Another Update on Hate Monger, Human Trafficker
UPDATE TWO ON HATEMONGER ARRESTED FOR HUMAN TRAFFICKING
We had previously written about Jeanette Runyon, a virulent hate monger, cyberstalker, and psychiatric patient here, here, here, and here. We have shown, using her own statements, her persistent and unreasoned hatred towards blacks, Jews, Muslims, Christians, and anyone who had the tenacity to tell her that hatred is wrong. We had even shown her 21 page long criminal history, including violent crimes.
A recent article here had shown that Ms. Runyon was arrested in the Ukraine on November 5th, 2007, for using forged documents in her attempt to illegally buy a baby from a young Ukrainian woman. Ms. Runyon was subsequently convicted on engaging in human trafficking, and extradited back to the United States.
Information from US Department of Justice source shows that Ms. Runyon’s attorney has been informed of the charges against her, and is in discussions to negotiate a plea deal. At this point, since Ms. Runyon has been information of the charges against her, it is safe to reveal the charges against Ms. Runyon without compromising any investigations. Ms. Runyon remains under house arrest, under the supervision of the U.S. Marshall’s Service, until her arraignment on the new charges, or until a bed is found by the BOP for her to serve out her sentence on human trafficking charges from the Ukrainian court.
The following is a summary of the new charges, and is not intended to be interpreted as a legal document:
Providing Material Support to Terrorists: 18 US Code 2339A
COUNT ONE: In that during a period from January 2007 to November 2007, Ms. Runyon contacted a known terrorist, one Boris XXXXXXXX, of of California, USA, and laundered money through Mr. XXXXXXXX. For this service, Ms. Runyon paid Mr. XXXXXXXX a fee of $ 24,500.00, which was then forwarded by Mr. XXXXXXXX to a terrorist organization in the Balkans.
Making false statements to US officials: 18 US Code 1001
COUNT TWO: In that Ms. Runyon made a false statement to officials of the U.S. Dept. of State when she claimed that she and her husband were the biological parents of an infant, i.e. Ukrainian Baby Doe, which in reality, had no biological ties to either her or her husband.
COUNT THREE: In that Ms. Runyon made a false statement to officials of the U.S. Dept. of State when she claimed that she had the right to remove an infant child, i.e. Ukrainian Baby Doe, from the Ukraine; in reality, she had kidnapped the child from its biological mother.
COUNT FOUR: In that Ms. Runyon made the false statement to officials of the U.S. Dept. of State when she claimed that she had a legal contract with the biological mother of the Ukrainian infant child, when in reality she had no such document.
COUNT FIVE: In that Ms. Runyon initiated contact with and made a false written statement to Naval investigators, claiming that the Reverend James Sutter had served only a short time in the U.S. Navy, presenting a document that she had created through forgery to support her claim.
Forgery: 18 US Code 1001 and 10 US Code 923
COUNT SIX: In that Ms. Runyon presented a forged certificate of live birth to officials of the U.S. Dept. of State, wherein the forged document purported to show that Ms. Runyon and her husband were the biological parents of a Ukrainian infant, in reality neither Ms. Runyon nor her husband were the biological parents.
COUNT SEVEN: In that, during December 2007, Ms. Runyon presented to the public a document that she claimed was an official U.S. Government document pertaining to the time and rank in service of one Reverend James Sutter, when in reality Ms. Runyon had created the document herself through the use of forgery.
COUNT EIGHT: In that Ms. Runyon forged multiple documents (see Exhibit A through G) intending to portray Reverend Sutter in a negative manner during the course of her cyberstalking and harassment campaign.
Immigration and Naturalization Fraud: 8 US Code 1324 and 18 US Code 1015
COUNT NINE: In that Ms. Runyon presented fraudulent and forged documentation in an attempt to transport a kidnapped Ukrainian infant, Ukrainian Baby Doe from the Ukraine to the United States.
COUNT TEN: In that Ms. Runyon presented fraudulent and forged documentation in an attempt to obtain United States citizenship for a Ukrainian infant that she had kidnapped.
Cyberstalking: 47 US Code 223
COUNT ELEVEN: In that Ms. Runyon used a telecommunications device, i.e. the Internet, to commit a campaign of at least 210 incidents to harass and threaten the Reverend James Sutter, despite being ordered to Cease and Desist.
Conspiracy to Commit Cyberstalking: 47 US Code 223
COUNT TWELVE: In that Ms. Runyon conspired with John xxxxxxxx, Glen xxxxxxxxx, aka xxxxxxxxxxx, and unindicted co-conspirators to use a telecommunications device, i.e. the Internet, to commit a campaign of harassment and threats against the Reverend James Sutter.
Conspiracy to Commit Human Trafficking: 8 US Code 1324
COUNT THIRTEEN: In that, from January 2007 to approximately November 5, 2007, Ms. Runyon conspired with others to traffic in humans, namely Ukrainian Baby Doe, an infant born in the Ukraine.
Conspiracy to Commit Kidnapping: 18 US Code 1201
COUNT FOURTEEN: In that, from January 2007 to approximately November 5, 2007, Ms. Runyon conspired with others to kidnap a foreign national, i.e. Ukrainian Baby Doe.
Bulk Cash Smuggling: 31 US Code 5332 :
COUNT FIFTEEN: In that during November 2007, Ms. Runyon smuggled approximately $65,000 out of the United States, failing to file the necessary declarations with Customs, the purpose of which was to use the money for illegal activities.
Money Laundering: 18 US Code 1956
COUNT SIXTEEN: In that Ms. Runyon, during a period of August 2007 to September 2007, engaged the use of a known money launderer and terrorist, namely one Boris xxxxxxxx of California, to illegally convert her own money to “clean” money, for a fee of Thirty percent.
Fraud and related activity in connection with identification documents, authentication features, and information : 18 US Code 1028
COUNT SEVENTEEN: In that Ms. Runyon presented fraudulent documentation in an attempt to transport a kidnapped Ukrainian infant from the Ukraine to the United States.
Fraud: Pub. L. 106-578
Interstate Flight to Avoid Prosecution: 18 U.S.C. 1073
If convicted of all counts, Ms. Runyon faces life in prison.
Names have been redacted pending indictment and arrest, in order to not compromise the investigation and arrest of co-conspirators.
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