Case 4:18ecre40145eKES Document 28 Filed 08/29/19 Page 1 of2 PageID 87 UNITED STATES DISTRICT COURT DISTRICT OF SOUTH DAKOTA SOUTHERN DIVISION UNITED STATES OF AMERICA, CR 18740145 Plaintiff, FACTUAL BASIS STATEMENT vs. TERRELL MAURICE BRUNSTON, Defendant. Defendant states that the following facts are true, and the parties agree that they establish a factual basis for the offense to which Defendant is pleading guilty pursuant to Fed. R. Crim. F. 1111:113). My name is Terrell Maurice Brunston. On or about November 15, 2016. I aided and abetted another person, -- in robbing the First National Bank branch bank located on West 26'!l Street in Sioux Falls, South Dakota. In the fall of 2016, -- called me in CaliIomia and asked me to Come to Nebraska. I flew from California to Omaha. We drove from Omaha, Nebraska, to Sioux Falls, South Dakota in a car rented by-- In Sioux Falls, We drove around and parked by some apartments near the bank to be robbed. _gave me several items to use as a disguise, including a wig, and a construction helmet. - put on a mask that Covered his entire head and had the appearance of a Caucasian male. Case 4.18ecre401457KES Document 28 Flled 08/29/19 Page 2 of2 PageID 88 We parked closer to the bank and then I {allowed -into the front entrance of the bank, which was already open (or business. Once inside, I saw that _had a handgun. I jumped over the counter while - walked around the counter and back to the vault. -told me to go into the vault also. _taok money that was in the vault and I took money from the terns drawer and area. on we let tank, - drove us back to Omaha. First National Bank's deposits were insured by the Federal Deposit Insurance Corporation. All ofthis occurred in violation of 18 U.S.C. 2113(a), 2113(dl, and 2. RONALD A. PARSONS, JR, United States Attorney Dat Jeff . Clap l- Assistant United States Attorney RO. Box 2638 Sioux Falls, SD 57101-2638 Date Terrell Maurice Brunston Defendant Date