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5.  By in or around April 2016, the Conspirators began to plan the release of materials stolen from the Clinton Campaign, DCCC, and DNC .
 
5.  By in or around April 2016, the Conspirators began to plan the release of materials stolen from the Clinton Campaign, DCCC, and DNC .
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6.  Beginning in or around June 2016, the Conspirators staged and released tens of thousands of the stolen emails and documents.  They did so using fictitious online personas, including “DCLeaks ” and “Guccifer 2.0.”
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6.  Beginning in or around June 2016, the Conspirators staged and released tens of thousands of the stolen emails and documents.  They did so using fictitious online personas, including “DCLeaks ” and “Guccifer 2.0.”<ref>[
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https://disobedientmedia.com/2018/07/muellers-latest-indictment-ignores-evidence-in-the-public-domain/ Mueller’s Latest Indictment Contradicts Evidence In The Public Domain], July 15, 2018, Adam Carter. disobedientmedia.com</ref>
    
7.  The Conspirators also used the Guccifer 2.0 persona to release additional stolen documents through a website maintained by an organization (“Organization 1”) , that had previously posted documents stolen from U.S.  persons, entities, and the U.S.  government .  The Conspirators continued their U.S.  election -interference operations through in or around November 2016.
 
7.  The Conspirators also used the Guccifer 2.0 persona to release additional stolen documents through a website maintained by an organization (“Organization 1”) , that had previously posted documents stolen from U.S.  persons, entities, and the U.S.  government .  The Conspirators continued their U.S.  election -interference operations through in or around November 2016.
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