As more fully described in Chapter Five, based upon the information known to t he FBI in October 2016, the first application contained the following seven significant inaccuracies and omissions: 1. Omitted information the FBI had obtained from another U.S. government agency detailing its prior relationship wit h Page, including that Page had been approved as an "operational contact" for the other agency from 2008 to 2013, and that Page had provided information to the other agency concerning his prior contacts with certain Russian intelligence officers, one of which overlapped w ith facts asserted in the FISA application; 2. Included a source characterization statement asserting that Steele's prior reporting had been "corroborated and used in criminal proceedings," Executive Summary Review of Four FISA Applications and Other Aspects of the FBI's Crossfire Hurricane Investigation which overstated the significance of Steele's past reporting and was not approved by Steele's handling agent, as req uired by the Woods Procedures; 3. Omitted information relevant to the reliability of Person 1, a key Steele sub-source (who was attributed with providing the information in Report 95 and some of the information in Reports 80 and 102 relied upon in the application), namely that (1) Steele himself told members of the Crossfire Hurricane team that Person 1 was a "boaster" and an "egoist" and "ma en a e in some embellishment" and (2) 4. Asserted that the FBI had assessed that Steele did not directly provide to the press information in the September 23 Yahoo News article based on the premise that Steele had told the FBI that he only shared his election-related research with the FBI and Fusion GPS, his client; this premise was incorrect and contradicted by documentation in the Woods File- Steele had told the FBI that he also gave his information to the State Department; 5. Omitted Papadopoulos's consensually monitored statements to an FBI CHS in September 2016 denying that anyone associated with the Trump campaign was collaborating with Russia or with outside groups like Wikileaks in the release of emails; 6. Omitted Page's consensually monitored statements to an FBI CHS in August 2016 that Page had "literally never met" or "said one word to" Paul Manafort and that Manafort had not responded to any of Page's emails; if true, those statements were in tension with claims in Report 95 that Page was participating in a conspiracy with Russia by acting as an intermediary for Manafort on behalf of the Trump campaign; and 7. I ncluded Page's consensually monitored statements to an FBI CHS in October 2016 that the FBI believed supported its theory that Page was an agent of Russia but omitted other statements Page made that were inconsistent with its theory, including denying having met with Sechin and Divyekin, or even knowing who Divyekin was; if true, those statements contradicted t he claims in Report 94 that Page ix had met secretly with Sechin and Divyekin about future cooperat ion with Russia and shared derogatory information about candidate Clinton.