Grand Jury Subpoena latritebiStateo gliotrirt Court SOUTHERN DISTRICT OF NEW YORK TO: The University of Kansas GREETINGS: WE COMMAND YOU that all and singular business and excuses being laid aside, you appear and attend before the GRAND JURY of the people of the United States for the Southern District of New York, at the United States Courthouse, 40 Foley Square, Room 220, in the Borough of Manhattan, City of New York, New York, in the Southern District of New York, at the following date, time and place: Appearance Date: January 22, 2018 Appearance Time: 10:00 a.m. to testify and give evidence in regard to an alleged violation of : 18 U.S.C. §§ 666, 1341, 1343, 1346, 1349, 1952, 1956 and not to depart the Grand Jury without leave thereof, or of the United States Attorney, and that you bring with you and produce at the above time and place the following: Personal appearance is not required if the requested records are (1) produced by on or before the return date to Assistant U.S. Attorney Edward B. Diskant via the address below; and (2) accompanied by an executed copy of the attached Declaration of Custodian of Records. Please contact Special Agent Vourderis directly with any questions. PLEASE PROVIDE IN ELECTRONIC FORMAT IF POSSIBLE. Failure to attend and produce any items hereby demanded will constitute contempt of court and will subject you to civil sanctions and criminal penalties, in addition to other penalties of the Law. DATED: New York, New York January 8, 2018 United s tes Attorney for the Sgmth n District of New York --wa is and Eli J. Mark Assistant United States Attorneys One St. Andrew's Plaza New York, New York 10007 Telephone: 212-637-2294/-2431 edward.diskant@usdoj.gov/eli.mark@usdoj.gov KU KORA Request 07/24/2018 1 RIDER (Grand Jury Subpoena to The University of Kansas dated January 8, 2018) Definitions and Instructions: 1. This Subpoena calls for the production of specific documents—including e-mails and text messages—in the possession, custody or control of The University of Kansas ("Kansas") or any employee, officer, principal, or board member of Kansas for the time period January 1, 2016 to the present. 2. This Subpoena applies to any responsive documents wherever they may be found, including any of personal electronic devices including any cellular phone or other telephone, pager, tablet, laptop computer, desktop computer, personal email, cloud storage, messaging or social media accounts used by employees, officers, principals, or board members of Kansas to conduct Kansas business, and including any and all handwritten notes in possession of any employees, officers, principals, or board members of Kansas. 3. With the exception of documents containing handwritten notes, please produce requested records in electronic form (native format where necessary to view the material in its full scope) in a manner that is OCR-searchable, and with all available electronic metadata. Please provide the originals of all papers, notepads, notebooks, diaries, or calendars upon which responsive handwritten notes may be found. 4. The term "documents" includes writings, emails, text messages, drawings, graphs, charts, calendar entries, photographs, audio or visual recordings, images, and other data or data compilations, and includes materials in both paper and electronic form. 5. This Subpoena does not call for the production of any documents protected by a valid claim of privilege, although any responsive document over which privilege is being asserted must be preserved. Any documents withheld on grounds of privilege must be identified on a privilege log with descriptions sufficient to identify their dates, authors, recipients, and general subject matter. Materials to be Produced: 1. All documents regarding the recruitment and enrollment of including but not limited to: (a) any communications between any member of the Kansas Athletics Department, including the coaching staff of the Kansas men's basketball team, and , or any other family member or representative of (b) any communications regarding , or any other family member or representative of (c) all application and/or enrollment forms, financial aid forms, eligibility forms including any NCAA student athlete statements, and/or any national letter of intent submitted by or on behalf of , whether completed or in draft form. KU KORA Request 07/24/2018 2 (d) All communications with or regarding the documents responsive to Request No. 1(c). 2. All communications between any member of the Kansas Athletics Department, including the coaching staff of the Kansas men's basketball team, and: (i) James Gatto, a/k/a "Jim"; (ii) Christopher Rivers; (iii) Thomas ("TJ") Gassnola; (iv) Merl Code, and (v) any other representative of Adidas. 3. Any contract and/or agreement between Kansas and Adidas effective during the period covered by this subpoena, as well as documents sufficient to reflect any (unsigned) oral agreement publicly reported between Kansas and Adidas. KU KORA Request 07/24/2018 3 Declaration of Custodian of Records Pursuant to 28 U.S.C. § 1746, I, the undersigned, hereby declare: My name is (name of declarant) I am a United States citizen and I am over eighteen years of age. I am the custodian of records of the business named below, or I am otherwise qualified as a result of my position with the business named below to make this declaration. I am in receipt of a Grand Jury Subpoena, dated January 8, 2018, and signed by Assistant United States Attorneys Edward B. Diskant and Eli J. Mark, requesting specified records of the business named below. Pursuant to Rules 902(11) and 803(6) of the Federal Rules of Evidence, I hereby certify that the records provided herewith and in response to the Subpoena: (1) were made at or near the time of the occurrence of the matters set forth in the records, by, or from information transmitted by, a person with knowledge of those matters; (2)were kept in the course of regularly conducted business activity; and (3)were made by the regularly conducted business activity as a regular practice. I declare under penalty of perjury that the foregoing is true and correct. Executed on (date) (signature of declarant) (name and title of declarant) (name of business) (business address) Definitions of terms used above: As defined in Fed. R. Evid. 803(6), "record" includes a memorandum, report, record, or data compilation, in any form, of acts, events, conditions, opinions, or diagnoses. The term, "business" as used in Fed. R. Evid. 803(6) and the above declaration includes business, institution, association, profession, occupation, and calling of every kind, whether or not conducted for profit. KU KORA Request 07/24/2018 4 Grand Jury Subpoena lartith States 4 tetrirt SOUTHERN DISTRICT OF NEW YORK TO: The University of Kansas GREETINGS: WE COMMAND YOU that all and singular business and excuses being laid aside, you appear and attend before the GRAND JURY of the people of the United States for the Southern District of New York, at the United States Courthouse, 40 Foley Square, Room 220, in the Borough of Manhattan, City of New York, New York, in the Southern District of New York, at the following date, time and place: Appearance Date: March 23, 2018 Appearance Time: 10:00 a.m. to testify and give evidence in regard to an alleged violation of : 18 U.S.C. §§ 666, 1341, 1343, 1346, 1349, 1952, 1956 and not to depart the Grand Jury without leave thereof, or of the United States Attorney, and that you bring with you and produce at the above time and place the following: Personal appearance is not required if the requested records are (1) produced by on or before the return date to Assistant U.S. Attorney Eli J. Mark via the address below; and (2) accompanied by an executed copy of the attached Declaration of Custodian of Records. Please contact AUSA Mark directly with any questions. PLEASE PROVIDE IN ELECTRONIC FORMAT IF POSSIBLE. Failure to attend and produce any items hereby demanded will constitute contempt of court and will subject you to civil sanctions and criminal penalties, in addition to other penalties of the Law. DATED: New York, New York March 14, 2018 GEOF Y S. &c4 B ' MAN United States Attorney for the Southern District of New York Edward B. Diskant/ Eli J. Mark Assistant United States Attorneys One St. Andrew's Plaza New York, New York 10007 Telephone: 212-637-2294/-2431 edward.diskant@usdoj.gov/eli.mark@usdoj.gov KU KORA Request 07/24/2018 5 RIDER (Grand Jury Subpoena to The University of Kansas dated March 14, 2018) Definitions and Instructions: 1. This Subpoena calls for the production of specific documents—including e-mails and text messages—in the possession, custody or control of The University of Kansas ("Kansas") or any employee, officer, principal, or board member of Kansas for the time period January 1, 2016 to the present. 2. This Subpoena applies to any responsive documents wherever they may be found, including any of personal electronic devices including any cellular phone or other telephone, pager, tablet, laptop computer, desktop computer, personal email, cloud storage, messaging or social media accounts used by employees, officers, principals, or board members of Kansas to conduct Kansas business, and including any and all handwritten notes in possession of any employees, officers, principals, or board members of Kansas. 3. With the exception of documents containing handwritten notes, please produce requested records in electronic form (native format where necessary to view the material in its full scope) in a manner that is OCR-searchable, and with all available electronic metadata. Please provide the originals of all papers, notepads, notebooks, diaries, or calendars upon which responsive handwritten notes may be found. 4. The term "documents" includes writings, emails, text messages, drawings, graphs, charts, calendar entries, photographs, audio or visual recordings, images, and other data or data compilations, and includes materials in both paper and electronic form. 5. This Subpoena does not call for the production of any documents protected by a valid claim of privilege, although any responsive document over which privilege is being asserted must be preserved. Any documents withheld on grounds of privilege must be identified on a privilege log with descriptions sufficient to identify their dates, authors, recipients, and general subject matter. Materials to be Produced: 1. All documents regarding the recruitment and enrollment of including but not limited to: (a) all application and/or enrollment forms, fmancial aid forms, eligibility forms including any NCAA student athlete statements, and/or any national letter of intent submitted by or on behalf of , whether completed or in draft form. (b) any communications between the coaching staff of the Kansas men's basketball team, and , or any other family member or representative of (c) any communications regarding the eligibility of or any other family member or representative of KU KORA Request 07/24/2018 6 (d) All communications with or regarding the documents responsive to Request No. 1(a). or (e) Any documents obtained from investigation of (f) Any interview transcript or recording of with any investigation of I . 7- eligibility. in connection with any or in connection KU KORA Request 07/24/2018 7 Declaration of Custodian of Records Pursuant to 28 U.S.C. § 1746, I, the undersigned, hereby declare: My name is (name of declarant) I am a United States citizen and I am over eighteen years of age. I am the custodian of records of the business named below, or I am otherwise qualified as a result of my position with the business named below to make this declaration. I am in receipt of a Grand Jury Subpoena, dated March 14 2018, and signed by Assistant United States Attorneys Edward B. Diskant and Eli J. Mark, requesting specified records of the business named below. Pursuant to Rules 902(11) and 803(6) of the Federal Rules of Evidence, I hereby certify that the records provided herewith and in response to the Subpoena: (1) were made at or near the time of the occurrence of the matters set forth in the records, by, or from information transmitted by, a person with knowledge of those matters; (2) were kept in the course of regularly conducted business activity; and (3) were made by the regularly conducted business activity as a regular practice. I declare under penalty of perjury that the foregoing is true and correct. Executed on (date) (signature of declarant) (name and title of declarant) (name of business) (business address) Definitions of terms used above: As defined in Fed. R. Evid. 803(6), "record" includes a memorandum, report, record, or data compilation, in any form, of acts, events, conditions, opinions, or diagnoses. The term, "business" as used in Fed. R. Evid. 803(6) and the above declaration includes business, institution, association, profession, occupation, and calling of every kind, whether or not conducted for profit. KU KORA Request 07/24/2018 8