PROVIDING MATERIAL SUPPORT TO DESIGNATED TERRORIST ORGANIZATIONS (FUNDRAISING) (18 U.S.C. 2339B)
- Russian federation is not in the US's list of terrorist organization
- He did not provide anything to Russian federation
FARA requires the registration of, and disclosures by, an “agent of a foreign principal” who, either directly or through another person, within the United States
(1) engages in “political activities” on behalf of a foreign principal;
You'd have a hard time proving that this falls under "political activity" and that he did it because of foreign influence.
(2) acts as a foreign principal’s public relations counsel, publicity agent, information-service employee, or political consultant;
(3) solicits, collects, disburses, or dispenses contributions, loans, money, or other things of value for or in the interest of a foreign principal; or
(4) represents the interests of the foreign principal before any agency or official of the U.S. government. In addition, FARA requires agents to conspicuously label “informational materials” transmitted in the United States for or in the interest of a foreign principal. There are some exemptions to FARA’s registration and labeling requirements for specified categories of agents and activities.
He does not do anything of this sort