Case 1:17-cr-00201-ABJ Document 190-1 Filed 02/22/18 Page 31 of 37 Treasury an FBAR disclosing that he had a financial interest in, and signature authority over, a bank, securities, and other financial account in a foreign country, which had an aggregate value of more than $10,000 in a 12-month period, during the years listed below: COUNT YEAR DUE DATE TO FILE FBAR 21 2011 June 29, 2012 22 2012 June 30, 2013 23 2013 June 30, 2014 (31 U.S.C. §§ 5314 and 5322(a); 18 U.S.C. §§ 2 and 3551 et seq.) COUNT TWENTY-FOUR (Bank Fraud Conspiracy / Lender B / $3.4 million loan) 57. Paragraphs 1 through 44 are incorporated here. 58. On or about and between December 2015 and March 2016, both dates being approximate and inclusive, in the Eastern District of Virginia and elsewhere, defendants PAUL J. MANAFORT, JR., and RICHARD W. GATES III did knowingly and intentionally conspire to execute a scheme and artifice to defraud one or more financial institutions, to wit: Lender B, the deposits of which were insured by the Federal Deposit Insurance Corporation, and to obtain moneys, funds, and credits owned by and under the custody and control of such financial institution by means of materially false and fraudulent pretenses, representations, and promises, contrary to Title 18, United States Code, Section 1344. (18 U.S.C. §§ 1349 and 3551 et seq.) COUNT TWENTY-FIVE (Bank Fraud / Lender B / $3.4 million loan) 59. Paragraphs 1 through 44 are incorporated here. 60. On or about and between December 2015 and March 2016, both dates being approximate 31

Manafort and Gates superseding indictment - Page 31 Manafort and Gates superseding indictment Page 30 Page 32