Saddam Mohamed Raishani, a/k/a “Adam Raishani,” 30, of the
Bronx was arrested last night at John F. Kennedy International Airport (“JFK
Airport”) in Queens, New York. Raishani was charged by a criminal Complaint
earlier today with attempting to provide material support to the Islamic State
of Iraq and al-Sham (“ISIS” or the “Islamic State”), a designated foreign
terrorist organization. Raishani is expected to be presented later today before
Magistrate Judge James L. Cott in Manhattan federal court.
Acting Assistant Attorney General for National Security Dana
Boente, Acting U.S. Attorney Joon H. Kim for the Southern District of New York,
Assistant Director in Charge William F. Sweeney Jr. of the FBI’s New York Field
Office, and Commissioner James P. O’Neill of the NYPD made the announcement.
“According to the complaint, Raishani attempted to travel
overseas to join ISIS and to provide material support to the designated
terrorist organization,” said Acting Assistant Attorney General Boente. “The
National Security Division’s highest priority is countering terrorist threats,
and we will continue to work to stem the flow of foreign fighters abroad and
bring to justice those who attempt to provide material support to designated
foreign terrorist organizations. I would like to thank all of the agents,
analysts and prosecutors who are responsible for this case.”
“As alleged, Saddam Mohamed Raishani, a Bronx man, plotted
to travel to Syria to join and train with the terrorist organization ISIS,”
said Acting Manhattan U.S. Attorney Kim. “Having already helped another man
make that trip to ISIS’s heartland, Raishani allegedly acted on his own desire
to wage violent jihad, planning to leave his family and life in New York City
for the battlefields of the Middle East. Thanks to the excellent work of the
FBI and NYPD, Raishani’s alleged plan to support this deadly terrorist
organization was cut short at the airport and now he will face federal
terrorism charges.”
“This case is another alleged instance of the nature of the
terrorism threat and its reach into communities here at home,” said Assistant
Director in Charge Sweeney Jr. “It is also a great example of the coordination
which exists among local and federal law enforcement partners who work together
to stop these alleged threats and interdict individuals allegedly determined on
joining a terrorist organization intent on conducting violence around the
globe. The FBI’s JTTF will continue to work with our partners, both here and
abroad, to prevent acts of terrorism.”
“As we have seen many times before, allegedly attempting to
join a designated terrorist organization usually has one outcome: arrest,” said
Commissioner O’Neill. “Thank you to the NYPD detectives and FBI agents who,
through the original Joint Terrorism Task Force, remain relentless in their
focus to keep New York City safe.”
As alleged in the criminal Complaint,[1] filed today in
Manhattan federal court:
In January 2017, Raishani contacted an individual who was,
unbeknownst to Raishani, a confidential source working at the direction of law
enforcement (the “CS”). During a meeting with the CS, Raishani told the CS that
Raishani had a friend (“Person-1”), who had left New York to join the Islamic
State some time ago.[2] Raishani told the CS that prior to Person-1’s
departure, Raishani took Person-1 shopping to buy supplies to bring to the
Islamic State. Riashani also said to the CS that, on the day of Person-1’s
departure, Raishani gave money to Person-1 and drove Person-1 to JFK Airport.
In later meetings with the CS, Raishani expressed his regret at not having
traveled with Person-1 to join ISIS. Raishani also indicated his desire to wage
jihad and his belief that the Quran can be read to justify the violence,
including beheadings, engaged in by ISIS.
As part of the investigation, the CS introduced Raishani to
an undercover law enforcement officer (“UC-1”), who was posing as an individual
who wanted to travel abroad to fight for ISIS. During meetings with the CS and
UC-1, Raishani expressed his desire to travel abroad to join ISIS. For example,
Raishani stated that he had been in contact with other ISIS supporters and no
longer felt comfortable in the United States. He also showed UC-1 a video that
appeared to depict ISIS supporters discussing their desire to travel overseas
to join ISIS and its ongoing fight. Raishani further showed the CS and UC-1 an
ISIS video that appeared to depict ISIS members in Yemen killing civilians who
did not support ISIS.
In addition, Raishani advised the CS and UC-1 as to how they
could avoid detection by law enforcement. For example, Raishani advised the CS
to cover the camera on the CS’s computer and turn off the computer’s microphone
when watching pro-ISIS videos online.
Raishani also advised the CS to use a particular Internet browser (the
“Browser”) to hide their online activity, and explained that he used the
Browser to watch ISIS and jihadi videos online.
Furthermore, Raishani himself put on gloves when using a laptop and
viewing pro-ISIS and pro-jihadi videos online. Moreover, Raishani told UC-1
that if they traveled together to join ISIS, Raishani, a home health aide,
could pose as a nurse and UC-1 could pose as a refugee aid worker, in order to
cross international borders without being stopped and questioned by
authorities. Finally, Raishani told the CS and UC-1 that he (Raishani) had to
be careful because he believed that federal authorities were monitoring his
activities.
By April 2017, Raishani was actively planning to travel
abroad to join ISIS. The CS told Raishani that, through a family acquaintance,
the CS might be able to obtain contact information for an ISIS affiliate
capable of facilitating travel to join ISIS. In reality, the purported
facilitator was an FBI employee acting in an undercover capacity (“UC-2”). In
May 2017, Raishani contacted UC-2 and said that he had previously helped
another individual travel to join ISIS.
Raishani further told UC-2 that he was seeking guidance for his own
“hijrah,” an Arabic term normally used to refer to migration, but which is also
used by ISIS supporters to refer to traveling overseas to join ISIS and engage
in jihad. In subsequent conversations with the CS, UC-1, and/or UC-2, Raishani
stated that he aspired to travel to Syria to join ISIS and that he aimed to
travel before the end of Ramadan, an Islamic holy month that runs from
approximately May 26 through June 24 this year. He indicated that he would be
in contact with UC-2 about his travel. Raishani also stated that if he is
“locked up,” he will not care, as “Allah will reward [him] for attempting
jihad.”
In June 2017, Raishani told the CS that he was making
preparations to leave, including paying off his remaining debts. Subsequently,
Raishani and UC-1 purchased clothing that they intended to wear for their
training with ISIS. Earlier this week, Raishani revealed to UC-2 his
(Raishani’s) intention to meet an ISIS member in Turkey in the next few days,
who would facilitate Raishani’s joining the terrorist organization. Raishani
also purchased an airline ticket for a flight scheduled to depart on June 21,
2017, from JFK Airport to Istanbul, Turkey, via Lisbon, Portugal. On June 21,
2017, Raishani traveled to JFK Airport, where he was arrested by the FBI after
he attempted to board that flight to Lisbon. * * *
Raishani, is charged with one count of attempting to provide
material support to a designated foreign terrorist organization, which carries
a maximum sentence of 20 years in prison. The maximum potential sentence in
this case is prescribed by Congress and is provided here for informational
purposes only, as any sentencing of the defendant will be determined by a
judge. The charges contained in the Complaint are merely accusations, and the
defendant is presumed innocent unless and until proven guilty.
Mr. Kim praised the outstanding efforts of the FBI’s New
York Joint Terrorism Task Force, which principally consists of agents from the
FBI and detectives from the NYPD, and the NYPD’s Intelligence Division. Mr. Kim
also thanked the Counterterrorism Section of the Department of Justice’s
National Security Division.
This prosecution is being handled by the Office’s Terrorism
and International Narcotics Unit. Assistant U.S. Attorneys George D. Turner,
Sidhardha Kamaraju, and Jane Kim are in charge of the prosecution, with
assistance from Trial Attorney Kevin C. Nunnally of the National Security
Division’s Counterterrorism Section.
[1] As the introductory phrase signifies, the entirety of
the text of the Complaint and the description of the Complaint set forth below
are only allegations, and every fact described should be treated as an
allegation.
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