) ) Violations: 18 u.s.c. 9220) ) BILL OF INDICTMENT INTRODUCTION

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"UNDER SEl\l" PLED OHARl..OTT!'i, NO JAN 2 0 2016,.:., US DSTRCT COURT UNTED STATES DSTRCT COURT FOR TlWESTERN DSTRCT OF NC WESTERN DSTRCT OF NORTH CAROLNA ASHEVLLE DVSON UNTED STATES OF AMERCA DOCKETNO. /. /tbc,e:s" BLL OF NDCTMENT v. Violations: 18 u.s.c. 9220 18 U.S.C. 924(a(2 18 (1 JUSTN NOJAN SULLVAN u.s.c. 924(b 18 U.S.C. 1001(a(2 a/k/a "TheMujahid" 18 u.s.c. 1958 18 U.S.C. 2339B(a( 26 u.s.c. 5861(d FLED UNDER SEAL ============ THE GRAND JURY CHARGES: NTRODUCTON 1. JUSTN NOJAN SULLVAN ("SULLVAN", defendant herein, a national and resident of the United States, was in communication by electronic means from his home in Burke County, within the Western District of North Carolina, with individuals he understood to be member(s of the slamic State of raq and the Levant ("!SL", a designated foreign terrorist organization, in the course of preparing to conduct terrorist attacks in the United States in aid of, and in coordination with, SL's calls for violence by its supporters around the world. SULLV AN's Attempt to Provide Material Support to SL: 2. On October 15, 2004, the United States Secretary of State designated al Qa'ida in raq ("AQ", then known as Jam'at al Tawhid wa'al-jihad, as a Foreign Terrorist Organization under Section 219 of the mmigration and Nationality Act and as a Specially Designated Global Terrorist under section l(b of.executive Order 13224. 3. On May 15, 2014, the Secretary of State amended the designation ofal Qa'ida in raq ("AQ" as a foreign tetrorist organization under Section 219 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 1 of 11

of the mmigration and Nationality Act and as a Specially Designated Global Terrorist entity under section 1 (b of Executive Order 13224 to add the alias slamic State of raq and the Levant ("SL" as its primary name. The Secretary also added the following aliases to the SL listing: the slamic State of raq and al-sham ("SS", the slamic State of raq and Syria ("SS", ad-dawla al-slamiyya fi al-'raq wa-sh-sham, Daesh, Dawla al slamiya, and Al-Furqan Establishment for Media Production. Although the group has never called itself"al-qaeda in raq ("AQ"," this name has :frequently been used to describe it through its history. To date, SL remains a designated foreign terrorist organization. n an audio recording publicly released on or around June 29, 2014, SL announced a formal change of its name to the slamic State ("S".! 4. On or about September 21, 2014, SL spokesperson Abu Muhammad al Adnani called for attacks against citizens-civilian or military-of the United States and other countries participating in the United States-led coalition against SL. 5. No later than September 2014, SULLVAN converted to slam and began watching violent SL acts on the nternet, such as beheadings. SULLVAN openly expressed support for SL in his home and destroyed religious items that belonged to SULLV AN's parents. 6. On or about December 17 and 18, 2014, SULLVAN was in possession of a stolen.22 caliber Marlin Model 60W rifle (the ".22 Marlin". SULLVAN used the stolen firearm that day to murder his neighbor, 74 year old John Bailey Clark ("Mr. Clark", in Mr. Clark's home, a few houses down from SULLV AN's residence. SULLVAN hid the stolen firearm, a black ski mask, muddy clothes and lock pick kit in a crawl space in the home he shared with his parents. 7. Beginning no later than June 6, 2015, SULLVAN attempted to provide material support to SL by planning terrorist attacks, and discussing such plans with an undercover law enforcement employee ("UCB", whom SULLVAN attempted to recruit to join in such attacks. During the course of their conversations, SULLVAN made clear to the UCB that he was familiar with SL's social media efforts to encourage followers to conduct terrorist attacks in the United States. During one such conversation, SULLVAN said: " liked S from the beginning then started thinking about death and stuff so became Muslim." Page 2of11 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 2 of 11

8. During an electronic communication on or about June 7, 2015, SULLVAN told the UCE it was better to remain in the United States to support SJL than to travel, as they would be arrested or ldlled if they attempted to travel. SULLVAN suggested the UCE obtain weapons, specifically "an AR-15.223 with split core ammo...its fragmenting hollow points... deadly." SULLVAN stated that "u only need 600 dollars akhi for the gun and bullets" and that he would have an AR-15 assault rifle in "[a]bout 2 weeks" by visiting a gun show "close to me." SULLVAN later stated that the 689 dollars the FB found in his possession upon his arrest had come from Mr. Clark. A gun show was then scheduled for June 20 through 21, 2015, in Hickory, North Carolina. On or about June 17, 2015, SULLVAN attempted to purchase hollow point ammunition from a local gun dealer to be used with the weapon(s he intended to purchase. 9. On June 7, 2015, the UCE asked SULLVAN: "do you think you can kill," to which SULLVAN responded, "[y]es." SULLVAN then urged the UCE to "Just kill a few people so that know u are truthful... just shoot then leave... wear a mask do it at night." SULLVAN asked the UCE: "Canu ldll?" SULLVAN added, "'ll kill people this month." 10. SULLVAN researched how to manufacture firearm silencers on the nternet and then recruited the UCB to manufacture two firearms silencers that would attach to AR-15 rifles to be purchased by SULLVAN and the UCB. SULLVAN stated to the UCE: "We'll be using homemade suppressors in and out we'll kill 500 then we'll leave inshallah," and described the suppressors as "not too hard to make." 11. SULLVAN and the UCE were to use the firearms, silencers and hollow point ammunition to carry out assassinations and mass shootings. When discussing his tet'orist plans, SULLVAN said: "Our attacks needs to be as big as possible... we can do minor assassinations before the big attack for training." SULLVAN planned to carry out his attack in the following few days at a concert, bar or club where he believed that as many as 1,000 people could be ldlled using the assault rifle and silencer. SULLVAN's Solicitation of an Unregistered Firearm Silencer: 12. The National Firea1ms Act ("NFA" requires that firearms as defined and listed in Title 26, United States Code, Section 5845( a, be registered with the Bureau of Alcohol, Tobacco, Firearms and Explosives ("ATF" in the National Firearms Registration and Transfer Record ("NFRTR". Page 3 ofll Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 3 of 11

. 13. A "firearm" as defined in Title 18, United States Code, Section 92l(a(3(C and Title 26, United States Code, Section 5845(a includes a "firearm silencer." Title 18, United States Code, Section 92l(a(24 defines the term "firearm silencer" as "any device for silencing, muffling, or diminishing the report of a portable firearm, including any combination of parts, designed or redesigned, and intended for use in assembling or fabricating a firearm silencer or firearm muffler, and any part intended only for use in such assembly or fabrication." 14. SULLVAN requested that the UCB build him a functional silencer from a :flashlight as described on nternet websites referenced by SULLVAN. The FB did so, and mailed a silencer to the address SULLVAN provided to the UCB. The silencer was delivered on or about June 19, 2015, from outside the State of North Carolina via the U.S. mail to SULLVAN at his address in Burke County, North Carolina. Having been built in accordance with SULLV AN's instructions, the silencer did not bear the required serial number and was not registered to SULLVAN or any other person in the NFRTR. 15. SULLVAN took control and possession of the silencer from his mother who picked up the mail. SULLVAN hid the silencer in the crawl space of his home with his stolen.22 Marlin, black ski mask and lock pick kit. SULLVAN intended to use the silencer to carry out terrorist acts on behalf ofsl. SULLVAN's Use of nterstate Commerce Facilities in the Commission of an Attempted Murder-For-Hire: 16. On or about June 19, 2015, SULLV AN's mother and father questioned him about the nature and purpose of the silencer, which SULLV AN's mother had received in the mail. SULLVAN, believing that his mother and father had and would interfere with his plan to commit terrorist acts in support of SL, offered the UCB compensation, to wit: money or other items of pecuniary value, to kill his parents. 17. SULLV AN's communications with the UCE used a facility in interstate commerce: to wit, a social media application which he used to communicate with the UCB over the nternet from the State of North Carolina to the UCB's location in another State. Page 4of11 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 4 of 11

SULLVAN's False Statements to Federal Agents 18. On or about June 19, 2015, SULLVAN was interviewed by agents of the Federal Bureau of nvestigation (FB in Morganton, North Carolina. SULLVAN was advised of his rights, waived his right to have an attorney present and agreed to provide truthful answers to the agents' questions. a. During this interview, SULLVAN was asked, "Do you have a rifle?" SULLVAN replied, "No, Sir." b. SULLVAN was also asked ifhe knew the caliber of the gun that had been used to kill "the old man" on his street, referring to Mr. Clark." SULLVAN replied, " don't know the caliber." c. The agents asked SULLVAN, "[Y]ou didn't kill that old man (refefl'ing to Mr. Clark?" SULLVAN replied, "No Sir." 19. On June 20, 2015, SULLVAN was interviewed again by agents of the FB in Buncombe County, North Carolina. SULLVAN was advised of his rights, waived his right to have an attorney present and agreed to provide truthful answers to the agents' questions. a. On this occasion, SULLVAN was informed that agents had searched his home and seized certain items of evidence. n response, SULLVAN admitted that he had lied to the agents the day before and described where he had hidden the.22 Marlin that he had stolen from his father's gun cabinet. b. The agents asked SULLVAN again if he had "any information about [who killed Mr. Clark]." SULLVAN replied, " have no information." 20. SUL LV AN then well knew his statements above regarding his possession of a stolen rifle and lmowledge of the circumstances of Mr. Clark's death were false in that he used the.22 Marlin hidden under his house to murder Mr. Clark by shooting him through the head. 21. The circumstances surrounding planned acts of terrorism and the possession and use of stolen firearms within the United States and involving U.S. citizens are matters within the jurisdiction of the FB and the executive branch of the United States Government. Page 5of1 l Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 5 of 11

COUNT ONE Violation:.18 U.S.C. 2339B(a(l (Attempted Material Support of a Designated Foreign Terrorist Organization. 22. Paragraphs 1through21 of the ntroduction of this Bill of ndictment are realleged and incorporated herein. 23. Beginning on or about June 6, 2015, and continuing until on or about Jm1e 19, 2015, in Burke County, within the Western District of North Carolina, and elsewhere, (1 JUSTN NOJAN SULLVAN, a/k/a "TheMujahid," defendant herein, did knowingly attempt to provide material suppo1t or resources, as that term is defined in Title 18, United States Code, Section 2339A(b, to wit: himselfand others as personnel, and services, to the slamic State of raq and the Levant, a designated Foreign Terrorist Organization, knowing that the organization was a designated Foreign Terrorist Organization, and that the organization had engaged in and was engaging in tell'orism and tet'orist activity. All in violation of Title 18, United States Code, Section 2339(B(a(l. COUNT TWO Violation: 18 U.S.C. 924(b (Receipt ofa Silencer in nterstate Commerce with ntent to CommitaFelony. 24. Paragraphs 1 through 15 of the ntroduction of this Bill of ndictment are realleged and incorporated herein. Page 6of11 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 6 of 11

25. On or about June 19, 2015, in Burke County, within the Western District of North Carolina, and elsewhere, (1 JUSTN NOJAN SULLVAN, a/k/a "TheMujahid," defendant herein, did knowingly receive a firearm: to wit, a firearm silencer; that had been shipped and transported in interstate commerce, intending to commit therewith an offense punishable by imprisonment for a term exceeding one year, that is providing and attempting to provide material support or resources to a designated foreign terrorist organization in violation of Title 18, United States Code, Section 2339B(a(l. All in violation of Title 18, United States Code, Section 924(b. COUNT THREE Violation: 26 U.S.C. 586!(d (Receipt and possession of an Unregistered Fireann 26. Paragraphs 1through15 of the ntroduction of this Bill oflndictment are realleged and incorporated herein. 27. On or about June 19, 2015, in Burke County, within the Western District of North Carolina, and elsewhere, (1 JUSTN NOJAN SULLVAN, a/k/a "TheMujahid," defendant herein, did knowingly receive and possess a firearm: to wit, a firearm silencer; not registered to him in the NFRTR. All in violation of Title 26, United States Code, Section 5861(d. Page 7ofi1 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 7 of 11

COUNT FOUR Violation: 18 U.S.C. 9220, 924(a(2 (Possession of a Stolen Firearm. 28. Paragraphs 6, 18 through 21 of the ntroduction of this Bill of ndictment are re-alleged and incorporated herein. 29. Beginning no later than on or abontdecember 17, 2014, and continuing until on or about June 19, 2015, in Burke County, within the Western District ofnorth Carolina, and elsewhere, (1 JUSTN NOJAN SULLN AN, a/le/a "TheMujahid," defendant herein, knowingly possessed a stolen firearm, that is, the.22 Marlin, which had been shipped and transported in interstate commerce. All in violation of Title 18, United States Code, Sections 9220 and 924(a(2. COUNT FVE Violation: 18 U.S.C. 1958 (Use of nterstate Facilities in the Attempted Commission of a Murder-For-Hire 30. Paragraphs 5, 16 and 17 of the ntroduction of this Bill of ndictment are realleged and incorporated herein. 31. On or about June 19, 2015, in Bmke County, within the Western District of North Carolina, and elsewhere, (1 JUSTN NOJAN SULLN AN, a/le/a "TheMujahid," defendant herein, used a facility in interstate commerce, to wit, a social media application operating via the nternet, with the intent that the murder of his mother and father with whom he lived be committed in violation of the laws of the State of North Carolina, and as consideration promised and agreed to pay, things of pecuniary value. All in violation of Title 18, United States Code, Section 1958. Page 8 of l l Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 8 of 11

COUNT SX Violation: 18 U.S.C. 100l(a(2 (False Statement to an Agency of the United States 32. Paragraphs 6, 18 through 21 of the ntroduction of this Bill of ndictment are re-alleged and incorporated herein. 33. On or about June 19, 2015, in Burke County, within the Western District of North Carolina, and elsewhere, (1 JUSTN NOJAN SULLVAN, a/k/a "TheMujahid," defendant herein, did willfully and lmowingly make a materially false, fictitious, and fraudulent statement and representation in a matter within the jurisdiction of the executive branch of the Government of the United States, by falsely stating to federal agents then investigating a matter involving international terrorism that (a he did not have a rifle, (b did not know the caliber of the gun that had been used to kill "the old man" on his street, referring to Mr. Clark; and ( c that he "didn't kill that old man," referring to Mr. Clark. The statements were false because, as SULLN AN then and there!mew he had used the.22 Marlin to murder his neighbor, Mr. Clark. All in violation of Title 18, United States Code, Section 100l(a(2. COUNT SEVEN Violation: 18 U.S.C. 100l(a(2 (False Statement to an Agency of the United States 34. Paragraphs 6, 18 through 21 of the ntroduction of this Bill of ndictment are re-alleged and incorporated herein. Page Y of 11 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 9 of 11

35. On or about June 20, 2015, in Buncombe Couuty, within the Western District of North Carolina, and elsewhere, (1 JUSTN NOJAN SULLVAN, a/k/a "TheMujahid," defendant herein, did willfully and lmowingly make a materially false, fictitious, and fraudulent statement and representation in a matter within the jurisdiction of the executive branch of the Government of the United States, by falsely stating to federal agents then investigating a matter involving international terrorism that he had "no information" about who killed Mr. Clark. This statement was false because, as SULLN AN then and there!mew he had used the.22 Marlin.to murder his neighbor, Mr. Clark.. All in violation of Title 18, United States Code, Section 1001(a(2. NOTCE OF FORFETURE AND FNDNG OF PROBABLE CAUSE 36. Pursuant to Federal Rule of Criminal Procedure 32.2, notice is hereby given of 18 U.S.C. 924 and 28 U.S.C. 2461(c. The following property is subject to forfeiture in accordance with Section 924 and/or Section 2461( c: a. One Casio Model GzOne Commander wireless telephone, b. One Toshiba Laptop, L855-S5121, serial number 4D062975Q, c. One Toshiba Laptop, serial number 5Dl 15194Q, d. Black ski mask, e. Lock pick kit and tools, f. One Marlin.22 rifle, Model 60W, serial number 07376285, g. One handwritten journal, h. $689 in U.S. currency; and i. 18 books relating to warfare and weapons. 37. From his engagement in the violations alleged in Count One of this ndictment, punishable by imprisonment for more than one year, the Page 10of11 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 10 of 11

defendant SULLVAN shall forfeit to the United States of America, pursuant to: a. Title 18, United States Code, Section 981(a(l(C and Title 28, United States Code, Section 2461(c, all interest in any property constituting or derived from proceeds obtained directly or indirectly as a result of the said violation(s; pursuant to Title 18, United States Code, Section 981(a(l(G(iii and Title 28, United States Code, Section 2461 ( c all assets, foreign or domestic derived from, involved in, or used or intended to be used to commit any act of domestic or international terrorism against the United States, citizens or residents of the United States, or their property; and b. Title 18, United States Code, Section 924( d( 1, any firearm or ammunition involved in any knowing violation of Title 18, United States Code, Section 922(j. 38. The Grand Jury finds probable cause to believe that the property described above is subject to forfeiture on one or more of the grounds stated above. A TRUE BLL: Michael E. Savage Assistant United States Attorney Western District of North Carolina,~ //(,,.,./ - -->,.:_... ----~ L. -~-:.:::: - --:---."'.'.....,--...... Grego1'Y.1. Gonzalez Trial A 1 orney, National Security Division Page 11 of 11 Case 1:16-cr-00005-MR-DLH *SEALED* Document 30 Filed 01/20/16 Page 11 of 11