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AO 91 (Rev. 11/11) Criminal Complaint United States District Court for the District of Massachusetts United States of America V. Mukunda Znajmiecka, a/k/a "Mook" Defendant(s) Case No. 17-mj-6034-MPK CRIMINAL COMPLAINT I, the complainant in this case, state that the following is true to the best of my knowledge and belief. Onor about the date(s) of October 8, 2016 in the county of Norfolk in the District of Code Section 18 U.S.C.§ 922(g)(1) Massachusetts , the defendant(s) violated: Offense Description Felon in possession of firearms and ammunition This criminal complaint is based on these facts: See attached affidavit of FBI Task Force Officer Erik V. Telford. sf Continued on the attachedsheet. Swom to before me and signed in my presence. Date: <^7/6 jiy City and state: Boston, Massachusetts Officer. FBI /uUge'ssignature Hon. M. Page Kelley, U.S. Magistrate Judge Printed name and title Case 1:17-mj-06034-MPK Document 4 Filed 02/16/17 Page 1 of 1

UnitedStatesDistrictCourt · 2020. 7. 3. · AO 91 (Rev. 11/11) Criminal Complaint UnitedStatesDistrictCourt for the District ofMassachusetts United StatesofAmerica V. Mukunda Znajmiecka,

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  • AO 91 (Rev. 11/11) Criminal Complaint

    United States District Courtfor the

    District of Massachusetts

    United States of America

    V.

    Mukunda Znajmiecka, a/k/a "Mook"

    Defendant(s)

    Case No. 17-mj-6034-MPK

    CRIMINAL COMPLAINT

    I, the complainant in this case, state that the following is true to the best of my knowledge and belief.

    Onorabout thedate(s) of October 8, 2016 in the county of Norfolk in the

    District of

    Code Section

    18 U.S.C.§ 922(g)(1)

    Massachusetts , the defendant(s) violated:

    Offense Description

    Felon in possession of firearms and ammunition

    This criminal complaint is based on these facts:

    See attached affidavit of FBI Task Force Officer Erik V. Telford.

    sf Continued on the attachedsheet.

    Swom to before me and signed in my presence.

    Date:

  • AFFIDAVIT OF TASK FORCE OFFICER ERIK V. TELFORD

    1.Erik V. Telford, being duly sworn, depose and state as follows:

    1. I make this affidavit in support of a complaint against Mukunda "Mook"

    ZNAJMDECKA ("ZNAJMIECKA"), date ofbirth XX/XX/1986, social securitynumber XXX-XX-

    9444, for being a felon in possession of firearms and ammunition, in violation of 18 U.S.C.

    §922(g)(l). As set forth below, there is probable cause to believe that Mukunda ZNAJMIECKA,

    after being convicted of a crime punishable by more than one year, did possess firearms and

    ammunition in violation of 18 U.S.C. §922(g)(l).

    2. I am a Massachusetts State Police Officer with over sixteen (16) years of professional

    experience. Currently, I am working as a Trooper in the Gang Unit as part of the South Eastern

    Massachusetts Gang Task Force ("the Task Force"). The Task Force consists of Special Agents

    ("SA") from the Federal Bureau of Investigation ("FBI"), the Bureau of Alcohol Tobacco Firearms

    and Explosives ("ATF"), Troopers from the Massachusetts State Police ("MSP") Gang Unit, and

    Detectives from the Brockton Police Department. I have been assigned in the Gang Unit for over

    thirteen (13) years and part of the Task Force for over eight years.

    3. In or about January 2008,1 was deputized by the FBI as a federal Task Force Officer

    ("TFO"). As such, I am also an investigative or law enforcement officer of the United States, within

    the meaning ofSection 2510(7) ofTitle 18, United States Code: that is, an officer ofthe United States

    who is empowered by law to conduct investigationsof, and to make arrests for, offenses enumerated

    in Section 2516, Title 18, United States Code. Based upon my training and experience as a

    Massachusetts State Police Trooper and as a Task Force Officer, I am familiar with federal firearms

    laws. In this regard, I know that it is a violation of 18 U.S.C. §§ 922(a)(1)(A), (g) and 924(c) to

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  • e&JS45 (5/97)- (Revised U.S.D.C. MA 3/25/2011)

    Criminal Case Cover Sheet U.S. District Court - District of Massachusetts

    Place of Offense:

    City Quincy

    Category No. J

    a Related Case Information:

    Investigating Agency FBI/ATF

    County Norfolk Superseding Ind./ Inf.Same Defendant

    Magistrate Judge Case NumberSearch Warrant Case Number

    R 20/R 40 from District of

    Case No.New Defendant

    Defendant Information:

    Defendant Name MukundaZnajmiecka Juvenile: • Yes No

    Is this person an attorney and/or amember ofany state/federal bar: Yes [3 NoAlias Name "Mock"

    Address (Citv & State) Quincy, Massachusetts

    Birth date (Yr only): ^^86 SSN (last4#):_9444__ Sex_^

    DefenseCounsel if known:

    Bar Number

    U.S. Attorney Information:

    Emily Cannon

    Race: Nationality:

    Address

    Bar Number if applicable

    Interpreter: HH 0^® List language and/or dialect:

    Victims: [ [Ves [^No Ifyes, are there multiple crime victims under 18 USC§377I(d)(2) • Yes • No

    Matter to be SEALED: 0 Yes 0 No

    [/]Warrant Requested | |Regular Process | | In Custody

    Location Status:

    Arrest Date

    0|Already in Federal Custody as ofI [Already in State Custody atI IOn Pretrial Release: Ordered by:

    Charging Document: [0Complaint I [information

    Total #of Counts: | |Petty I IMisdemeanor

    Continue on Page 2 for Entry of U.S.C. Citations

    [0 I hereby certify that thecase numbers ofany priorproceedings before a Magistrate Judge areaccurately set forth above.

    in

    I [Serving Sentence

    on

    Date: 2/16/2017 , f!..QSignature ofAUSA

    I [Awaiting Trial

    • Indictment

    0 Felony —

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