Russian Lawyer. Natalia Veselnitskaya Doc No 422-19 Excerpt of Browder Deposition | Deposition (Law) | Social Institutions

 Court Filings

of 5
All materials on our website are shared by users. If you have any questions about copyright issues, please report us to resolve them. We are always happy to assist you.
These series of documents, titled “RUSSIAN LAWYER NATALIA VESELNITSKAYA,” provides insight into the algorithm used to create the fake and false “Russian Narrative” that is being used by Leftist Media and individuals to ensnare President Donald J. Trump in their “Trump Trap.” President Trump is a Genius and President Putin is a Hero. The so-called “Trump Trap” is every bit Anti-God, as you will soon learn from the insight into the algorithm used to create the fake and false “Russian Narrative.” I found it best to understand this fake trap by creating an algorithm that allows you to quickly understand complex politics, “palotics,” and politico-legal relationships, persons and information. The algorithm I will be using is called the “t” or tee. In this case, because I know where I stand, I place “ME” on the Left of the “t” to observe the puzzle developing on the Right of the “t”. When this was done, I quickly learned that Russian lawyer Natalia Veselnitskaya is actually friendly towards myself and the majority of the people of the United States. What raised my suspicions was the fact that she claimed in one of her federal Court Documents, “RUSSIAN LAWYER. NATALIA VESELNITSKAYA DOC NO 508. DECLARATION IN OPPOSITION RE DOC NO 487 MOTION TO DISQUALIFY JOHN W. MOSCOW AND BAKER HOSTETLER LLP FOR ATTACKING ITS FORMER CLIENT,” that she was harassed by the US Government and that Hillary Clinton’s State Department denied her a Visa to enter the United States to represent her clients in a Federal Court proceeding instituted by President Obama’s Justice Department Preet Bharara, the U.S. Attorney in New York: “RUSSIAN LAWYER. NATALIA VESELNITSKAYA US ATTORNEY PREET BHARARA APPELATE BRIEF REQUESTING ATTORNEY DISQUALIFICATION OF BAKER HOSTETLER DATED FEB 16, 2016.” Because I never voted for or supported any member of the Democratic Party, they all naturally fall on the Right side of the “t”. This in turn naturally caused Russian lawyer Natalia Veselnitskaya and her Declaration under penalty of perjury filed in a Federal Court to fall on the Left side of the “t” with myself, the U.S. Constitution, the Holy Bible, President Trump, who is my Genius and President Putin, who is my Hero. The use of the “t” also helped me to understand Trump’s voters and supporters and their thought processes which are very similar to my own and may even unknowingly use my “t” algorithm to solve both simple and complex problems efficiently and swiftly. This also appears to be the reason football teams use different colors to identify and separate their players. The fact that My Country was suing a foreign entity in My Federal Court but was denying this foreigner legal representation in violation of everything we know about having a lawyer litigate complex issues, caused me to dig deeper. So in just one court document, I quickly learned Russian lawyer Natalia Veselnitskaya was actually blowing the whistle on my State Department and Government which were being operated and controlled by members of the Democratic Party. And since she was also being denied a Visa to enter the U.S., I felt justice was being obstructed in our Courts by the State Department. It appeared the efforts of Russian lawyer Natalia Veselnitskaya paid off in the court case against her clients because in May 2017, President Trump’s Justice Department, through Joon H. Kim, Acting U.S. Attorney, (SDNY), settled the case and refused to seize her client’s assets. See: RUSSIAN LAWYER. NATALIA VESELNITSKAYA. DOC NO 716 UNITED STATES AGREES TO SETTLE AND DROP ALL CLAIMS AGAINST ALL DEFENDANTS DATED MAY 15, 2017. These documents are the results of my 48 hours of diligent research. Enjoy. Please press the like button.
    Exhibit 52   Case 1:13-cv-06326-WHP Document 422-19 Filed 11/18/15 Page 1 of 5  TSG Reporting - Worldwide 877-702-9580Page 112 UNITED STATES DISTRICT COURT3 SOUTHERN DISTRICT OF NEW YORK4--------------------------------XUNITED STATES OF AMERICA,5 Plaintiff,6 VS. Case No. 1:13-CV-06326(TPG)7 ECF CASEPREVEZON HOLDINGS LTD.,8et al.,9 Defendants.--------------------------------X10111213 VIDEOTAPED DEPOSITION14 OF15 WILLIAM F. BROWDER16 Wednesday, April 15, 201517 30 Rockefeller Plaza18 New York, New York192021Reported by:AYLETTE GONZALEZ, RPR, CLR, CCR22JOB NO. 91742232425 Case 1:13-cv-06326-WHP Document 422-19 Filed 11/18/15 Page 2 of 5  TSG Reporting - Worldwide 877-702-9580Page 61 WILLIAM F. BROWDER (4/15/15)2 W I L L I A M F. B R O W D E R,3 called as a witness, having been4 first duly sworn by a Notary Public5 of the State of New York, was6 examined and testified as follows:7 EXAMINATION BY8 MR. CYMROT:9 Q. Mr. Browder, my name is10Mark Cymrot. I represent the Defendants in11this action.12 You're here pursuant to Subpoena?13 A. I'm sorry, is that a question?14 Q. Yes. Are you here pursuant to a15Subpoena?16 A. Yes.17 Q. And a court order?18 A. I think so.19 Q. Let me show you what I'll mark as20Browder Exhibit 1.21 MR. KIM: Sorry, Mark, can I do22 the confidentiality?23 MR. CYMROT: Oh, I'm sorry, yes, I24 skipped that. Yes.25 MR. KIM: All right. Sorry about Case 1:13-cv-06326-WHP Document 422-19 Filed 11/18/15 Page 3 of 5  TSG Reporting - Worldwide 877-702-9580 35 (Pages 134 to 137) Page 134 1  WILLIAM F. BROWDER (4/15/15) 2 question? 3  Q. Do you know whether these alleged 4 meetings involved an investigation of  5 Mr. Klyuev? 6  A. I wasn't at the meetings. 7  Q. You don't know from a -- another  8 anonymous source? 9  MR. KIM: Objection to form. 10  A. There is -- there are no anonymous 11 sources about the actual contents of the 12 meetings. 13  Q. So you don't know if it involved 14 the $230 million fraud? 15  A. I don't know. 16  Q. The only thing we know that 17 definitely involved the $230 million fraud 18 were the corporate documents and seals? 19  MR. KIM: Objection to form. 20  A. No. There was also the -- I just 21 read it to you. Should I read it again? 22  Q. Well, you said -- 23  A. I can read it again. It's no 24  problem. 25  Q. I think we all remember. Page 136 1  WILLIAM F. BROWDER (4/15/15) 2  How do you -- how do you know 3 Mr. Kuznetsov and Mr. Klyuev or Mr. Pavlov and 4 Mr. -- and Yulia Mayorova met in Larnaca? 5  A. What we do know is that Klyuev and 6 Kuznetsov traveled on the same flight. 7  Q. That's all you know? 8  A. To -- to Larnaca. 9  Q. Right. All you know is these 10  people flew on the same flight? 11  A. On the same private jet that 12  belonged to -- 13  Q. No, not as to Mr. Pavlov and the 14 others. They flew on an Aeroflot flight. 15  A. Right. 16  Q. They happened to be on the same 17  plane. 18  A. Could be. 19  MR. KIM: Mark, if there's no 20  question pending, I'd like to just 21  take two minutes to advise Mr. Browder  22  about something. 23  MR. CYMROT: Yes. 24  MR. KIM: There's no question 25  pending. Page 135 1  WILLIAM F. BROWDER (4/15/15) 2  A. Okay. 3  Q. You like reading it? 4  A. I don't -- I don't care. 5  Q. I mean, if it makes you feel 6  better, you can read it, but I don't think  7 your -- anybody's forgotten what you read. 8  A. Okay. 9  Q. That there was some information, 10  but it was incorrect information, right? 11  A. No. 12  Q. That's what you read. 13  A. No, I didn't. 14  Q. You said there were bank accounts 15 that weren't opened and things like that, 16 right? 17  A. I'd be -- 18  MR. KIM: Objection to form. 19  A. I'd be happy to read it again if -- 20 if you don't un- -- understand what was 21 writ- -- written there. 22  Q. I understand it, believe me. 23  By the way, how do you know they 24 even met in -- in Larnaca? 25  We can go back to that. Page 137 1  WILLIAM F. BROWDER (4/15/15) 2  MR. CYMROT: Yes. 3  THE VIDEOGRAPHER: The time is 4  12:11 p.m. We are off the record. 5  (Whereupon, at this time, a short 6  break was taken.) 7  THE VIDEOGRAPHER: The time is 8  12:13 p.m. We are back on the record. 9  BY MR. CYMROT: 10  Q. All right. Mr. Browder, according 11 to paragraph 22, Mr. Kuznetsov -- Kuznetsov 12 and Mr. Klyuev flew on a private jet. That's 13 what it says, right? 14  A. Correct. 15  Q. Did you ever say they travelled on 16 an Aeroflot flight? 17  THE REPORTER: Excuse me? 18  Q. Did you ever say they flew on an 19 Aeroflot flight? 20  A. I don't remember. 21  Q. It's possible you said that? 22  A. I don't know. 23  Q. So going back to your  24 investigation, are you saying there was no 25 investigation of you in 2006? Case 1:13-cv-06326-WHP Document 422-19 Filed 11/18/15 Page 4 of 5
Related Search
Similar documents
View more...
We Need Your Support
Thank you for visiting our website and your interest in our free products and services. We are nonprofit website to share and download documents. To the running of this website, we need your help to support us.

Thanks to everyone for your continued support.

No, Thanks