Page:Manafort-indictment-22Feb2018.pdf/32

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Case 1:17-cr-00201-ABJ Document 190-1 Filed 02/22/18 Page 28 of 37

COUNTS SIX THROUGH TEN
(Assisting in the Preparation of
False United States Individual Income
Tax Returns For 2010–2014 Tax Years)

47. Paragraphs 1 through 44 are incorporated here.

48. On or about the dates specified below, in the Eastern District of Virginia and elsewhere, defendant RICHARD W. GATES III willfully and knowingly did aid and assist in, and procure, counsel, and advise the preparation and presentation to the Internal Revenue Service, of a United States Individual Income Tax Return, Form 1040 and Schedule B, of PAUL J. MANAFORT, JR., for the tax years set forth below, which returns were false and fraudulent as to a material matter, in that the returns (a) claimed that MANAFORT did not have a financial interest in, and signature and other authority over, a financial account in a foreign country and (b) failed to report income, whereas GATES then and there well knew and believed that MANAFORT had a financial interest in, and signature and other authority over, bank accounts in a foreign country and had earned total income in excess of the reported amounts noted below:

COUNT TAX
YEAR
APPROX. FILING
DATE
FOREIGN ACCOUNT
REPORTED
(Sch. B, Line 7a)
TOTAL INCOME
REPORTED
(Line 22)
6 2010 October 14, 2011 None $504,744
7 2011 October 15, 2012 None $3,071,409
8 2012 October 7, 2013 None $5,361,007
9 2013 October 6, 2014 None $1,910,928
10 2014 October 14, 2015 None $2,984,210

(26 U.S.C. § 7206(2); 18 U.S.C. § 3551 et seq.)

COUNTS ELEVEN THROUGH FOURTEEN
(Failure To File Reports Of Foreign Bank And Financial
Accounts For Calendar Years 2011–2014)

49. Paragraphs 1 through 44 are incorporated here.

50. On the filing due dates listed below, in the Eastern District of Virginia and elsewhere,

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