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25 October 1998
Source: Fax from New York FBI, Press Office; (212) 384-2720. Thanks to JM.

See related press release: http://jya.com/usa100798.htm

See related files: http://jya.com/alqfiles.htm


[7 October 1998]


UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
-----------------------------------------x
UNITED STATES OF AMERICA                 :

     - v. -                              :

WADIH EL HAGE,                           :   INDICTMENT
    a/k/a "Abdus Sabbur,"
    a/k/a "Abd al Sabbur,"               : S(1) 98 Cr. 1023 (LBS)
    a/k/a "Norman,"
    a/k/a "Wa'da Norman,"                :
FAZUL ABDULLAH MOHAMMED,
    a/k/a "Harun Fazhl,"                 :
    a/k/a "Fazhl Abdullah,"
    a/k/a "Fazhl Khan,"                  :
MAHOMED SADEEK ODEH,
    a/k/a "Abu Moath,"                   :
    a/k/a "Noureldine,"
    a/k/a "Marwan,"                      :
    a/k/a "Hydar," and
MOHAMED RASHED DAOUD AL-'OWHALI,         :
    a/k/a "Khalid Salim Saleh
            Bin Rashed,"                 :
    a/k/a "Moath,"
    a/k/a "Abdul Jabbar Ali Abdel-Latif,":

                    Defendants.          :

-----------------------------------------x

                           INTRODUCTION

          The Grand Jury charges:

                       Background: Al Qaeda

          1.    At all relevant times from in or about 1989 until

the date of the filing of this Indictment, an international

terrorist group existed which was dedicated to opposing non-

Islamic governments with force and violence. This organization

grew out of the "mekhtab al khidemat" (the "Services Office")

organization which had maintained offices in various parts of the

world, including Afghanistan, Pakistan (particularly in Peshawar)

and the United States, particularly at the Alkifah Refugee Center


                                [1]


in Brooklyn, New York. The group was founded by Usama Bin Laden, "Abu Hafs al Masry," "Abu Ubaidah al Banshiri" and others. From in or about 1989 until the present, the group called itself "al Qaeda" ("the Base"). From 1989 until in or about 1991, the group (hereafter referred to as "al Qaeda") was headquartered in Afghanistan and Peshawar, Pakistan. In or about 1991, the leadership of al Qaeda, including its "emir" (or prince) Usama Bin Laden, relocated to the Sudan. Al Qaeda was headquartered in the Sudan from approximately 1991 until approximately 1996 but still maintained offices in various parts of the world. In 1996, Usama Bin Laden and al Qaeda relocated to Afghanistan. At all relevant times, al Qaeda was led by its emir, Usama Bin Laden. Members of a Qaeda pledged an oath of allegiance (called a "bayat") to Usama Bin Laden and al Qaeda. 2. Al Qaeda opposed the United States for several reasons. First, the United States was regarded as an "infidel" because it was not governed in a manner consistent with the group's extremist interpretation of Islam. Second, the United States was viewed as providing essential support for other "infidel" governments and institutions, particularly the governments of Saudi Arabia and Egypt, the nation of Israel and the United Nations organization, which were regarded as enemies of the group. Third, al Qaeda oppose the involvement of the United States armed forces in the Gulf War in 1991 and in Operation Restore Hope in Somalia in 1992 and 1993, which were viewed by al Qaeda as pretextual preparations for an American 2
occupation of Islamic countries. In particular, al Qaeda opposed the continued presence of American military forces in Saudi Arabia (and elsewhere on the Saudi Arabian peninsula) following the Gulf War. Fourth, al Qaeda opposed the United States Government because of the arrest, conviction and imprisonment of persons belonging to al Qaeda or its affiliated terrorist groups or with whom it worked, including Sheik Omar Abdel Rahman. 3. One of the principal goals of al Qaeda was to drive the United States armed forces out of Saudi Arabia )and elsewhere on the Saudi Arabian peninsula) and Somalia by violence. Members of al Qaeda issued fatwahs (rulings on Islamic law) indicating that such attacks were both proper and necessary. 4. Al Qaeda functioned both on its own and through some of the terrorist organizations that operated under its umbrella, including: the Al Jihad group based in Egypt, led by, among others, Dr. Ayman al Zawahiri, named as a co-conspirator but not as a defendant herein; the Islamic Group (also known as "el Gamaa Islamia" or simply "Gamaa't"), led by Sheik Omar Abdel Rahman and later by Ahmed Refai Taha, a/k/a "Abu Yasser al Masri," named as co-conspirators but not as defendants herein; and a number of jihad groups in other countries, including the Sudan, Egypt, Saudi Arabia, Yemen, Somalia, Eritrea, Djibouti, Afghanistan, Pakistan, Bosnia, Croatia, Albania, Algeria, Tunisia, Lebanon, the Philippines, Tajikistan, Azerbaijan, and the Kashmiri region of India and the Chechnyan region of Russia. Al Qaeda also maintained cells and personnel in a number of 3
countries to facilitate its activities, including in Kenya, Tanzania, the United Kingdom and the United States. 5. Usama Bin Laden and al Qaeda also forged alliances with the National islamic Front in the Sudan and with representatives of the government of Iran, and its associated terrorist group Hezballah, for the purpose of working together against their perceived common enemies in the West, particularly the United States. COUNT ONE The Conspiracy to Kill United States Nationals 6. From at least 1991 until the date of the filing of this Indictment, in Afghanistan, Pakistan, the Sudan, Saudi Arabia, Yemen, Somalia, Kenya, Tanzania, the Philippines and elsewhere out of the jurisdiction of any particular state or district, WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," MAHOMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," defendants at least one of whom was first brought to and arrested in the Southern District of New York, together with other members and associates of Al Qaeda and others known and unknown to the Grand Jury, unlawfully, willfully and knowingly combined, conspired, confederated and agreed unlawfully to kill nationals of the 4
United States in violation of Title 18, United States Code, Section 2332(a). 7. The objectives of the conspiracy included: (i) killing United States nationals employed by the United States military who were serving in Somalia and on the Saudi Arabian peninsula; (ii) killing United States nationals employed at the United States Embassies in Nairobi, Kenya, and Dar es Salaam, Tanzania; and (iii) engaging in conduct to conceal the activities and means and methods of the co-conspirators by, among other things, establishing front companies, providing false identity and travel documents, engaging in coded correspondence and providing false information to the authorities in various countries. Overt Acts 8. In furtherance of the said conspiracy, and to effect the illegal objects thereof, the following overt acts, among others, were committed: The Provision of Guesthouse and Training Camps a. At various times from at least as early as 1989, Usama Bin Laden and others known and unknown, provided training camps and guesthouses in various areas, including Afghanistan, Pakistan, the Sudan, Somalia and Kenya for teh sue of al Qaeda and its affiliated groups; The Recruitment of American Citizens b. At various times from at least as early as 1989, Usama Bin Laden, and others known and unknown, made efforts 5
to recruit United States citizens, including the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," to help al Qaeda in order to utilize american citizens for travel throughout the Western world to deliver messages and engage in financial transactions for the benefit of al Qaeda and its affiliated groups and to help carry out operations; Financial Dealings c. At various times from at least as early as 1989 until the date of teh filing of this Indictment, Usama Bin Laden, and others known and unknown to the Grand Jury, engaged in financial and business transactions on behalf of defendant Usama Bin Laden and al Qaeda, including, but not limited to: purchasing land for training camps; purchasing warehouses for storage of items, including explosives; transferring funds between corporate accounts; and transporting currency and weapons to members of al Qaeda and its associated terrorist organizations in various countries throughout the world. Establishment of Businesses in the Sudan d. Following al Qaeda's move to the Sudan in or about 1991, Usama Bin Laden established a headquarters in the Riyadh section of Khartoum. Usama Bin Laden also established a series of businesses in the Sudan, including a holding company known as "Wadi al Aqiq", a construction business known as "Al Hijra," an agricultural company known as "al Themar al Mubaraka," an investment company known as "Ladin International," an 6
investment company known as "Taba Investments," and a transportation company known as "Qudarat Transport Company." These companies were operated to provide income to support al Qaeda and to provide cover for the procurement of explosives. The defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," worked for the various bin Laden companies and also served as Bin Laden's personal secretary; Mohamed Sadeek Odeh Joins Al Qaeda e. In or about 1992, the defendant MAHOMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," after receiving training (including explosives training) in various camps in Afghanistan, including al Qaeda camps, joined al Qaeda and agreed to follow the orders of Usama Bin Laden, the emir (prince) of al Qaeda, as long as the orders did not violate Islamic law. ODEH remained a member of al Qaeda through at least on or about August 7, 1998; The Fatwahs Against American Troops in Saudi Arabia and Yemen f. At various times from in or about 1992 until the date of the filing of this Indictment, Usama Bin Laden, working with members of the fatwah committee of al Qaeda, issued fatwahs (rulings of Islamic law) to other members and associates of al Qaeda that the United States forces stationed on the Saudi Arabian peninsula, including both Saudi Arabia and Yemen, should be attacked; 7
The Fatwah Against American Troops in Somalia

               g.  At various times from in or about 1992 until

in or about 1994, Usama Bin Laden working with members of the 

fatwah committee of al Qaeda, issued fatwahs to other members and 

associates of al Qaeda that the United States forces stationed in 

the Horn of Africa, including Somalia, should be attacked;

The Attacks on the United States Forces in Somalia

               h.  Beginning in or about early spring 1993, al 

Qaeda members, including the defendants FAZUL ABDULLAH MOHAMMED,

a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," 

and MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," 

a/k/a "Marwan," a/k/a "Hydar," along with "Abu Ubaidah al 

Banshiri" and "Abu Hafs el Masry," co-conspirators not named 

herein as defendants, provided military training and assistance 

to Somali tribes opposed to the United Nations' intervention in 

Somalia;

               i.  On October 3 and 4, 1993, in Mogadishu, 

Somalia, persons who had been trained by al Qaeda (and by 

trainers trained by al Qaeda) participated in an attack on United

States military personnel serving in Somalia as part of Operation

Restore Hope, which attack resulted in the killing of 18 United 

States Army personnel; 

The Establishment of the Kenya Base of Operations

               j.  In or about 1994, the defendant MOHAMED SADEEK

ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," 

a/k/a "Hydar," moved to Mombasa, Kenya, and set up a fishing


                                8


business with al Qaeda money which was used to support al Qaeda members in Kenya. While in Kenya, ODEH was visited by the military commanders of al Qaeda, "Abu Hafs al Masry" and "Abu Ubaidah al Banshiri"; k. In or about 1994, the defendant WADIH EL HAGE a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," moved from Khartoum in the Sudan to Nairobi, Kenya, and set up businesses and other organizations members in Kenya. While in Kenya, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," met repeatedly with one of the military commanders of al Qaeda, "Abu Ubaidah al Banshiri"; l. In or about 1996, in Mombasa, Kenya, an individual associated with al Qaeda displayed TNT and detonators obtained in Tanzania to the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar"; The Drowning of "Abu Ubaidah al Banshiri" and its Aftermath m. In or about the spring of 1996, "Abu Ubaidah al Banshiri," a ranking military commander of al Qaeda, was travelling by ferry through Lake Victoria when the boat sank and "Abu Ubaidah" drowned: n. In or about the spring of 1996, the defendants WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," "Norman," a/k/a "Wa'da Norman," and FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," went to Lake Victoria to investigate the circumstances of the 9
drowning of "Abu Ubaidah al Banshiri" and to report back to Usama Bin Laden; Al-'Owhali Receives Training in al Qaeda Camps o. Beginning in or about 1996, the defendant MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," was trained in a number of camps in Afghanistan, including a number of camps affiliated with al Qaeda. AL-'OWHALI was trained in explosives, hijacking, kidnapping, assassination and intelligence techniques; The August 1996 Declaration of War p. On or about August 23, 1996, Usama Bin Laden signed and issued a Declaration of Jihad entitled "Message from Usamah Bin-Muhammad Bin-Laden to His Muslim Brothers in the Whole World and Especially in the Arabian Peninsula: Declaration of Jihad Against the Americans Occupying the Land of the Two Holy Mosques; Expel the Heretics from the Arabian Peninsula" (hereafter the "Declaration of Jihad") from the Hindu Kush mountains in Afghanistan; Al-'Owhali Meets with Bin Laden q. In or about 1996, following his training in a number of camps in Afghanistan, including a number of camps affiliated with al Qaeda, the defendant MOHAMED RASHED DAOUD AL- 'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," met with Usama Bin Laden and asked him for a "mission"; 10
El Hage Engages in Coded Correspondence r. At various times during the course of the conspiracy, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," engaged in coded correspondence with other members and associates of the al Qaeda organization; El Hage Lies to the FBI in September 1997 s. On or about September 23, 1997, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," made false statements concerning the nature of his contacts with al Qaeda to a Special Agent of the Federal Bureau of Investigation conducting a criminal investigation of el Qaeda; El Hage Lies to the Grand Jury in September 1997 t. On or about September 24, 1997, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," made false statements concerning the nature of his contacts with al Qaeda to a federal Grand Jury conducting an investigation of al Qaeda; E1 Hage Lies to the FBI in October l997 u. On or about October 17, 1997, in Texas, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," made false statements concerning the nature of his contacts with al Qaeda to 11
Special Agents of the Federal Bureau of Investigation conducting a criminal investigation of al Qaeda; The February 1998 Fatwah Against American Civilians v. In February 1998, Usama Bin Laden issued a fatwah, under the banner of the "International Islamic Front for Jihad on the Jews and Crusaders." This fatwah stated that Muslims should kill Americans -- including civilians -- anywhere in the world where they can be found; w. In or about April 1998, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," discussed BIN LADEN's fatwahs against America with another member of al Qaeda in Kenya; The May 1998 Press Conference x. In the days immediately following a May 1998, press interview, Usama Bin Laden held a press conference in Khost, Afghanistan, attended also by the defendant MOHAMED RASHED DAOUD AL-'OWHALI, where Usama Bin Laden repeated his intention to kill Americans; Preparation for the Bombings of United States Embassies y. In or about May 1998, the defendant FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," rented a villa located at 43 Rundu Estates in Nairobi, KenYa; z. In or about July 1998, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," discussed with another member of al 12
Qaeda in Kenya the fact that Usama Bin Laden had formed a united front against the United States with other Islamic extremist groups; aa. On or about July 31, 1998, the defendant MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," travelled from Lahore, Pakistan, to Nairobi, Kenya; ab. In or about July 1998, the defendant MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," and an individual known as "Azzam" filmed a videotape to celebrate their anticipated "martyrdom" in a bombing operation to be conducted against United States interests in East Africa, claiming credit in the name of a fictitious organization, the "Army for the Liberation of Islamic Holy Places"; ac. Prior to August 2, 1998, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," obtained a false passport to facilitate his travel with other al Qaeda members to Afghanistan to meet with Usama Bin Laden; ad. On or about August 1, 1998, an al Qaeda member advised the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," that all members of al Qaeda had to leave Kenya by Thursday, August 6 1998; ae. In or about early August 1998, the defendant 13
MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and other members of al Qaeda travelled from Mombasa, Kenya, to Nairobi, Kenya; The Final Preparations for the Bombings af. During the first week of August 1998, the defendants FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," and MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," together with "Azzam" and other members of al Qaeda, met at a villa located at number 43 Rundu Estates in Nairobi, Kenya, to make final preparations for the bombing of the United States EMbassy in Nairobi, Kenya; ag. On or about August 2, 1998, the defendants MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," together with other members of al Qaeda, met at the Hilltop Hotel in Nairobi, Kenya; ah. From August 2 through August 6, l998, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine." a/k/a "Marwan " a/k/a "Hydar," stayed together with other members of al Qaeda at the Hilltop Hotel in Nairobi, Kenya; ai. On or about August 4, 1998, the defendants FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," and MOHAMED RASHED DAOUD AL- 'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," 14
a/k/a "Abdul Jabbar Ali Abdel-Latif," together with "Azzar" and other members of al Qaeda, reconnoitered the United States Embassy in Nairobi, Kenya; aj. On or about August 5, 1998, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," shaved his beard and obtained new clothing in preparation for travel outside of Kenya to Afghanistan to meet with Usama Bin Laden; ak. On or about August 5, 1998, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," walked along Moi Avenue in Nairobi, Kenya, in the vicinity of the United States Embassy; Odeh's Flight from Nairobi the Night Before the Bombings al. On or about August 6, 1998, in the evening, the defendant MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," based on instructions from al Qaeda members, left Nairobi, Kenya, for Pakistan under an assumed name on Pakistani International Airway flight # 746; The Bombing in Nairobi am. On August 7, 1998, beginning at approximately 9:30 a,m,, the defendant FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," drove a pick-up truck from the villa located at 43 Rundu Estates to the vicinity of the United States Embassy in Nairobi, Kenya, while the defendant MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a 15
"Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," rode in another vehicle containing a large bomb driven by "Azzam" (the "Nairobi Bomb Truck") to the United States Embassy in Nairobi, Kenya. The defendant MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," possessed four stun-grenade type devices, a handgun and keys to the padlocks on the Nairobi Bomb Truck; an. On August 7, 1998, at approximately 10:30 a.m., the defendant MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," got out of the Nairobi Bomb Truck as it approached the rear of the Embassy building and brandished a stun grenade before throwing it in the direction of a security guard and then seeking to flee; ao. On August 7, 1998, at approximately 10:30 a.m., "Azzam" drove the Nairobi Bomb Truck to the rear of the Embassy building and fired a handgun at the windows of the Embassy building; ap. On August 7, 1998, at approximately 10:30 a,m., "Azzam" detonated the explosive device contained in the Nairobi Bomb Truck at a location near the rear of the Embassy building, demolishing a multi-story secretarial college and severely damaging the United States Embassy building and the Cooperative Bank Building, causing a total of more than 213 deaths, as well as injuries to more than 4,500 people, including 16
citizens of Kenya and the United States; aq. Following the August 7, 1998, bombing of the Embassy building, the defendant MOHAMED RASHED DAOUD AL-'OWHALI a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," sought to secrete bullets and keys to the padlock on the Nairobi Bomb Truck in a hospital clinic in Nairobi; The Dar es Salaam Bombing ar. On August 7, 1998, at approximately 10:40 a.m., a co-conspirator detonated an explosive device contained in a vehicle in the vicinity of the United States Embassy building located in Dar es Salaam, Tanzania, severely damaging the United States Embassy building and causing the deaths of at least 11 persons, including Tanzanian citizens, on the Embassy property, as well as injuries to at least 85 people; "Harun" Flees After the Bombing as. In the days immediately following the bombing, the defendant FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," hired persons to clean the villa located at 43 Rundu Estates in Nairobi, Kenya; at. On or about August 14, 1998, the defendant FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," went to the Comoros Islands; and E1 Hage Lies to the FBI in August 1998 au. On or about August 20, 1998, in Texas, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al 17
Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," made false statements concerning the nature of his contacts with al Qaeda to Special Agents of the Federal Bureau of Investigation conducting a criminal investigation of al Qaeda and the August 1998 bombings in Africa; and El Hage Lies to the Grand Jury in September 1998 av. On or about September 16, 1998, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," made false statements concerning the nature of his contacts with al Qaeda to a federal Grand Jury conducting an investigation of al Qaeda and the August 1998 bombings in Africa. (Title 18, United States Code, Section 2332(b) and (d).) 18
COUNTS TWO THROUGH TWO HUNDRED TWENTY SEVEN: THE AFRICA BOMBINGS COUNT TWO BOMBING OF THE UNITED STATES EMBASSY IN NAIROBI, KENYA, RESULTING IN MORE THAN 200 DEATHS The Grand Jury further charges: 9. The allegations contained in paragraphs l through 8 are repeated herein. 10. On or about August 7, 1998, in Nairobi, Kenya, and outside the jurisdiction of any particular state or district, FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," defendants at least one of whom was first brought to and arrested in the Southern District of New York, and others known and unknown, unlawfully, willfully, and knowingly did maliciously damage and destroy, and attempted to damage and destroy, by means of fire and an explosive, buildings, vehicles and other personal and real property in whole and in part owned and possessed by, and leased to, the United States, to wit, the defendants, together with other members of al Qaeda, an international terrorist organization, detonated an explosive device that damaged and destroyed the United States Embassy in Nairobi, Kenya, and as a result of such conduct directly and proximately caused the deaths of at least 213 persons, including Kenyan and American citizens. (Title 18, United States Code, Sections 844(f)(1),(f)(3) and 2. 19
COUNT THREE: BOMBING OF THE UNITED STATES EMBASSY IN DAR ES SALAAM, TANZANIA, RESULTING IN AT LEAST 11 DEATHS The Grand Jury further charges: 11. The allegations contained in paragraphs 1 through are repeated herein. 12. On or about August 7, 199@, in Dar es Salaam, Tanzania, and outside the jurisdiction of any particular state or district, FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan, " MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Lat1f," defendants at least one of whom was first brought to and arrested in the Southern District of New York, and others known and unknown, unlawfully, willfully, and knowingly did malicious1y damage and destroy, and attempted to damage and destroy, by means of fire and an explosive, buildings, vehicles and other personal and real property in whole and in part owned and possessed by, and leased to, the United States, to wit, the defendants, together with other members of al Qaeda, an international terrorist organization, detonated an explosive device that damaged and destroyed the United States Embassy in Dar es Salaam, Tanzania, and as a result of such conduct directly and proximately caused the deaths of at least 11 persons, including Tanzanian citizens. (Title 18, United States Code, Sections 844(f)(1),(f)(3) and 2.) 20
COUNTS FOUR THROUGH TWO HUNDRED SIXTEEN: MURDERS IN NAIROBI, KENYA The Grand Jury further charges: 13. The allegations contained in paragraphs 1 through 8 are repeated herein, 14. On or about August 7, 1998, in Nairobi, Kenya, and outside the jurisdiction of any particular state or district, FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," defendants at least one of whom was first brought to and arrested in the Southern District of New York, and others known and unknown, unlawfully, willfully, and knowingly did kill the persons listed below during the course of an attack on a federal facility involving the use of a dangerous weapon, to wit, the defendants detonated an explosive device that damaged and destroyed the United States Embassy in Nairobi, Kenya, and as a result of such conduct directly and proximately caused the deaths of: Count Victim 4 JESSE NATHANIEL ALIGANGA 5 JULIAN LEOTIS BARTLEY SR. 6 JULIAN LEOTIS BARTLEY JR. 7 JEAN DALIZU 8 MOLLY H. HARDY 9 KENNETH RAY HOBSON 21
10 PRABHI KAVALER 11 ARLENE BRADLEY KIRK 12 MARY LOUISE MARTIN 13 ANN MICHELLE O'CONNOR 14 SHERRY LYNN OLDS 15 UTTAMLAL THOMAS SHAH 16 HASSAN JARSO SOKA 17 LOISE NJERI MUKOMA 18 STEPHEN WAWERU MBURU 19 ROSETTA BARAZA 20 SAMUEL GITHUA MWANGI 21 GLADYS WANGUI 22 EDWIN MUNGAI MWEYA 23 SHADRACK MWANGI WAGANYU 24 GILBERT MUGO 25 ABDALLA MUSYOKI MWILU 26 JANE WANGUI GACHERU 27 EVA NYANJAU GACHERU 28 LIDIAH NDINDA MAINGI 29 ANNE NYAMBURA MATHENGE 30 FREDRICK EBRA OCHIENG 31 AGNES WANJIRU GITAU 32 CAROLINE KARAMBO MUTUIIRI 33 JOHN MWANGI NGARAGARI 34 SIMON OTIENO OLANG 35 PETER IRUNGU MUGO 22
36 JUNE MARY MAWEU 37 MICHAEL ODUOR NYANDEBA 38 ELIJAH NGITO OWINO 39 FLORENCE MWENDE MUTHAMA 40 ANN MWANIKI 41 BENARD MUGAMBI GITONGA 42 NAFTALI MWANGI 43 JOHN GITAU WAMUTWE 44 ABEL MUGAMBI NJAU 45 RACHEL WAMBUI 46 EDWIN PAUL NDUMBI 47 MARGARET WANJIKU KANGI 48 EMMA ODHIAMBO 49 DORINE ALUOCH JOW 50 JOYCE NJERI NG'ANG'A 51 GABRIEL MWANDIME 52 THOMAS MUNDANYI 53 MAGDALINE MBITHE NZIOKA 54 ROSELINE WANJIKU MWANGI 55 JOHN MWANGI WANYOIKE 56 ROBERT MIGWI MURIUKI 57 SAMUEL MBUGUA THUO 58 NKRUMA TONNY MYIZALA 59 ALLAN SABATO BANDO 60 JOSIAH ODERA OWUOR 61 GODFREY OKORO ORONO 23
62 SHADRACK NYAGA THITO 63 MARGRET LLELLO RADING 64 TIRUS MURAGURI 65 PETER MBEVI KYELO 66 MARY NYAGA NDIRANGO 67 MOSES KARIUKI 68 MARGRET NJERI WAWERU 69 EMMANUEL MACHAMBELE 70 MICHAEL OCHIENG 71 MARGRET ATIENO OBONYA 72 BONTIA ACHOLA 73 FRANCIS MUKENYE MULEKI 74 JULIUS NDULU 75 SAMUEL VONDO MULALIA 76 JOSHUA ANEAH OBONYO 77 ALICE WARUGURU MURIUKI 78 LAWRENCE GITAU KAMUTI 79 SABENA WALTER 80 DUNCAN ODHIAMBO 81 MERCY WANJIKU 82 ANN MUMBI MAINA 83 MARY WANJIKU MURIUKI 84 LAWRENCE OLUM OCHOKA 85 DANIEL MAUNDU MUTINDA 86 FRANCIS KABATHI KIU 87 MATHEW WALUNYA OTIENO 24
88 ISACK MUGERA MWARIA 89 MARTIN K. NDUATI 90 ANN MUMO ZAKAYO 91 EMMANUEL NJAGA MUTHURIA 92 JME WANGARI ITOTIA 93 AHMED WARKO MOHAMMED 94 SILVIA ORIENDO 95 JUSTUS NJERU MUGENDI 96 BURHAN ADEN HANSHI 97 JAMES OTIENO MASEA 98 HASSAN HUKAY GURACHA 99 HINDU OMARI 100 PATRICK KARIUKI MUTURI 101 EDWARD MUKAYA 102 JOSEPH ONDARI SALAMBA 103 MARGARET AKINYI 104 WILLIAM WAITHAKA NJOROGE 105 MOSES MULI KYULE 106 DAVID NDULA KOIMBURI 107 ELIAS OTIENO 108 SHEIKH FAHAT 109 DENIS R. MADEGWA 110 GEORGE IRUNGU 111 MOSES NAMAYI 112 FRANCIS NDUNGU NJOROGE 113 STEPHEN MAINA KIMANI 25
114 BENSON WATHIGU MUNIRI 115 GRACE NYAMBURA NJOROGE 116 ROGERS OTORO 117 RUTH MWKAI MUSYOKA 118 MONICA APONDI 119 JACKLINE NYAWIRA KIBERA 120 MARGARET WANGUI 121 JARET NDOOME NZIOKA 122 JULIUS OTIENO 123 SIMON KINUTHIA 124 SAMSON ODUOR AHOMO 125 GLORIA WANGECHI WACHIRA 126 HARRISON NJUGUNA MWANGI 127 SHARON WANGECHI 128 ELIZABETH ACHIENG ORWA 129 RUTH MUKAMI RUNGU 130 DOREEN MBAYAXI 131 CAROLINE MUMBI MURAGURI 132 JOSPHAT MUTUA MUIA 133 JACINTA NJOKI 134 FRIDA WAMBUI MURITU 135 SIMON MWANGI NJIMA 136 RAEL MBURI KIMANI 137 JOHN AMOS WANGAI 138 RAPHAEL JOHNSON GATHUMBI 139 FRANCIS KIHARA KAMUTI 26
140 GODFREY MUCHORI NJUGUNA 141 KITALIAN OLOTONO 142 AGATHA NJOKI 143 DANIEL KIPRONO CHERUIYOT 144 CATHERINE NDUMI MUTUA 145 PAMELA MBOYA MWENGE 146 CHARLES MUGO KARANJA 147 PATRICIA ATIENO 148 JOSEPH NGOVE NZWILI 149 PATRICK NJUGUNA 150 MOSES ASTON MWANI 151 ELIZABETH ANYANGO 152 EPHRAHIM KINGORI NDUNGU 153 CAROLINE NDOLO 154 JOHN OUXO ONYANGO 155 ENOCK OMWENO 156 SUSAN WAIRIMU GITU 157 JOSPHINE NZILANI MUTINDA 158 DOMINIC ALANGO OTIENO 159 FELISTUS NJERI KIMANI 160 PITY MWIRAKI MATHENGE 161 SIMON PETER NGUMO MATU 162 MARGARET WASIKE 163 BEATRIC NYAMBURA 164 ELIZABETH NYAROTSO 165 CATHERINE WAMBARA NJOKA 27
166 TIMOTHY ODHIAMBO SANDE 167 CHRISTINE WAIRUMU KARUMBA 168 JOHN KAROKI KAHUTHU 169 RACHAEL KABENDI MBOYA 170 GLORIA NGATHA MUTUIIRI 171 LUCY WARUTHI MBUNYA 172 JAMES MWANGI WAINAINA 173 DAVID SOITA WANABACHA 174 LUCIANO MUGAMBI 175 PHAEMA VRONTAMIS 176 EVANS OSONGO 177 CECELIA MAMBOLEO 178 FRANCIS MBOGO 179 CAROLINE OPATI 180 LYDIA MUKURI MAYAKA 181 ALICE NDUTA GACHIRI 182 JULIAN KWALI 183 LUCY NYAWIRA KARIGI 184 HANSON NYABERA OMAE 185 ERIC OBUR ONYANGO 186 ELIZABETH ONYANGO MITO 187 PETER NJOROGE NDUNGU 188 FRANCIS OLEWE OCHILO 189 WILSON KIPKORIR MUTAI 190 FREDRICK MALOBA YAFES 191 JAMES MATHENGE MIGWI 28
192 DOMINIC KIVUVA 193 FRANK MAINA 194 GEOFFREY KALEO 195 RACHEL PUSSY 196 JOE KIONGO 197 CATHERINE MUREITHI 198 LUCY ONONO 199 EDWIN OMORI 200 PETER MACHARIA NGUGI 201 ADAMS WAMAI 202 JOEL KAMAU GITHUMBI 203 KIMEU NZIOKA 204 ANTHONY KIHATO IRUNGU 205 TERESIA KIONGO WAIRIMU 206 VINCENT KAMAU NYOIKE 207 FRANCIS KIBE 208 JOHN ODHIAMBO ODUOR 209 LAWRENCE AMBROSE GITAU 210 FRANCIS NDUNGU MBOGUA 211 CHRISPINE BONYO 212 MAURICE OKACH OHOLLA 213 GEOFREY MUNYIRI MUTUNGA 214 SYLIA AMBASA 215 ROSEMARY NJERI GITUMA 216 UNIDENTIFIED MALE (Title 18, United States Code, Sections 930(c) and 2.) 29
COUNTS TWO HUNDRED SEVENTEEN THROUGH TWO HUNDRED TWENTY SEVEN MURDERS IN DAR ES SALAAM, TANZANIA 15. The allegations contained in paragraphs 1 through 8 are repeated herein. 16. On or about August 7, 1998, in Dar es Salaam, Tanzania, and outside the jurisdiction of any particular state or district, FAZUL ABDULLAH MOHAMMED, a/k/a "Harun Fazhl," a/k/a "Fazhl Abdullah," a/k/a "Fazhl Khan," MOHAMED SADEEK ODEH, a/k/a "Abu Moath," a/k/a "Noureldine," a/k/a "Marwan," a/k/a "Hydar," and MOHAMED RASHED DAOUD AL-'OWHALI, a/k/a "Khalid Salim Saleh Bin Rashed," a/k/a "Moath," a/k/a "Abdul Jabbar Ali Abdel-Latif," defendants at least one of whom was first brought to and arrested in the Southern District of New York, and others known and unknown, unlawfully, willfully, and knowingly did kill the persons listed below during the course of an attack on a federal facility involving the use of a dangerous weapon, to wit, the defendants detonated an explosive device that damaged and destroyed the United States Embassy in Dar es Salaam, Tanzania, and as a result of such conduct directly and proximately caused the deaths of: Count Victim 217 RAMADHANI H. MAHUNDI 218 JAKARI YUSUPH NYUMBO 219 ABAS WILLIAM MWILA 220 ELISHA PAULO ELIA 221 ABDALLAH MOHAMED 222 HASSAN SIYAD HARANE 223 DOTTO SELEMAN 30
224 ABDULAHAMAN ABDULAH 225 SHAMTE YUSUPH NDALE 226 ALMOSARIA YUSSUF MZEE 227 MTENDEJE RAJABU MBEGU (Title 18, United States Code, Sections 930(c) and 2.) COUNTS 228 THROUGH 235: PERJURY BEFORE FEDERAL GRAND JURIES The Grand Jury charges: Background 17. Beginning in 1996, the United States Attorney for the Southern District of New York and the Federal Bureau of Investigation, working with a number of other federal, state and local agencies, initiated a Grand Jury investigation into Usama Bin Laden and the involvement of his organization (known as "al Qaeda") in international terrorism. The Grand Jury investigation included, among other things, the issuance of Grand Jury subpoenas calling for witnesses to testify before a Grand Jury sitting in the Southern District of New York and to produce documents to the Grand Jury. By September 1997, the Grand Jury investigation focused, in part, upon: (i) the structure and operational status of al Qaeda in countries including the Sudan, Saudi Arabia, Egypt, Yemen, Somalia, Eritrea, Afghanistan, Pakistan, Bosnia, Croatia, Algeria, Tunisia, Lebanon, the Philippines, Tajikistan and Azerbaijan, and the Chechnya region of Russia and the Kashmiri region of India, as well as in Kenya and the United States: (ii) the targets of al Qaeda's terrorist activities, including American interests, worldwide, (iii) the relationship between the defendant WADIH EL HAGE, a/k/a 31
"Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," and the al Qaeda organization, including its leader Usama Bin Laden and al Qaeda's late military commander known as "Abu Ubaidah al Banshiri" and current military commander "Abu Hafs al Masry." 18. It was material to the Grand Jury sitting in the Southern District of New York to ascertain, among other things; a. the tactical goals, and corresponding terrorism targets, of Usama Bin Laden and al Qaeda; b. the identities, code names, aliases and whereabouts of any al Qaeda members and associates; c. the names of persons with whom the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," associated while living in the Sudan and Kenya and while travelling in Pakistan and Afghanistan; d. the nature and extent of the defendant WADIH EL HAGE's contacts with Usama Bin Laden, "Abu Ubaidah al Banshiri" and "Abu Hafs al Masry," particularly in the period from 1993 through the fall of 1997; e. the role played by Usama Bin Laden and the members and associates of the al Qaeda organization, particularly to include the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," as well as "Abu Ubaidah al Banshiri" and "Abu Hafs al Masry," in the provision of logistical support and training to the persons who attacked the United States and United Nations forces in Somalia in 1993 and the 32
early part of 1994: f. whether "Abu Ubaidah al Banshiri" was working in Kenya and Tanzania on behalf of Usama Bin Laden and al Qaeda during the time preceding his drowning death in Lake Victoria in the summer of l996; g. the particular reason for the travels of "Abu Ubaidah al Banshiri" at the time of his drowning death in the summer of 1996; h. the nature of the work conducted by Fazul Abdullah Mohammed, the deputy of the defendant WADIH ED HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," in Kenya and whether Fazul Abdullah Mohammed was working for Usama Bin Laden: and i. whether the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," was still working for Usama Bin Laden's al Qaeda organization in 1997. 19. On or before September 24, 1997, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," was served with a Grand Jury subpoena calling for him to testify before a Grand Jury sitting in the southern District of New York. 20. On or about September 26, 1997, after taking an oath to testify truthfully, after being advised of his constitutional rights and after being advised that if he failed to testify truthfully he could be prosecuted for perjury, the defendant WADIH 33
EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman" testified before a Grand Jury sitting in the Southern District of New York. 21. Following the appearance of the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," before the Grand Jury in September 1997, the Grand Jury investigation continued and continues through the date of this Indictment. By the time of September 1998, the Grand Jury investigation was focused on the matters outlined above and other matters that had become of interest since the time of EL HAGE's 1997 Grand Jury appearance, including, but not limited to: (i) the February 1998 fatwah signed by Usama Bin Laden and others under the banner of the "International Islamic Front for Jihad on the Jews and Crusaders," stating that Muslims should kill Americans -- including civilians -- anywhere in the world where they can be found: (ii) subsequent televised threats issued by Usama Bin Laden in May 1998 that his group did not distinguish between military and civilian personnel: (iii) the August 7, 1998, bombing of the United States Embassy in Nairobi, Kenya, which resulted in the deaths of at least 213 persons, including 12 Americans and the wounding of more than 4500 people; (iv) the nearly simultaneous August 7, 1998, bombing of the United States Embassy in Dar es Salaam, Tanzania, which resulted in the death of 11 persons and the wounding of more than 85 persons: (v) the meaning of certain documents recovered in searches conducted in Nairobi, Kenya, in August 1998, following the bombings, which bore the name and code name of WADIH EL HAGE, as 34

well as code names for other al Qaeda members and associates; and (vi) the extent to which WADIH EL HAGE's international travels concerned efforts to procure chemical weapons and their components on behalf of Usama Bin Laden. 22. In addition to the matters recited in paragraph 18 above, it was material to the Grand Jury sitting in the Southern District of New York to ascertain, among other things: a. the identities, code names, aliases and whereabouts of al Qaeda members and associates referred to in certain seized documents, including "Norman," "Abu Suliman," "Tayseer" (or "Taysir"), "Adel Habib," "Jalal" and "the Dr."; b. the efforts of the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," to obtain chemical weapons and/or their components at various times in the l990's; c. the nature and extent of contacts by the defendant WADIH EL HAGE with Fazul Abdullah Mohammed and Mohammed Sadeek Odeh in the period leading up to the bombing of the United States embassies; and d. the nature and extent of WADIH EL HAGE's contacts with al Qaeda members and associates since the time of his last Grand Jury appearance. 23. On or about September 15, 1998, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," was served with a Grand Jury subpoena calling for him to testify further before a Grand Jury 35
sitting in the Southern District of New York. 24. On or about September 16, 1998, after taking an oath to testify truthfully, after being advised of his constitutional rights and after being advised that if he failed to testify truthfully he could be prosecuted for perjury, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," testified before a Grand Jury sitting in the Southern District of New York. COUNT 228: Statutory Allegation 25. On or about September 24, 1997 in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, wilfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he gave the following underlined testimony: (a) Q. Now, when was the last time you saw Abu Ubaidah Banshiri? A. In Sudan before I left. Q. 1994 before you left? A. Yes. Q. Do you know where he is today? A. Either in Sudan or in Afghanistan. * * * (b) Q. Did you look for Abu Ubaidah al Banshiri when you went to Lake Victoria in the summer of 1996? 36
A. No. (c) Q. Did anyone tell you Abu Ubaidah had drowned in that ferry accident? A. No. (d) Q. No one ever told you at any time that Abu Ubaidah drown in the summer of 1996? A. No. (e) Q. To this day has anyone ever told you from any sources that Abu Ubaidah was killed in that boat in the summer 1996 when it sank at Lake Victoria? A. Nobody told me. * * * (f) Q. But just so we are clear, before whatever conversation the FBI had with you yesterday, you had never heard from anyone or seen on any TV show or read in any newspaper that Abu Ubaidah al Banshiri had drowned in the ferry accident in the summer of 1996? A. No. Never. (g) Q. And you were not sent to that lake to try to find Abu Ubaidah al Banshiri? A. No. I went looking for Adel Habib. * * * (h) Q. My question was, did you ever discuss with him, Haroun, whether or not al Banshiri drowned in Lake Victoria. A. No. (Title 18, United States Code, Section 1623.) COUNT 229: Statutory Allegation 26. On or about September 24, l998, in the Southern District of New York, WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da 37
"Norman," the defendant, having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he gave the following underlined testimony: (a) Q. When did you hear Al Qaida began to target the United States? A. In the latest interview with Usama Bin Laden, CNN. Q. Approximately how long ago did you see Bin Laden state CNN that the United States was now the target? A. When I came back to Nairobi about three weeks ago. * * * Q. Had you ever heard Usama Bin Laden state that the American forces should be attacked, prior to seeing it on CNN television? A. No, never. (b) Q. You are positive? A. Yes. (c) Q. You are swearing that under oath, under the penalties of perjury -- strike the word swear. You are stating that under oath, under the penalties of perjury, that prior to hearing it on CNN you had not heard Usama Bin Laden declare that America should be attacked? A. Yes. Never heard that before. (Title 18, United States Code, Section 1623.) COUNT 230: Statutory Allegation 27. On or about September 16, l998, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus 38
Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he gave the following underlined testimony concerning a photograph of Mohamed Sadeek Odeh: (a) Q. And I'll show you Grand Jury Exhibit 5 from September 10th of 1998 and ask whether you recognize the person depicted in Grand Jury exhibit 5? A. I've seen this picture on TV. Q. You've seen this picture on the TV? A. Yes. Q. How recently did you see it on the TV? A. Two or three weeks ago. Q. Have you ever seen this person in person? A. No. I have never seen him in person. * * * (b) Q. Who is Mohamed Oudeh? A. I don't know. * * * (c) Q. Do you recognize Grand Jury Exhibit 5 as Mohamed Odeh? A. I have never seen this person before. * * * (d) Q. Is it your testimony to this Grand Jury under oath that you've never met this person depicted in Grand Jury Exhibit 5 in your entire life? A. I don't recall meeting him at all. 39
* * * (e) Q. As you sit here today, you're telling this Grand Jury have no recollection of the person depicted in Grand Exhibit 5? A. Yes. sir. I don't. (f) Q. You have no recollection? A. Right. (Title 18, United States Code, Section 1623.) COUNT 231: Statutory Allegation 28. (1) On or about September 16, 1998, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he gave the following underlined testimony: (a) Q. Let me ask you another name. Norman, N-O-R-M-A-N. Do you know who Norman is? And I'll write it out even though it's just -- so there's no confusion of the spelling, N-o-r-m-a-n. A. No. * * * (b) Q. Have you ever been called Norman? A. No. * * * (c) Q. Let me write out one more name. Wa'da Norman, W-a, 40
apostrophe, d-a Norman, N-o-r-m-a-n. Who is that? A. I don't know. * * * (d) Q. Who is Wa'da Norman' A. I don't know. (e) Q. Is it you? A. No. * * * (f) Q. Are you still telling this Grand Jury that you're not known as Norman or Wa'da Norman? A. Yes. I'm not Norman. * * * (g) Q. Have you ever written any letters and signed them with the name Norman at the bottom? A. No, never. (Title 18, United States Code, section 1623.) COUNT 232: Statutory Allegation 29. On or about September 16, 1998, in the Southern 10
District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he have the following 41
underlined testimony: (a) Q. Do you know of any other "Jalal"'s besides the fellow in Louisiana? A. No. * * * (b) Q. How many people in Kenya did you know that personally knew Usama Bin Laden? A. People who knew Usama Bin Laden in Kenya, nobody. You mean know him personally, right? Q. People who knew him personally had met with personally? A. No. I don't remember anyone who did. * * * (c) Q. Did you know any members of al Qaeda who lived in either Kenya or Tanzania? A. No. (d) Q. Did you know any members of al Qaeda who ever visited Kenya or Tanzania? A. No. * * * (e) Q. Are you familiar with a person by the name of Abu Ubaidah al Banshiri? And I'll write it on [Grand Jury Exhibit] 66 so if my pronunciation is off it doesn't confuse. Do you know the person by the name of Abu Ubaidah al Banshiri? A. Yes. Q. Was he a person who worked for Usama Bin Laden? A. Yes. Q. Did he ever visit Nairobi or Kenya -- I'm sorry, Kenya or Tanzania? A. I don't think so. 42
* * * (e) Q. Does Adel Habib have another name? A. Not that I know of. (f) Q. Isn't Adel Habib known as Abu Ubaidah al Banshiri? A. Not that I know of. * * * [Note: The following Q & A was in the initial indictment of El Hage but not included in this indictment. (g) Q. And did you tell people that you had to go to Lake Victoria to find out whether or not Abu Ubaidah al Banshiri had really drowned? A. Abu Ubaidah al Banshiri was not there. ] (g) Q. How do you know? A. Well, I never knew that he was there. * * * (h) Q. Wasn't Abu Ubaidah al Banshiri also known as Jalal? A. I never heard that. (i) Q. Didn't you also hear that Adel Habib was also known as Jalal, J-a-l-a-l? A. No. Q. So your testimony is that you've never heard that Abu Ubaidah was known by the nickname or alias as J-a-l-a-l, correct? A. Correct. Q. You've never heard that Adel Habib was known by the nickname Jalal, J-a-l-a-l, is that your testimony? A. Right. * * * (j) Q. And it's your testimony under oath to this Grand Jury that you were never told that the person that drowned was Abu Ubaidah al Banshiri? A. Never. 43
(k) Q. And you were never told that the person that drowned was also known as Jalal? A. Never. (Title 18, United states Code, Section 1623.) COUNT 233: Statutory Allegation 30. On or about September 16, 1998, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he have the following underlined testimony: Q. Have you ever heard him called the H-a-j-j, have you heard of Usama Bin Laden referred to as the Hajj? A. No. (Title 18, United States Code, Section 1623.) COUNT 234: Statutory Allegation 31. On or about September 16, 1998, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he have the following underlined testimony: 44
(a) Q. And it says "Dear Abu Suliman" at the top. Do you know who Abu Suliman is? A. No. * * * (b) Q. Now, in this letter written to Abu Suliman, apparently by Harun, do you know who Abu suliman is? A. No. * * * (c) Q. It says Abu Suliman, okay. Do you know Abu Suliman? A. No. (Title 18, United States Code, Section 1623.) COUNT 235: Statutory Allegation 32. On or about September 16, 1998, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," having taken an oath to testify truthfully in a proceeding before a Grand Jury sitting in the Southern District of New York, unlawfully, willfully, knowingly, and contrary to such oath, did make false material declarations, to wit, he have the following underlined testimony: (a) Q. Continuing on. The middle where it says, "Tayseer and his friends are still hiking and they enjoy it very much." Is Tayseer a reference to Abu Hafs al Masry, one of the military commanders for Usama Bin Laden, yes or no? A. I don't know. * * * (b) Q. Okay. When this letter was written by Harun to Abu 45
Suliman, he's telling people that you have taken a trip with Taysir. Where did you go and who was Taysir? A. I don't know what he's talking about. * * * (c) Q. Do you have any idea as you sit here today who Taysir might be? A. I can't recall. * * * (d) Q. As you sit here today, it remains your testimony that have no idea who Taysir is? A. I have no idea, no. (Title 18, United states Code, Section 1623.) COUNT 236: FALSE STATEMENTS The Grand Jury further charges: 33. On or about September 23, 1997, in the Southern District of New York, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da "Norman," in a matter within the jurisdiction of the executive branch of the government, to wit, a criminal investigation based in the Southern District of New York, unlawfully, willfully and knowingly, did make materially false statements and representations, to wit, the defendant falsely stated to a Special Agent of the Federal Bureau of Investigation that he had never heard that "Abu Ubaidah al Banshiri" had died and that he believed that "Abu Ubaidah al Banshiri" was then alive and well and living in Afghanistan with Usama Bin Laden when in truth and fact WADI EL HAGE knew that "Abu Ubaidah al Banshiri had died in Kenya in 1996. 46
(Title 18, United States Code, Section 1001.) COUNT 237: FALSE STATEMENTS The Grand Jury further charges; 34. On or about October 17, 1997, in Arlington, Texas, the defendant WADIH EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," in a matter within the jurisdiction of the executive branch of the government, to wit, a criminal investigation based in the Southern District of New York, unlawfully, willfully and knowingly, did make materially false statements and representations, to wit, the defendant falsely stated to a Special Agent of the Federal Bureau of Investigation that he had never heard that "Abu Ubaidah al Banshiri," a military commander for Usama Bin Laden, had died when in truth and fact WADI EL HAGE knew that "Abu Ubaidah al Banshiri" had died in Kenya in 1996. (Title 18, United States Code, section 10001.) COUNT 238: FALSE STATEMENTS 33. On or about August 20, 1998, in Dallas, Texas, and Arlington, Texas, the defendant WADI EL HAGE, a/k/a "Abdus Sabbur," a/k/a "Abd al Sabbur," a/k/a "Norman," a/k/a "Wa'da Norman," in a matter within the jurisdiction of the executive branch of the government, to wit, a criminal investigation based in the Southern District of New York, unlawfully, willfully and knowingly, did make materially false statements and representations, to wit, the defendant falsely stated to a Special Agent of the Federal Bureau of Investigation that he did not know 47
Mohamed Sadeek Odeh and did not recognize his photograph when in truth and fact EL HAGE knew Mohamed Sadeek Odeh. (Title 18, United states Code, section 1001.) [Blank] [Signature] _________________________ _____________________________ FOREPERSON MARY JO WHITE United states Attorney 48 [Indictment Cover omitted] [End indictment]

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