other questions, happy have her answer. MS. COTCA: Thats fine. its within scope, its objection based scope and youre instructing the witness not answer, outside the scope think sufficient. Thank you, though. Can you read back last question. (The reporter read the record follows: How did you find out about the e-mail, your e-mail account, use the State Department?) MS. COTCA: And youre instructing the witness not answer that question? MS. WILKINSON: am. creation and operation Clintonemail.com for the State Department business, the approach processing FOIA requests that implicated either the Secretary Clinton Ms. Abedins e-mails, and the processing FOIA requests. Her State Department e-mail not part those topics. going object and instruct her not answer, and ask you focus the areas discovery that you agreed upon were relevant for this case. MS. COTCA: Okay. And would just ask that you have objection youre going instruct the witness not answer, that you just without speaking objections. Its improper coaching the witness during the deposition. would just ask that you leave the objection and the basis, without any further speaking objections. MS. WILKINSON: not trying coach the witness. course trying give you basis that you can either change your question theres record basis for why, especially when MS. COTCA: And youre following your attorneys advice not answer the question. that right, Ms. Mills? Yes. Okay. When you started the State Department, whether its shortly before shortly thereafter, are you aware any discussions with respect e-mail account issued for Secretary Clinton use during her tenure the State Department? was not aware discussions about e-mail account for her use. Okay. Did you discuss with her with respect what e-mail she was going use Secretary State for the next four years? the Secretary has spoken about the fact that she had made determination that she would use her personal account, and that exactly what she did. When did you have those discussions with Secretary Clinton? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 48) -MS. BERMAN: Objection. Mischaracterizing the prior testimony. dont know. Are you okay. Are waiting for her anything? You were looking her. Okay. Sorry. Secretary Clinton continued practice that she was using her personal e-mail. And dont know that could articulate that there was specific discussion opposed her continuation practice she had been using when she was Senator. did you just assume that she was going use the e-mail that she had before Secretary State? dont have specific memory the conversations that may may not have occurred. know that understood she was going using her personal e-mail, and thats what she did. Okay. Whats the e-mail account, make sure were talking about the same thing, that Yes. not familiar with the Clinton e-mail account. What that? see. says had her initials, and then had @Clintonemail.com. Okay. Sorry for that. didnt understand. Thats okay. Thats why asked you clarify Yes. ask clarify, and happy so. you recall her specific e-mail address? dont recall her specific e-mail account. has her initials it, and @Clintonemail.com. Okay. Was that the only e-mail account that she used during her time Secretary State, for government business? Secretary Clinton used always used one e-mail account when she was using e-mail account. when she initially arrived she was she used? Secretary Clinton when she was the Senate had ATT what call ATT account that ultimately transitioned account that was Clinton e-mail. Okay. What you mean Clinton e-mail? What you mean e-mail account? sorry. Can you repeat your answer, then? Maybe misunderstood. Maybe didnt hear your full answer. she had ATT. Yes. BlackBerry that was associated with ATT e-mail. Yes. And then she transitioned Clinton e-mail account. Okay. And whats the Clinton e-mail account she transitioned to? Can you more specific? mean, you said she transitioned Clinton e-mail account. continuing use the ATT accounts, and then transitioned the dot Clinton e-mail, Clintonemail.com account. And during her tenure those were the two addresses, you will, that she used. Did she continue use the BlackBerry.net account throughout her tenure? no. Okay. When did she use that e-mail account? And were only speaking speaking for government business. not aware BlackBerry.com account. Okay. Whats the initial account she used the Senate that you said? ATT. ATT. apologize. did she continue use that ATT account throughout her tenure? No. When did she stop using it, far you know? best recollection was sometime PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 52) March. Thats best recollection. Okay. Why you recall being March? recall that there was point which she had transition her e-mail address and told everyone that she had new e-mail address, and thats the time period that have the best recollection around. could have been might wrong. might have been February, might have been April. But remember being after had gotten in. might wrong about that. Correct am. How did how did she communicate that you? dont know that have specific recollection communication much have understanding that needed change the e-mail address were e-mailing her at. Was there was there e-mail that went out within the Secretarys office with respect -to the change? dont remember that. There might have have assistant? dont recall the assistants name that time, and apologize. But she was someone who had been provided the department who was what call OMS. And she provided support largely through the first probably six, seven, eight months that was there. dont know that can but apologize, dont remember her name. And not because she didnt great job. Did you communicate her about the Secretarys transition? dont know that did didnt. Maybe some context would help. office connected hers, could just walk between the two offices. dont know that would have been necessary for any the support staff. Because they they are all right the same space. Okay. MS. COTCA: Could mark this Exhibit please. (Deposition Exhibit marked for been. could wrong, but dont remember that. Okay. How did the other staff the Secretarys office know about the e-mail transition? dont know that can speak how their what their knowledge is. can only speak mine. Okay. Did you communicate that assume you had staff help you out when and provide support when you were serving chief staff and counselor. Did you? did have staff. Okay. And who was that? had different administrative staff that provided support. Okay. And who were they? Within the Secretarys office. Directly reporting you within the Secretarys office. MS. WILKINSON: Objection form. Perhaps you can make time-period-specific question. Well, during this time March, did you identification and attached the transcript.) MS. WILKINSON: Ms. Cotca, you have copies for -MS. COTCA: Yes. MS. WILKINSON: Thank you much. MS. COTCA: dont know have for everyone. MS. WILKINSON: can share. discussion was held off the record.) MS. BERMAN: You said Exhibit MS. COTCA: Yes, this Exhibit MS. WILKINSON: What was Exhibit MS. COTCA: The subpoena. MS. COTCA: Ms. Mills, you can take look whats been handed you Exhibit Okay. Let know when youre done looking it. Youve had chance look it? have. Okay. And just for the record, can you PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 56) state what the document is? You have handed document that e-mail that has the Secretarys e-mail address, Lona Valmoro and Huma Abedin, requesting time that she can meet with her undersecretaries each week, and asking for recommendations. And there response recommendation for Mondays Tuesdays. And request whether not she wanted this meeting meal. And then another response from the address the Secretarys, saying, Just meeting. Okay. Thank you very much. And whats the date whats the date for these e-mails? the date each the e-mails the traffic September 20, 2009. Right. And there are three e-mails here. Right? there original e-mail from the Secretarys e-mail account that Sunday, September 20th, about almost a.m., appears. And then response that about noon 12:12 February, March, April, somewhere that time period, and she used consistently during her tenure there. Okay. Now, want just look the original e-mail this exhibit, where the e-mail from Secretary Clinton Lona Valmoro and Huma Abedin. And its from her HDR22@Clintonemail.com. you see the line HR15@att.blackberry.net? Yes. see that line. And okay. And did read that correctly, the e-mail address thats noted there? Yes. Okay. And appears, you agree with me, that the Secretary copied included that e-mail that communication? Thats what the document appears show. MS. WILKINSON: Objection. Excuse me. Objection, form and foundation. Okay. you know why Secretary Clinton was ccing her ATT.BlackBerry.net account? also Sunday, the 20th September. And then she responds that 12:12 e-mail from e-mail account thats assigned her, 12:43 p.m. Okay. Thank you very much. Just were clear that were speaking about the same e-mail address for Clintonemail.com, that the e-mail address that the Secretary was using during her tenure, the HDR22@Clintonemail.com? dont know which the two, because they both got assigned the account. And this might reflection the timing when materials were. But she typically used thought HROD17. But could wrong. might have been that the HDR22 was the account. Okay. not sure. And when you said the timing, thats with respect when these were printed out. that Yes. assume. Because she had one e-mail account after not. you know was active the time? dont believe was. that the account that she was using prior getting the Clintonemail account? Yes. Okay. And then looks like from the response from Lona Valmoro, the Blackberry.net account was also copied, was also the cc, which would the second e-mail. that right? The shows H2. Correct. And thats the same that was the original e-mail? MS. WILKINSON: Objection. Foundation. MS. BERMAN: Objection the form. Objection well. you know what is? not. Did you ever meet e-mail Secretary Clinton the Blackberry.net account -MS. WILKINSON: Objection. Form. during after March 2009? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 60) dont know that would have consciously e-mailed ATT account, because that account understood was longer operational. There are times where e-mails automatically populate, that could happen. But you were asking what e-mail address would e-mailing to, would e-mailing the one Clinton.com. that would goal. And just are you aware the Secretary used any auto forward function? dont know. Okay. And just going back previous question. And you can refresh recollection. Why you remember that was March when the -when the Secretary transitioned her e-mail? MS. BERMAN: Objection. Asked and answered. You may answer. dont know that can add more what Ive already said. you remember your answer? happy have her read back. e-mail March. youre asking why have recollection that being that time period that your question? Yes, thats question. Thank you. Okay. Sorry. Ive had occasion the representation Secretary Clinton have memory refreshed because materials had look at. And that one the things that had got memory refreshed with respect to. Okay. When was that? Which that your question? When youve had your memory refreshed with respect the March. couldnt tell you what point that was, but Ive obviously been representing her with respect number the matters that have been with respect providing documents the department. And the course that, that when memory would have been refreshed. Okay. because thats when the Secretary said that she started using the e-mail Okay. MS. COTCA: Could you please read back. discussion was held off the record.) MS. WILKINSON: off the record for one minute. VIDEO SPECIALIST: are off the record 10:14. discussion was held off the record.) VIDEO SPECIALIST: are back the record 10:15. MS. COTCA: Ms. Mills, you remember the question that was pending? dont. Could you just restate it? apologize. Thats fine. And then will best answer. Sure. Why that you think the -Secretary Clinton started using the Clintonemail.com March? dont know that could answer the question why she started using the Clinton March? MS. BERMAN: Objection the form the question. dont know that can answer that question. MS. WILKINSON: And and privilege. She she learned this refreshed her recollection refreshed her recollection when she was acting the Secretarys lawyer, producing documents the State Department. Were you the Secretarys lawyer when she was producing returning documents the State Department? Yes. Okay. When did that representation start? began representing the Secretary when she departed from the department number matters, but this matter when came up, she asked assist her it. Okay. MS. COTCA: Let mark this Exhibit please. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 64) (Deposition Exhibit marked for identification and attached the transcript.) discussion was held off the record.) MS. COTCA: Ms. Mills, you have Exhibit front you. you could please take look it. Thank you. Sure. Ill have some questions about it. Youve had chance look it? have. Okay. Thank you. Can you just for the record describe what the document is? MS. BERMAN: Objection the form the question. mean, the document speaks for itself. Okay. You may answer. The the document e-mail traffic between Chris LaVine, who sharing news report that was sent and that forwarded with FYI. And who did you forward that to? forwarded Secretary Clinton. e-mail address that e-mail what? Well, reflected this piece paper, says HDR22@Clintonemail.com. Okay. And Ms. Abedins e-mail reflected this what? H-A-B-E-D-I-N. her first initial and last name, @HillaryClinton.com. Okay. Does this all refresh your recollection when Secretary Clinton began using the Clintonemail.com? No. does not? Was Ms. Abedin working the State Department this time, January 30th, 2009? MS. WILKINSON: Objection. Foundation. Unless you know. believe she might have been. dont know that for sure. dont know what date her official transition date. Okay. When did the Secretary start? The Secretary started January 22nd, believe, right. Okay. And when did you forward that Secretary Clinton? sorry, was just looking for the date. Sure. Sorry. January, 2009. Okay. And which e-mail account for Secretary Clinton did you forward that to? This document says HDR22. Whats the rest the e-mail? Oh, sorry, @Clintonemail.com. Okay. And looking further the document, the top e-mail, does appear that theres e-mail forward from Secretary Clinton? dont understand your question. Well, after you forwarded Secretary Clinton, whats the next e-mail the e-mail traffic? see. the next e-mail then says, Please print. And that from Secretary Clinton the Clinton.com e-mail address, Huma Abedin. Okay. And, once more, Secretary Clintons 2009? 2009. Okay. These are all 2009. Okay. And you agree that your e-mail Secretary Clinton January 30th, 2009, was related your work the State Department? MS. WILKINSON: Objection. Foundation, and beyond the scope. forwarded her the news article because thought she would find interesting read. the Secretary the State Department? Well, yes, she was Secretary State, but also references her. Are you saying this personal e-mail? MS. BERMAN: Object the form the question. No. MS. WILKINSON: Objection. You can answer. Unless youre instructed not answer, you can answer the question. see. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 68) No. You asked question about whether not was wasnt what interpreted you saying whether not was wasnt federal record. saying that forwarded her news article because thought she would find interest and her name was it. Right. interest with respect her work the State Department? dont know how speak for what would have happened her brain. Why did you send her? thought she would find interest. Okay. Why did you think she would find interest? MS. WILKINSON: Objection. going object and say beyond the scope. And instruct you not answer. This not litigation about whether certain records were turned over correctly not what decisions she made -MS. COTCA: And was going actually interrupt and stop you right there. Ive already Did you provide the full e-mail address? was ATT. Okay. you recall the entire e-mail address before the ATT? dont. saw the HR15, and that strikes probably accurate, but was knew was ATT Okay. Thank you. e-mail address. Okay. you know when did she ever stop using that e-mail address? Yes. When did she stop using that? She transitioned from using that her primary e-mail Clinton.com e-mail address February, March, April 2009. Okay. And the e-mail address, the e-mail address referenced Exhibit not familiar with e-mail address. Well, its not thats not the e-mail address. But the HR15@ATT.BlackBerry.net account, asked that speaking objections made. you would like have speaking objection the record, can excuse the witness leave the room, and you can make your objection you think thats absolutely necessary. Speaking objection that its outside the scope sufficient. Thank you -BY MS. COTCA: Are you not going answer the question, Ms. Mills? Tell the question that youre trying learn. Why did you think this would interest? MS. WILKINSON: Same objection. And instructing you not answer. MS. COTCA: Okay. clear with respect what e-mails the Secretary used early 2009, you said that she had e-mail practice the Senate. you recall what that e-mail address was? The one that shared earlier. that wasnt the Senate e-mail, was it? Thats not the e-mail address that she used during the Senate? Yes, is. Oh, that the e-mail address that she used? Yes, is. Okay. wasnt sure there was third e-mail address not. No. Okay. MS. COTCA: think weve been going about hour. can take five-minute break. MS. WILKINSON: Sure. VIDEO SPECIALIST: are off the record 10:25. recess was taken.) VIDEO SPECIALIST: are back the record 10:41. MS. COTCA: Ms. Mills, did you recall that was March when Secretary Clinton transitioned the Clintonemail.com because when you reviewed the PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 72) e-mails that she was returning the State Department? No. You had that recollection before you reviewed e-mails that she was returning the State Department? MS. WALSH: Can you speak up, Ramona? sorry. having hard time hearing you. mean, not from the mike, just from me. MS. COTCA: Sure. trying think about how answer your question consistent with obligations -as counsel. But the answer did did not have that recollection based materials returned the department. MS. COTCA: Can mark this. (Deposition Exhibit marked for identification and attached the transcript.) MS. COTCA: apologize, only have one copy. THE WITNESS: you need look MS. BERMAN: Objection. Vague. you understand the question? No. Okay. You were writing behalf Secretary Clinton that letter? Yes. Okay. And you were representing her her attorney, thats your testimony? did also represent her her attorney, that correct. Did you represent her her attorney that context, the context for that e-mail, for that correspondence? sending this, was sending this because was her lawyer, who she had asked undertake this process conjunction with David Kendall, who also her personal lawyer. And that was the reason conveyed back. also the case that the letter that came seeking her records came me, and that the reason conveyed back. Okay. you recall when you first first? MS. COTCA: You can give your counsel first. MS. COTCA: Ms. Mills, can you take look now Exhibit Once youve had chance look it, let know. Thank you. Sure. you recognize that document? recognize this document. And what it? This letter from me, dated December 5th, Under Secretary Kennedy. And can you just summarize briefly. The letter conveying copies the Secretarys e-mail records the department. Okay. Thank you. Did you were you representing Secretary Clinton that time her attorney? Yes. Okay. there reason that you didnt include that your letter the State Department? started representing Secretary Clinton this matter, the matter described the Exhibit MS. WILKINSON: Objection. Beyond the scope. MS. COTCA: Are you instructing her not answer? MS. WILKINSON: No. Okay. You may answer. Thanks. started representing Secretary Clinton matters once she left the State Department. And whenever there was matter that she asked undertake her behalf, would. Okay. But thats not answering the question. question was, when did you begin representing the former Secretary for the matter issue thats described Exhibit MS. WILKINSON: Same objection. Beyond the scope. dont know how answer your question better than indicating that became her PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 76) personal counsel when she left the department. And this was matter that arose after she left the department, and she asked would undertake assist her this matter. When did she ask you undertake assist her the matter? dont know that have specific date that she that she did that, but was post February 2013. you can you more specific time frame? cant. MS. WILKINSON: Same objection scope. MS. COTCA: Will you mark this. (Deposition Exhibit marked for identification and attached the transcript.) MS. BERMAN: What exhibit? MS. COTCA: Exhibit Ms. Mills, just please continue review it, and let know when youre done reviewing the exhibit. Clinton for the matter with respect returning her e-mail records the State Department this time frame? the time that they requested her e-mails, was representing her with respect undertaking the return those. And prior that, the request was made her address this matter for her. you recall the first time that you were contacted with respect returning Secretary Clintons e-mails the State Department? MS. BERMAN: Objection. Relevance. Beyond scope. MS. COTCA: The scope the return Secretary Clintons e-mails the State Department which were searched and reviewed this for this FOIA litigation. MS. BERMAN: you see that the scope discovery? not. The scope is, the creation and use Clintonemail.com. MS. COTCA: And processing FOIA requests. Have you had chance review it? have. Okay. And looks like this document some e-mail traffic with you and others the State Department with the respect the return Secretary Clintons e-mails. that fair summary? Yes, e-mail traffic with me, and then theres traffic that not that among the lawyers the State Department. Okay. And this document looks like the time frame, your first e-mail David Wade, dated August 22, 2014. that accurate? Yes. Okay. Who David Wade? David Wade this time was the chief staff Secretary Kerry. Okay. the State Department. Right? the State Department. Sorry, Secretary Kerry, John Kerry, who the Secretary State currently. Okay. Were you representing Secretary MS. BERMAN: And the State Departments approach and practice for processing FOIA requests that potentially implicated former Secretary Clintons e-mails. MS. COTCA: Correct. MS. BERMAN: The State Departments approach and practice for processing FOIA requests, not the return Secretary Clintons e-mails. MS. COTCA: And those records were processed and searched for this FOIA litigation. MS. BERMAN: the State Department. MS. COTCA: Correct. MS. BERMAN: Its not dispute all this case which records were returned the State Department, which records were processed for the FOIA case. MS. COTCA: Okay. can argue about that later. MS. COTCA: you remember the question, Ms. Mills? dont. MS. COTCA: Would you read back PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 80) Ms. Mills, please. (The reporter read the record follows: you recall the first time that you were contacted with respect returning Secretary Clintons e-mails the State Department?) believe that was late summer 2014. Okay. Okay. just want you can take look your initial original e-mail Exhibit And its your first paragraph. would the last page the exhibit where you say, wanted follow your request last month about hard copies Secretary Clintons e-mails and from. you see that? do. Okay. The date the e-mail August 22nd. fair, mean, say that you were contacted July 2014, minimum? dont know how -my experience memory with respect that time State Department. Exhibit No, not going any exhibit. Sorry. just want back time 2009 when Secretary Clinton transitioned what youve identified the Clinton e-mail. Clinton.com e-mail. Yes. Okay. How was that set up; you know? was not -MS. BERMAN: Object the form the question. You may answer. was not actually involved the original setup the e-mail. Okay. But even you were not involved it, you have any knowledge with respect how was set up? The knowledge that have has come through representation her counsel. When you say your representation period was that there was set conversations around materials that were going provided the Hill, and questions that they had with respect media inquiries that they anticipated. And then subsequent that there was communication with respect the department potentially needing all her dot gov e-mails. And terms timing that, believe that was sometime the late summer. And dont know last month was accurate not accurate. But thats best understanding. Does this refresh your recollection? doesnt. when you said that, would have still said late summer, just because thats best memory. But thats memory. Okay. July includes late late summer. that fair? Well, the end July, probably, yeah. But dont know. Okay. Thank you. want back the e-mail for Secretary Clinton that she started using the Secretary Clinton counsel attorney. Oh, attorney. Correct. the counselor role the State Department not lawyer role. The counselor role the State Department actually policy role. And its particular policy issues that might relevant the Secretary. And for Secretary Clinton those were things like food security and Haiti and certain development initiatives. Okay. when you learned with respect how the Clinton e-mail was set up, that your testimony just want make sure understand correctly that was learned the context you representing Secretary Clinton her legal attorney. terms how was actually set up, yes. Okay. When did you learn that? dont want into discussions that you had with Secretary Clinton her attorney, but curious PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 84) with respect what the time frame that. And when you say that, can you just was aha know dont know kind moment. Sure. But was certainly, would say best more specific? When you learned how the e-mail was set understanding that would have been post her time up. the department when Ive had step through some can you going just ask you the issues that have obviously been raised about little more specific. obviously knew she was her e-mail account. using personal e-mail, dont want suggest that didnt know she was using personal e-mail. Okay. Was 2014? dont know the answer that question. Like, dont know was before later. Like, knew she was using personal e-mail. Okay. lets backtrack little bit. dont know how answer that question based And question was what you knew with respect having temporal understanding. about how that e-mail account was set up. But know that have had conversations with respect the setup her e-mail, and Ive had those conversations over period time. MS. BERMAN: Object the form the question. Okay. But was definitely after, from Okay. not technologically savvy person. happy own that straight up. what understand your testimony, after you left the dont know that could tell you how AOL account State Department, youre not sure about it? set Gmail account set anybody terms understanding how her elses e-mail set up. e-mail was set terms the technicalities how was structured, that was something that learned after her time period the department. can tell you that was not State Department e-mail. And the extent that your question when was when did learn she was not using State Department e-mail, was aware that she wasnt using State Department e-mail when she transitioned in. Thats not question, though. Thank you. Sure. question was with respect the testimony you just gave about that you learned how was set your representation Secretary Clinton her attorney. terms the technicalities how her e-mail set up, terms those those issues, yes, have fulsome understanding that comes from representation her. Okay. And not asking about what those discussions were, but asking you about that time frame. When when did you learn that? dont know could tell you when learned that. know that because, obviously, over the past now year and half Ive been stepping through that process. dont know that have pinpoint moment where could tell you where there And who who did you talk about that? MS. BERMAN: Objection. MS. WILKINSON: Objection. Calls for privilege. MS. BERMAN: And speculation. Assumes facts not evidence. MS. COTCA: Whats the privilege? MS. WILKINSON: She could have talked her client. MS. COTCA: not asking with respect Who else did you speak outside your client about that? MS. WILKINSON: agents her client. Okay. Let who else did you speak with outside your client agents your client? spoke her counsel, who believe falls into that context. There are other counsel. Who her other counsel? David Kendall her other counsel. there anybody else? There are attorneys that work PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 88) Williams Connolly. And who are they? dont know that could name the names. not asking for the entire firm directory. know. But being transparent with you. dont know that can name. And thats not reflection because most conversations with are David Kendall. But know that there are other attorneys, obviously, there who work matters that involve representing Secretary Clinton. And then there were obviously agents her that also engaged conversation with. Okay. Just for the attorneys, was also Heather Samuelson? MS. WILKINSON: going object right now. Beyond the scope. MS. COTCA: Whats the other objection? MS. WILKINSON: And you were asking about for nonagents, not for agents. Youre trying ask for nonattorney And also the names all nonagents -MS. WILKINSON: Same who you spoke with. MS. WILKINSON: Same. Its beyond the scope. And even though dont agree with you that making objections somehow influencing the witness, accommodate you going ask Ms. Mills step out can make full factual record. discussion was held off the record.) MS. WILKINSON: want the record reflect that Ms. Mills -MS. COTCA: Just one moment for Ms. Mills leave the room. (Ms. Mills left the conference room.) MS. WILKINSON: Ms. Mills leaving the room. You are asking her questions about work she did after she left the department, behalf Secretary Clinton, her lawyer, preparing her client investigation and turning over documents the State Department. MS. COTCA: asking who represented Secretary Clinton. MS. WILKINSON: Thats totally irrelevant the areas that were here talk about. MS. BERMAN: Objection well beyond -well beyond the scope. MS. WILKINSON: And going instruct her not answer these issues. you want get back the issues that are the scope within the scope discovery, she was answering all those questions. want know the agents all the -the names all the agents that you spoke to. MS. WILKINSON: Same objection. And instructing client not answer. Beyond the scope. want know the names all the attorneys for Secretary Clinton that you also spoke with. MS. WILKINSON: Same. Its beyond the scope. MS. BERMAN: Beyond the scope. Objection. You asked her how she learned the information after she left the department. She told you she had knowledge how the Clinton noncomm account was set 2009, when was. And thats what relevant the scope here, not what she learned after the fact lawyer. And thats why instructing her not answer. MS. COTCA: Okay. did not for the record, did not ask any questions with respect what she learned the context representing her for any investigation. Only specifically with respect Secretary Clinton returning records back the State Department. MS. WILKINSON: When you got questions about who she talked to, you didnt know why she was collecting that information. And its not its not within the scope. And beyond the scope. And shes not going answer those questions. You asked her what was the scope, which let her answer, which did she know how that account was formed 2009, March 2009. She did not know how was set up. She said she did know PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 92) that she transitioned it. Thats all agree within the scope. Something she learned after the fact attorney representing her client not something thats within the scope. MS. COTCA: And did not ask what she learned from the Secretary Clinton. asked who she spoke with about that. MS. BERMAN: And what the -MS. WILKINSON: Thats still beyond the scope. MS. BERMAN: What the relevance that the scope permissible discovery? MS. COTCA: The setup the server. MS. BERMAN: But you cant get that -its not information she contemporaneously had the time. Its all information she learned later. Its not her independent knowledge. MS. COTCA: Correct. But goes who knew about the server and its setup the time was set up. MS. BERMAN: Its privileged. her lawyer. Nowhere the courts order that, the way, you agreed were the limits your discovery, that topic. MS. COTCA: Okay. MS. WILKINSON: you would start and ask her the relevant questions first, think would have lot better basis able move along. Instead and figure out what she did know about the questions that are within the scope. And want let her answer your questions. But youre going over and over outside the scope the questions instead even figuring out you still havent asked her the basic questions that are the scope your that youre allowed ask. Which makes seem like you dont really care about what you were supposed ask her, and youre asking her all these things -MS. COTCA: Let know when youre done. MS. WILKINSON: that are not relevant. MS. COTCA: Are you done? MS. WILKINSON: am. MS. COTCA: Which completely within the scope Judge Sullivans order. And asking names. didnt ask anything else. asking who she spoke with. MS. BERMAN: Youre asking for attorney names, who all that privileged. MS. COTCA: Who represented Secretary Clinton not privilege. Whats the privilege for who represented Secretary Clinton? MS. WILKINSON: Whats the relevance? MS. BERMAN: Whats relevance that any those conversations are privileged? MS. COTCA: Its discovery. MS. BERMAN: Its not discovery writ large. limited discovery with very defined scope permissible discovery. MS. WILKINSON: Let make suggestion again. Why dont you ask her she even understood whether there was server, she understood how the server was set 2009 the time. She not going answer questions about after the State Department period what she learned MS. COTCA: Okay. Just for the record, make clear, did not ask anything with respect what she learned. asked who she spoke with. And lets off the record. VIDEO SPECIALIST: are off the record 11:05. recess was taken.) VIDEO SPECIALIST: are back the record 11:07. MS. COTCA: Ms. Mills, with respect conversations you had about how Secretary Clintons e-mail was set up, the Clinton e-mail account, did you ever speak with Bryan Pagliano? MS. WILKINSON: Objection. Form, foundation, timing, and beyond the scope. you can rephrase your question when youre talking about. Ever. MS. WILKINSON: Objection. Vague. MS. COTCA: Okay. Are you instructing her not answer? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 96) MS. WILKINSON: No. Please answer. Okay. Sorry. Could you repeat your question? Did you ever speak with Mr. Bryan Pagliano about how Secretary Clintons e-mail was set up? Yes. When was that? would have been during the period which was representing Secretary Clinton when came the setup her e-mail. Okay. Who Bryan Pagliano? MS. WILKINSON: Object. Who Bryan Pagliano? you know him? Yes. Hes employee was former employee the State Department. And what was his role what did for the State Department? best understanding his work the department was was working the technology part the department and somebody who has technology expertise. about the setup the server. MS. WILKINSON: She didnt give time period. MS. COTCA: Okay. Can you give time period when you spoke with Mr. Pagliano about the setup the server? know spoke with Mr. Pagliano about the setup the server during the period which was representing Secretary Clinton, which would have been after two thousand which would have been post her departure from the State Department. least thats best recollection. that would post February 2013? Yes. Okay. Was working for the Clintons the time that you spoke him about the about the setup the server? MS. WILKINSON: Objection. Foundation. you know. Well, dont know how answer your question because dont know the time period. And Okay. Did you know him prior coming the State Department? Yes. Okay. When did you first start knowing Mr. Pagliano? believe met Mr. Pagliano 2008. met him during the course Secretary Clintons campaign. Okay. When you spoke with Mr. Pagliano about the setup the server, was Mr. Pagliano working for either Secretary Clinton Bill Clinton the time? MS. WILKINSON: Okay. Objection. And going instruct the witness not answer unless you set the timing. Because cant tell whether its beyond the scope not. you could please either answer ask the question with regard timing, again, can see whether have instruct her not answer. MS. COTCA: believe the witness has already testified when she spoke with Mr. Pagliano know that least have come understand that obviously did service the setup her e-mail during the period where was the department. Okay. Did you think was let rephrase that. Was Mr. Pagliano agent the Clintons the time that you spoke him about the setup the server? MS. WILKINSON: Objection. MS. BERMAN: Objection. MS. WILKINSON: Far beyond the scope. going instruct her not answer. Its legal question. MS. BERMAN: Objection. Calls for legal conclusion, and beyond the scope permissible discovery. What did Mr. Pagliano tell you those conversations you had about the setup the server? MS. WILKINSON: Objection. Beyond the scope. And going instruct her not answer. MS. BERMAN: Objection. Beyond the scope, PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 100) and potentially calls for privilege. MS. COTCA: Whose privilege? MS. BERMAN: This all this this was all during the time when she was representing Hillary Clinton. MS. COTCA: Are you representing Mrs. Clinton? MS. WILKINSON: am. And, yes, also calls for privilege. MS. COTCA: Okay. just wondering, the privilege for the State Department, wondering what privilege. MS. BERMAN: you well know, not representing Secretary Clinton. MS. WILKINSON: representing Ms. Mills, know, and she represents Hillary Clinton her personal lawyer. And you are now asking about work she has done for Hillary Clinton her lawyer. And beyond the scope the permissible discovery, and instructing her not answer. And just for the record, Ms. Mills, you MS. WILKINSON: Objection. Goes beyond the scope. These are all not within the scope discovery and could call for privileged information. dont actually know who actually registered. What did Mr. Cooper tell you? MS. WILKINSON: Objection. Same bases. Beyond the scope. Could call for privileged information. MS. BERMAN: Objection well. Did you have any discussions with Mr. Cooper, prior you Secretary Clinton leaving the State Department, about the setup the server? dont recall any discussions about the setup the server. Did you ever discuss with him about the server itself? dont have technological background, confident would have had conversations about the fact that she used e-mail. But terms the technicalities how are following the advice your attorneys not answer the questions when she instructs you not answer? have yes, am. Okay. Okay. Did you speak with Justin Cooper any point about the setup the server? Yes. Okay. When did you speak with Justin Cooper about the setup the server? would have been the course the representation Secretary Clinton that would have spoken him about the setup her server. Who Mr. Cooper? Mr. Cooper was senior advisor President Clinton and personal aid who managed issues related President Clintons business well their household. Okay. Did set register the domain name for -MS. WILKINSON: Object. Secretary Clintons e-mail? 100 was managed, thats not something that had -or least dont have any recollection having conversations around that until the time period where was representing Secretary Clinton with Mr. Cooper. sorry. What the matter that you represented Secretary Clinton with respect contacting Justin Cooper and Mr. Pagliano? MS. WILKINSON: Objection. Beyond the scope discovery. fact, may call for privileged information, not going answer that question. Did you ever represent Mr. Pagliano Justin Cooper? MS. WILKINSON: Objection. Beyond the scope. Dont answer. Are you following your attorneys advice not answer? Yes. Okay. How about Oscar Flores; did you ever speak Oscar Flores with respect the setup PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 101 104) 101 the server? may have spoken Oscar Flores. MS. BERMAN: Objection. Sorry. may have. would have been likely the course the representation Secretary Clinton this matter. this and want clarify what this matter is. this case? apologize. MS. WILKINSON: Objection. Objection. Please. Before you she answers. Its beyond the scope. Ms. Mills not party this matter that the subject the discovery, this limited deposition. And shes not going reveal the nature her representation the Secretary. MS. COTCA: Okay. Thats fair. But thats not the question. With respect when you said, this matter, can you clarify? would clarify that its not with respect the underlying litigation that you all have going 103 Did you have any discussions with anybody the State Department about the setup her server prior you leaving the State Department? dont believe did. How about before you came and served chief staff? dont believe did. Are you familiar with Platte River Networks? Yes. Okay. Who are they, what it? Platte River Networks company that provides e-mail servicing and other technological support. Okay. Its private company. And they provided support for Secretary Clintons e-mail? Yes. Okay. When did you first learn about Platte River Networks serving her server? dont know when first learned about 102 on. Okay. Who Oscar Flores? Oscar Flores personal aid Secretary Clinton and household employee President and Secretary Clinton. And what did Oscar Flores tell you with respect the setup the server? MS. WILKINSON: Objection. Beyond the scope. may call for privileged information. MS. COTCA: Are you instructing her not answer? MS. WILKINSON: am. How about anybody the State Department; did you speak with anybody the State Department about the setup the server? MS. BERMAN: Objection. Could you clarify the time frame? MS. COTCA: Sure. Lets break down. After you left the State Department. dont recall having conversation with anyone after she left the State Department about the setup her server. 104 Platte River. know that Platte River obviously transitioned her e-mail 2013. Did you have any discussions with them prior leaving the State Department, when you were getting ready leave the State Department? dont recall. might have, but dont recall that. Okay. When you spoke with Platte River Networks, did you learn about how the server was set that point? MS. BERMAN: Object form question. dont know the answer your question. And dont know the answer your question. How about Datto Network? not familiar with Datto Network. How about Datto, Inc.? know the enterprise that you are speaking of. But Ive not had occasion engage with them. Okay. And what you know about -whats the context your knowledge about Datto, Inc.? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 105 108) 105 MS. WILKINSON: Objection. Beyond the scope. MS. COTCA: Are you instructing her not answer? MS. WILKINSON: No. understand that they have contracting relationship with Platte River Networks. Okay. Did you learn that Datto Network transitioned over e-mail from Secretary Clinton from Platte River Networks? MS. BERMAN: Objection. Assumes facts not evidence. MS. WILKINSON: Objection. Foundation. dont know that the case. you know whether they had any dealings with respect Secretary Clintons e-mail account? MS. WILKINSON: Objection. Foundation. Scope. knowledge what they might have had with respect Secretary Clinton came through representation Secretary Clinton. That was after you left the State 107 that Exhibit MS. WILKINSON: Objection. Vague. Can you just ask the question. dont see Exhibit Okay. Theres actually different address Exhibit Its HAbedin@HillaryClinton.com. What did Ms. Abedin use that whats that e-mail address? MS. WILKINSON: Objection. Foundation. Thats not the e-mail address Clintonemail.com. Okay. that e-mail account that Ms. Abedin used while she was the State Department -MS. WILKINSON: Objection. far you know? No, not knowledge. MR. MYERS: Ramona, could you speak little bit? MS. COTCA: Oh, sure. MR. MYERS: Thank you. 106 Department? Yes. Okay. Did you contact Datto, Inc., ever, anybody from Datto, Inc.? Not recollection. Ms. Mills, weve gone over the e-mail account that Secretary Clinton used. What the -Huma Abedin also used e-mail account connected the Clinton server. Right? MS. WILKINSON: Objection. Foundation and form. With respect Ms. Abedin, she had State Department e-mail, and she had e-mail that was @Clinton.com. Okay. you know that e-mail account? MS. WILKINSON: When you you mean account you mean address? mean the address. sorry. MS. COTCA: Thank you. would recognize saw it. think its Exhibit 108 MS. COTCA: you know whether Ms. Abedin had more than one e-mail account the Clinton server? dont know. And you said that Ms. Abedin also had State.gov account, e-mail address for the State Department? Yes. Okay. you know how she was issued that e-mail address? dont know. you know she had request e-mail address for issued? dont know. want back when you started the State Department. Was there directory something similar directory, with officials who worked within the Secretarys office and their contact information, just for staff able use they needed contact anybody? Not knowledge. Who was the Secretarys office? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 109 112) 109 MS. WILKINSON: Objection. Form. Just 111 establishing time period again. MS. BERMAN: Objection. Characterizing Say when you started the State her testimony. She said she didnt recall any MS. BERMAN: Objection. Vague. directory. someone was seeking reach the Department back January 2009, who was the Secretary somebody the Secretarys staff, they staff, who worked within the Secretarys office? could that number ways. MS. BERMAN: Objection. Vague, and relevance. Okay. the Secretarys office has They could visit you, they could e-mail. Oh, sorry. Lets narrow down. e-mail. existing staff when you walk the door, which executive secretary. There are two special Okay. e-mail, your e-mail was assistants. There also executive assistant. the State Department system, you could spell There are others, well, that dont know start spelling the persons last name, and would well. Did you have assistant? populate with the address associated with people who had similar last names. And then you could look called office management specialist when came through them identify who you were looking for. Okay. And, lets say, for Secretary in. OMS. someone who helps you when Clinton, she did not have State.gov e-mail you are transitioning in, who has been the address. department. And they provide support you you transition in. Okay. you know Ms. Abedin had had what was termed what theyre Correct. Okay. how would they able reach her e-mail somebody needed e-mail her? 110 assistant? dont know. And, obviously, Ms. Abedin also was the Secretarys office. Correct? So, yes. She was the deputy chief staff and managed operations. Correct. Okay. when you first came board, somebody needed reach out either Ms. Abedin you the Secretary, and they needed e-mail something, how how did they know whose e-mail accounts their e-mail addresses? MS. BERMAN: Objection. Vague. you could just little bit more specific, can helpful. Okay. Well, you said there was directory staff sheet with whos the office and what are their extensions and what are their e-mail addresses. the Secretarys office. Correct. Were strictly speaking with respect the Secretarys office. 112 she had e-mailed with them they would able reach her. They could come upstairs and seek her e-mail address from the special assistants others who were familiar with it. they could seek engage her. practical matter, Secretary Clinton overwhelmingly met with people. her modality engagement was not traditionally the e-mail. She traditionally used meetings and phone calls the way which she engaged her day-to-day business for the department. Okay. And, again, though, question was, though, within the Secretarys office. the special assistants needed e-mail something Secretary Clinton, how did they first learn her e-mail account, e-mail address? cant speak how they learned. But the specialists sit right out front her office. they ever e-mail her? dont know the answer your question. But they frequently walked and out her office PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 113 116) 113 engage with her, provide her with materials. The Clinton e-mail address that weve that youve identified for Secretary Clinton, she used that for her State Department business. Correct? Correct. Okay. And would you agree with that Secretary Clinton used widely throughout the department and outside the department for her work business? MS. BERMAN: Objection. During her tenure there? MS. BERMAN: Objection. Vague. know that she e-mailed number people both inside the department for the work that she did, well the government. Okay. Jacob Sullivan, who he? Jacob Sullivan was deputy chief staff and managed policy the department, and then subsequently became the head policy and planning. Okay. was within the Secretarys office. Correct? 115 MS. WILKINSON: Objection. MS. BERMAN: Objection. Theres question. MS. WILKINSON: Youre not here make record. This deposition. MS. COTCA: Correct. you have any reason dispute that the Secretary e-mails that she returned the State Department, Ms. Abedin sent 3,000 Mrs. Clinton sent 3,490 e-mails Mrs. Abedin and Ms. Abedin received 872 e-mails from Secretary Clinton? MS. WILKINSON: Objection. Form, foundation, and beyond the scope. know that the Secretary returned over 30,000 e-mails. dont know the breakdown that terms how they broke down individual. Okay. Who William Burns? Bill Burns was the Deputy Secretary State. what time? Bill Burns was the Deputy Secretary State during her tenure. And was promoted 114 Correct. Okay. And Secretary Clinton e-mailed with Mr. Sullivan for government-related business? knowledge, yes. Okay. And just our count the records that Secretary Clinton returned, counted 3,887 e-mails that were sent and 1,412 e-mails that were received. whom? Between Mr. Sullivan and Secretary Clinton. MS. WILKINSON: Objection. Theres question there. Youre just making statement. Did Mrs. Clinton e-mail with Huma Abedin? Yes. For State Department business? Yes. Okay. And you know how frequently they e-mailed? dont. Okay. Again, just for the record, our count was 116 that position while she was Secretary. Okay. And you know, did Secretary Clinton e-mail with Bill Burns during her time State Department for government business? knowledge, she did. How about and just going through few names just Okay. Thank you for that. appreciate that preview. How about Jack Lew? knowledge, she did. And who he? was Deputy Secretary State. When? was Deputy Secretary State for most her tenure. Not all it, but for most it. How about Thomas Nides? MS. WILKINSON: Objection for moment. Could ask you mean, dont mind you asking these questions, but dont understand the relevance the permissible scope because not party the case. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 117 120) 117 Are these part the FOIA requests that implicate Secretary Clinton and Ms. Abedins e-mails the processing the FOIA requests this action? MS. COTCA: These Secretary Clintons use her e-mail account the State Department. officials within the State Department. MS. WILKINSON: But dont see that the topic thought was the approach and practice for processing FOIA requests and the creation and operation Clintonemail.com, not who she e-mailed generally. Again, you can -MS. COTCA: Again, you want can have discussion and can actually off the record. And can out and can ask Ms. Mills leave the room. MS. WILKINSON: just asking you for clarification. MS. COTCA: You know, youre going have these sort questions and statements, 119 MS. WILKINSON: You know, most depositions people try work together. Because want you able get the questions asked and answers that youre entitled to. not trying just make objection for the sake it. actually trying see theres basis, then would happy have client answer the question. any deposition Ive done, normally people are more than willing that, because the idea get you the information youre entitled and that you need. MS. WALSH: you guys need copy the order? Ive got extra one. MS. WILKINSON: your position and Ill let her answer, maybe wont instruct her not answer. your position that those questions the first topic, the creation and operation Clintonemail.com? MS. COTCA: dont dont need dont need explain with respect the strategy how the questions are asked with 118 Ms. Mills, you can exit the room. THE WITNESS: Okay. MS. COTCA: Sorry. THE WITNESS: No. No. Thats quite all right. MS. COTCA: Unless you withdraw the objection. MS. WILKINSON: No, dont. (Ms. Mills left the conference room.) MS. WILKINSON: trying get basis for asking the questions. dont want have object. MS. COTCA: This isnt with respect processing FOIA; this respect Secretary Clintons use her e-mail the Secretary State. MS. WILKINSON: But thats not what the order says. says the creation, operation Clintonemail.com. MR. ORFANEDES: This not debate. you have scope objection, say scope, and well move on. your witness 120 respect where they fit within the scope. believe they are within the scope Judge Sullivans order. you have objection scope and you want instruct the witness not answer, please so. And refrain just doing that when the witness here. MS. WILKINSON: just want make record. Were trying work out. wasnt asking you for your strategy. was asking you whether you thought what topic was under. And youre telling you wont answer. MS. COTCA: already told you that was within the first topic. wasnt within the processing FOIAs. And thats pretty obvious, that this scope within that. MS. BERMAN: Would this good time take break since weve been going for while? MS. COTCA: Sure. VIDEO SPECIALIST: This ends Tape are off the record 11:34. recess was taken.) PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 121 124) 121 VIDEO SPECIALIST: Here begins Tape the deposition Cheryl Mills. are back the record 11:48. MS. COTCA: Ms. Mills, were just going through some the other officials the State Department and Secretary Clintons practice e-mailing with them her Clintonemail.com e-mail address. Susan Rice, who she? Well, can you more specific you mean what because shes held number positions. tell what you mean. you know who she is? She currently serves the national security counsel. Okay. And does she serve any capacity the State Department during your tenure there? She was during Secretary Clintons tenure there and mine, she served the ambassador the United Nations. Okay. And you know Secretary Clinton e-mailed with Ms. Rice? 123 Will you, please. And let know when youre finished reviewing it. Ms. Mills, see that youre highlighting some portions the exhibit, which fine. But just for the record sorry. No. Thats fine. But just for the record, can confirm that there were highlights when you were handed the exhibits, and that those are your highlights. MS. WILKINSON: Dont highlight. Sorry. apologize. was just trying read, pay attention was reading. wont highlight anymore. Okay. But those are your highlights for the record, youve highlighted that exhibit? have. Thank you. Okay. And there were highlights, highlight marks before when handed you the exhibit. When you handed the exhibit, there were highlights it. 122 dont know. MS. COTCA: Okay. Could you mark this exhibit, please. (Deposition Exhibit marked for identification and attached the transcript.) MS. WILKINSON: you have copies? MS. COTCA: Oh, yes. What exhibit that? MS. WILKINSON: Exhibit MS. COTCA: You know what? Just mark -Can off the record for one moment. VIDEO SPECIALIST: Were off the record 11:49. recess was taken.) VIDEO SPECIALIST: are back the record 11:51. MS. COTCA: Ms. Mills, youve been handed, believe its Exhibit Yes. Yes. Did you have chance review it? have not. will review. 124 Thank you. And apologize for distorting the record, and will not that again. thank you. MS. WILKINSON: Ms. Cotca, think what got are two the same pages the last two pages. Could wrong. MS. COTCA: Theyre not. Theyre close, but dont think theyre identical. MS. WILKINSON: Okay. MS. COTCA: Are they identical your copy? MS. WILKINSON: Its hard for tell. MS. COTCA: Okay. MS. WILKINSON: Oh, see. MS. COTCA: Ms. Mills, have you reviewed Yes, have. reviewed the exhibit? Thank you. Sure. And fair description just say there are number e-mails this exhibit, with Secretary Clinton? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 125 128) 125 Yes. Okay. just want through some them with respect who she communicated with when she was the State Department. Thank you. Sure. Weve talked about, weve asked about Susan Rice. the first page. the first page the exhibit. that Susan Rice who served the ambassador? Yes. that e-mail? Okay. And thats e-mail Secretary Clinton. Right? This e-mail Secretary Clinton. This e-mail from Secretary Clinton Susan Rice her State.gov account, and then Susan responding. Okay. And looks like the e-mail from Secretary Clinton initially the beginning states, Susan, please feel free use, paren, open 127 dont know. Okay. And then the next page, can you just describe what that page -MS. BERMAN: Objection the exhibit? MS. BERMAN: the document speaks for itself. This e-mail exchange with Secretary Clinton and myself part it. Okay. And the original e-mail, you see that where Amanda Anderson sent you e-mail well Lauren Jilloty? Yes, see that. Okay. Asking send her e-mail address, the subject matter being the Secretarys e-mail. you see that? see that. Okay. that request for Secretary e-mails for Secretary Clintons e-mail account sent, the e-mail address sent Emanuel Rahm? MS. BERMAN: Objection. The document 126 paren, whatever current address may be. dont know thats exclamation mark not, close parenthesis. you see that? see that. Okay. Why did Secretary Clinton e-mail Susan Rice? MS. WILKINSON: Objection. Foundation. dont know why she chose that -on that that occasion e-mail her. Okay. Well, guess question let rephrase the question. Okay. Did Susan Rice request make request for Secretary Clintons e-mail account? MS. WILKINSON: Objection. Foundation. The document speaks for itself. dont know. Okay. you know Secretary Clinton requested directly Secretary sorry, Susan Rice made request Secretary Clinton for the Secretarys e-mail address? 128 speaks for itself. The e-mail says the Secretary and Rahm are speaking, and she has just asked him e-mail her. Can you send her address, please. Okay. Whose address that? MS. BERMAN: Objection. you know. you can deduct from the document. the document says the Secretary and Rahm are speaking. She just asked him e-mail her address. Can you send her e-mail address, please. And then sorry. No, no, no. sorry. ahead. And then sent e-mail the Secretary saying, you want him have your e-mail. And the Secretary then responded me, saying, yes. And then responded saying, Will give him directly. And this exchange happening our State e-mail accounts. PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 129 132) 129 Okay. Except for Secretary Clintons e-mail. Correct? Correct. Secretary Clintons e-mail Clintonemail.com. was her practice e-mail for State matters individuals government accounts. Okay. Did you provide Emanuel Rahm the Secretarys e-mail address? dont know. would hope did, because said would. But dont have recollection it. And the next page the document? MS. WILKINSON: Can just maybe you want clear that these are multiple e-mails. Youve just compiled them. MS. COTCA: Yes. think that was said the beginning. MS. WILKINSON: Okay. Sorry. Thats Page Exhibit think. Correct. Exhibit Page which new e-mail. Okay. John Kerry, the current Secretary State. Correct? 131 the Department Energy. Correct. Okay. Did Secretary Clinton and Secretary Chu e-mail? can only look this e-mail and and say the answer that question would appear yes. But didnt have contemporaneous knowledge her e-mails with How did the Secretary Steven Chu. Okay. How did Secretary Chu learn Mrs. Clintons e-mail address? have idea. The next two pages appear two pages e-mail string the exhibit. you see that? do. Okay. And these e-mails appear string. youll look the second page the document, your original e-mail. There statement from you, You can lose the cmills@HillaryClinton.com. Correct. 130 assuming this John Kerry who was the who currently Secretary State. dont personally know John Kerrys original e-mail address, but would appear from the face the document that thats what its referencing. But deducing that, opposed knowing his e-mail account. Okay. Did you know mean, did Secretary Clinton e-mail with John Kerry during her time the State Department? She may very well she very may well have. dont dont know that had contemporaneous understanding that. And thats the date the document March 18, 2012. Correct? The yes. Both e-mails are March 18, 2012. Okay. Sunday. Okay. The next page the document. Thats e-mail that appears e-mail, correct, Secretary Clinton, from Steven Chu? 132 you see that statement? Yes. Okay. And thats e-mail from you whom? Dennis McDonough. Who was that? Dennis McDonough was the deputy national security counsel. Okay. that time? Back January sorry. always using the time period this date. should say January -with July 2009, with respect the e-mail that youre asking about, and you said who was he. Yes. was serving the capacity the deputy national security counsel, the best memory. Okay. What that e-mail account thats referenced there for for you? Which one? PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 133 136) 133 The CMills@HillaryClinton.com. The CMills@HillaryClinton.com was campaign e-mail address. Okay. When did you begin using that e-mail address? MS. BERMAN: Objection. dont know. MS. BERMAN: Beyond scope admissible discovery. MS. WILKINSON: Same objection. Let lay some foundation. Did you use that e-mail account when you were Secretary the State Department? No. When did you discontinue did you discontinue using that e-mail account? Yes. Okay. When was that? would have discontinued probably using that e-mail account sometime January 2009. Okay. still active? MS. BERMAN: Objection. Beyond the scope 135 House for period time during Secretary Clintons tenure and also not the White House during period time. And just dont have enough facility mind know which period this was in, even looking the dates. just dont remember came into the government first with the President and then left came later and then because thats the best recollection. But did serve government for period time. Okay. What capacity did serve when was the White House? dont know what his dont know what his title was what his capacity was. know that served someone who obviously was advising the White House, but couldnt tell you more than that. When you say advising the White House, advising the President? Yes. Okay. How about John Podesta; did Secretary Clinton e-mail with John Podesta? Are you another e-mail now? 134 discovery. MS. WILKINSON: Same objection. Was still active July 2009? actually dont know. didnt have strategy for accessing it, dont know the answer that question. might have continued have life, but didnt access that e-mail. Okay. Did send you e-mail the HillaryClinton.com e-mail account before you responded July 2009? just dont know. Okay. Next page, please, the exhibit. Did Secretary Clinton e-mail with David Axelrod? dont know how frequently she e-mailed with David Axelrod. know, based this e-mail traffic, that provided her with his address. Okay. Who was David Axelrod that time? dont know what role David Axelrod was serving that time. Was the White House? David Axelrod was both the White 136 No. just asking you. dont know that could have contemporaneously told you the answer that question. see e-mail here. Youre the next page. Okay. Yes. And she e-mailed with John Podesta, well? This e-mail traffic reflects e-mail with John Podesta, correct. Okay. Who was John Podesta the time? June 2009 believe John Podesta would have been the president the Center for American Progress. And okay. Who Nora Toiv? Nora Toiv was assistant office. Okay. When did she serve assistant? She started sometime after was there, probably not until six months after was there. And how long did she stay that role? She was there for most tenure, but PLANET DEPOS 888.433.3767 WWW.PLANETDEPOS.COM Videotaped Deposition Cheryl Mills, Esq. Conducted May 27, 2016 (Pages 137 140) 137 she left prior departure. Okay. And when you say she served assistant, was that your assistant was she your assistant? She was assistant

