Defense News: NAVSUP Pax Fuels Sailor Provides Life Saving Assistance in Lexington Park

Source: United States Navy

Aviation Boatswain’s Mate (Fuel) 1st Class Charles Osei Yeboah was in the St. Mary’s County Library Lexington Park Branch studying for the Medical College Admission Test when he noticed someone in distress.
 
“After being in the Lexington Park library for approximately 45 minutes reviewing my MCAT notes, I noticed a young man in his late 20’s or early 30’s lost consciousness abruptly,” described Yeboah. “He began presenting dyspnea or shortness of breath, clenching of hands, and suddenly became completely unresponsive irrespective of trying to wake him. His entire face began turning blue.”
 
Yeboah quickly jumped into action, yelling for staff to call 911 while checking the young man for vital signs. He observed the victim’s carotid pulse was present, but weak, and had irregular breathing. Yeboah checked the man’s airway to see if it was blocked, and seeing nothing, got him off his chair and on the floor with the help of a librarian.
 
“When he began shaking, clenching his fists, and looking blue, the library provided Narcan which was administered,” said Yeboah. “A second dose was administered after a few minutes. At this point his eye started twitching like it wanted to open. EMT then arrived and provided oxygen to him. He gained full consciousness after 5 minutes of oxygen supply.”
 
EMTs were grateful for the fast action of Yeboah the St. Mary’s Library staff, who provided crucial aid in the first few minutes of the medical emergency.
 
“The EMTs were grateful that we took all first aid necessary steps to sustain his life before they arrived on the scene,” said Yeboah. “It feels great to be in a position to save a life. Knowing that he will be able to meet his family again.”
 
Yeboah is no stranger to working under pressure. As the leading petty officer of the Fuels Division at NAS Patuxent River, he is responsible for the daily operation and maintenance of the fuel farm at Pax River and ensuring that all safety procedures are followed during fueling operations and the handling of volatile propellants.
 
“Of all the ABF1s I’ve seen come through here in the past three or four years, he’s been the best one yet,” said Tony Ramirez, Fuels Director at NAS Patuxent River. “I’m not surprised that he was able to save a life, I’m just glad that he was there to help that young man. He’s qualified to operate an AED and perform CPR. He was ready.”
 
NAVSUP FLC is the Navy’s oldest and largest Fleet Logistics center, with a command footprint that includes global logistics support to 37 naval installations including NAS Patuxent River.

Defense News: Makin Island and John P. Murtha Arrive in Singapore for CARAT/MAREX Exercise

Source: United States Navy

CARAT/MAREX Singapore is a bilateral exercise between Singapore and the United Sates designed to promote regional security cooperation, maintain and strengthen maritime partnerships, and enhance maritime interoperability.

In its 28th year, the CARAT/MAREX series is comprised of multinational exercises designed to enhance U.S. and partner navies’ abilities to operate together in response to traditional and non-traditional maritime security challenges in the Indo-Pacific region.

“We value our longstanding relationship with Singapore founded on our shared belief that presence is vital for prosperity,” said Capt. Tony Chavez, commanding officer of Makin Island. “This is the second iteration of the CARAT series the crew has had the opportunity to participate in. Each time we are able to operate with our partners it allows us to sharpen our skills and contribute to regional peace and security.”

Sailors and Marines aboard John P. Murtha and Makin Island will also have the opportunity to experience Singaporean culture with visits to local areas, community relations events, and Morale, Welfare and Recreation sightseeing tours.

“This is my first time in Singapore, and I have heard nothing but great things,” said Lt. j.g. Julia Reid, training officer of John P. Murtha. “I am most looking forward to seeing some of the beautiful landmarks in the area as well as experiencing the foods!”

John P. Murtha and Makin Island are on a deployment with the Makin Island Amphibious Ready Group (ARG) conducting routine operations in the U.S. 7th Fleet area of operations.

The Makin Island ARG is comprised of amphibious assault ship USS Makin Island (LHD 8) and amphibious transport docks USS Anchorage (LPD 23) and USS John P. Murtha (LPD 26) and is operating in the U.S. 7th Fleet area of operations with the embarked 13th MEU to enhance interoperability with Allies and partners and serves as a ready-response force to defend peace and maintain stability in the Indo-Pacific region.

7th Fleet is the U.S. Navy’s largest forward-deployed numbered fleet, and routinely interacts and operates with Allies and partners in preserving a free and open Indo-Pacific region.

Federal Charges Announced Against Maine Man Who Carried Out Machete Attack in Times Square on New Year’s Eve in Name of Jihad

Source: United States Department of Justice

Trevor Thomas Bickford Traveled to Times Square for the Purpose of Killing U.S. Officials in the Name of Radical Islamic Jihad, and Used a Machete-Style Knife to Attack Three NYPD Officers Working in Coordination with the FBI to Protect the New Year’s Eve

Trevor Thomas Bickford, 19, of Wells, Maine, has been charged with federal crimes in connection with Bickford’s efforts to wage jihad by killing U.S. Government officials and his knife attack on three NYPD officers in Times Square on New Year’s Eve. Bickford was charged by complaint with attempting to kill officers and employees of the U.S. Government and persons assisting them. Bickford is currently in state custody and will be transported to and presented in Manhattan federal court at a later date to face the federal charges filed in the Southern District of New York.

“As detailed in today’s complaint, we allege that the defendant plotted a jihad-inspired attack targeting U.S. government officials, and on December 31st, 2022, attacked three NYPD officers who were part of the joint federal-state law enforcement operation protecting the Times Square New Year’s Eve celebration,” said Attorney General Merrick B. Garland. “We are deeply grateful for the bravery of the officers who were injured in this horrible attack and who put their lives on the line every day to serve their communities. Together with our law enforcement partners at every level of government, the Justice Department will continue to work to disrupt, investigate, and prosecute those who target and attack law enforcement and endanger the American people.”

“On this past New Year’s Eve, revelers flocked to Times Square to ring in the New Year with friends and family.  But Trevor Bickford allegedly targeted the iconic yearly celebration to carry out a brazen act of violence and hatred in the name of jihad,” said U.S. Attorney Damian Williams for the Southern District of New York. “Bickford’s alleged attack in one of the most visited destinations in the world on its busiest night of the year ironically only served to spotlight the coordination, resolve and dedication of American law enforcement to guard the wellbeing of the public. We sincerely thank our law enforcement partners for their outstanding work and bravery, and especially wish a full and speedy recovery to the officers injured in this senseless attack.”

“As alleged, three New York City Police Department officers were brutally assaulted in a jihad-inspired attack on New Year’s Eve while they were performing their duties to protect their city and those out celebrating the holiday,” said FBI Director Christopher Wray. “Being a law enforcement officer requires brave individuals willing to put their lives on the line every day to keep others safe. We are committed to holding those who would target law enforcement with violence fully accountable.”

“As we allege today, Bickford deliberately planned and executed his violent attack against New York City Police Officers who were simply doing their job protecting the public,” said Assistant Director Michael J. Driscoll of the FBI New York Field Office. “Only the quick action of these brave officers prevented further harm. The FBI’s New York Joint Terrorism Task Force is unwavering in its mission to combat terrorism to keep our city safe, and we will bring any radicalized individual willing to commit violence to justice.”

“An attack against New York City police officers is an attack against all of us – and today’s charges make it clear that such violence will be prosecuted to the fullest extent of the law,” said NYPD Commissioner Keechang L. Sewell. “Our NYPD family is thankful our heroic officers survived this premeditated ambush, and the entire city commends them for preventing further bloodshed during one of our nation’s largest public events.  Clearly, the threat of jihadist terrorism remains very real, and our country’s security begins with the dedicated local, state, and federal law enforcement officers who are committed to keeping us safe.  I applaud our NYPD investigators, our partners on the FBI’s New York Joint Terrorism Task Force, and the prosecutors in the U.S. Attorney’s Office for the Southern District of New York for their combined efforts on this important case.”

According to the allegations contained in the complaint charging the defendant:

In the summer of 2022, Bickford, a 19-year-old U.S. citizen and resident of Maine, began accessing and consuming materials espousing radical Islamic ideology, including materials promoting the Taliban and reflecting the teachings of Abu Muhammad al-Maqdisi, a prominent radical Islamic cleric who was a spiritual mentor of al Qaeda. Over the ensuing months, Bickford radicalized, devoting himself to violent Islamic extremism and waging jihad.

By November 2022, Bickford was interested in traveling to the Middle East to support the Taliban and took steps towards traveling to Afghanistan to ally himself with the Taliban and work with the Taliban to fight against governments that, in Bickford’s view, oppress Muslims. Bickford dedicated himself to the mission of waging jihad against officials of governments that he believes are anti-Muslim, including the U.S. Government. Bickford told a family member that he wanted to travel to the Middle East so that he could be a suicide bomber for his religion. Bickford ultimately decided that he would not travel overseas, and instead would wage jihad against the U.S. Government within the United States.

To carry out his jihadist mission, Bickford traveled from Maine to New York City in late December. On New Year’s Eve, Bickford went to Times Square for the purpose of killing U.S. Government officials, armed with a large, curved knife similar to a machete, known as a kukri, with a blade over one foot long.

Protecting the civilians who attend the annual New Year’s Eve celebration in Times Square requires and involves the coordination, collaboration, and mutual assistance of multiple federal and state law enforcement agencies, including the FBI and NYPD. During this special event, the FBI and NYPD work together and assist each other in the performance of their respective duties, in a collective effort to ensure a safe Times Square New Year’s Eve celebration.

At approximately 10:10 p.m., at 52nd Street and Eighth Avenue, blocks away from the New Year’s Eve celebration in Times Square, Bickford attacked three NYPD officers, who were detailed to the joint federal-state law enforcement operation to protect the New Year’s Eve celebration. The location of 52nd Street and Eighth Avenue was an access checkpoint at which spectators could gain entry to the events in Times Square, and both FBI and NYPD personnel were deployed in the area of the checkpoint, including the three officers whom Bickford attacked. Bickford approached the NYPD officers, declared “Allahu Akbar”—an Arabic phrase meaning “God is great,” which other radical Islamic extremists have similarly proclaimed while carrying out terrorist attacks—and stabbed and struck the officers in the head with his kukri. Before Bickford could attack more targets, one of the victim officers shot Bickford in the shoulder, stopping the attack, and he was taken into state custody. Bickford wounded all three officers, who suffered lacerations and other injuries, and each officer had to be taken to a hospital for treatment.

A bag that Bickford brought with him to the Times Square area was subsequently recovered by law enforcement from the scene of the attack. Bickford’s bag contained, among other things, a book by al-Maqdisi promoting jihad and Bickford’s journal. The al-Maqdisi book encourages followers, among other things, to wage jihad against disbelievers and governments ruled by disbelievers, and to use swords on the heads of disbelievers. An entry in Bickford’s journal from December 31, 2022—that is, the day of his attack—states that “this will likely be my last entry” and that Bickford believed his brother, a soldier in the U.S. military, had “joined the ranks of my enemy.” A second bag that Bickford was carrying, also recovered by law enforcement near Times Square, contained a book espousing violent Islamic extremism, with certain portions highlighted, including the following: “Fight in the Name of Allah and in the Cause of Allah. Fight against those who do not believe in Allah. Wage a holy war.”

The kukri that Bickford used in the attack, depicted below, was recovered by law enforcement from the scene of the attack:

After being treated at a local hospital, during a subsequent Mirandized interview, Bickford stated, among other things, the following:

  • Bickford decided not to travel overseas to wage jihad as originally planned, and instead to commit jihad in New York City. In the days leading up to his New Year’s Eve attack, Bickford traveled from Maine to New York City.
  • On New Year’s Eve, Bickford went to Times Square, and walked around the area “trying to figure out the right time to kill.” Bickford started reciting verses from the Quran in his head to “hype himself up” for his attack. Bickford identified an NYPD officer who was isolated from civilians and other officers, took out the kukri from his backpack, declared “Allahu Akbar,” and attacked the officer.
  • After attacking that officer, Bickford charged at another officer, and tried but failed to remove that officer’s firearm from the officer’s holster. One of the officer victims then shot Bickford in the shoulder, stopping his attack.
  • When asked why he conducted the attack, Bickford stated that the officer was a man in uniform who had a weapon; all men of military age were his targets; no one can work for the U.S. Government and be a true Muslim, because the U.S. Government supports Israel; and he wanted to kill as many of these targets as he could.
  • Bickford intended to die in the attack, in an effort to achieve martyrdom. Bickford believed his attack was unsuccessful, because he did not kill any officers, and he did not die himself.

Bickford is charged with four counts of attempted murder of officers and employees of the U.S. Government and persons assisting them, each of which carries a maximum sentence of 20 years in prison. The charges carry an aggregate potential sentence of 80 years in prison.

The FBI’s New York Joint Terrorism Task Force, which consists of investigators and analysts from the FBI, the NYPD, and over 50 other federal, state, and local agencies is investigating the case.

Assistant U.S. Attorneys Sarah L. Kushner and Kaylan E. Lasky for the Southern District of New York are prosecuting the case, with assistance from Trial Attorney D. Andrew Sigler of the National Security Division’s Counterterrorism Section.

A complaint is merely an allegation. All defendants are presumed innocent until proven guilty beyond a reasonable doubt in a court of law.

Former Muncie Police Department Supervisor Pleads Guilty to Obstruction of Justice for Writing False Report to Cover Up Excessive Force by Other Officers

Source: United States Department of Justice News

A former sergeant with the Muncie Police Department (MPD), in Muncie, Indiana, pleaded guilty today to one count of obstruction of justice for writing a false report to cover up the excessive use of force by other MPD officers under his command.

According to court documents and statements made during the change of plea hearing, on or about Aug. 9, 2018, Joseph Krejsa, 52, responded to the scene of an arrest involving a civilian with the initials L.G. Before he arrived on the scene, other MPD officers under his supervision – including Officer Chase Winkle, the son of the then-Chief of Police – had used excessive force against L.G., resulting in serious injury to L.G.’s face. The day after the arrest, Krejsa conducted a supervisory review of the incident, during which he noted that he had watched the videos of the incident and falsely deemed those uses of force “justified.”

Several days later, on or about Aug. 13 and Aug. 14, 2018, the captain of MPD’s patrol division tasked Krejsa with conducting a more in-depth review of the officers’ uses of force during L.G.’s arrest, which was separate from the typical shift sergeant review. In response to this request, Krejsa watched the involved-officers’ body worn camera videos, which revealed what had happened during the arrest: Two officers under his supervision, Chase Winkle and Corey Posey, approached L.G. in an alley way and gave several verbal commands to L.G. – including to put his hands on his head and to get on the ground – and L.G. complied with those commands. On the ground, as Posey held both of L.G.’s hands behind his back, L.G. directed a verbal insult towards officers, and in response, Winkle, using his knee, dropped his bodyweight down onto L.G.’s neck and head area. L.G. screamed out words to the effect of, “He crushed my whole face!” and pulled his hands towards his face. Winkle then tased L.G., as other MPD officers, including Officer Jeremy Gibson, arrived to assist. Toward the end of the incident, officers secured one of L.G.’s hands in handcuffs, lifted him up to a seated position, and Gibson delivered two forceful knee strikes directly to L.G.’s face.

After reviewing the officers’ body camera videos, Krejsa knowingly authored a lengthy memorandum for MPD’s official records that contained several false statements. Specifically, Krejsa falsely implied that any force used against L.G. was justified to ensure officer safety; falsely asserted that officers used only low levels of force near the start of the incident, and escalated to higher levels of force only after less  force was ineffective; falsely stated that Winkle “kneeled on [L.G.]’s left shoulder and upper body,” when in fact Krejsa knew that Winkle had used his knee to strike L.G.’s head and neck area; and falsely implied that Winkle’s uses of force against L.G. caused only cuts to L.G.’s face, when Krejsa knew that the use of force against L.G. caused serious bodily injury to L.G. As part of his plea, Krejsa admitted that he knew, when he wrote the false report, that the inaccuracies and material omissions in his report were intended to influence any potential investigation into the incident.

Krejsa is the fourth Muncie Police Department official to plead guilty in connection with this investigation. Krejsa was one of four MPD officers who were indicted in April 2021 in a 17-count superseding indictment for their roles in using excessive force against arrestees and/or attempting to cover up the misconduct. A fifth Muncie police officer, Dalton Kurtz, previously entered a pre-indictment guilty plea on Aug. 4, 2021, to one count of misprision of felony for concealing and failing to report inappropriate use of force by Winkle during a separate incident. 

On May 13, 2022, Gibson also pleaded guilty to civil rights and obstruction charges for assaulting a different arrestee and writing a false report about the incident. On Dec. 5, 2022, Winkle pleaded guilty to eleven counts of civil rights and obstruction offenses for assaulting arrestees and writing false reports about the incidents, including the arrest of L.G. The last remaining officer is scheduled to stand trial at a later date.

Assistant Attorney General Kristen Clarke of the Justice Department’s Civil Rights Division, U.S. Attorney Zachary A. Myers for the Southern District of Indiana, and Special Agent in Charge Herbert J. Stapleton of the FBI Indianapolis Field Office made the announcement.

The FBI Indianapolis Field Office investigated the case.

Trial Attorneys Katherine G. DeVar and Mary J. Hahn of the Civil Rights Division’s Criminal Section and Assistant U.S. Attorney Peter Blackett for the Southern District of Indiana are prosecuting the case.

People’s Republic of China Citizen Indicted for Allegedly Stalking, Threatening Individual Promoting Democracy in China

Source: United States Department of Justice News

A Berklee College of Music student, who is a citizen of the People’s Republic of China (PRC), has been indicted by a federal grand jury in Boston in connection with allegedly stalking and threatening an individual who posted fliers in support of democracy in China.

Xiaolei Wu, 25, was indicted on one count of cyberstalking and one count of interstate transmissions of threatening communication. Wu was previously arrested and charged by criminal complaint with one count of stalking on Dec. 13, 2022. Wu has lived in Boston while attending the Berklee College of Music.

According to the charging documents, on Oct. 22, 2022, an individual posted a flier on or near the Berklee College of Music campus in Boston which said, “Stand with Chinese People,” as well as, “We Want Freedom,” and “We Want Democracy.” It is alleged that, beginning on or about Oct. 22, 2022, and continuing until Oct. 24, 2022, Wu made a series of communications via WeChat, email, and Instagram directed towards the victim who posted the flier. Among other things, Wu allegedly said, “Post more, I will chop your bastard hands off.” He also allegedly told the victim that he had informed the public security agency in China about the victim’s actions and that the public security agency in China would “greet” the victim’s family. It is further alleged that Wu solicited others to find out where the victim was living and publicly posted the victim’s email address in the hopes that others would abuse the victim online.

The charge of cyberstalking provides for a sentence up to five years in prison, three years of supervised release and a fine of up to $250,000. The charge of interstate transmissions of threatening communication provides for a sentence up to five years in prison, three years of supervised release and a fine of up to $250,000.

Assistant Attorney General Matthew G. Olsen of the Justice Department’s National Security Division, U.S. Attorney Rachael S. Rollins for the District of Massachusetts, Assistant Director Alan E. Kohler Jr. of the FBI’s Counterintelligence Division, and Special Agent in Charge Joseph R. Bonavolonta of the FBI Boston Division made the announcement.

Assistant U.S. Attorney Timothy H. Kistner for the District of Massachusetts is prosecuting the case, with valuable assistance provided by Trial Attorney Menno Goedman of the National Security Division’s Counterintelligence and Export Control Section.

A complaint is merely an allegation. All defendants are presumed innocent until proven guilty beyond a reasonable doubt in a court of law.