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- \ DISTRICT OF NEW JERSEY UNITED STATES DISTRICT COURT UNITED STATES OF AMERICA : Hon. V. : Cr im. No. Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 1 of 7 PageID: 1 agency of the United States. The FHA encourages designated States Department of Housing and Urban Development ( HUD ), an Housing Administration ( FHA ), which is a division of the United connection with an insurance program administered by the Federal 3. A common type of mortgage loan is issued in real estate that will secure the loan. other documents from the borrowers and assess the value of the financial representations set forth in loan applications and payment requirements, the lenders are supposed to evaluate the borrowers meet the lenders income, credit eligibility and down to finance the purchase of real estate. In deciding whether the companies and other institutions ( lenders ) to enable borrowers 2. Mortgage loans are loans funded by banks, mortgage Mortgage Lending Generally employee of a Parsippany, New Jersey, mortgage lender. defendant Jorge Abbud resided in Dover, New Jersey, and was an 1. At all times relevant to this Information, THE DEFENDANT AND OTHER PARTIES Jersey charges: by Indictment, the United States Attorney for the District of New The defendant having waived in open court prosecution INFORMATION JORGE ABBUD : 18 U.S.C. 1343 and 2 1/2Q11Ro14o1

loan, they use a system called FHA Connection that provides When lenders process an application for an FHA-insured mortgage payment guarantee if the borrower defaults on a mortgage loan. protecting against loan defaults through a government-backed Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 2 of 7 PageID: 2-2- their inability to pay their monthly mortgage payments. had equity in their homes but were facing foreclosure because of that defendant Abbud would target homeowners in New Jersey who 5. It was part of the scheme and artifice to defraud representations and promises, as set forth below. means of materially false and fraudulent pretenses, defraud and to obtain money and property from mortgage lenders by did knowingly and intentionally devise a scheme and artifice to JORGE ABBUD District of New Jersey, and elsewhere, defendant 2008, through in or about March 31, 2008, in Union County, in the 4. From at least as early as in or about January 1, THE SCHEME TO DEFRAUD institutional investors in the secondary market. loans during the mortgage loan period or sell the loans to conventional mortgage loans, the lenders can either service the loans using their own funds and credit lines. After funding the mortgage loan. Lenders underwrite and fund conventional mortgage common type of mortgage loan is called the conventional maintains these computer systems outside of New Jersey. Another internet access to data residing in HUD s computer systems. HUD lenders to make mortgage loans to qualified borrowers by

Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 3 of 7 PageID: 3 6. It was further part of the scheme and artifice to defraud that defendant Abbud would falsely promise to help homeowners avoid foreclosure, keep their homes, and repair their damaged credit. Specifically, defendant Abbud instructed the homeowners to permit the titles of their homes to be recorded in the names of third-party purchasers (the straw buyers ) for approximately one to three years, during which time defendant Abbud promised the homeowners that he would improve their credit scores, obtain mortgages on their behalf with more favorable interest rates, and return the titles of the homes to the homeowners. 7. It was further part of the scheme and artifice to defraud that defendant Abbud would recruit straw buyers with good credit scores to act as buyers of the homes facing foreclosure. Specifically, defendant Abbud told the straw buyers that they were helping the homeowners keep their homes, and that the straw buyers would make money when the homes were sold back to the original homeowners. 8. It was further part of the scheme and artifice to defraud that, on certain occasions, and notwithstanding defendant Abbud s promises to the homeowners and straw buyers, the homes fell into foreclosure. 9. It was further part of the scheme and artifice to defraud that, on certain occasions, defendant Abbud caused the straw buyers to falsely misrepresent their incomes in loan -3-

Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 4 of 7 PageID: 4 applications and other documents in order to secure the loans to purchase the homes. 10. It was further part of the scheme and artifice to defraud that, on certain occasions, defendant Abbud caused the funds disbursed by the financial institution or lender underwriting the loan to be sent to individuals and entities that were not legally entitled to those funds. 11. It was further part of the scheme and artifice to defraud that, on or about January 22, 2008, as part of the sale of one of the homes targeted by defendant Abbud from a homeowner to a straw buyer, defendant Abbud caused an interstate electronic wire transfer of approximately $93,074 to be transmitted from a Sovereign Bank account located in Wyomissing, Pennsylvania to a Wachovia Bank account controlled by defendant Abbud and located in Dover, New Jersey. 12. It was further part of the scheme and artifice to defraud that, on or about March 11, 2008, as part of the sale of one of the homes targeted by defendant Abbud from a homeowner to a straw buyer, defendant Abbud caused an interstate electronic wire transfer of approximately $45,327 to be transmitted from a Sovereign Bank account located in Wyomissing, Pennsylvania to a Wachovia Bank account controlled by defendant Abbud and located in Dover, New Jersey. 13. In all, by the above means, defendant Abbud obtained approximately $138,402 in illegitimate proceeds of the home sales as a result of this scheme and artifice to defraud. -4-

Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 5 of 7 PageID: 5 14. On or about January 22, 2008, in Morris County, in the District of New Jersey, and elsewhere, for the purpose of executing and attempting to execute this scheme and artifice to defraud, defendant JORGE ABBUD did knowingly and intentionally transmit and cause to be transmitted, by means of wire communications in interstate commerce, writings, signs, signals, pictures and sounds, namely a wire transfer of approximately $93,074 from a Sovereign Bank account located in Wyomissing, Pennsylvania to a Wachovia Bank account located in Morris County, New Jersey. 1343 and Section 2. In violation of Title 18, United States Code, Section 5-

Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 6 of 7 PageID: 6 FORFEITURE ALLEGATION 1. The allegations contained in paragraphs 1 through 13 of this Information are incorporated by reference as though set forth in full herein for the purpose of noticing forfeiture pursuant to Title 18, United States Code, Section 981(a) (1) (C), and Title 28, United States Code, Section 2461. 2. The United States hereby gives notice to defendant Abbud that, upon conviction of the offense charged in this Information, the government will seek forfeiture, in accordance with Title 28, United States Code, Section 2461(c), and Title 18, United States Code, Section 981(a) (1) (C), of any and all property, real or personal, that constitutes or is derived from proceeds traceable to the violation of Title 18, United States Code, Section 1343, alleged in this Information, including but not limited to a sum of money equal to at least $138,402 in United States currency. 6 - PAUL J. FIMAN United States Attorney -6-

Case 2:12-cr-00026-WHW Document 1 Filed 01/12/12 Page 7 of 7 PageID: 7 CASE NUMBER: United States District Court District of New Jersey UNITED STATES OF AMERICA V. JORGE ABBUD INFORMATION FOR 18 Usc 1343 and 2 PAUL J. FISHMAN UNITED STATES ATTORNEY, NEWARK, NEW JERSEY AARON MENDELSORN ASSISTAI JT U. S. ATTORNEY NEWARK, NEW JERSEY (973) 645-2712