DECLARATION OF declares as follows: 1. I am a resident of the state . 2. I make this Declaration upon personal knowledge and under penalty of perjury. 3. I was a classmate of Brett Kavanaugh for all four years at Georgetown Preparatory School, from 1979-1983. 4. I was in the class of 1983, which had about 96 students as I recall today. 5. 6. 7. 8. 9. The students were divided into different social groups. 10. Brett Kavanaugh hung out with the jocks in the school, who were on the football team. 11. There was a group of students that were routinely picked on by Brett Kavanaugh’s group of friends, and were tormented, teased and ridiculed, and pushed and shoved into lockers or into closets. 12. I never witnessed Brett Kavanaugh physically attack a student, but there were many times I witnessed one of Brett Kavanaugh’s larger friends physically attack a student, and saw Brett Kavanaugh witness the attack and laugh about it. 13. Brett Kavanaugh would also laugh when his friends teased and ridiculed other students. 14. To my knowledge, the kids that were picked on never reported it, presumably out of fear of retaliation. 15. Brett Kavanaugh never did anything to stop this physical and verbal abuse, but stood by and laughed at the victims. 16. My group of friends were in between the students that got picked on and the football players that picked on the students. 17. Brett Kavanaugh was close friends with Mark Judge. 18. I can recall the names of the other people in his group of friends and can provide those to the Senators if they want them. 19. Mark Judge was the class clown. 20. Brett Kavanaugh would always laugh the loudest when it was in response to Mark Judge’s jokes and antics. 21. Underage drinking was part of the subculture of the football team group and not the culture of the whole school. 22. The football team players, including Brett Kavanaugh, during their junior and senior years would routinely brag about how many kegs that they drank over the weekend. 23. I would witness them bragging on Mondays about how many kegs they consumed over the weekend. 1 24. Specifically, I recall on multiple occasions, Brett Kavanaugh counting with his fingers, how many kegs that they had over the weekend. 25. For example, I heard Brett Kavanaugh say that it was a two kegger weekend on at least one occasion, and counting the kegs on his fingers. 26. I always had the clear impression that Brett Kavanaugh routinely drank tons of beer to excess over the weekend, because that is what he and his friends bragged about almost every Monday during junior and senior year in my presence. 27. Brett Kavanaugh, based on my personal knowledge of witnessing him bragging about drinking in terms of the number of kegs consumed over the weekend, was not a normal drinker by any means in high school even by the standards of that time period. 28. At the time I heard Brett Kavanaugh bragging about how many kegs they drank over the weekend, it seemed to be an extreme amount of beer drinking for someone to consume at any age, let alone someone in high school. 29. I did not drink alcohol in high school. 30. I did not take illegal drugs in high school. 31. Aside from bragging about how much they drank over the weekend, they would also brag about how much sex they had over the weekend. 32. I do not recall Brett Kavanaugh specifically say he had sex with any particular person. 33. However, I do recall Brett Kavanaugh generally participate in these conversations where the football players were bragging about sexual conquests over the prior weekend. 34. One name that routinely was a subject of conversation when the football players were bragging about sexual conquests was a person named Renate, pronounced, REE NATE. 35. I heard Brett Kavanaugh talk about Renate many times. 36. The impression I formed at the time from listening to these conversations where Brett Kavanaugh was present was that Renate was the girl that everyone passed around for sex, and that if one of the boys was unable to find sex with a girl, that Renate was the option for sex as a last resort. 37. In particular, I recall that Brett Kavanaugh had made up a rhyme using the REE NATE pronunciation of Renate’s name. 38. I specifically recall one day walking down a hall with Brett Kavanaugh on a way to class, and hearing Brett Kavanaugh sing this rhyme. 39. While I cannot recall the exact words he sang, the general theme was that Renate could be used for sex as a last resort. 40. What I recall from the rhyme that I heard Brett Kavanaugh sing is: “REE NATE, REE NATE, if you want a date, can’t get one until late, and you wanna get laid, you can make it with REE NATE.” 41. The above rhyme may not be word for word, but the substance of the message is 100 percent accurate in terms of Brett Kavanaugh singing the name, and then using the name to rhyme other words about Renate being a source for sex when all other options were not available. 42. I thought that this was sickening at the time I heard it, and it left an indelible mark in my memory. 2 43. When the allegations about Brett Kavanaugh sexually assaulting a girl first became public, I told my wife about how Brett Kavanaugh would talk about a girl named Renate, and how he would suggest that she was loose sexually. 44. A few days later, I learned in the news that this Renate person was deeply offended by references to her in the Georgetown Preparatory School yearbook. 45. I recall seeing her name in the yearbook when it came out in 1983, but I have not looked at the yearbook since that time. 46. I recall that at the time I originally read the numerous references in the 1983 yearbook to Renate, I thought they were alluding to Renate in a sexual manner because of Brett Kavanaugh’s chant about Renate that I heard him sing and the other times his group would talk and chant about Renate. 47. I heard the football team boys chant Renate at other times when Brett Kavanaugh was present, but I only recall Brett Kavanaugh singing the full rhyme discussed above the one time walking down the hall to class. 48. I have never met Renate. 49. I have no idea whether any of these boys actually had sex with Renate. 50. Senior year, each senior would write their own bio by their yearbook picture. 51. The bio would start out with academic or other accomplishments. 52. Then students would put in their own jokes. 53. I recall reading the 1983 yearbook at the time it came out. 54. In the 1983 yearbook, the football students used the joke section to write about incidents about their partying and/or sexual conquests. 55. The football team group had a friend named Chris Garrett. 56. Chris Garrett would stutter. 57. The football team group including Brett Kavanaugh would routinely tease Chris Garrett about his stuttering, but not in a severe manner. 58. I suspect that the FFFFFFourth of July reference in Brett Kavanaugh’s yearbook bio is a joke about Chris Garrett stuttering and not a sexual reference. 59. I had never heard of the term Devil’s Triangle as of 1983. 60. I had heard of the term boofing, but in the context of smuggling contraband in one’s body. 61. 62. 63. 64. 65. 66. 67. 68. 69. 3 70. To be part of the football team group, you could not be small, you had to go to the drinking parties, and you had to be on the football team. 71. I was small, I did not drink in high school, 72. Mark Judge was the one exception in the football team group, because he was small, but he partied and was on the football team. 73. I watched part of the Senate testimony by Dr. Ford and Brett Kavanaugh. 74. When I heard Dr. Ford describe Brett Kavanaugh and Mark Judge laughing at her, I immediately recalled Brett Kavanaugh and Mark Judge laughing together at someone else’s expense. 75. The reason I decided to come forward and share my interactions with Brett Kavanaugh is that Brett Kavanaugh’s presentation of himself as some honorable and nice person who always respected girls in high school and who was a moderate drinker could not be farther from the truth. 76. Based on everything I witnessed first-hand about Brett Kavanaugh as a person during my four years with him in high school, I have strong reason to fear that he did exactly as Dr. Ford testified he did to her in high school and that Mark Judge was with him at the time. 77. I am willing to testify under oath at any proceeding involving the judicial competency of Brett Kavanaugh. 78. I went to a local FBI office today to be asked to be interviewed in this matter; I was told there are no in person interviews, and that I would need to file an online report or one over the telephone, which I have done. 79. I have not spoken to the press, despite repeated prior requests, nor do I intend to speak publicly on this matter, unless asked to do so by the U.S Senate. I declare under penalty of perjury that the foregoing is true and correct. Executed on October 1, 2018. 4