Case 1:18-cr NGG Document 14 Filed 04/19/18 Page 1 of 5 PageID #: 61. COUNT ONE (Sex Trafficking - Jane Does 1 and 2)

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Case 1:18-cr-00204-NGG Document 14 Filed 04/19/18 Page 1 of 5 PageID #: 61 MKM;MKP/TH F.#2017R01840 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF NEW YORK UNITED STATES OF AMERICA - against - KEITH RANIERE, also known as "Vanguard," and ALLISON MACK, Defendants. ---X INDICTMENT FlLCu CLERU 2018 APR 19 PH U: 19 n c rcvikic't COjBf D^STRtUi vr^:;k CB 18 204 (T. 18, U.S.C., 1591(a)(1), 1591(a)(2), 1591(b)(1), 1594(a), 1594(b), 1594(c), 1594(d), 2 and 3551 et^.; T.21,U.S.C., 853(p)) GARAUEIS, J. THE GRAND JURY CHARGES: X COUNT ONE (Sex Trafficking - Jane Does 1 and 2) SCANLON, M.J. 1. In or about and between February 2016 and June 2017, both dates being approximate and inclusive, within the Eastern District of New York and elsewhere, the defendants KEITH RANIERE, also known as "Vanguard," and ALLISON MACK, together with others, did knowingly and intentionally: (I) recruit, entice, harbor, transport, provide, obtain, advertise, maintain, patronize and solicit one or more persons, to wit: Jane Does 1 and 2, individuals whose identities are known to the Grand Jury, in and affecting interstate and foreign commerce, and attempt to do the same; and (2) benefit, and attempt to benefit, financially and by receiving a thing of value, from participation in a venture which had engaged in such acts, knowing that means of force, threats of force, fraud and coercion, and a

Case 1:18-cr-00204-NGG Document 14 Filed 04/19/18 Page 2 of 5 PageID #: 62 combination of such means, would be used to cause such persons to engage in one or more commercial sex acts. 1594(a), 2 and 3551 ^ seg.) (Title 18, United States Code, Sections 1591(a)(1), 1591(a)(2), 1591(b)(1), COUNT TWO (Sex Trafficking Conspiracy) 2. In or about and between February 2016 and June 2017, both dates being approximate and inclusive, within the Eastem District of New York and elsewhere, the defendants KEITH RANIERE, also known as "Vanguard," and ALLISON MACK, together with others, did knowingly and intentionally conspire to: (1) recruit, entice, harbor, transport, provide, obtain, advertise, maintain, patronize and solicit persons, in and affecting interstate and foreign commerce; and (2) benefit, financially and by receiving a thing of value, from participation in a venture which was to have engaged in such acts, knowing that means of force, threats of force, fraud and coercion, and a combination of such means, would be used to cause such persons to engage in one or more commercial sex acts, contrary to Title 18, United States Code, Sections 1591(a)(1), 1591(a)(2), and 1591(b)(1). (Title 18, United States Code, Sections 1594(c) and 3551 et seq.j COUNT THREE (Conspiracy to Commit Forced Labor - Jane Doe 1) 3. In or about and between February 2016 and Jime 2017, both dates being approximate and inclusive, within the Eastem District of New York and elsewhere, the defendants KEITH RANIERE, also known as "Vanguard," and ALLISON MACK, together with others, did knowingly and intentionally conspire to provide and obtain the labor and services of a person, to wit: Jane Doe 1, by means of serious harm and threats of serious

Case 1:18-cr-00204-NGG Document 14 Filed 04/19/18 Page 3 of 5 PageID #: 63 harm to her and one or more other persons, and by means of one or more schemes, plans and patterns intended to cause Jane Doe 1 to believe that, if she did not perform such labor and services, Jane Doe 1 and one or more other persons would suffer serious harm, contrary to Title 18, United States Code, Sections 1589(a)(2) and 1589(a)(4). (Title 18, United States Code, Sections 1594(b) and 3551 et seq.j CRIMINAL FORFEITURE ALLEGATION 4. The United States hereby gives notice to the defendants that, upon their conviction of any of the offenses charged herein, the government will seek forfeiture in accordance with Title 18, United States Code, Section 1594(d), of (a) any property, real or personal, that was involved in, used, or intended to be used to commit or to facilitate the commission of such offenses, and any property traceable to such property; and (b) any property, real or personal, constituting or derived from, proceeds obtained directly or indirectly as a result of such offenses, or any property traceable to such property. 5. If any of the above-described forfeitable property, as a result of any act or omission of the defendants: (a) (b) (c) (d) (e) cannot be located upon the exercise of due diligence; has been transferred or sold to, or deposited with, a third party; has been placed beyond the jurisdiction of the court; has been substantially diminished in value; or has been commingled with other property which cannot be divided without difficulty;

Case 1:18-cr-00204-NGG Document 14 Filed 04/19/18 Page 4 of 5 PageID #: 64 it is the intent of the United States, pursuant to Title 21, United States Code, Section 853(p), to seek forfeiture of any other property of the defendants up to the value of the forfeitable property described in this forfeiture allegation. (Title 18, United States Code, Section 1594(d); Title 21, United States Code, Section 853(p)) A TRUE BILL LORLPLRSON RICHARD P. DONOGHUL UNITED STATES ATTORNEY EASTERN DISTRICT OF NEW YORK

Case 1:18-cr-00204-NGG Document 14 Filed 04/19/18 Page 5 of 5 PageID #: 65 F.#2017R01840 FORM DBD-34 JUN. 85 No. UNITED STATES DISTRICT COURT EASTERN District of NEW YORK CRIMINAL DIVISION THE UNITED STATES OF AMERICA KEITHRANIERE, also known as "Vanguard, " and ALLISON MACK, Defendants. INDICTMENT (T. 18, U.S.C., 1591(a), 1591(b), 1594(a), 1594(b), 1594(c), 1594(d), 2 and 3551 T. 21,U.S.C., 853(p)) A true bill I Foreperson Filed in open court this day, of A.D.20 Clerk Bail, $ Moira Kim Penza and Tanya Hajjar, Assistant U.S. Attorneys (718) 254-7000

Case 1:18-cr-00204-NGG Document 14-1 Filed 04/19/18 Page 1 of 1 PageID #: 66 C8 18 204 FllEf INFORMATION SHEET SL ER! : UNITED STATES DISTRICT COURT 2818 APR 19 PM M 19 EASTERN DISTRICT OF NEW YORK 1. Title of Case; United States v. Keith Raniere and Allison Mack 2. Related Magistrate Docket Number(s): 18-M-I32 RrF-_FiSTR!C GC-URT f" iii i h' ^.-T n C' "T T'-- I T 3. Arrest Date: 3/26/2018 GARAUFIS, J. 4. Nature of offense(s): X Felony SCANLON. MJ. Misdemeanor 5. Related Cases - Title and Docket No(s). (Pursuant to Rule 50.3.2 of the Local E.D.N.Y. Division of Business Rules): 6. Projected Length of Trial: Less than 6 weeks X More than 6 weeks 7. County in which crime was allegedly committed: Kings, Oueens (Pursuant to Rule 50.1(d) of the Local E.D.N.Y. Division of Business Rules) 8. Was any aspect of the investigation, inquiry and prosecution giving rise to the case pending or initiated before March 10, 2012.^ DYes IX] No 9. Has this indictment/information been ordered sealed? X Yes No 10. Have arrest warrants been ordered? Kl Yes No 11. Is there a capital count included in the indictment? Yes X No RICHARD P. DONOGHUE UNITED STATES ATTORNEY Moira Kim Penza / Tanya Hajjar Assistant U.S. Attorneys (718) 254-6454/6109 Judge Brodie will not accept cases that were initiated before March 10, 2012. Rev. 10/04/12

Case 1:18-cr-00204-NGG Document 14-2 Filed 04/19/18 Page 1 of 1 PageID #: 67 GARAUFIS, J. CR 18 204 SCANLON, M.J. INDICTMENT SEALING FORM ru C'*"' r fi. US,.- fi rdk w L L. I 111 Case name: United States v. Raniere et al. 20! 8 APR 19 PH M 19 ^ ^ lasternoisfiisr' Reason tor Sealing: ac ar\y york The government intends on effeetuating the arrest of one of the named defendants in the coming day or two. The government seeks to seal the indictment to ensure that the defendant Allison Mack does not leam that she is under indictment and to prevent her from fleeing justice to avoid arrest and prosecution. Notably, the indictment has been returned well within the applicable statute of limitations and sealing is not requested simply to toll the statute. By: ^ ^ Date: April 19, 2018 Moira Kim Penza Tanya Hajjar Assistant United States Attorneys United States Attorney's Office Eastern District of New York 271 Cadman Plaza East Brooklyn, New York 11201