Case: 1:14-er-00100-80 Doe 3-1 Filed: 03/03/14 1 of 2. Pageflu} .-M.-..1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF OHIO EASTERN DIVISION UNITED STATES OF AMERICA, CASE NO.: I'laintiIT, MAGISTRATE JUDGE KENNETH S. MCHARGH v. JOURNAL ENTRY CI-IRISTOPI--IER R. GEMBICKI, Defendant. This matter came on to be heard upon the petition of Duncan T. Brown. Assistant United States Attorney for the Northern District oI'Ohio, for a Writ of Habeas Corpus Ad Prosequendum directed to the Sheriff, Cuyahoga County Jail, Cleveland, Ohio, and/or the United States Marshal at Cleveland, Ohio. The Court, being fully advised in the said matter, finds that the said Christopher R. Gembieki is detained in the Cuyahoga County Jail, Cleveland, Ohio, under the custody ofsaid Sheriff. The Court further linds that the said United States desires to proceed to arraign the defendant on a Complaint charging violations ofTitIe 18, United States Code, Sections 871 and 875(0). at Cleveland, Ohio, on Tuesday, March 4, 2014, at 1 1:00 and to other court proceedings relating to such complaint as this Court may deem proper. Case: 1:14-cr-00100-80 Doc 3-1 Filed: 03/03/14 2 of 2. Page|D 15 THEREFORE, upon consideration thereof, IT IS ORDERED, ADJUDGED and DECREED that the said Writ of Habeas Corpus Ad Prosequendum issue and that the said Writ be delivered to the United States Secret Service and/or Federal Bureau of Investigation and/or United States Marshal at Cleveland. Ohio. UNITED JUDGE Case: 1:14-cr-00100-80 Doc 12 Filed: 03/26/14 1 of 3. Page|D 27 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF OHIO EASTERN DIVISION UNITED STATES O17 AMERICAit-CR 1 05 1 Plaintiff, JUDGE V. CASE NO. CHRISTOPI-IER GIFIMBICKI, Title 18, United States Code, Sections 871 and 7,5 mix, 2 2 4 Defendant. COUNT 1 (Threats Against the President. Title 18 U.S.C. Section 871(3)) The Grand Jury charges that: On or about and between February 4, 2014 and February 22, 2014, the defenclant, CHRISTOPHER GEMBICKI, did knowingly and willfully make a threat' to take the life of, to Case: 1:14-or-00100-80 Doc 12 Filed: 03/26/14 2 of 3. Page|D 28 2 kidnap, and to inflict bodily harm upon the President of the United States, in that, through multiple postings on Facebook, he stated he would kill the President when he had the chance. All in violation of Title 18, United States Code, Section 871. COUNT 2 (Use of Wires to Make Threats, Title 18 U.S.C. Section 875(0)) The Grand Jury further charges that: On or about and between February 18, 2014 and February 22, 2014, the defendant, CHRISTOPHER GEMBICKI, knowingly and willfully did transmit in interstate commerce from Broadview Heights, Ohio, a communication posted on Facebook, a website operated and maintained in the State of California, to an individual identified as C.A. and whose identity is known to the Grand Jury, which communication contained a threat to kill and injure C.A., in that GEMBICKI stated that he was going to kill C.A. and C.A.'s family with a chainsaw. All in violation of Title 18, United States Code, Section 875(c). COUNT 3 (Use of Wires to Make Threats, Title 18 U.S.C. Section 875(c)) The Grand Jury fiirther charges that: On or about and between February 19, 2014 and February 22, 2014, the defendant, CHRISTOPHER GEMBICKI, knowingly and willfully did transmit in interstate commerce from Broadview Heights, Ohio, a communication posted on Twitter, a website operated and maintained in the State of California, to an individual identified as N.H. whose identity is known to the Grand Jury, which communication contained a threat to kidnap and injure N.H., in that Case: 1:14-cr-00100-80 Doc 12 Filed: 03/26/14 3 of 3. Page|D 29 3 GEMBECKI stated that time was up and he was going to drinkN.H's blood. All in violation of Title 18, United States Code, Section 875(0). A TRUE BILL. Original Document - Signatures on file with the Clerk of Courts, pursuant to the E~Government Act of 2002.