You are on page 1of 7

Case 2:13-cr-00570-UA Document 9 Filed 08/14/13 Page 1 of 7 Page ID #:27

2 3

t:. C' ~
... dr..: 'li

4
5

.. ;:":'ct c: i ;:0 l:: ~JJ c; ~.. ~,~ ~

-a~

6 7

I ~~~
("" ,.;1

.. :x
~
N en

'"

",

8 9

UNITED'STATES DISTRICT COURT

FOR THE CENTRAL DISTRICT OF CALIFORNIA

10
11 12 13

September 2012 Grand Jury


UNITED STATES OF AMERICA,

RED ~~~ 030 5 7 O'

Plaintiff,
v.
CHRISTINE DIANE FOSTER,

INDICTMENT
(18 U.S.C. 2251 (a): Sexual Exploi tation of a Child; 18

14
15

U.S.C. 2252A(a) (2) (A),

Defendant.
The Grand Jury charges:

Pornography)

(b) (1): Distribution of Child

16
17

18
19

COUNT ONE
(18 U.S.C. 2251(a))

20
21 22
23

On or about November 23, 2012, in Riverside County, within


the Central District of California, defendant CHRISTINE DIANE
FOSTER knowingly employed, used, persuaded, induced, enticed,

and coerced a minor, namely A.M., a minor girl, to engage in


sexually explicit conduct for the purpose of producing a visual

24
25

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

26 27 28

and in and affecting interstate and foreign commerce, and which

Case 2:13-cr-00570-UA Document 9 Filed 08/14/13 Page 2 of 7 Page ID #:28

1 visual depiction was produced and transmitted using materials

2 that had been mailed, shipped, and transported in and affecting

3 interstate and foreign commerce by any means, including by

4 computer, and which visual depiction had actually been


5 transported and transmitted using any means and facility of
6 interstate and foreign commerce and in and affecting interstate

7 and foreign commerce.


8 9

10
11 12 13

14
15

16 17 18
19

20
21 22 23

24
25

26
27 28
2

Case 2:13-cr-00570-UA Document 9 Filed 08/14/13 Page 3 Page ID #:29 ) of 7

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

5 FOSTER knowingly employed, used, persuaded, induced, enticed,

6 and coerced a minor, namely A.M., a minor girl, to engage in


7 sexually explicit conduct for the purpose of producing a visual

8 depiction of such conduct, knowing and having reason to know


9 that such visual depiction would be transported and transmitted
10 using any means and facility of interstate and foreign commerce 11 and in and affecting interstate and foreign commerce, and which
12 visual depiction was produced and transmitted using materials

13 that had been mailed, shipped, and transported in and affecting

14 interstate and foreign commerce by any means, including by

15 computer, and which visual depiction had actually been


16 transported and transmitted using any means and facility of
17 interstate and foreign commerce and in and affecting interstate

18 and foreign commerce.


19

20
21 22
23

24
25

26
27 28
3

( Document 9 Filed 08/14/13 Page 4 of 7 Page ID #:30 Case 2:13-cr-00570-UA

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,

6 and coerced a minor, namely A.M., a minor girl, to engage in


7 sexually explicit conduct for the purpose of producing a visual

8 depiction of such conduct, knowing and having reason to know


9 that such visual depiction would be transported and transmitted
10 using any means and facility of interstate and foreign commerce

11 and in and affecting interstate and foreign commerce, and which


12 visual depiction was produced and transmitted using materials

13 that had been mailed, shipped, and transported in and affecting

14 interstate and foreign commerce by any means, including by

15 computer, and which visual depiction had actually been


16 transported and transmitted using any means and facility of 17 interstat and foreign commerce and in and affecting interstate 18 and foreign commerce.
19

20
21 22 23

24
25

26
27

28
4

Case 2:13-cr-00570-UA Document 9 Filed 08/14/13 Page 5 of 7 Page ID #:31

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

7 shipped and transported using any means or facility of


8 interstate and foreign commerce and in and affecting interstate
9 and foreign commerce by any means, including by computer,
10 knowing that the image was child pornography.
11
12 13

14
15

16 17 18
19

20
21 22

23 24
25

26
27

28
5

Case 2:13-cr-00570-UA Document 9 Filed 08/14/13 Page )6 of 7 Page ID #:32

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

7 shipped and transported using any means or facility of


8 interstate and foreign commerce and in and affecting interstate
9 and foreign commerce by any means, including by computer,
10 knowing that the image was child pornography.
11 12

13

14
15

16
17

18
19

20
21
22 23

24
25

26 27

28
6

Case 2:13-cr-00570-UA Document 9 Filed 08/14/13 Page 7 of 7 Page ID #:33

( ')

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

7 shipped and transported using any means or facility of


8 interstate and foreign commerce and in and affecting interstate
9 and foreign commerce by any means, including by computer,
10 knowing that the image was child pornography.
11 12
13

A TRUE BILL

14
15

ForeplS)
ANDR BIROTTE JR.

16
17

Uni ted States Attorne

18

ROBERT E. DUGDALE 19 Assistant United States Attorney Chief, Criminal Division 20 ANTOINE F. RAPHAEL 21 Assistant United States Attorney Chief, Riverside Office
22

46

~c:

STEPHEN T. MERRILL 23 Special Assistant United States Attorney

Ri verside Office

24
25

26 27 28
7

You might also like