SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
MEMORANDUM
Date: May 18, 2015
To:
Assistant Special Agent in Charge
Special Operations Division
From:
Director
OCDETF Fusion Center
Subject: Target Profile: • Jeffre
EPSTEIN•
WARNING
This product contains sensitive proprietary law enforcement information which may be either classified or the subject of stringent caveats. This
product is compiled from multi-agency databases and open sources, and should not be treated as a finished investigative product. OCDETF
suggests advising your prosecuting attomey(s) of this intelligence product. The recipient and attomey(s) are advised that this product may not be
referenced in affidavits, indictments. extradition documents, other court related documents, press releases. or duplicated as a pan of the discovery
process without the express written permission of the OCDETF Fusion Center and the originating agencies. This product is provided to your
agency for lead purposes only and may not be disseminated to third panics without approval of the originating agencies. Further. investigative
action based upon this information should be coordinated with the contributing agencies. This product should be destroyed in a manner consistent
with its classification upon determination that retention is no longer necessary to support an investigation, prosecution or related activity.
Date of Request: April 28, 2015
Case File Number / Agency: C1-11-0049 GDEP: YNL3B (DEA)
OCDETF Case Number: NY-NYS-0829
OCDETF Operation Name: Chain Reaction
Requestor / Agency / Telephone Number:
OFC Unit Chief / Telephone Number:
OFC Desk Officer / Telephone Number:
OFC Intelligence Analyst / Telephone Number:
SOD OSF Contact / Telephone Number:
Agency information contained herein:
ATF SI CBP la DEA O DOC ❑ DOL OIG li DSS OAFP ONCA/SOCA OBOP SDOS
114 FBI 61 ICE ❑ IRSCI O USMS ❑ USPIS ❑ USSS ❑NZP lilF1NCEN
FBI Guardian Incident
SENSITIVE BUT UNCLASSIFIED
EFTA00173953
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Table of Contents
ANALYTICAL FINDINGS 1
Background: 1
• Analytical Findings: 1
TARGET 1— 4
BIOGRAPHICAL/IDENTIFYING DATA 4
ADDRESSES 5
COMMUNICATIONS 5
Telephone Numbers 5
BORDER CROSSINGS 5
Border Crossings - Air S
LINKED INVESTIGATIONS 6
CRIMINAL HISTORY/NCIC 6
Offline NC1C 6
FINANCIAL INFORMATION 7
USAR — Unified Suspicious Activity Report(s) 7
ASSETS 7
Financial Accounts) 7
TARGET 2 — 8
BIOGRAPHICAL/IDENTIFYING DATA 8
ADDRESSES 8
COMMUNICATIONS 8
Telephone Numbers 8
BORDER CROSSINGS 8
Border Crossings - Air 8
LINKED INVESTIGATIONS 9
CRIMINAL HISTORY/NCIC 9
Offline NC1C 9
FINANCIAL INFORMATION 10
USAR — Unified Suspicious Activity Report(s) 10
TARGET 3 - 11
BIOGRAPHICAL/IDENTIFYING DATA 1I
ADDRESSES II
COMMUNICATIONS II
Telephone Numbers I
Websites, Email Addresses, IP Addresses II
BORDER CROSSINGS 12
Border Crossings - Air 12
LINKED INVESTIGATIONS 12
CRIMINAL HISTORY/NCIC 12
Offline NC1C 12
SENSITIVE BUT UNCLASSIFIED
EFTA00173954
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
FINANCIAL INFORMATION 13
USAR — Unified Suspicious Activity Report(s) 13
TARGET 4 — JEFFREY EPSTEIN 14
BIOGRAPHICAL/IDENTIFYING DATA 14
ADDRESSES 14
COMMUNICATIONS 15
Telephone Numbers 15
Websites, Email Addresses, IP Addresses 15
BORDER CROSSINGS 15
Border Crossings - Air 15
CORPORATE/BUSINESS AFFILIATIONS 15
LINKED INVESTIGATIONS 16
CRIMINAL HISTORY/NCIC 17
Offline NCIC 17
FINANCIAL INFORMATION 19
USAR — Unified Suspicious Activity Report(s) 19
UC7'R — Unified Currency Transaction Report(s) 19
CTR — Currency Transaction Report(s) 19
AssErs 20
Financial Accounts) 20
FAMILY MEMBER/ASSOCIATE IDENTIFYING INFORMATION 21
Associates 21
TARGET 5 - 22
BIOGRAPHICAL/IDENTIFYING DATA 22
ADDRESSES 22
COMMUNICATIONS 22
Telephone Numbers 22
Websites, Email Addresses, IP Addresses 23
BORDER CROSSINGS 23
Border Crossings - Air 23
LINKED INVESTIGATIONS 23
CRIMINAL HISTORY/NCIC 24
Offline NCIC 24
FINANCIAL INFORMATION 25
USAR — Unified Suspicious Activity Report(s) 25
UC7'R — Unified Currency Transaction Report(s) 25
AssErs 26
Financial Accoum(s) 26
TARGET 6 — 27
BIOGRAPHICAL/IDENTIFYING DATA 27
ADDRESSES 28
COMMUNICATIONS 28
Telephone Numbers 28
SENSITIVE BUT UNCLASSIFIED
EFTA00173955
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Websites, Email Addresses, IP Addresses 28
BORDER CROSSINGS 28
Border Crossings - Air 28
CORPORATE/BUSINESS AFFILIATIONS 29
LINKED INVESTIGATIONS 29
CRIMINAL HISTORY/NCIC 29
Offline NCIC 29
FINANCIAL INFORMATION 30
USAR — Unified Suspicious Activity Report(s) 31
CTR - Currency Transaction Report(s) 31
AssErs 31
Financial Account(s) 31
TARGET 7 - 32
BIOGRAPHICAL/IDENTIFYING DATA 32
ADDRESSES 32
COMMUNICATIONS 32
Telephone Numbers 32
Websites, Email Addresses, IP Addresses 32
LINKED INVESTIGATIONS 33
CRIMINAL HISTORY/NCIC 33
Offline NCIC 33
FINANCIAL INFORMATION 34
USAR — Unified Suspicious Activity Report(s) 34
UCTR — Unified Currency Transaction Report(s) 34
CTR - Currency Transaction Report(s) 35
TARGET 8 — 36
BIOGRAPHICAL/IDENTIFYING DATA 36
ADDRESSES 36
COMMUNICATIONS 36
Telephone Numbers 36
Websites, Email Addresses, IP Addresses 36
BORDER CROSSINGS 37
Border Crossings - Air 37
LINKED INVESTIGATIONS 37
CRIMINAL HISTORY/NCIC 37
Offline NCIC 37
FINANCIAL INFORMATION 38
USAR — Unified Suspicious Activity Report(s) 38
TARGET 9 - 39
BIOGRAPHICAL/IDENTIFYING DATA 39
ADDRESSES 40
COMMUNICATIONS 40
Telephone Numbers 40
SENSITIVE BUT UNCLASSIFIED
EFTA00173956
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OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May IS, 2015
Websites, Email Addresses, IP Addresses 40
LINKED INVESTIGATIONS 40
CRIMINAL HISTORY/NCIC 41
Offline NCIC 41
FINANCIAL INFORMATION 41
USAR — Unified Suspicious Activity Report(s) 42
AssErs 42
Financial Account(s) 42
TARGET 10 — 43
BIOGRAPHICAL/IDENTIFYING DATA 43
ADDRESSES 43
BORDER CROSSINGS 43
Border Crossings - Air 43
LINKED INVESTIGATIONS 44
CRIMINAL HISTORY/NCIC 44
Offline NCIC 44
FINANCIAL INFORMATION 45
USAR — Unified Suspicious Activity Report(s) 45
CTR - Currency Transaction Report(s) 45
TARGET 11 - 47
BIOGRAPHICAL/IDENTIFYING DATA 47
ADDRESSES 47
COMMUNICATIONS 47
Telephone Numbers 47
LINKED INVESTIGATIONS 47
CRIMINAL HISTORY/NCIC 48
Offline NCIC 48
FINANCIAL INFORMATION 49
USAR — Unified Suspicious Activity Report(s) 49
AssErs 49
Financial Account(s) 49
TARGET 12 — 50
BIOGRAPHICAL/IDENTIFYING DATA 50
ADDRESSES 50
COMMUNICATIONS 50
Telephone Numbers 50
LINKED INVESTIGATIONS 51
CRIMINAL HISTORY/NCiC 51
Offline NCIC 51
FINANCIAL INFORMATION 52
USAR — Unified Suspicious Activity Report(s) 52
AssErs 53
Financial Account(s) 53
SENSITIVE BUT UNCLASSIFIED
iv
EFTA00173957
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
TARGET 13 - 54
BIOGRAPHICAL/IDENTIFYING DATA 54
ADDRESSES 54
COMMUNICATIONS 55
Telephone Numbers 55
BORDER CROSSINGS 55
Border Crossings - Air 55
LINKED INVESTIGATIONS 55
CRIMINAL HIsToRWNCIC 56
Offline NCIC 56
FINANCIAL INFORMATION 57
TARGET 14 - 58
BUSINESS IDENTIFYING DATA 58
ADDRESSES 58
COMMUNICATIONS 59
Telephone Numbers 59
LINKED INVESTIGATIONS 59
FINANCIAL INFORMATION 59
ASSOCIATE IDENTIFYING INFORMATION 60
Associates 60
TARGET 15 - 61
BUSINESS IDENTIFYING DATA 61
ADDRESSES 61
COMMUNICATIONS 62
Telephone Numbers 62
LINKED INVESTIGATIONS 62
FINANCIAL INFORMATION 62
ASSOCIATE IDENTIFYING INFORMATION 63
Associates 63
SENSITIVE BUT UNCLASSIFIED
EFTA00173958
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
**CAUTION**
This product may contain active hyperlinks to internet websites and email
addresses. Please use caution when navigating the contents of this publication. Hvperlinks will be
identified in red.
Analytical Findings
Background: A request was submitted by the Drug Enforcement Administration (DEA) New
York NY for all re ' .rtin available to the OCDETF Fusion Center OFC for
• Jeffre EPSTEIN.
; and . DEA reporting
indicates the above individuals are involved in illegitimate wire transfers which are tied to illicit
drug and/or prostitution activities occurring in the U.S. Virgin Islands and New York City.
• Analytical Findings: This Target Profile product was prepared from a series of queries
against the available OFC databases. Reporting relative to the subjects was found in Customs
and Border Protection (CBP); DEA; DOS Non-immigrant Visas (DOS NIV); Diplomatic
Security Service (DSS); Federal Bureau of Investigation (FBI); Financial Crimes Enforcement
Network (FinCEN) Gateway; and Immigration and Customs Enforcement (ICE) databases as
well as the commercial database Accurint.
Through a phone conversation, the requestor indicated recent financial information on the targets
would be beneficial to the investigation.
o Financial Information (Bank Secrecy Act Warnings Apply):
Analyst's Note 1: Many of their financial reports listed below include many/all of the
targets as multiple subjects.
Analyst's Note 2: Only financial reporting from 2010 through 2015 is included in this
report. Older financial information on the targets is available.
• is a subject of three 2015 USARs totaling $4,193,637.
See attachment I for more information.
• is a subject of three 2015 USARs totaling $4,193,637. See
attachment 1 for more information.
• is a subject of three 2015 USARs totaling $2,754,983. See
attachment 1 for more information.
• Jeffrey EPSTEIN is a subject of seven USARs (4 in 2015, 2 in 2014, and 1 in
2013) totaling $5,672, 21. See attachment 1 for more information.
• Jeffrey EPSTEIN and are subjects together in three Unified
Curren Transaction Reports (UCTR) (1 in 2014 and 2 in 2013) totaling $102,
648. reportedly conducted transactions on Jeffrey EPSTEIN's behalf.
See Jeffrey EPSTEIN's financial information section for more information.
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EFTA00173959
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
• Jeffrey E EIN is a subject of eight CTRs (2 in 2011 and 6 in 2010) totaling
$233,397. is an additional subject of one of these CTRs. See
attachment 2 for more information.
• is a subject of a 2015 USAR for $157,898. See attachment I for
more information.
• is a subject of a 2014 UCTR for 0 000 in which he conducted
a withdrawal(s) on behalf of See
financial information section for more information.
• is a subject of three USARs (2 in 2015 and 1 in 2014)
totalin 4 236 995. See attachment 1 for more information.
• and are subjects of a 2011 CTR in which
conducted USD and Euro transactions on behalf of
financial information section for more information.
is a subject of two USARs (1 in 2015 and 1 in 2013) totaling
898. See attachment I for more information.
• and are the subjects of three 2013 UCTRs
totaling $157,152. FinCEN indicates cashed negotiable instruments the
businesses' behalf. See financial information and corporate/business
affiliations sections for more information regarding the UCTRs and
res ctively.
• and are the subjects of 22 CTRs (1 in 2013, 9
in 2012, 7 in 2011, and 5 in 2010) totaling $730,000. See attachment 3 for more
information.
• is a subject of three 2015 USARs totaling $2,754,983. See
attachment 1 for more information.
• is a subject of two 2015 USARs totaling $4,079,102.
See attachment I for more information.
• is a subject of three 2015 USARs, totaling $4,193,637. See
attachment 1 for more information.
• and are subjects together in two
CTRs (2011 and 2010) in which conducted deposits on the
company's behalf. See financial information section for more
information.
• is a subject of two 2015 USARs totaling $4,079,102. See
financial information section for more information
is the subject of a 2012 USAR for $45,107. See
financial information section for more information.
• is a subject of two 2015 USARs totaling $4,079,102.
See IDZK W KA' financial inf rmatiration for more information.
• Is a subject of two 2015 USARs
totaling $4,079,101. See attachment 1 for more information
• is a subject of three 2015 USARs totaling
$4,193,637. See attachment 1 for more information.
SENSITIVE BUT UNCLASSIFIED
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EFTA00173960
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
o Cases and Contacts: The targets are subjects in the following case:
ase File Title/ Case
Agency/Location Case Number Date Opened Operation Agent(s)/
Status/Date
C
Name Phone No.
DEA/ Pending
C1-11-0049 12/17/2010
New York, NY Judicial
SENSITIVE BUT UNCLASSIFIED
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EFTA00173961
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SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
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EFTA00173962
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SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
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EFTA00173963
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Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Offline NCIC repon lists other law enforcement agencies that have previously queried the same individual. This repon does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. Olt requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.c. - Offline
NCIC Results for Target I IMMIDD(fYYY HH:NIM:SS).xls", which provides the dateline and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discoverine tareet associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
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EFTA00173964
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OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only for a purpose consistent with a criminal. tax. or regulatory investigation or proceeding, or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released. disseminated, disclosed, or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR fling- This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a U.S. financial institution.
SARs arc utli evidence. but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may nol: 1) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as pert or a judicial proceeding. law enforcement personnel must coordinate that potential disclosureixith_FinCENs Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies, along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization, disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation. or to such domestic law enforcement personnel that
are part of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
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EFTA00173965
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May IS, 2015
SENSITIVE BUT UNCLASSIFIED
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EFTA00173966
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May IS, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An GI 'line NCIC report lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query• NCIC
for the last 2 years of data unless otherwise requested by the requestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.e. - Offline
NCIC Results for Target I INIM/DDfYYYY HH:fsINI:SS).xls", which provides the datetime and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific infommtion outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 9 of 63
EFTA00173967
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only for a purpose consistent with a criminal, tax. or regulatory• investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities. including analysis. to protect against international terrorism. See 31 U.S.C. 53 II.
The information cannot be further released, disseminated, disclosed, or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR (Isaac_ This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a U.S. financial institution.
SARs arc not evidence, but contain information that. when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part or a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies, along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization, disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation. or to such domestic law enforcement personnel that
are part of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines fin. Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 10 of 63
EFTA00173968
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 11 of 63
EFTA00173969
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Offline NCIC
GUIDANCE NOTE
An Offline NCIC rcpon lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
moan the agencies listed on the offline NCIC report have additional documents on that individual. By default. OIC requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file. i.c. "Offline
NCIC Results for Target I antalirtYYY HH:MNI:SS).xls", which provides the datetimc and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
SENSITIVE BUT UNCLASSIFIED
Page 12 of 63
EFTA00173970
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information maybe used only for a purpose consistent with a criminal. tax. or regulatory• investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities. including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated, disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential infommnt tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a U.S. financial institution.
SARs are not evidence. but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as pan of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part of a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization, disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
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EFTA00173971
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0FC-TP-15-12392
S0D0FC-15.12392
Date of Report: May 18, 2015
TARGET 4 — Jeffrey EPSTEIN
Biographical/Identifying Data
Information Source
Jeffrey Edward
Full Name: ICE ROI, PA07QK13PA0002-003
EPSTEIN
Alias: Jeffrey E. EPSTEIN FinCEN BSA ID 31000062289100
DOB: 01/20/1953 FinCEN BSA ID 31000062289100
SSN: FinCEN BSA ID 31000062289100
Driver's License Number and U.S. Vir• in Islands FinCEN BSA ID 31000062289100
State:
ICE Subject Record P8529715900CWP
Investment Advisor FinCEN BSA ID 31000062289100
Occupation:
Accountant FinCEN BSA ID 20112031315534
SLK DESIGNS LLC FinCEN BSA ID 31000053179085
Business/Employer:
HYPERION AIR, INC. FinCEN BSA ID 31000031627861
ICE P6B38569000CPA ICE Subject Record P6B38569000CPA
Agency Identifier(s):
ICE P8529715900CWP ICE Subject Record P8529715900CWP
Analyst's Note: See the co orate/business affiliations section for more information regarding SLK
DESIGNS LW and INC.
Addresses
(R) - Residential (B) - Business (U) - Unknown M) -Mailing Company/Post Office (C) - Criminal
Date of
Type Address Source
Info.
FinCEN BSA ID
R 03/06/2015
31000062289100
FinCEN BSA ID
M 03/0612015
31000062289100
FinCEN BSA ID
R 03/06/2015
31000062289100
FinCEN BSA ID
B 03/06/2015
31000062289100
FinCEN BSA ID
B 03/06/2015
31000062289100
SENSITIVE BUT UNCLASSIFIED
Page 14 of 63
EFTA00173972
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OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Communications
Telephone Numbers
R — Residential B — Business M — Mobile U — Unknown (P) - Pa er/Bee er V - VOIP
Subscriber/Affiliation Date of
Type Number Address Source
to Target Info.
M See Analyst's Note Jeffrey E. EPSTEIN 03/06/2015
R See Analyst's Note Jeffrey E. EPSTEIN 03/06/2015
B See Analyst's Note See Analyst's Note 03/06/2015 FinCEN BSA ID
B See Analyst's Note See Analyst's Note 03/06/2015 31000062289100
B See Analyst's Note See Analyst's Note 03/06/2015
B See Analyst's Note See Analyst's Note 03/06/2015
Analyst's Note: Specific subscriber/corresponding businesses names for the above business phone
numbers were not listed.
Websites, Email Addresses, IP Addresses
Website/Email Address/IP
Subscriber/Affiliation to Target Source
Address
FinCEN BSA ID
Jeffrey E. EPSTEIN
31000062289100
Border Crossings
Border Crossings - Air
Source: Customs and Border Protection (CBP)
Date/ lime Departure Airport Arrival Airport Flight Number/Airline
05/06/2014 Charles de Gualle Int. JFK Int. 006/Air France
04/29/2014 JFK Int. Charles de Gualle hit. 011/Air France
02/19/2014 Charles de Gualle Int. JFK Int. 022/Air France
02/09/2014 JFK Im. Charles de Gualle Mt. 009/Air France
Corporate/Business Affiliations
Corp. Affiliation of
Name, Address, CorpJBusiness
Number/Filing Status Target to Source
Phone Off icers
Type Corp /Business
LLC
FinCEN BSA ID
Aim.
Qtrs. Ste 133 Active Signor 31000031627861;
Number:
St Thomas, Virgin ‘LLounctint Accurint
Islands, U.S.
00802
SENSITIVE BUT UNCLASSIFIED
Page 15 of 63
EFTA00173973
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Corp. Affiliation of
Nam Ad Corp./Business
e,honedress, Number/Filing Status Target to Source
P Officers
T Cor /Business
Details: FinCEN indicates EPSTEIN and are signors for LLC.
Analyst's Note: FinCENindicates this company provides aircraft maintenance. Accur nt indicates this
business consists of one 2001Bell 430 aircraft (S/N: 49078) which was registered on 09/06/2013.
SLK DESIGNS
FinCEN BSA ID
Not Listed Active Association Not Listed
New York, NY 31000053179085
10065
Details: EPSTEIN and SLK DESIGNS LLC are isted as subjects together in a 2014 USAR. FinCEN
indicates EPSTEIN sent SLK DESIGNS LLC $20,000 from an external bank account in 2014.
Linked Investigations
Case
Case Case File Title/
Agency/Location Date Opened Agent(s)/
Number Status/Date Operation Name
Phone No.
DEA/ Pending
C1-11-0049 12/17/2010
New York, NY Judicial
Details: The R uestor's case
EPSTEIN,
FBI/ 31E-MM- JEFFREY
07/25/2006 Active
Miami, FL 108062
Details: FBI reporting indicates Jeffrey EPSTEIN and Ghislaine MAXWELL are companions (FBI FD-
302, 31E-MM-108062, 07/08/2013).
OPERATION
ANGEL
ICE/ PA07QK13P Closed/ WATCH/RCSO
06/07/2013
Paris, France A0002 10/03/2013 PRESENSE/
TRANSITING
INFO SHARING
Details: ICE reporting indicates Jeffrey EPSTEIN was convicted in 2008 of procuring a person under age
18 for prostitution in Florida (ICE ROI, PA07QK 13PA0002-003).
ICE/ LV15HT09L Pending/
02/02/2009
Las Vegas, NV V0009 01/27/2010
Details: ICE reporting indicates Jeffrey EPSTEIN pled guilty on 06/30/2008 on charges relating to
solicitation of prostitution and procurement of minors to engage in prostitution (ICE ROI,
LV I 5HT09LV0009-003)
SENSITIVE BUT UNCLASSIFIED
Page 16 of 63
EFTA00173974
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Case
Case Case File Title/
Agency/Location Date Opened Agent(sY
Number Status/Date Operation Name
Phone No.
ICE/
Closed/ Jeffrey EPSTEIN
West Palm Beach, WPIEQI°6 07/28/2006
WP0011 07/28t2008 (El' AL)
FL
Details: ICE reporting indicates Jeffery EPSTEIN pled guilty on 06/30/2008 to state offences relating to
solicitation of prostitution and procurement of minors to engage in prostitution (ICE Subject Record
P8529715900CWP).
Criminal History/NCIC •
Offline NCIC
GUIDANCE NOTE
An Offline NCIC rcpon lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OR: requests will query NCIC
for the last 2 years of data unless otherwise requested by the requester.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.e. "Offline
NCIC Results for Target I ININVDDNYYY HII:NINI:SSI.xls", which provides the dateitime and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide funher details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
First Last Agency ORI
Agency ORI Count
Contact Contact Phone
CBP CYRIL E KING AP INTL
30 05/22/2013 05/02/2015
ARRIVALS
US CUST SERV ENFORCEMENT
145 05/11/2013 05/02/2015
SYSTEMS NEWINGTON
FL DEPT OF LAW ENFORCEMENT
8 05/29/2013 05/01/2015
COMMAND CENTER
NY STATE DIV CRIMINAL JUSTICE
12 06/12/2013 04/28/2015
SVCS ALBANY
DRUG ENFOR ADMIN NEW YORK 5 04/24/2015 04/24/2015
SENSITIVE BUT UNCLASSIFIED
Page 17 of 63
EFTA00173975
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
DHS ICE INVEST RAC ST THOMAS
1 04/13/2015 04/13/2015
USVI
CUSTOMS AND BORDER
13 05/12/2013 04/03/2015
PROTECTION
US CUSTOMS SERVICE ENF
14 06/02/2013 03/01/2015
SECURITY NEWINGTON
DHS ICE INVEST SAC MIAMI 2 02/26/2015 02/26/2015
FBI NOPU 1 12/01/2014 12/01/2014
CUSTOMS AND BORDER
4 10/13/2014 11/30/2014
PROTECTION BEDFORD L G
CBP LOGAN INTERNATIONAL
3 10/13/2014 11/30/2014
AIRPORT
US CUSTOMS SERV AIRPORT
20 03/12/2014 10/23/2014
BAGGAGE I&C NEWARK
CUSTOMS AND BORDER
2 05/16/2014 10/23/2014
PROTECTION
CUSTOMS AND BORDER
15 03/11/2014 10/07/2014
PROTECTION
US SECRET SERV UNIFORM DIV
1 08/12/2014 08/12/2014
WASHINGTON
U S SECRET SERVICE WHITE HOUSE
1 08/12/2014 08/12/2014
DIVISION
CUSTOMS AND BORDER
6 10/15/2013 05/06/2014
PROTECTION
US CUSTOMS SERV INSPECTION
5 04/19/2014 04/20/2014
CONTROL CLAYTON
USC MARCH AFB OFFICE OF
4 06/06/2013 03/27/2014
ENFORCEMENT RIVERSIDE
CBP SEATTLE INTL AIRPORT 5 03/19/2014 03/20/2014
USC SEA-TAC AIRPORT PASS PROC
1 03/19/2014 03/19/2014
I&C SEATTLE
CBSA ASFC HQ IBQ 1 03/17/2014 03/17/2014
DOI U S ATTORNEY GENERALS
1 01/08/2014 01/08/2014
OFFICE ST THOMAS
CUSTOMS AND BORDER
2 11/27/2013 11/2112013
PROTECTION
USC OFF INVESTIGATIONS
3 09/10/2013 11/15/2013
LEVITTOWN
HARVARD UNIVERSITY CAMPUS
1 11/06/2013 11/06/2013
POLICE
CBP MK INTERNATIONAL AIRPORT 3 06/03/2013 10/01/2013
CUSTOMS AND BORDER
1 09/14/2013 09/14/2013
PROTECTION
VIRGIN ISLANDS POLICE
1 06/28/2013 06/28/2013
DEPARTMENT
SENSITIVE BUT UNCLASSIFIED
Page 18 of 63
EFTA00173976
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
FEU ClIS DIVISION 3 05/14/2013 05/28/2013 I
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CPR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal, tax, or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. Sec 31 U.S.C. 531 I.
The information cannot be further released, disseminated, disclosed, or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity, akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence. but contain information that. when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part or a judicial proceeding, law enforcement personnel MS coordinate thapotential digh)Slat With_FilICEN's_Qffigialakier
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
USAR - Unified Suspicious Activity Report(s)
Analyst's Note: EPSTEIN is a subject of seven USARs. See Attachment I for more infonnation.
UCTR — Unified Currency Transaction Reports)
Amount Subject(s)/Persons
Date of Filing Institution/
BSA ID Involved in
Transaction Location
In Out Transaction
31000040594074 01/31/2014 $0 $60,775 Deutsche Bank Trust
Com an Americas/
31000038320027 12/19/2013 $0 $21,150
Jeffrey EPSTEIN
New York NY 10154
31000036626342 11/15/2013 $0 $20,723
POC:
Details: FinCEN indicates conducted transactions on behalf of EPSTEIN which affected
account 35266976.
CTR — Currency Transaction Report(s)
Analyst's Note: See attachment .2 jnr more information.
SENSITIVE BUT UNCLASSIFIED
Page 19 of 63
EFTA00173977
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Assets r
Financial Account(s)
(P) - Personal (C) - Casino (B) - Business (U) - Unknown (S) - Securities
Account Owner/ Institution Account
Account Number Type Source
Address Name/Address
Jeffm EPSTEIN/ BNP Paribas/ P FinCEN BSA ID
i Qtr. B3 31000049066241
St. Thomas, Virgin FinCEN BSA ID
P
Islands, U.S. 00802 Paris, 75009 France 31000049066241
Deutsche Bank
Jeffm EPSTEIN/
Trust Company
i Qtr. B3 FinCEN BSA ID
Americas/
St. Thomas, Virgin U 31000040594074
New
Islands, U.S. 00802
York, NY 10154
Jeffre EPSTEIN/
Fortis Ban ue/
Qtr. B3 FinCEN BSA ID
P
St. Thomas, Virgin 31000001301346
Paris, 75008 France
Islands, U.S. 00802
Highbridge Capital
Jeffm EPSTEIN/ Co ration/
i Qtr. B3 S FinCEN BSA ID
St. Thomas, Virgin Grand Cayman, 20101910292960
Islands, U.S. 00802 Cayman Islands
BWI
HSBC Private FinCEN BSA ID
Jeffm EPSTEIN/ S
Bank SA/ 31000001301346
Qtr. B3
St. Thomas, Virgin FinCEN BSA ID
Geneva 3 CH121 1 S
Islands, U.S. 00802 31000001301346
Switzerland
Jeffm EPSTEIN/
HSBC Paris/
Qtr. B3 p FinCEN BSA ID
St. Thomas, Virgin 20101910292960
Paris, 75015 France
Islands, U.S. 00802
JP Morgan Chase
PSTEIN/
FinCEN BSA ID
Suite 10B OM. U
20111191187434
New York, NY 10065 New York, NY
10065
JP Morgan Chase B FinCEN BSA ID
effre , EP TEIN/
Qtr. B3 Mill 20103162812934
.
St. Thomas, Virgin FinCEN BSA ID
New York, NY B
Islands, U.S. 00802 31000031627861
10065
SENSITIVE BUT UNCLASSIFIED
Page 20 of 63
EFTA00173978
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Account Owner/ Institution Account
Account Number Source
Address Name/Address
Details: FinCEN indicates and are additional si nors for
account and additional signor for acc nt. and
FinCEN indicates account is a business account for INC.
Jeffm EPSTEIN/ Valartis Bank AG/
i Qtr. B3 S FinCEN BSA ID
St. Thomas, Virgin Zurich 8021 31000016351947
Islands, U.S. 00802 Switzerland
Details: FinCEN indicates is an additional signor for this account.
Family Member/Associate Identifying Information'
Associates
Relationship to
Name DOB SSN Source
Target
FinCEN BSA ID
Associate
31000048471995
Details: and Jeffrey EPSTEIN are subjects together in a 2014 USAR. FinCEN indicates
was EPSTEIN's personal assistant and would act as a recruiter and facilitator for EPSTEIN's
illicit activities.
Anal st's Note: name was listed on the DOS NIV application as the sponsor of
(Target 6).
Note: Names indicated with an * (asterisk) will be detailed further.
SENSITIVE BUT UNCLASSIFIED
Page 21 of 63
EFTA00173979
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 22 of 63
EFTA00173980
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 23 of 63
EFTA00173981
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Offline NCIC rcpon lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. Olt requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.c. "Offline
NCIC Results for Target I (nsvunrtYYY HH:MM:SS).xls", which provides the datetime and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 24 of 63
EFTA00173982
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax. or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released. disseminated. disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Now - SAR Usage. This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR infomiation as pan of investigative efforts may not: I ) Confront a customer of a financial institution with a SAL or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part or a judicial proceeding, law enforcement personnel must coordinac that_polcmial disclosure with FineEtsts Office of Chid
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization, disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 25 of 63
EFTA00173983
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 26 of 63
EFTA00173984
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 27 of 63
EFTA00173985
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 28 of 63
EFTA00173986
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
online NCIC
GUIDANCE NOTE
An Offline NCIC report lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query NCIC
for the last 2 years of data unless otherwise requested by the requestor.
The table below is a summary by Agency. The detailed infommtion is contained in the corresponding attached Offline NCIC file, i.e. "Offline
NCIC Results for Target I INIMIDDNYYY HH:NSI:SS).xls", which provides the date:time and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
SENSITIVE BUT UNCLASSIFIED
Page 29 of 63
EFTA00173987
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax. or regulatory investigation or pmcceding. or
in the conduct of intelligence or counterintelligence activities. including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated, disclosed or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a US. financial institution.
SARs arc not evidence, but contain information that. when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may Da I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part or a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies, along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation. or to such domestic law enforcement personnel that
are part of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines fio. Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 30 of 63
EFTA00173988
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 31 of 63
EFTA00173989
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 32 of 63
EFTA00173990
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
Art Offline NCIC rcpon lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OIC requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file. i.e. - Offline
NCIC Results for Target I INIMIDD(YYYY HH:NIM:SS).xls", which provides the datetime and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 33 of 63
EFTA00173991
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal, tax, or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities. including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated. disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part or a judicial proceeding, law enforcement personnel mustcoordinate thatpotential disclosure with FinCEN's_Dffice of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisor>. personnel. Federal bank supervisory agencies, along with FinCEN, promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization, disclose a SAR to appmpriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 34 of 63
EFTA00173992
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 35 of 63
EFTA00173993
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May IS, 2015
SENSITIVE BUT UNCLASSIFIED
Page 36 of 63
EFTA00173994
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Ott NCIC report lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. MC requests will query NCIC
for the last 2 years of data unless otherwise requested by the requester.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.e. - Offline
NCIC Results for Target I INIMMDFYYYY HELNIM:SS).xls", which provides the dateItime and Agency ()RI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 37 of 63
EFTA00173995
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May IS, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR ChaNer X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax, or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated, disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part of a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN, promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation. or to such domestic law enforcement personnel that
are part of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines fi), Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 38 of 63
EFTA00173996
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 39 of 63
EFTA00173997
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 40 of 63
EFTA00173998
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Offline NCIC report lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed infomunion is contained in the corresponding attached Offline NCIC file, i.e. "Offline
NCIC Results for Target I (MhUDIWYYTY HH:NINI:SSI.xls", which provides the dateltimc and Agency OR1 terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal, tax, or regulatory investigation or proceeding, or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released. disseminated. disclosed. or transmitted without prior approval or the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity, akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
SENSITIVE BUT UNCLASSIFIED
Page 41 of 63
EFTA00173999
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs am not evidence. but contain information that. when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as pan of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as pan or a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank, or the
contents of such SAL with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are pan of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines for Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 42 of 63
EFTA00174000
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 43 of 63
EFTA00174001
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
Art Offline NCIC repon lists other law enforcement agencies that have previously queried the same individual. This repon does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file. i.c. "Offline
NCIC Results for Target I (MM./DDrf YYY HH:NIM:SS).xls", which provides the datetimc and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide funhcr details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 44 of 63
EFTA00174002
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May IS, 2015
Financial Information
WARNING
The atdo..N Illi0C11141011 was collie ted and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR ChaNer X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax. or regulatory• investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities. including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released. disseminated. disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Na - SAR tImgr. This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence, but contain information that. when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: I ) Confront a customer of a financial institution with a SAR. or 21
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part of a judicial proceeding. law enforcement personnel rougspordinate that potential disclosiire with FinCFN's Offire of f'hir(
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies, along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines fly Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 45 of 63
EFTA00174003
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 46 of 63
EFTA00174004
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 47 of 63
EFTA00174005
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Offline NCIC report lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query NCIC
For the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.c. "Offline
NCIC Results for Target I INSIIDDJYYYY HH:MM:SS).xls", which provides the dateitime and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 48 of 63
EFTA00174006
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax. or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated, disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage' This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: 1) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part of a judicial proceeding. law enforcement personnel must coordinate that_potentialdisclosure_withifinCENis Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR, with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 49 of 63
EFTA00174007
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 50 of 63
EFTA00174008
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Offline NCIC rcpon lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query• NCIC
for the last 2 years of data unless otherwise requested by the requestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Offline NCIC file, i.e. "Offline
NCIC Results for Target I IMM./DINYYYY HH:NINI:SSI.xls", which provides the dateftime and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific information outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 51 of 63
EFTA00174009
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal, tax, or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated, disclosed, or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage. This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may nol: I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part of a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN'cOffire ofrhiq
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN, law enforcement personnel may. without prior authorization, disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation. or to such domestic law enforcement personnel that
are pan of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 52 of 63
EFTA00174010
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 53 of 63
EFTA00174011
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 54 of 63
EFTA00174012
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May IS, 2015
SENSITIVE BUT UNCLASSIFIED
Page 55 of 63
EFTA00174013
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Criminal History/NCIC
Offline NCIC
GUIDANCE NOTE
An Offline NCIC rcpon lists other law enforcement agencies that have previously queried the same individual. This report does not necessarily
mean the agencies listed on the offline NCIC report have additional documents on that individual. By default. OFC requests will query NCIC
for the last 2 years of data unless otherwise requested by the rcquestor.
The table below is a summary by Agency. The detailed information is contained in the corresponding attached Online NCIC file. i.c. "Offline
NCIC Results for Target I (MM/DDJYYYY HH:MNI:SS).xls", which provides the dateline and Agency ORI terminal the target was queried.
When contacting the appropriate LE agency. the LE agency will need the specific infommtion outlined in the attachment to provide further details
regarding their initial query.
Offline NCIC inquiries are records where individuals were queried by local, state or federal law
enforcement (LE) agencies at a particular point in time. Offline NCIC checks identify the law
enforcement agencies that have previously queried a target. For example, using Offline NCIC checks can
provide the following insight:
• Knowing what other agencies are inquiring about your target can be a primary de-confliction tool
in bringing various agencies together.
• Pinpointing geographical locations where target previously traveled.
• Discovering target associations based on vehicle stops.
SENSITIVE BUT UNCLASSIFIED
Page 56 of 63
EFTA00174014
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only for a purpose consistent with a criminal. tax. or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released. disseminated. disclosed, or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports tiled under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage' This report contains a Suspicious Activity Report (SAR) of suspected criminal activity. filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as pan of investigative efforts may not I ) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as part or a judicial proceeding, law enforcement personnel must coordinate-thatpotentialdisclosure_with_FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR film by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN. promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation. or to such domestic law enforcement personnel that
are pan of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines fly Bank
Secrecy Art Infinmation (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 57 of 63
EFTA00174015
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15.12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 58 of 63
EFTA00174016
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax, or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released. disseminated, disclosed. or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity, akin to confidential informant tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as part of investigative efforts may not: 1) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as pan of a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies. along with FinCEN, promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR Inappropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force. provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Act Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
Page 59 of 63
EFTA00174017
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 60 of 63
EFTA00174018
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
SENSITIVE BUT UNCLASSIFIED
Page 61 of 63
EFTA00174019
SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Financial Information
WARNING
The enclosed information was collected and disseminated under provisions of the Bank Secrecy Act (the BSA) and U.S. Department of the
Treasury regulations implementing the BSA. See 31 U.S.C. 5311. et seq.: 31 CFR Chapter X. The information is sensitive in nature and is to be
treated accordingly. The information may be used only fora purpose consistent with a criminal. tax. or regulatory investigation or proceeding. or
in the conduct of intelligence or counterintelligence activities, including analysis. to protect against international terrorism. See 31 U.S.C. 5311.
The information cannot be further released, disseminated, disclosed, or transmitted without prior approval of the Director of Financial Crimes
Enforcement Network or his authorized delegate. Suspicious activity reports filed under the BSA must be treated with particular care given that
they contain unsubstantiated allegations of possible criminal activity. akin to confidential infomunt tips. Unauthorized release of information
collected under the BSA may result in criminal or civil sanctions.
WARNING
Note - SAR Usage: This report contains a Suspicious Activity Report (SAR) of suspected criminal activity, filed by a U.S. financial institution.
SARs arc not evidence, but contain information that, when further investigated. may produce evidence of criminal activity. Law enforcement
personnel that use SAR information as pan of investigative efforts may not: 1) Confront a customer of a financial institution with a SAR. or 2)
Include a SAR as an attachment to an affidavit or other legal document. If it is anticipated that there may be a need to disclose the actual SAR
filing as pan or a judicial proceeding. law enforcement personnel must coordinate that potential disclosure with FinCEN's Office of Chief
Counsel. The prohibition regarding SAR disclosure does not preclude law enforcement personnel from discussing a SAR filed by a bank. or the
contents of such SAR. with Federal bank supervisory personnel. Federal bank supervisory agencies, along with FinCEN, promulgated the
regulations requiring banks to report suspicious activity by filing SARs. Accordingly. these agencies have access to SARs and have the authority
to provide direction with regard to the handling and disclosure of SARs. Notwithstanding the general prohibition on the re-dissemination of a
SAR without the prior approval of FinCEN. law enforcement personnel may. without prior authorization. disclose a SAR to appropriate domestic
law enforcement personnel and prosecutors working on the same or a related investigation, or to such domestic law enforcement personnel that
are part of the same joint task force, provided the disclosing agency satisfies the conditions set forth in the Re-dissemination Guidelines Jar Bank
Secrecy Art Information (November 28. 2007).
SENSITIVE BUT UNCLASSIFIED
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SENSITIVE BUT UNCLASSIFIED
OFC-TP-15-12392
SODOFC-15.12392
Date of Report: May 18, 2015
Requestor:
Prepared by:
SENSITIVE BUT UNCLASSIFIED
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