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 83. On or about August 31, 2016, Defendants and their co-conspirators created and purchased Facebook advertisements for a rally they organized and scheduled in New York for September 1 1 , 2016. 84. On or about September 9, 2016, Defendants and their co-conspirators, through a false U.S. persona, contacted the real US. person who had impersonated Clinton at the West Palm Beach rally. Defendants and their co-conspirators sent that US. person money via interstate wire as an inducement to travel from Florida to New York and to dress in costume at another rally they organized. 85. On or about September 22, 2016, Defendants and their co-conspirators created and purchased F acebook advertisements for a series of rallies they organized in Pennsylvania called “Miners for Trump” and scheduled for October 2, 2016.

All in violation of Title 18. United States Code, Section 371.

COUNT 0 (Conspiracy to Commit Wire Fraud and Bank Fraud)

86. Paragraphs 1 through 7, 9 through 27, and 29 through 85 of this Indictment are re-alleged and incorporated by reference as if fully set forth herein. 87. From in or around 2016 through present, in the District of Columbia and elsewhere, Defendants INTERNET RESEARCH AGENCY LLC, DZHEYKHUN NASlMl OGLY ASLANOV, and GLEB IGOREVICH VASILCHENKO. together with others known and unknown to the Grand Jury, knowingly and intentionally conspired to commit certain offenses against the United States, to wit:

a. to knowingly, having devised and intending to devise a scheme and artiﬁce to

defraud, and to obtain money and property by means of false and fraudulent

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