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Case 1:18-cr-00032-DLF Document 1 Filed 02/16/18 Page 20 of 37
50. The political advertisements included the following:
Approximate Date |
Excerpt of Advertisement |
April 6, 2016 | "You know, a great number of black people support us saying that #HillaryClintonIsNotMyPresident" |
April 7, 2016 | "I say no to Hillary Clinton / I say no to manipulation" |
April 19, 2016 | "JOIN our #HillaryClintonForPrison2016" |
May 10, 2016 | "Donald wants to defeat terrorism ... Hillary wants to sponsor it" |
May 19, 2016 | "Vote Republican, vote Trump, and support the Second Amendment!" |
May 24, 2016 | "Hillary Clinton Doesn’t Deserve the Black Vote" |
June 7, 2016 | "Trump is our only hope for a better future!" |
June 30, 2016 | "#NeverHillary #HillaryForPrison #Hillary4Prison #HillaryForPrison2016 #Trump2016 #Trump #Trump4President" |
July 20, 2016 | "Ohio Wants Hillary 4 Prison" |
August 4, 2016 | "Hillary Clinton has already committed voter fraud during the Democrat Iowa Caucus." |
August 10, 2016 | "We cannot trust Hillary to take care of our veterans!" |
October 14, 2016 | "Among all the candidates Donald Trump is the one and only who can defend the police from terrorists." |
October 19, 2016 | "Hillary is a Satan, and her crimes and lies had proved just how evil she is." |
Staging U.S. Political Rallies in the United States
51. Starting in approximately June 2016, Defendants and their co-conspirators organized and coordinated political rallies in the United States. To conceal the fact that they were based in Russia, Defendants and their co-conspirators promoted these rallies while pretending to be U.S. grassroots activists who were located in the United States but unable to meet or participate in person.
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