Case 2:16-cv RFB-NJK Document 7 Filed 11/01/16 Page 1 of 6 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA

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Case 2:16-cv-02514-RFB-NJK Document 7 Filed 11/01/16 Page 1 of 6 Bradley S. Schrager (Nevada Bar # 10217) WOLF, RIFKIN, SHAPIRO, SCHULMAN & RABKIN, LLP 3556 East Russell Road Las Vegas, NV 89120 (702) 341-5200 Fax #: (702) 341-5300 Attorneys for Plaintiff, Nevada State Democratic Party UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA NEVADA STATE DEMOCRATIC PARTY, Plaintiff, v. NEVADA REPUBLICAN PARTY, DONALD J. TRUMP FOR PRESIDENT, INC., ROGER J. STONE, JR., and STOP THE STEAL INC., Defendants. Case No. 2:16-cv-02514-RFB-NJK DECLARATION OF BRADLEY S. SCHRAGER, ESQ. I, Bradley S. Schrager, Esq., being of full age and upon my oath according to law, hereby declare as follows: 1. I am an Attorney-at-Law of the State of Nevada and Partner in the law firm of Wolf, Rifkin, Shapiro, Schulman & Rabkin, LLP, attorneys for Plaintiff, Nevada State Democratic Party, in the above-captioned matter. I am familiar with the facts related to this litigation. 2. Annexed hereto as Exhibit 1 is a true copy of the GOP Press Release (RNC & Trump Campaign Announce Joint Agreements) dated May 17, 2016.

Case 2:16-cv-02514-RFB-NJK Document 7 Filed 11/01/16 Page 2 of 6 3. Annexed hereto as Exhibit 2 is a true copy of the New York Times article (Donald Trump s Call to Monitor Polls Raises Fears of Intimidation) dated October 18, 2016. 4. Annexed hereto as Exhibit 3 is a true copy of the Volunteer to be a Trump Election Observer form. 5. Annexed hereto as Exhibit 4 is a true copy of the Guardian article (Trump Loyalists Plan Own Exit Poll Amid Claims of Rigged Election) dated October 20, 2016. 6. Annexed hereto as Exhibit 5 is a true copy of the Stop the Steal website home page accessed October 22, 2016. 7. Annexed hereto as Exhibit 6 is a true copy of the Boston Globe article (Warnings of Conspiracy Stoke Anger Among Trump Faithful) dated October 15, 2016. 8. Annexed hereto as Exhibit 7 is a true copy of @jackbgoode1 s tweet on August 19, 2016 at 7:43 P.M. 9. Annexed hereto as Exhibit 8 is a true copy of @jackbgoode1 s tweet on July 14, 2016 at 9:14 A.M. 10. Annexed hereto as Exhibit 9 is a true copy of the Talking Points Memo article (Why the RNC Wants Nothing to Do with Trump s Poll Watcher Call to Arms) dated October 21, 2016. 11. Annexed hereto as Exhibit 10 is a true copy of the Hill article (Trump Campaign Encouraging Surrogates To Double Down On Ballot Fraud) dated October 21, 2016. 12. Annexed hereto as Exhibit 11 is a true copy of the Washington Post article (Trump Fires up Recruitment of Poll Watchers as He Warns of Election Cheating ) dated August 13, 2016.

Case 2:16-cv-02514-RFB-NJK Document 7 Filed 11/01/16 Page 3 of 6 13. Annexed hereto as Exhibit 12 is a true copy of the Washington Post article (Pennsylvania Republicans Sue to Allow Poll Watchers to Cross County Lines) dated October 22, 2016. 14. Annexed hereto as Exhibit 13 is a true copy of the CNN article (Guiliani on Rigged Election: Dead People Generally Vote for Democrats ) dated October 16, 2016. 15. Annexed hereto as Exhibit 14 is a true copy of the Face the Nation Transcript (Face the Nation Transcript October 23, 2016: Priebus, Axelrod) dated October 23, 2016. 16. Annexed hereto as Exhibit 15 is a true copy of the Order Granting Plaintiffs Motion for Preliminary Injunction in Brakebill v. Jaeger, No. 16-cv-00008 (DLH), (D.N.D. Aug. 1, 2016). 17. Annexed hereto as Exhibit 16 is a true copy of the Washington Post article (A Comprehensive Investigation of Voter Impersonation Finds 31 Credible Incidents Out of One Billion Ballots Cast) dated August 6, 2014. 18. Annexed hereto as Exhibit 17 is a true copy of the Bloomberg Businessweek article (Inside the Trump Bunker, with Days to Go) dated October 27, 2016. 19. Annexed hereto as Exhibit 18 is a true copy of the Politico article (Trump: Without ID Law, Voters Will Vote 15 Times for Clinton) dated August 9, 2016. 20. Annexed hereto as Exhibit 19 is a true copy of the Politico article (How Hostile Poll-Watchers Could Hand Pennsylvania to Trump) dated October 2, 2016. 21. Annexed hereto as Exhibit 20 is a true copy of the Atlantic article (Donald Trump s Attacks on the Rights of Minority Voters) dated October 13, 2016. 22. Annexed hereto as Exhibit 21 is a true copy of the Boston Globe article (Giuliani, Gingrich Raise Specter of Voter Fraud Ahead of Election) dated October 16, 2016.

Case 2:16-cv-02514-RFB-NJK Document 7 Filed 11/01/16 Page 4 of 6 23. Annexed hereto as Exhibit 22 is a true copy of the Hill article (Trump: Government Bringing in Illegal Immigrants to Vote) dated October 7, 2016. 24. Annexed hereto as Exhibit 23 is a true copy of the RealClearPolitics Transcript (CNN s Jake Tapper vs. Rudy Giuliani: You re Saying Only Democrats Rig Elections?) dated October 16, 2016. 25. Annexed hereto as Exhibit 24 is a true copy of the RealClearPolitics Transcript (Gingrich: 20 Media Executives Are Launching a Coup D Etat Against Millions of Trump Voters) dated October 16, 2016. 26. Annexed hereto as Exhibit 25 is a true copy of Twitter user @roycan79 s tweet on October 17, 2016 at 9:53 a.m. 27. Annexed hereto as Exhibit 26 is a true copy of Twitter user @soniafarace s tweet on October 11, 2016 at 4:44 p.m. 28. Annexed hereto as Exhibit 27 is a true copy of the StopTheSteal.org Voter Protector Exit Poller registration form. 29. Annexed hereto as Exhibit 28 is a true copy of the Washington Post article (Poll: Nearly Half of Americans Say Voter Fraud Occurs Often) dated September 15, 2016. 30. Annexed hereto as Exhibit 29 is a true copy of the Breitbart article (Wikileaks: John Podesta Believed Obama Forces Committed Voter Fraud) dated October 15, 2016. 31. Annexed hereto as Exhibit 30 is a true copy of the New Yorker article (The Dirty Trickster) dated June 2, 2008. 32. Annexed hereto as Exhibit 31 is a true copy of the BillyPenn.com article ( Rigged? Western PA Republican Circulates Fake Meme About Online Voting in PA) dated October 18, 2016.

Case 2:16-cv-02514-RFB-NJK Document 7 Filed 11/01/16 Page 5 of 6 33. Annexed hereto as Exhibit 32 is a true copy of the Defend the Donald website, accessed October 29, 2016. 34. Annexed hereto as Exhibit 33 is a true copy of @Lady_Lbrty s tweet on October 26, 2016 at 9:28 P.M. 35. Attached hereto as Exhibit 34 is a true copy of @StoneColdTruth s tweet on October 23, 2016, at 5:12 P.M. 36. Annexed hereto as Exhibit 35 is a true copy of @RalstonReports tweet and accompanying images from October 28, 2016, at 2:30 P.M. 37. Attached hereto as Exhibit 36 is a true copy of the Huffington Post article (Trump-Linked Voter Intimidation Group Releases New Script for Citizen Journalists ) dated October 26, 2016). 38. Attached hereto as Exhibit 37 is a true copy of the Complaint filed in Daschle v. Thune, No. 04-cv-4177 (D.S.D. Nov. 1, 2004). 39. Attached hereto as Exhibit 38 is a true copy of the Temporary Restraining Order issued by the court in Daschle v. Thune, No. 04-cv-4177 (D.S.D. Nov. 2, 2004). 40. Attached hereto as Exhibit 39 is a true copy of @RalstonReports tweet from October 28, 2016, at 5:11 P.M. I hereby certify that the foregoing statements made by me are true to the best of my knowledge and belief. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. /s/ Bradley S. Schrager Bradley S. Schrager, Esq. Dated: November 1, 2016

Case 2:16-cv-02514-RFB-NJK Document 7 Filed 11/01/16 Page 6 of 6 CERTIFICATE OF SERVICE I hereby certify that on this 1st day of November, 2016 a true and correct copy of DECLARATION OF BRADLEY S. SCHRAGER, ESQ. was served via the United States District Court CM/ECF system on all parties or persons requiring notice, and having access to the electronic filing system referenced. By: /s/ Dannielle Fresquez Dannielle Fresquez, an Employee of WOLF, RIFKIN, SHAPIRO, SCHULMAN & RABKIN, LLP