Elon Musk was deposed in a recent lawsuit for falsely linking a 22-year-old Jewish man to a neo-Nazi brawl. Musk, who attempted to keep the deposition from the public, admits he did no research into his false claim, among other revelations.
Elon Musk was deposed in a recent lawsuit for falsely linking a 22-year-old Jewish man to a neo-Nazi brawl. Musk, who attempted to keep the deposition from the public, admits he did no research into his false claim, among other revelations.
Original Title
Elon Musk Deposed In Lawsuit For Falsely Linking Jewish Man To Neo-Nazi Brawl
Elon Musk was deposed in a recent lawsuit for falsely linking a 22-year-old Jewish man to a neo-Nazi brawl. Musk, who attempted to keep the deposition from the public, admits he did no research into his false claim, among other revelations.
Elon Musk was deposed in a recent lawsuit for falsely linking a 22-year-old Jewish man to a neo-Nazi brawl. Musk, who attempted to keep the deposition from the public, admits he did no research into his false claim, among other revelations.
1 INDEX
2 PAGE
3 Appearances...
4 Stipulation:
5 Witness: ELON MUSK
Examination by Mr. Bankson.
6
7 Witness Changes and/or Amendments Page...
. 113
114
8 Witness Signature Page...
9 Reporter's Certificate Page..
10
MW EXHIBITS
12 EXHIBIT 1 - 6-24-23 Musk Psyop Tweet..
19 EXHIBIT 2 - 6-25-29 Musk sees Dr. Frensor
Tweet
14
EXHIBIT 3 - 6-26-23 Musk Replies to Wallace
15 About Brody.
16 EXHIBIT 4 - 6-27-24 Musk Reply to Zero Hedge.. 28
17 EXHIBIT 5 - Tab W - Musk Quote 1... 55
18 EXHIBIT 6 - Tab X - Musk Quote 2.., 58
19 EXHIBIT 7 - Tab Y - Musk Quote 3.. 59
20 EXHIBIT 8 - Tab Z - Musk Quote 4..... 71
21, EXHIBIT 9 - Tab M - 6-25-23 UN Antisemetic
Meme...
22
EXHIGIT 10 - 6-25-25 Dr. Frensor Obamas
23 Transphobia...
24 EXHIBIT 11 - Tab I - 1-20-24 Patriot Front 1.. 83
25 EXHIBIT 12 - Tab J - 1-20-24 Patriot Front 2.. 861 THE VIDEOGRAPHER: We are on the record.
2 Today's date is March 27th, 2024, and the time is 1:05
3 p.m. This is the remote video-recorded deposition of
4 Elon Musk. This deposition is being conducted remotely
5 with the witness and all parties in their preferred
6 respective locations. It is agreed and stipulated that
7 all parties waive any objection to the physical location
8 of the presiding officer at the time the oath is
9 administered.
10 At this time will all attorneys in attendance please
11 state their appearance and who they represent for the
12 record, beginning with the attorney taking this
13 deposition.
14 MR. BANKSTON: Mark Bankston, Farrar &
15 Ball, representing the plaintiff, Ben Brody.
16 MR. SPIRO: And | guess that's then to me,
17 Alex Spiro on behalf of Mr. Musk.
18 THE VIDEOGRAPHER: Will the court reporter
19 please swear in the witness.
20
a
22
23
24
251 ELON MUSK,
2 having first been duly sworn to testify the truth, the
3 whole truth and nothing but the truth, testified as
4 follows:
5 DIRECT EXAMINATION
6 MR. BANKSTON:
7 Q. Hi, Mr. Musk. Can you hear me okay?
8 A. Ican.
9 — Q. Okay. Do you think you did anything wrong to
10 Ben Brody?
abt MR. SPIRO: Okay. This isn't a question
12 you're allowed to ask by the Court, so we're not going
13 to do this, Mark, or this deposition is going to be over
14 before it starts.
15 MR. BANKSTON: I'm asking about his state
16 of mind.
17 MR. SPIRO: No, no, no.
18 MR. BANKSTON: Yes, | am.
19 MR. SPIRO: No. You're not going to ask --
20 you're not going to ask questions like that. It doesn't
21 have --
22 MR. BANKSTON: I'm going to ask --
23 MR. SPIRO: No, you're not or you can go
24 see the judge.
25 MR. BANKSTON: Let me read something for1 the record, all right. As you know, as the Court told
2 you in Unsworth vs. Musk, the defendant's subsequent
3 conduct can be relevant to his state of mind at the time
4 of the alleged defamation.
5 And as they say in Warner Brothers, actual
6 malice may be inferred from the defendant's acts, words
7 before, at, or after the defamation.
8 And if he's sitting here today and he has
9 opinions about whether he did something wrong, that is
10 relevant to the state of mind at the time that he made
11 the statements. Of course | can ask him do you think
12 you committed actual malice, do you think you were
13 reckless. Of course | can ask those questions. And,
14 yeah, we'll go to the Court over that.
15 MR. SPIRO: You didn't ask if he committed
16 actual malice. Obviously --
17 MR. BANKSTON: | didn't. | asked something
18 that was very relevant to that. I'd like to get him
19 talking about things that he did wrong --
20 MR. SPIRO: But that's the point. That's
21 not what you're allowed to do in this deposition. You
22 can't just get him talking.
23 MR. BANKSTON: | disagree --
24 MR. SPIRO: You just showed your cards that
25 this case is DOA and you can't just get him talking as1 you just put it.
2 So you've got four bullets --
3 MR. BANKSTON: Yes, | can. Alex -- Alex --
4 MR. SPIRO: -- one, two, three, and four.
5 MR. BANKSTON: Alex --
6 MR. SPIRO: You've got one, two, three and
7 four --
8 MR. BANKSTON: All right. Hold on a
9 second.
10 MR. SPIRO: -- so if you want to ask him
11 those bullets, you can go through those bullets and ask
12 him.
13 THE REPORTER: One ata time, please.
14 MR. BANKSTON: Yeah, let's go ahead and
15 take a breath, Alex. First of all, | know you're not a
16 Texas attorney. | know you don't know Rule 199.5,
17 right? | know you're not even pro hac in this case --
18 MR. SPIRO: This isn't -- this isn't
19 productive. You want to go ask another question, go ask
20 another question. You're lecturing --
a1 MR. BANKSTON: Are you instructing him not
22 to answer?
23 MR. SPIRO: You can try to ask the question
24 again and I'll listen to it again.
25 MR. BANKSTON: Are you going to instruct1 him not to answer?
2 MR. SPIRO: | don't know. I'll hear the
3 question and tell you.
4 MR. BANKSTON: Okay. Mr. Musk, do you
5 think you did anything wrong to Ben Brody?
6 MR. SPIRO: Did anything wrong to Ben
7 Brody? Okay. You can ask that question.
8 A. | don't know Ben Body.
9 Q. (BY MR. BANKSTON) You're aware Ben Brody is
10 somebody who's sued you, right?
abl A. |--| think you're the one suing.
12 Q. Actually, Mr. Musk, I'm an attorney. Did you
13 know that? I'm an attorney representing Mr. Brody.
14 A. Yes, but many times | found that the actual
15 plaintiff is the attorney.
16 Q. Okay. But that's just an assumption you're
17 making, right? Like you don't know anything about Ben
18 Brody?
19 A. Idon't.
20 Q. Okay. You understand Ben Brody has filed a
21 lawsuit against you?
22 A. |-- in my opinion, you're the one filing the
23 lawsuit.
24 Q. Okay. You understand -- let's try to make this
25 an easier way.1 You understand that there's a piece of
2 paper on which there's a lawsuit written. And at the
3 top of the lawsuit it says Ben Brody, plaintiff, versus
4 Elon Musk, defendant; do you understand that?
5 A. lunderstand that but | view many cases and
6 probably this one too that the real plaintiff is the
7 lawyer seeking money like you.
8 = Q. Okay. I'd like to know though, are you aware
9 that there's a piece of paper that has a lawsuit on it
10 that says Ben Brody vs. Elon Musk? That's actually what
11 I'm wanting to know.
12 A. Yes.
13 Q. Okay.
14 A. Technically.
15 Q. Do you feel like you have an understanding of
16 what that lawsuit alleges you did wrong?
17 A. || have a limited understanding of that --
18 of what the lawsuit is about.
19 Q. Okay. Let's start --
20 ~~ A. My -- what | want to think it's really about is
21 about you getting a lot of money.
22 = =Q. Okay. All right. Let's start with the
23 incident that this lawsuit is based on. You understand
24 that this case involves a brawl in Oregon between some
25 right-wing extremists?1 A. | -- | don't know much about -- you're
2 referring to a handful of posts on the X platform?
3 Q. No. Actually, Mr. Musk, I'm referring to the
4 fact that on June 24th, 2023, as described in plaintiff,
5 Ben Brody's lawsuit, there was a brawl in Oregon between
6 right-wing extremists. Were you aware that that was the
7 subject matter of the lawsuit?
8 MR. SPIRO: | don't know if that's the
9 subject matter of the lawsuit. | think the subject
10 matter of the --
1 MR. BANKSTON: A subject matter of the
12 lawsuit. And, Mr. Spiro, again, your objections to
13 questions in an oral deposition under Rule 195 are
14 limited to objection; leading and objection; form, or
15 objection; nonresponsive.
16 Those objections are waived if not stated
17 as phrased. All other objections need not be made or
18 recorded during the oral deposition to be raised to the
19 Court. You must not give any suggestive or
20 argumentative or any explanations during the deposition.
21 MR. SPIRO: Well, then don't say things
22 that are misleading and | won't --
23 MR. BANKSTON: No. That's not -- that's
24 why you should object to the form of the question.
25 MR. SPIRO: No, no, it's not --1 MR. BANKSTON: That's misleading. Mr.
2 Spiro, you know -- Mr. Spiro --
3 MR. SPIRO: Listen, if you want to go back
4 and forth with me and waste your time, you can. Go on
5 to your next question.
6 MR. BANKSTON: Oh, we're going to get more
7 time if you keep doing this.
8 MR. SPIRO: No, you're not. No, you're
9 not. Go to the judge --
10 MR. BANKSTON: You're violating Rule 199,
11 you're not even pro hac admitted.
12 MR. SPIRO: Okay. Okay. You're just
13 giving speeches that nobody's listening to but you.
14 You're just doing them for yourself.
15 MR. BANKSTON: Oh, they're for the record.
16 Mr. Spiro, they're for the Court to listen to.
17 MR. SPIRO: Okay. So keep --
18 MR. BANKSTON: And | would appreciate it --
19 I'm going to give you an instruction. | would
20 appreciate it if you would abide by Rule 199.5 of the
21 Texas Rules --
22 MR. SPIRO: | heard you the first three
23 times.
24 MR. BANKSTON: Mr. Spiro, please do not
25 interrupt me.1 MR. SPIRO: | heard you the first three
2 times.
3 MR. BANKSTON: Mr. Spiro, please do not
4 interrupt me. I'm asking you on the record to obey Rule
5 199.5. If you continue to violate Rule 199.5, | will
6 move for sanctions against you. So | please ask you to
7 obey the rules in the remainder of this deposition.
8 (EXHIBIT 1 ENTERED INTO THE RECORD)
9 ~ Q,. (BY MR. BANKSTON) Mr. Musk, | want to show you
10 a tweet that you posted on the day of the brawl, which
11 is June 24th, 2023. Can we bring up Tab A?
12 We're going to mark this as Exhibit 1. Mr.
13 Musk, this is a meme that you shared about psyops,
14 correct?
15 A. Yes. It's ajoke.
16 Q. Apsyop is a psychological operation, right?
17 __ A, It's -- yes, | believe that is what it refers
18 to, yes.
19 Q. Okay. And this meme jokes that there are
20 almost daily psyops --
a1 MR. SPIRO: | am going to interrupt again,
22 and | don't really care that rule that you keep reading
23 because it has nothing to do with --
24 MR. BANKSTON: | know you don't --
25 MR. SPIRO: Good. The Court --1 THE WITNESS: -- to the judge.
2 MR. SPIRO: How is this relevant to the
3 court order?
4 MR. BANKSTON: Because I'm getting to --
5 MR. SPIRO: This isn't a regular deposition
6
7 MR. BANKSTON: Mr. Spiro -
8 MR. SPIRO: Now I'm talking so don't
9 interrupt me. How is -- this is a deposition governed
10 by a limited court order --
abl MR. BANKSTON: Correct.
12 MR. SPIRO: -- because he gave you a
13 limited court order on this case, so | have every right
14 to ask and to stop -- I'm not going to just let you do
15 two hours about Mr. Musk's upbringing.
16 How is this tweet that is nothing -- that
17 is not a tweet in this case, how is this relevant under
18 the Court's order?
19 MR. BANKSTON: This is very much -- Mr.
20 Spiro, | don't know if you were listening to me. This
21 is what he posted on the day of the brawl, and this case
22 is about whether this brawl was being accused to be a
23 psyop. This is absolutely relevant to his state of mind
24 on -- when he calls this brawl a psyop.
25 I'm really -- Mr. Spiro, | really have to1 ask you to please get yourself up to speed on the facts
2 of this case. I'm definitely going to ask him --
3 MR. SPIRO: Again, this isn't a real -- you
4 keep lecturing me like get up to speed on the facts of
5 this case. This isn't like a real case. This is just
6 some stupid --
7 MR. BANKSTON: Mr. Spiro.
8 MR. SPIRO: Yeah, so --
9 MR. BANKSTON: Lawyers do not -- it is not
10 in accordance with the lawyer's creed to just start
11 making random statements about the alleged frivolity of
12 a case to another lawyer in a deposition. You know
13 that's not proper. You know that.
14 MR. SPIRO: Do you give these lectures at
15 all of your depositions?
16 MR. BANKSTON: | do and you can watch them.
17 MR. SPIRO: In any event, this is not --
18 this is not a tweet that's alleged -- if you're alleging
19 that this tweet is directly related to the brawl, ask --
20 MR. BANKSTON: That's what I'm asking him,
21 Mr. Spiro.
22 MR. SPIRO: Oh, okay. Is there some code
23 in Texas that you don't yell and raise your voice in
24 depositions?
25 THE WITNESS: Why are you yelling? Calm1 yourself.
2 MR. SPIRO: Yeah, why are you yelling?
3 THE WITNESS: Calm yourself. Calm
4 yourself.
5 MR. BANKSTON: |'m very, very disturbed by
6 what you're doing.
7 THE WITNESS: You're yelling at everyone.
8 MR. BANKSTON: I'm very disturbed that
9 you're instructing the witness --
10 THE WITNESS: | mean, show some decorum.
1 MR. SPIRO: I'm not instructing the
12 witness. I'm not instructing the question. Ask your
13 question.
14 MR. BANKSTON: Okay. Now that I've got you
15 up to speed, | can ask my question?
16 MR. SPIRO: Yeah, | asked you for the
17 relevance of how this relates to the court order. You
18 gave me an answer. |'m not preventing him from
19 answering, so ask your question.
20 MR. BANKSTON: All right. Let's keep
21 moving.
22 Mr. Musk, this meme -- the question that I
23 had, was this meme jokes that there are almost daily
24 psyops, correct?
25 A. This is a joke about psyops.1 Q. (BY MR. BANKSTON) Okay. But psyops for you are
2 not always a laughing matter, right?
3 A. I mean, | don't -- | don't think there are
4 actually daily psyops. This is --
5 Q. No, | get that. | understand --
6 A. --atin foil hat --
7 Q. Right. | get this is a joke. | understand
A. It's a joke obviously --
Q. What I'm asking though --
A. -- if somebody puts -- may | finish?
12 Q. Sure.
A. Do you feel you need to yell again?
14 Q. I might.
15 A. Yeah. I've rarely met a lawyer with less
16 decorum than you, if you could be called a lawyer.
17 So this is a joke. Obviously —
18 Q. Right.
19 A. --this is just a kitten with a tin foil hat.
20. Q. Uh-huh.
21 A. And, in fact, it is making fun of the fact that
22 there are -- people claim psyops when often there is not
23 a psyop.
24 = Q. Okay. But what | want to ask you about is for
25 you, this is a joke, but there are other times in which1 for you, psyops are not a joke?
2 A. I think the vast majority of time people think
3 there's a psyop and there is not a psyop.
4 Q. Okay. That's -- okay. But let's talk about --
5 let's talk about that tin foil hat for a second. | want
6 to try to get to the symbolism of that, all right?
7 And if I'm -- tell me if I'm summarizing
8 this joke correctly: That the idea of something being a
9 psyop might be -- sound a little crazy, but sometimes
10 you see evidence or facts that make you think there is a
11 psyop. And, wow, that makes you want to put on a tin
12 foil hat like the conspiracy people do. That's kind of
13 the joke there? Am | interpreting that correctly?
14 A. No.
15 Q. Okay. So let me pull it back a little bit.
16 Would you agree with me that the idea that any given
17 event is a psyop is something that is improbable but not
18 impossible?
19 A. Yes.
20 Q. Okay. Do you remember just a couple of weeks
21 before this meme in the -- when the Allen, Texas,
22 neo-Nazi shooting happened, about you using the term
23 "psyop" for that event?
24 MR. SPIRO: |'m -- | think this is outside
25 the court order, so I'm not going to allow you to answer1 this question. You can keep going.
2 MR. BANKSTON: So you're going to instruct
3 him not to answer it?
4 MR. SPIRO: You heard me the first time.
5 MR. BANKSTON: | didn't -- I'm not sure
6 what that meant actually.
7 MR. SPIRO: He's -- he's not answering that
8 question. You're on I think what the judge -- the judge
9 would maybe let you ask some of the questions you're
10 asking, maybe. There's no chance in my view that the
11 judge would have let you go back two weeks to some other
12 incident. | don't think that's what the judge intended.
13 MR. BANKSTON: Mr. Spiro, | just need your
14 instruction. | don't need your comments.
15 MR. SPIRO: Yeah, I gave my instruction and
16 then you started talking so I'm responding.
17 MR. BANKSTON: Okay. All | said is --
18 MR. SPIRO: And I'll make whatever record |
19 want to make, okay?
20 MR. BANKSTON: Please do.
21 Mr. Musk, are you going to obey -- you're
22 going to abide by your counse''s instruction not to
23 answer that question?
24 A, It sounds like it's outside the judge's
25 instructions.Q. (BY MR. BANKSTON) So "yes"?
A. Yes.
Q. Okay. A false flag, that's a type of psyop?
Ron
A. I'm no expert on psyops, but, yes, that would
5 be a type of psyop | believe.
6 Q. Okay. Now, a false flag, for people who may
7 not understand that term, that's a form of deception,
8 right?
9 A. Yes.
10 Q. Inother words, a false flag requires
11 dishonesty, you're falsely portraying something?
12 A. believe it's in the name. If it's not a true
13 flag, it would be a false flag.
14 Q. Correct. Okay. Thank you, Mr. Musk. Let's
15 talk a little bit about your tweets about the brawl.
16 So, okay, as far as what your understanding
17 of this suit is, do you understand that this lawsuit
18 takes issue with a tweet that you posted on June 27th?
19 A. | don't quote exactly, but that sounds correct.
20 Q. Canlask you, have you read the lawsuit?
a1 A. l've read a summary of the lawsuit.
22 ~ Q. Asummary of the lawsuit?
23 A. Yes.
24 = Q. Okay. All right. Let's see what we can do
25 here. You do understand that on the previous two dates,20
1 June 25th and June 26th, you interacted with two tweets
2 about one of the unmasked brawlers in that brawl?
3 A. Thatis -- that is what I have read in the
4 lawsuit, yeah.
5 Q. Okay. We're going to talk about those tweets,
6 but first | want to verify: You were ordered to answer
7 some discovery, and it appears from your answers that
8 before your tweet on June 27th, you did not do any
9 searches on Twitter or any web searches like on a search
10 engine for information about the identity of this
11 unmasked brawler; is that correct?
12 A. That's correct.
13. Q. Okay. Would it be fair for me to say that
14 other than the tweets that you interacted with, you did
15 not secure other information about this unmasked
16 brawler?
17 A. | don't recall securing other information.
18 — Q. Inother words, you didn't get any information
19 by text or email or any other sort of communication with
20 anybody else about the brawler?
21 A. I don't recall. Not that | -- not that |
22 recall, no.
23° Q. Okay. And did you ask anybody to go get you --
24 let me start that again.
25 Did you ask anyone to go get you any2
1 information on this unmasked brawler?
2 A. No.
3 Q. Okay. Soit'd be fair to say that the
4 information that you acquired about the brawler was from
5 the tweets that you interacted with?
6 A. Correct.
7 (EXHIBIT 2 ENTERED INTO THE RECORD)
8 Q. (BY MR. BANKSTON) Okay. | want to talk about
9 those tweets right now. So we're going to pull up Tab B
10 and we'll mark this as Exhibit 2.
oat All right. Mr. Musk, on your screen, are
12 you able to read that or do | need to zoom in a little
13 bit?
14 _ A. It's small, but I'm able to read it.
15 Q. Okay. So you'll see -- I'm going to kind of go
16 through it and we'll go through it tweet by tweet so
17 that we can read it together. You'll see the first is a
18 post from a suspended account so we can't see it, right?
19 A. Correct.
20 Q. And then the second is your tweet and you asked
21 who were the unmasked individuals, right?
22 A. Yes.
23 Q. And then an account called AcceptDoge tells you
24 -- and | think there's a typo, but it's "here's one of
25 them"?22
A. Yes.
Q. Does that look right to you?
A. Yes.
on
4 Q. Okay. And then there's a tweet from a Dr.
5 Frensor, and it says, "OMFG, they are so busted. A
6 member of Patriot Front is actually a political science
7 student at a liberal school on a career path towards the
8 feds"; do you see that?
9 A. Yes.
10 Q. Okay. And then you'll see that there are two
11 images from the brawl in Portland that day along with
12 two screenshots from Ben Brody's social media
13 information. Do you see their pictures of Ben Brody and
14 the information about him?
15 A. You need to zoom in, | think.
16 MR. BANKSTON: A.J., can you zoom in on the
17 part there with the Ben Brody pictures?
18 THE WITNESS: Yeah, | see it.
19 Q. (BY MR. BANKSTON) Okay. So you now see that we
20 have pictures from the brawl as well as pictures showing
21 and describing Ben Brody, correct?
22 «A. Yes.
23 Q. Okay. And then scroll down, your response to
24 that we have -- it just says, "very odd," correct?
25 A. Yes.23
1 Q. Okay. This was the first time you became aware
2 of this allegation about Ben Brody?
3 A. I think so.
4 Q. Okay. On the quote tweet of Dr. Frensor -- can
5 you scroll up just a little bit? Okay. On this quote
6 tweet, do you see how it says -- we can see that it's
7 part of a thread because it says, "Replying to Dr.
8 Frensor." Do you see where that is?
9 A. Yes,
10 Q. Okay. And then do you see below the text it
11 says "Show more," right?
12 A. Yes.
13. Q. Do you know if you clicked on the Dr. Frensor
14 tweet and read any of the other tweets in that thread?
15 A. |--| don't recall doing so.
16 Q. And do you know if you clicked on Dr. Frensor's
17 profile to bring up their timeline and bio?
18 A. Not that | recall.
19 Q. Okay. And if you didn't do that, there was no
20 way for you to assess this person's credibility, right?
a A. | wasn't trying to assess their credibility.
22 = Q. I'mnot asking if you were trying to. |
23 actually don't think you were at all. But I'm asking
24 you, the only method that you had in front of you right
25 here to assess credibility to learn anything about this24
1 person was to click on their profile, right? There was
2 no information about them in this tweet?
3 A. | don't think clicking on someone's profile is
4 an effective way of assessing their credibility.
5 Q. Well, couldn't you click on their profile and
6 take a quick look at their timeline and see if the
7 things that they had been saying were things that might
8 give red flags about reliability? Isn't that something
9 you could do?
10 A. Possibly, and that's sort of not a very
11 reliable way.
12 Q. Sure. But!'m asking that is something you
13 could do. If, for instance, let's say you clicked on
14 Dr. Frensor's account and you saw that they were
15 tweeting a bunch of really wacky, obviously false
16 things. That might give someone pause about whether
17 this person was reliable, correct?
18 A. Yeah, you'd say that perhaps that would affect
19 things.
20 = Q. Do you know --
21 A. It is possible for people who are -- nobody's
22 right all the time. Nobody's wrong all the time --
23 Q. Sure.
24 A. --soit's possible for some people to -- you
25 know, like once in a while, a conspiracy theorist is25
1. going to be right.
2 Q. Yeah, yeah, somebody who's really, really
3 unreliable most of the time could be right some of the
4 time, right?
5 A. Yes. And people who are -- and people who are
6 reliable, could be wrong some of the time.
7 Q. And so, in other words, somebody who's
8 unreliable, if you did some homework and checking, you
9 might actually discover, hey, this unreliable person is
10 correct, right?
1 MR. SPIRO: Objection to form.
12 A. I think everyone is wrong to some degree and
13 everyone is right -- usually right to some degree.
14 Q. (BY MR. BANKSTON) Do you know --
15 MR. SPIRO: Mark, Mark, you've got to let
16 him answer the questions. You're cutting him off at the
17 end of every -- every answer.
18 MR. BANKSTON: Mr. Musk, do you have
19 anything else you want to add?
20 A. | was saying that even if somebody is wrong
21 most of the time, they will still be right some of the
22 time, and if somebody is right most of the time, they
23 will be wrong some of the time.
24 ~=Q. (BY MR. BANKSTON) Agreed. Do you know if you
25 saw any other tweets from Dr. Frensor that day or in the26
1 few days before that?
2 A. I don't know Dr. Frensor or that account.
3 Q. Doyou -- I'm saying so you don't know if you
4 saw tweets from them or not either that day or in the
5 days prior?
6 A. I don't think | did.
7 ~~ Q. Okay. | mean, I'm asking you have you -- do
8 you know? Did you go and check, do you know, or is that
9 still an open question?
10 A. | don't -- | don't recall looking at Dr.
1
Frensor's account.
12 Q. There is a possibility you have seen tweets
13 from Dr. Frensor before?
14 A. It's possible, yeah.
15 (EXHIBIT 3 ENTERED INTO THE RECORD)
16 Q. (BY MR. BANKSTON) Okay. Let's talk about the
17 second tweet that you interacted with, okay? So let's
18 go ahead and bring up Tab C and we'll mark this as
19 Exhibit 3.
20 So here we see, this is the following day,
2
June 26th, and as you see, your tweet at the bottom was
22 at 5:34 a.m., okay? So we're now on the second day,
a
3
June 26th. You'll see at the top there's a tweet from
24 Matt Wallace 888, okay? And that tweet reads, "Remember
25 when they called us conspiracy theorists for saying the27
1 feds were planting fake Nazis at rallies?" And then it
2 has a crying laughing emoji; do you see that?
3 A. Uh-huh.
4 Q. Okay. And then in the tweet we see the same
5 pictures that we saw in the Dr. Frensor tweet, correct?
6 A. They look like the same pictures.
7 Q. Yeah, it's the same set of images that Dr.
8 Frensor had attached to their tweet, right?
9 A. They look like the same images.
10 Q. And then you replied, "Always remove their
11 masks," correct?
12 A. Yes, | think we want to shine a light on
13 whoever's doing these things.
14 Q. Okay. All right. So | want to move past these
15 two tweets that you saw on June 25th and June 26th. And
16 now | want to move to June 27th, which this is the date
17 that the lawsuit focuses on, the tweet that it takes
18 issue with, all right?
19 So on June 27th, you understood there was
20 an existing allegation you had seen on Twitter about
21 this Ben Brody person, the college student who wanted to
22 join the government?
23 A. I'msorry. Are you going to show this --
24 ~Q. No. I'masking you a question actually so
25 listen again and I'll ask it again, okay?28
1 On June 27th, you understood there was an
2 existing allegation you had seen on Twitter about this
3 Ben Brody person, this college student who wanted to
4 join the government, correct?
5 A. I guess | would have been aware at the time
6 that there were some posts the prior day. | mean, I'm
7 on the platform a lot, so there are -- | mean, | see
8 sometimes several thousand posts per day.
9 Q. Sure. But what I'm saying is -- all I'm saying
10 is now that we're on June 27th, we know that in the
11 prior two days, you had become aware that there was this
12 existing allegation about Ben Brody?
13. A. Yes, I'm not -- it would not have been top of
14 mind, but certainly | think | probably would have
15 vaguely recalled it, yeah.
16 (EXHIBIT 4 ENTERED INTO THE RECORD)
17 Q. (BY MR. BANKSTON) Okay. Well, let's talk about
18 that morning. Let's bring up Tab D. Alll right. This
19 is going to be Exhibit 4. This is the exchange that the
20 lawsuit takes issue with, okay?
a A. Uh-huh.
22 =. And we see here at the top is Zero Hedge; do
23 you see that?
24 A. Yes.
25 Q. Okay. You know Zero Hedge is a blog with29
1 anonymous contributors, right?
2. A. Yes,
3 Q. Okay. At this time, did you -- were you -- did
4 you -- did you -- were you aware of Zero Hedge before
5 you responded to this tweet?
6 A. I've seen posts from Zero Hedge before.
7 Q. Okay. Do you feel like they're a media
8 organization that you're familiar with, or is this
9 something you just every now and then see tweets from?
10 And could you describe for me your level of familiarity
11 with them?
12 A. | see a lot of their posts. | don't know the
13 people behind it.
14 Q. Okay. Got you. Now, in this tweet, Zero Hedge
15 says, "Patriot Front white supremacist unmasked as
16 suspected fed"; do you see that?
17 A, Yes.
18 Q. Okay. Now, based on what you'd seen at this
19 time, you did not contend that this unmasked person was
20 a federal law enforcement member, but instead was that
21 it was a college student; is that right?
22 ‘A. My post simply says, "Looks like one is a
23 college student who wants to join the government and
24 another is maybe an Antifa member but it's a probable
25 false flag situation." | also put @community notes,30
1 which is the fact-checking system on the X Twitter
2 platform. So the reason | put @community notes there is
3 so that Community Notes can assess the accuracy of the
4 statement.
5 MR. BANKSTON: Okay. Objection;
6 nonresponsive.
7 Q. (BYMR. BANKSTON) Do you remember what my
8 question was, Mr. Musk?
9 A. Please restate.
10 Q. Okay. I'll'do it again. All right. What I'm
11 trying to understand is, based on what you had seen at
12 this point before you posted this tweet, like when you
13 see the Zero Hedge tweet, based on what you had already
14 seen, you did not contend that this unmasked person was
15 amember of federal law enforcement and instead
16 contended that they were a college student; is that
17 correct?
18 MR. SPIRO: Objection to form.
19 A. I mean, | think my post speaks for itself,
20 Q. (BY MR. BANKSTON) No. Actually that's kind of
21 why | have to ask you is because | really would like an
22 answer.
23 A. | think my post is being very -- very literal.
24 = Q. Okay. What I'm trying to figure out is it
25 seems to me that the Zero Hedge tweet is essentially31
1 floating the idea that this unmasked person is a member
2 of federal law enforcement. And | just want to get to
3 the idea of that's not what you were contending.
4 MR. SPIRO: Objection to form. | can't
5 understand you
6 A. I don't understand what you're --
7 Q. (BY MR. BANKSTON) Let's try it this way: Were
8 you contending he was a member of federal law
9 enforcement?
10 MR. SPIRO: Objection to form.
1 A. No, because | say he looks like someone who
12 wants to join the government --
13 Q. (BY MR. BANKSTON) Thank you.
14 A. -- based on the prior things -- the prior post
15 and -- and another may be -- you know, a probable false
16 flag situation. (Internet disruption)
17 And the reason | put @community notes is so
18 that Community Notes is the fact-checking system on the
19 platform and they can -- I'm calling on them to
20 fact-check the situation.
a1 Q. Sure. We're going to talk about that too. In
22 fact, let's talk about that. You tagged Community
23 notes, which, okay, not everybody | think understands
24 what Community Notes is so let me try to see if | can
25 summarize it fairly.32
1 By tagging Community Notes, Community
2 Notes, through a system of voting, had the ability to
3 add a note correcting the Zero Hedge tweet; is that
4 right?
5 A. That's not how Community Notes works.
6 Q. | thought there was a voting system that notes
7 are voted on, and if they get enough votes from people
8 of differing political beliefs and backgrounds, that it
9 can be displayed on a tweet. |s that not how it works?
10 A. Thatis -- the latter part of your explanation
11 is correct. The --
12. Q. Okay.
13 A. -- a Community Note to be surfaced, people who
14 have historically disagreed must agree in order for a
15 note to be displayed.
16 Q. Okay. So let's make it really simple so people
17 can understand what Community Notes is. Community Notes
18 is a system where notes are proposed by Twitter users,
19 and if those notes get enough votes by members of the
20 Community Notes community, they can be displayed on
21 tweets to correct them?
22 A. Yes.
23° Q. Okay.
24 A. Itrequires people who historically have
25 disagreed to agree. It's not simply a popularity33
1 contest.
2. Q. And so if -- if a consensus among those folks
3 developed that said, you know what, Mr. Musk is right,
4 Zero Hedge is wrong, this isn't a law enforcement
5 person. Community Notes, if a consensus developed, had
6 the ability to put a note on Zero Hedge's tweet?
7 MR. SPIRO: Objection to form.
8 A. Ormine.
9 Q. (BYMR. BANKSTON) Or yours or anyone's, right?
10 A. Correct.
1 Q. Okay. When you said looks like one is a
12 college student who wants to join the government, you
13 were referring to the person in the screenshots we saw
14 earlier in the tweets from Dr. Frensor and Matt Wallace
15 888, correct?
16 A. lassume so. Those were -- | think there were
17 two people | referred to previously and that's what I'm
18 referring to here. And I'm speculating here and saying
19 it looks like one is a college student and maybe another
20 is an Antifa member, and it's a probable but not certain
2
2
a
false flag situation. And I'm requesting Community
S
Notes to dig into this and assess the veracity of the
3
situation.
24 ~— Q. When you posted your tweet, you weren't certain
2
a
that this college student was actually one of the34
1 brawlers?
2 A. That's why -- I'm not certain, that's why | say
3 it looks like instead of it -- you know --
4 Q. And, in fact, so when you said looks like, your
5 message was not to tell everybody, hey, I'm sure he's
6 one of the brawlers, but just that you had seen
7 information suggesting that he was one of the brawlers;
8 is that fair?
9 A. Yeah, "it looks like" means that he may be a
10 college student --
1 Q. And that would be -- excuse me. Keep going.
12 A. That's just -- just a literal sort of statement
13 of -- of my impression, which is --
14 Q. Right.
15 A. -- that it looks like just -- you know, if |
16 said something looks like a donut, and it doesn't mean
17 itis a donut; it could be a bagel.
18 Q. Letme try to give you an example: If you said
19 looks like a donut, that would mean that you had seen
20 information or in some way gathered data that would
21 support the idea that maybe that's a donut; is that
22 fair?
23 MR. SPIRO: Objection to form.
24 A. I think it's -- this is a very simple post and
25 just, you know, if you said someone -- that person looks35
1 like my brother, doesn't mean that they are your
2 brother.
3 Q. (BYMR. BANKSTON) Right. But you're saying
4 looks like one is a college student. What | would take
5 to mean that you -- from what we'd seen before from
6 these tweets, you had seen information that suggested
7 that this college student was the brawler, but you
8 weren't sure of that?
9 MR. SPIRO: Objection as to form.
10 A. I'mjust literally saying this looks like. |
11 mean, | can see a picture of my brother and say that
12 looks like my brother but it might not be my brother.
13 Q. (BY MR. BANKSTON) Right. But you had been
14 given information in the previous days that -- you know,
15 we saw tweets from Dr. Frensor and from Matt Wallace
16 saying it was this person. You weren't saying that,
17 right? You were just saying you had seen information;
18 not that you were sure? Am | fair about that?
19 A. I'mliterally just saying that it looks like
20 one is a college student and maybe another is an Antifa
21 member, and I'm asking Community Notes to sort of
22 fact-check this.
23° Q. Let me try it this way: The reason -- the
24 reason that you're saying that it looks like one is a
25 college student is because of the posts that we had just36
1 talked about, because you had seen those posts. That's
2 why you're saying this tweet, right?
3 A. That's probably why I'm saying this.
4 = Q. Okay. You knew when posting your tweet that
5 readers would not know what information you saw to reach
6 this conclusion, right?
7 MR. SPIRO: Objection to form.
8 A. Well, not necessarily because what tends to
9 happen is there will be a sequence of replies where --
10 even in the absence of Community Notes, if something is
11 inaccurate on the system or it's a debatable issue,
12 there will be a series of replies that argue about the
13 substance of a post.
14 Q. (BY MR. BANKSTON) Okay. But let's assume I'm
15 the first person to read this tweet. Let's assume --
16 you see how here it says it was posted 30 minutes from
17 when the screenshot was taken and there were already 384
18 replies; do you see that?
19 A. Yes.
20 Q. Let's assume I'm reply number one. Let's
21 assume | saw your post one second after it was posted.
22 You understood when posting that tweet that if I'm that
23 number one reply, | would not know what information you
24 saw to reach your conclusion; do you agree with that?
25 MR. SPIRO: Objection; form.37
A. Or you may.
Q. (BY MR. BANKSTON) Or may not, right?
A. If you're the very first one, no.
MR. SPIRO: Objection to form.
5 Q. (BYMR. BANKSTON) Right. And so what | guess
RON
6 I'm saying here is there's nothing in the text of your
7 tweet that would tell me what information you relied on
8 to say that it looks like one is a college student; do
9 you agree with that?
10 A. Inmy~in my text?
1 Q. Yes.
12 A. Itdoes not have -- it does not have that
13 context.
14 Q. Okay. So if I'm the first reader of this
15 tweet, | wouldn't know if you saw something from Dr.
16 Frensor or Matt Wallace or somebody else? | wouldn't
17 know, would I?
18 MR. SPIRO: Objection to form. It's not a
19 proper question.
20 A. I guess | decline to answer on advice of
21 counsel.
22 MR. BANKSTON: Are you instructing him not
23 to answer?
24 MR. SPIRO: No. | mean, if he understands
25 the question, he can answer it. It's not a proper38
1 question -- (Internet interruption.)
2 MR. BANKSTON: Look, there's no need for
3 the commentary about if questions are proper or if
4 they're not. That's not necessary. You know it's not
5 necessary. You know the only reason to do it would be
6 to influence the witness.
7 So if you have an instruction not to
8 answer, go ahead and give it. If you have an objection,
9 go ahead and give it, but as far as commentary to the
10 witness, it's not necessary.
1 MR. SPIRO: No, sir. It's not -- | just
12 told the witness he can answer. There's nothing about
13 me commenting that all of these hypothetical what if |
14 saw this, what if | saw that questions are not proper
15 questions. I'm surprised you don't know they're not
16 proper questions so --
17 MR. BANKSTON: Everything you're saying --
18 MR. SPIRO: Can | finish? I'm making my
19 record. So the reason I'm making that comment is to
20 sort of try to signal to you that if you ask nine out of
21 10 improper questions, eventually you're going to get an
22 objection from me, and maybe just ask proper questions.
23 There's nothing about me saying that that
24 changes what he's going to answer. That's not how
25 witness coaching works. |'m surprised you don't know39
1 that.
2 So in any event, all | said was that's not
3 aproper question. It's not a proper question. Any
4 judge reviewing this will tell you it's not a proper
5 question, and if he can answer, he can answer.
6 MR. BANKSTON: All right. Again, I'm going
7 to ask you again to obey Rule 199.5 because nothing
8 about what you're doing is proper and you know that.
9 So I'm going to ask him the question again
10 --
1 MR. SPIRO: We disagree.
12 MR. BANKSTON: -- and if he can understand
13 it, then he'll answer it, okay?
14 You knew that a reader of your tweet when
15 posting your tweet, your state of mind when posting this
16 tweet, you knew that a reader of this tweet would not
17 know from your tweet whether you saw information from
18 Dr. Frensor or Matt Wallace or anybody else? They
19 wouldn't know, right?
20 A. They may not know immediately, but they would
21 know it soon after. And they would also know that there
22 would be many future comments -- and there would
23 probably be a Community Note to figure out the veracity
24 of what I'm saying or the probable accuracy of what I'm
25 saying. Anyone who uses the system would know that40
1 there's going to be a vigorous debate about something
2 like this, and they would know that they could look at a
3 Community Note in the future to understand the -- what
4 -- whether this is accurate or not accurate.
5 And | think -- | think | really did this in
6 good faith, because | would not ask for a fact-check,
7 which is what | do by adding Community Notes. That's
8 asking for a fact-check on my own -- on my own post.
9 Q. Well, you're asking for it on Zero Hedge's
10 post, aren't you?
1 A. No. I'm asking it on my post and his post.
12 Q. Okay.
13 A. People who've used the system know if you
14 @communitynotes, this is requesting fact-check Community
15 Notes, that's what it means, and people know that.
16 = Q. Allright. So let's say again that I'm the
17 first person who reads this. You're saying that if I'm
18 a sophisticated user, | would know to come back at some
19 later time and see how the debate has developed; is that
20 right?
a A. No. | think that's any user who's on the
22 system for any period of time.
23 Q. Well, | don't do that. | mean, I'm a casual
24 user of Twitter, right --
25 A. That's how it works though.4
1 Q. -- and so you would agree with me that if | was
2 the first person who saw this tweet and then | saw it
3 and | digested it and then | never cared to come back
4 and look again, | wouldn't see any of that information,
5 right?
6 MR. SPIRO: Objection to form.
7 _ A. I think that is -- that is basically no one on
8 the -- on the system, and | don't think -- | think
9 you're being disingenuous about what you're saying. |
10 don't think that's how you use the system.
1 Q. (BY MR. BANKSTON) Okay. You understand that
12 Ben wanted --
13 A. I'm very clear here and people understand that
14 when you @communitynotes, you're literally asking for
15 please check the accuracy of this statement, and would
16 include the -- the post that I'm replying to.
17 Q. Did they?
18 A. I don't know.
19 Q. You understand that Ben wanted you to delete
20 your tweet and make a retraction?
21 A. I don't recall that.
22 Q. You don't recall that? That's interesting.
23 Okay. Well, | was going to ask you why you refused
24 that, but if you're not -- you're not aware that a
25 request was made to apologize and delete this and make a42
1 retraction?
2 MR. SPIRO: Objection; asked and answered,
3 form.
4 A. I don't recall that, no.
5 Q. (BYMR. BANKSTON) Okay. If you knew right now
6 -- knowing right now Ben is really upset that this tweet
7 is still up and that he wanted there to be a retraction,
8 how do you feel about that?
9 MR. SPIRO: Objection to form. How you
10 feel about it? How is that -- how you feel about it,
11 how is that relevant --
12 MR. BANKSTON: Mr. Spiro --
13 MR. SPIRO: -- now to the four deposition
14 topics? We're on, | guess, topic four. We've addressed
15 one through three. How is that relevant to four?
16 MR. BANKSTON: Because in Gonzalez vs.
17 Hearst Corp., 930 S.W.2nd 275, a refusal to print a
18 retraction is evidence of an action after the
19 publication, but it can lend support to a claim that
20 reckless disregard or knowledge existed at the time of
21 publication.
22 Similarly, in New Times vs. Issacks, Texas
23 Supreme Court 2004, 146 S.W.3rd 144, refusal to retract
24 an exposed error tends to support a finding of actual
25 malice, and conversely, a readiness to retract tends to1 negate actual malice.
2 So again, I'll pose my question --
3 MR. SPIRO: Yeah, I'll look at those cases
4 but he's not answering that right now. | don't see the
5 relevance. | don't think those cases -- I'm pretty
6 confident those cases are not directly on point so I'll
7 review the cases so we can respond further.
8 MR. BANKSTON: All right. Next time I'd
9 appreciate it if you showed up in a deposition with a
10 Texas lawyer who had an understanding of Texas law of
11 actual malice.
12 MR. SPIRO: Okay. You keep filing these
13 silly, frivolous shake-down cases, I'll -- I'll keep
14 trying to think of Texas lawyers to bring to your
15 depositions.
16 MR. BANKSTON: Mr. Musk, | will tell you
17 I'm trying to be as civil as | can in this deposition
18 with you and your attorney. I'd appreciate it -- these
19 random, insulting, professionally demeaning really have
20 no place here.
a1 MR. SPIRO: You just did the same thing and
22 | responded in kind, so keep moving with the deposition.
23 You're running out of time.
24 MR. BANKSTON: You think that's what
25 happened here.