ULS. Department of Justice
Ronald C. Machen Jr.
United States Attorney
District of Columbia
ution Coter
555 Fowrh StH.
Washngion DC. 20830
‘November 24, 2015
Larry Klayman, Esq
Re: In re Investigation of Possible Violations of 50 U.S.C. § 1809
Dear Counsel:
As you are aware, your client, Dennis Montgomery, has indicated that he possesses
evidence of possible violations of 50 U.S.C. § 1809, the Foreign Intelligence Surveillance Act.
{understand that in support of these allegations, in addition to providing physical evidence, your