44444444444444444444444444444444444444444444444444444444444444444444444444U
United States District Court
District of New Jersey
44444444444444444444444444444444444444444444444444444444444444444444444444U
UNITED STATES OF AMERICA
:
COMPLAINT
:
v.
:
Mag. No. 05-8047 (MCA)
:
JASON SALAH ARABO,
:
a/k/a “CLdotcom,”
:
a/k/a “Jaytheplaya”
:
I, Adam Ringhof, the undersigned complainant, being duly sworn, state the
following is true and correct to the best of my knowledge and belief:
SEE ATTACHMENT A
continued on the attached sheets and made a part hereof.
I further state that I am a Special Agent for the Federal Bureau of Investigation
and that this complaint is based on the following facts:
SEE ATTACHMENT B
continued on the attached sheets and made a part hereof.
Adam Ringhof
Special Agent
Federal Bureau of Investigation
Sworn to before me and subscribed in my presence,
March 11, 2005 at Newark, New Jersey
HONORABLE MADELINE COX ARLEO
UNITED STATES MAGISTRATE JUDGE
Signature of Judicial Officer
2
ATTACHMENT A
From on or about July 2, 2004, continuing to at least December 12, 2004, in Edison,
Union County, in the District of New Jersey and elsewhere, defendant
JASON SALAH ARABO,
a/k/a “CLdotcom,”
a/k/a “Jaytheplaya,”
did knowingly and intentionally conspire and agree with others to cause the transmission of a
program, information, code, and command, and as a result of such conduct, intentionally cause
damage without authorization, to a protected computer, namely, a computer that was used in
interstate and foreign commerce and communication, contrary to Title 18, United States Code,
Section 1030 (a)(5)(A)(i).
OVERT ACTS
In furtherance of the conspiracy, defendant ARABO and his co-conspirators committed
and caused to be committed the following overt acts, among others, in the District of New Jersey
and elsewhere:
1. On or before July 2, 2004, defendant ARABO, via an online communi