Received by NSD/FARA Registration Unit 10/25/2012 4:45:16 PM J



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Received by NSD/FARA Registration Unit 10/25/2012 4:45:16 PM J OMB NO. 1124-0006; Expires February 28,2014 u.s. Department of justice Exhibit A to Registration Statement Washington, DC 20530 Pursuant to the Foreign Agents Registration Act of 1938, as amended INSTRUCTIONS. Furnish this exhibit for EACH foreign principal listed in an initial statement and for EACH additional foreign principal acquired subsequently. Thefilingof this document requires the payment of a filing fee as set forth in Rule (d)(1), 28 C.F.R. 5.5(d)(1). Compliance is accomplished by filing an electronic Exhibit A form at http://www.fara.gov. Privacy Act Statement. Thefilingof this document is required by the Foreign Agents Registration Act of 1938, as amended, 22 U.S.C. 611 et seq., for the purposes of registration under the Act and public disclosure. Provision ofthe information requested is mandatory, and failure to provide this information is subject to the penalty and enforcement provisions established in Section 8 ofthe Act. Every registration statement, short form registration statement, supplemental statement, exhibit, amendment, copy of informational materials or other document or information filed with the Attorney General under this Act is a public record open to public examination, inspection and copying during the posted business hours ofthe Registration Unit in Washington, DC. Statements are also available online at the Registration Unit's webpage: http://www.fara.gov. One copy of every such document, other than informational materials, is automatically provided to the Secretary of State pursuant to Section 6(b) ofthe Act, and copies of any and all documents are routinely made available to other agencies, departments and Congress pursuant to Section 6(c) ofthe Act. The Attorney General also transmits a semi-annual report to Congress on the administration ofthe Act which lists the names of all agents registered under the Act and the foreign principals they represent. This report is available to the public in print and online at: http://www.fara.gov. Public Reporting Burden. Public reporting burden for this collection of information is estimated to average.49 hours per response, including the time for reviewing instructions, searching existing data sources, gathering and maintaining the data needed, and completing and reviewing the collection of information. Send comments regarding this burden estimate or any other aspect of this collection of information, including suggestions for reducing this burden to Chief, Registration Unit, Counterespionage Section, National Security Division, U.S. Department of Justice, Washington, DC 20530; and to the Office of Information and Regulatory Affairs, Office of Management and Budget, Washington, DC 20503. 1. Name and Address of Registrant Patton Boggs LLP 2. Registration No. 2165 3. Name of Foreign Principal Banque du Liban 4. Principal Address of Foreign Principal Masraf Lubnan Street, P.O. Box 11-5544, Beirut-Lebanon 5. Indicate whether your foreign principal is one of the following: Foreign government Foreign political party Foreign or domestic organization: If either, check one of the following: Partnership Committee Di Corporation Voluntary group Association _\ Other (specify) The Central Bank of Lebanon Individual-State nationality 6. If the foreign principal is a foreign government, state: a) Branch or agency represented by the registrant b) Name and title of official with whom registrant deals 7. If the foreign principal is a foreign political party, state: a) Principal address b) Name and title of official with whom registrant deals c) Principal aim Formerly CRM-157 FORM NSD-3 Revised 03/11 Received by NSD/FARA Registration Unit 10/25/2012 4:45:16 PM

Received by NSD/FARA Registration Unit 10/25/2012 4:45:16 PM 8. If the foreign principal is not a foreign government or a foreign political party: a) State the nature of the business or activity of this foreign principal. Banque du Liban is the Central Bank of Lebanon and is a legal public entity enjoying financial and administrative autonomy. It is managed by the Governor assisted by four Vice-Governors, and the Central-Council. The Governor is its legal representative, and has extensive authority on the management of the Bank. He is entrusted with the enforcement ofthe Code of Money and Credit, and the implementation ofthe Central Council's resolutions. Upon the proposal ofthe Minister of Finance, the Governor is appointed by decree sanctioned by the Council of Ministers. b) Is this foreign principal: Supervised by a foreign government, foreign political party, or other foreign principal Owned by a foreign government, foreign political party, or other foreign principal Directed by a foreign government, foreign political party, or other foreign principal Controlled by a foreign government, foreign political party, or other foreign principal Financed by a foreign government, foreign political party, or other foreign principal Subsidized in part by a foreign government, foreign political party, or other foreign principal Yes H No D Yes _\ No Yes _\ No Yes S No D Yes H No D YesB No 9. Explain fully all items answered "Yes" in Item 8(b). (If additional space is needed, a full insert page must be used.) Banque du Liban is the Central Bank of Lebanon and is a legal public entity enjoying financial and administrative autonomy. It is managed by the Governor assisted by four Vice-Governors, and the Central Council. The Governor is its legal representative, and has extensive authority on the management of the Bank. He is entrusted with the enforcement ofthe Code of Money and Credit, and the implementation of the Central Council's resolutions. Upon the proposal ofthe Minister of Finance, the Governor is appointed by decree sanctioned by the Council of Ministers 10. If the foreign principal is an organization and is not owned or controlled by a foreign government, foreign political party or other foreign principal, state who owns and controls it. EXECUTION In accordance with 28 U.S.C. 1746, the undersigned swears or affirms under penalty of perjury that he/she has read the information set forth in this Exhibit A to the registration statement and that he/she is familiar with the contents thereof and that such contents are in their entirety true and accurate to the best of his/her knowledge and belief. Date of Exhibit A October 24, 2012 Name and Title Edward J. Newberry, Managing Partner Signature /s/ Edward J. Newberry esigned Received by NSD/FARA Registration Unit 10/25/2012 4:45:16 PM

OMB NO. 1124-0004; Expires February 28,2014 us. Department of justice Exhibit B to Registration Statement Washington, DC 20530 Pursuant to the Foreign Agents Registration Act of 1938, as amended INSTRUCTIONS. A registrant must furnish as an Exhibit B copies of each written agreement and the terms and conditions of each oral agreement with his foreign principal, including all modifications ofsuch agreements, or, where no contract exists, a full statement of all the circumstances by reason of which the registrant is acting as an agent of a foreign principal. Compliance is accomplished by filing an electronic Exhibit B form at http://www.fara gov. Pri vacy Act Statement. Thefilingof this document is required for the Foreign Agents Registration Act of 1938, as amended, 22 U.S C. 611 et seq., for the purposes of registration under the Act and public disclosure. Provision ofthe information requested is mandatory, and failure to provide the information is subject to the penalty and enforcement provisions established in Section 8 ofthe Act. Every registration statement, short form registration statement, supplemental statement, exhibit, amendment, copy of informational materials or other document or information filed with the Attorney General under this Act is a public record open to public examination, inspection and copying during the posted business hours ofthe Registration Unit in Washington, DC. Statements are also available online at the Registration Unit's webpage: http://www.fara.gov. One copy of every such document, other than informational materials, is automatically provided to the Secretary of State pursuant to Section 6(b) ofthe Act, and copies of any and all documents are routinely made available to other agencies, departments and Congress pursuant to Section 6(c) ofthe Act. The Attorney General also transmits a semi-annual report to Congress on the administration ofthe Act which lists the names of all agents registered under the Act and the foreign principals they represent. This report is available to the public in print and online at: http://www.fara.gov. Public Reporting Burden. Public reporting burden for this collection of information is estimated to average.33 hours per response, including the time for reviewing instructions, searching existing data sources, gathering and maintaining the data needed, and completing and reviewing the collection of information. Send comments regarding this burden estimate or any other aspect of this collection of information, including suggestions for reducing this burden to Chief, Registration Unit, Counterespionage Section, National Security Division, U.S. Department of Justice, Washington, DC 20530; and to the Office of Information and Regulatory Affairs, Office of Management and Budget, Washington, DC 20503. 1. Name of Registrant Patton Boggs LLP 2. Registration No. 2165 3. Name of Foreign Principal Bankdu Liban Check Appropriate Box: 47 _\ The agreement between me registrant and me above-named foreign principal is a formal written contract. If this box is checked, attach a copy of the contract to this exhibit. 5. There is no formal written contract between the registrant and the foreign principal. The agreement with the above-named foreign principal has resulted from an exchange of correspondence. If this box is checked, attach a copy of all pertinent correspondence, including a copy of any initial proposal which has been adopted by reference in such correspondence. 6. The agreement or understanding between the registrant and the foreign principal is the result of neither a formal written contract nor an exchange of correspondence between the parties. If this box is checked, give a complete description below of the terms and conditions ofthe oral agreement or understanding, its duration, the fees and expenses, if any, to be received. 7. Describe fully the nature and method of performance of the above indicated agreement or understanding. Registrant will assist the foreign principal on the promotion ofthe image of Lebanese banking before the U.S. Congress and Administration. Formerly CRM-155 Received by NSD/FARA Registration Unit 10/25/2012 J:45:14 PM FORMNSD-4 Revised 03/11

8. Describe fully the activities the registrant engages in or proposes to engage in on behalf of the above foreign principal. Some ofthe Registrant's activities will involve assisting the foreign principal on the promotion ofthe image of Lebanese banking before the U.S. Congress and Administration 9. Will the activities on behalf of the above foreign principal include political activities as defined in Section l(o) of the Act and in the footnote below? Yes _\ No If yes, describe all such political activities indicating, among other things, the relations, interests or policies to be influenced together with the means to be employed to achieve this purpose. Some of the Registrant's activities may include assisting the foreign principal on the promotion ofthe image of Lebanese banking before the U.S. Congress and Administration. EXECUTION In accordance with 28 U.S.C. 1746, the undersigned swears or affirms under penalty of perjury that he/she has read the information set forth in this Exhibit B to the registration statement and that he/she is familiar with the contents thereof and that such contents are in their entirety true and accurate to the best of his/her knowledge and belief. Date of Exhibit B Name and Title Signature October 24,2012 Edward J. Newberry, Managing Partner Isl Edward J. Newberry esigned Footnote: Political activity as defined in Section l(o) ofthe Act means any activity which the person engaging in believes will, or that the person intends to, in any way influence any agency or official ofthe Government ofthe United States or any section ofthe public within the United States with reference to formulating, adopting, or changing the domestic or foreign policies ofthe United States or with reference to the political or public interests, policies, or relations of a government of a foreign country or a foreign political party. Received by NSD/FARA Registration Unit 10/25/2012 4:45:14 PM

2550 M Street, NW Washington, DC 20037-1350 PATT0NB06GS 202-457-6000 Facsimile 202-457-6315 www.pattonboggs.com September 28, 2012 '5^457-S!o B 88 * Jt " tboggs@pattonboggs.com Mr. Riad T. Salame Governor Banque du Liban Masraf Lubnan Street P.O. Box 11-5544 Beirut - Lebanon Re: Engagement of Patton Boggs LLP Dear Mr. Salame: Thank you for retaining Patton Boggs LLP to represent the Banque du Liban in connection with the promotion of the image of Lebanese banking before the U.S. Congress and Administration. We look forward to working with you on this important and timely engagement. To ensure that the Banque du Liban and we have a common understanding of the terms of our representation and to comply with the rules of professional conduct for the jurisdictions in which we practice, I have enclosed a statement describing the standard terms of engagement for legal services to be provided by Patton Boggs LLP. The terms of engagement cover such matters as our procedure for handling potential conflicts of interest, fees, costs and expenses, billing arrangements and terms of payment. Please review the document carefully to ensure that it comports with your understanding. This letter supplements and modifies the enclosed terms of engagement. Graham Wisner, Caffey Norman, Laurence Harris and I will be primarily responsible for the work done on behalf of the Banque du Liban and we will supervise the lawyers and other professionals who may work on this project. I anticipate that associates, staff attorneys, legal assistants, specialists and/or in-house consultants will assist in the matter. As explained more fully in the terms of engagement, we will determine our legal fees based on our standard hourly billing rates in effect when the work is performed and the number of hours worked by each attorney. Generally, our billing rates for Partners range from $425 to $990, for Associates from $250 to $570, and for Legal Assistants from $100 to $290. This range varies, slightly, based on geographic location. The billing rates of certain lawyers with special expertise or extensive experience may be outside these ranges. My time is billed at $990 per hour, Graham Wisner's time is billed at $660 per hour, Caffey Norman's time is billed at $750 per hour and Laurence Harris' time is billed at $960 per hour. If you would like to know the hourly billing rates of other billers most likely to work on a particular project, please call me. Generally, we adjust our billing rates at least once annually, typically in October. In addition to our fees for legal services, we also charge separately for certain costs and expenses as described in the Washington DC Northern Virginia New Jersey New York Dallas Denver Anchorage Doha Abu Dhabi Received by NSD/FARA Registration Unit 10/25/2012 4:45:14 PM

juiormy' n uw j UP Mr. Riad T. Salame September 28, 2012 Page 2 enclosed statement. Our representation will commence upon receipt of an initial retainer in the amount of $50,000. We will request a fixed monthly retainer of US $50,000 per month, payable monthly plus expenses. We will propose an initial engagement of one year (12 months). This contract may be renewed automatically by mutual consent. Below for your convenience are wiring instructions. Wells Fargo Bank 420 Montgomery Street San Francisco, CA 94101 Patton Boggs LLP - Operating Account Routing Transit Number or ABA j SWIFT BIC routing number: * CHIPS Code: 8 ~~ Account number:] Details: Client/Matter Number, Client Name, Invoice Number, Etc. If you agree with these terms and conditions, including those set forth in the standard terms of engagement, no further action is required. If you have any questions about these terms or would like to discuss them, please call me as soon as possible so as not to impede our commencing work on your behalf. These terms and conditions will apply to any future work we undertake for you unless we send you a new letter reflecting different terms and conditions. We look forward to working with the Banque du Liban to achieve a successful result. Sincerely yours, L homas Hale Boggs, Jr. for PATTON BOGGS LLP Grahim G. Wisner For PATTON BOGGS LLP THB/GGW:sb Enclosure mm Received by NSD/FARA Registration Unit 10/25/2012 4:45:14 PM