Professional Documents
Culture Documents
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Plaintiff,
v.
CHRISTINE DIANE FOSTER,
INDICTMENT
(18 U.S.C. 2251 (a): Sexual Exploi tation of a Child; 18
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Defendant.
The Grand Jury charges:
Pornography)
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COUNT ONE
(18 U.S.C. 2251(a))
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depiction of such conduct, knowing and having reason to know that such visual depiction would be transported and transmitted
using any means and facility of interstate and foreign commerce
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1 COUNT TWO
2 (18 U.S.C. 2251(a))
3 On or about November 24, 2012, in Riverside County, within
4 the Central District of California, defendant
CHRISTINE DIANE
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1 COUNT THREE
2 (18 U.S.C. 2251(a))
3 On or about February 16, 2013, in Riverside County, within
4 the Central District of California, defendant CHRISTINE DIANE
5 FOSTER knowingly employed, used, persuaded, induced, enticed,
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1 COUNT FOUR
2 (18 U.S.C. 2252A(a) (2) (A), (b) (1) J
3 On or about November 23, 2012, in Riverside County, wi thin
4 the Central District of California, defendant CHRISTINE DIANE 5 FOSTER knowingly distributed child pornography, as defined in
6 Title 18, United States Code, Section 2256(8) (A), that had been
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1 COUNT FIVE
2 (18 U.S.C. 2252A(a) (2) (A), (b) (1) J
3 On or about November 24, 2012 in Riverside County, within
4 the Central District of California, defendant CHRISTINE DIANE 5 FOSTER knowingly distributed child pornography, as defined in
6 Title 18, United States Code, Section 2256 (8) (A), that had been
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1 COUNT six
2 (18 U.S.C. 2252A(a) (2) (A), (b) (1) J
3 On or about February 16, 2013 in Riverside County, within
4 the Central District of California, defendant CHRISTINE DIANE 5 FOSTER knowingly distributed child pornography, as defined in
6 Title 18, United States Code, Section 2256 (8) (A), that had been
A TRUE BILL
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ForeplS)
ANDR BIROTTE JR.
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ROBERT E. DUGDALE 19 Assistant United States Attorney Chief, Criminal Division 20 ANTOINE F. RAPHAEL 21 Assistant United States Attorney Chief, Riverside Office
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Ri verside Office
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