Case 1:19-gj-00048-BAH Document 44-1 Filed 10/20/19 Page 1 of 5 Exhibit 10 Case 1:19-gj-00048-BAH Document 44-1 Filed 10/20/19 Page 2 of 5 CONTAINS INFORMATION SUBJECT TO CRIMINAL RULE 6(e) THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA IN RE: APPLICATION OF THE COMMITTEE ON THE JUDICIARY, U.S. HOUSE OF REPRESENTATIVES, FOR AN ORDER AUTHORIZING THE RELEASE OF CERTAIN GRAND JURY MATERIALS ) ) ) ) ) ) ) ) Civil Action No. 1: 19-gj-00048 BAH DECLARATION OF BRADLEY WEINSHEIMER I, Bradley Weinsheimer, declare the following to be true and correct: 1. I am an Associate Deputy Attorney General for the Department of Justice ("Department" or "DOJ''). I have held this position since July 2018. Prior to that time, I served in the Department's National Security Division, from March 20 I 6 to July 20 I 8, serving as Acting Chief of Staff to the Assistant Attorney General from May 2016 until approximately February 2018. I have worked at DOJ since 1991, including twenty years as an Assistant United States Attorney in Washington, D.C. 2. I did not directly work on or supervise the Department's investigation into Russia's interference in the 2016 presidential election ("Russia Investigation.") I do, however, work on issues relating to disclosure of Russia Investigation documents both to Congress and pursuant to Freedom of Information Act requests. I also participated in the review of the Special Counsel's March 22, 2019 confidential report to the Attorney General ("Mueller Report") to determine what material should be redacted. I am familiar with the Mueller Report's contents and redactions, including those redactions for grand jury information. The information I provide is based on my review of the Mueller report, underlying documents, Special Counsel Office files, and information I have obtained from 1 Case 1:19-gj-00048-BAH Document 44-1 Filed 10/20/19 Page 3 of 5 Case 1:19-gj-00048-BAH Document 44-1 Filed 10/20/19 Page 4 of 5 CONTAINS INFORMATION SUBJECT TO CRIMINAL RULE 6(e) 6. On page 13 of Volume II, the following information is redacted to protect grand jury secrecy: 7. On page 46 of Volume II, the following infmmation is redacted to protect grand jury secrecy: The sentence thus reads as follows, with the highlighted p01tion redacted from the Report: "But Flynn's lies to the FBI violated federal criminal law, and resulted in Flynn's prosecution for violating 18 U.S.C. § 1001." 8. On page 97 of Volume II, the following information is redacted to protect grand jury secrecy: - The sentence thus reads as follows , with the highlighted pmtion redacted from the Report: "By the time of the President's follow-up meeting with Lewandowski, 9. • On page 105 of Volume II, the following information is redacted to protect grand jury secrecy: under the first redaction, the words Under the second redaction, the words That paragraph thus reads, "On July 12, 2017, the Special Counsel's 3 Case 1:19-gj-00048-BAH Document 44-1 Filed 10/20/19 Page 5 of 5 CONTAINS INFORMATION SUBJECT TO CRIMINAL RULE 6(e) Office Trump Jr. related to the June 9 meeting and those who attended the June 9 meeting." Exh. 9 at 105. 10. While not in Volume II, one page in Appendix C also contains grand jury material - On page C-2 of Appendix C, the following is redacted to protect grand jury secrecy: I declare under penalty of perjury that the foregoing is true and correct. ~ Date 4