# NOTICE OF MANDATORY DISCLOSURE AND INQUIRY
# CONFIDENTIAL BUSINESS COMMUNICATION
FROM: The Travis Ryle Private Bank Estate & Trust
REFERENCE: Oct2500001
DATE: October 16 2025
ATTN: Legal Department/Corporate Officer
## NOTICE TO PRINCIPAL IS NOTICE TO AGENT; NOTICE TO AGENT IS NOTICE TO PRINCIPAL
This is a confidential business communication requiring your prompt attention and response. This document is NOT an appearance in any capacity and does NOT constitute consent to any jurisdiction.
## INSTRUCTIONS FOR COMPLETION
1. This form must be completed by an authorized corporate officer with knowledge of the information requested.
2. For multiple-choice questions, mark all applicable options with an "X".
3. Complete ALL questions - incomplete responses will be considered non-responsive.
4. Return completed form within 30 calendar days to: [Your Email or Mailing Address]
5. Failure to respond constitutes tacit agreement with all assertions implied by the questions.
## CORPORATE RELATIONSHIP DISCLOSURE QUESTIONNAIRE
### SECTION 1: ENTITY RELATIONSHIPS
1. Your entity shares data with which of the following: (Mark ALL that apply)
[ ] LexisNexis/RELX Group
[ ] Open Corporates
[ ] GLEIF (Global Legal Entity Identifier Foundation)
[ ] SEC (Securities and Exchange Commission)
[ ] IRS (Internal Revenue Service)
[ ] DOJ (Department of Justice)
[ ] U.S. Courts (Federal or State)
[ ] BlackRock, Inc.
[ ] Vanguard Group
[ ] Federal Reserve System
[ ] American LEI Foundation
[ ] Thomson Reuters
[ ] Credit Bureaus (Equifax/Experian/TransUnion)
[ ] Foreign Governments or Entities
[ ] None of the above
2. Your entity receives funding, investment, or oversight from: (Mark ALL that apply)
[ ] BlackRock, Inc.
[ ] Vanguard Group
[ ] State Street Corporation
[ ] Federal Government Agencies
[ ] Foreign Governments or Entities
[ ] Central Banks
[ ] Bank for International Settlements
[ ] None of the above
### SECTION 2: INFORMATION HANDLING PRACTICES
3. Information about private citizens like [Your Name] is collected and stored by your entity for: (Mark ALL that apply)
[ ] Credit reporting and scoring
[ ] Court proceedings or legal matters
[ ] Tax administration
[ ] Law enforcement purposes
[ ] Commercial purposes/monetization
[ ] Identity verification
[ ] Risk assessment
[ ] None of the above
4. The legal authority for collecting information about private citizens comes from: (Mark ALL that apply)
[ ] Constitutional law
[ ] Statutory law (cite statute: _____________)
[ ] Administrative regulation
[ ] Corporate policy
[ ] Explicit contractual agreement with the individual
[ ] Implied consent
[ ] No specific authority required
5. Information collected about private citizens is shared with foreign entities: (Mark ONE)
[ ] Yes, regularly
[ ] Yes, in certain circumstances
[ ] No
[ ] Unknown/Cannot disclose
### SECTION 3: LEGAL AND MONETARY SYSTEM ACKNOWLEDGMENTS
6. Your entity acknowledges that: (Mark ALL statements your entity agrees with)
[ ] Federal Reserve Notes are debt instruments
[ ] Federal Reserve Notes are not backed by gold or silver as required by the Constitution
[ ] The definition of "person" in legal contexts includes corporations
[ ] The definition of "State" in federal statutes primarily refers to territories and D.C.
[ ] Courts in the United States operate as corporate entities with DUNS numbers
[ ] None of the above statements
7. Your entity operates primarily under: (Mark ONE)
[ ] Constitutional law
[ ] Maritime/Admiralty law
[ ] UCC/Commercial law
[ ] Administrative law
[ ] Corporate policy
[ ] Common law
### SECTION 4: SPECIFIC ENTITY RELATIONSHIPS
8. Regarding LexisNexis/RELX Group: (Mark ALL that apply)
[ ] Our entity provides data to LexisNexis/RELX
[ ] Our entity receives data from LexisNexis/RELX
[ ] Our entity has no relationship with LexisNexis/RELX
[ ] Our entity acknowledges LexisNexis/RELX is foreign-owned
[ ] Our entity is unaware of LexisNexis/RELX's ownership structure
9. Regarding BlackRock, Inc.: (Mark ALL that apply)
[ ] BlackRock has ownership or investment interests in our entity
[ ] Our entity has business relationships with BlackRock
[ ] BlackRock influences our entity's policies or practices
[ ] Our entity has no relationship with BlackRock
[ ] Our entity is unaware of BlackRock's influence in our industry
10. Regarding the Global Legal Entity Identifier Foundation (GLEIF): (Mark ALL that apply)
[ ] Our entity uses LEIs assigned by or through GLEIF
[ ] Our entity provides information to GLEIF or its partners
[ ] LEIs are used to track natural persons' activities
[ ] LEIs are used only