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Case 1:10-mj-00696-TCB Document 2 Filed 10/15/10 Page 1 of 4

I L IS

UNITED STATES DISTRICT COURT OCT I 5 2Q!0 V)


EASTERN DISTRICT OF VIRGINIA
CLL C, U.r..
Alexandria Division 'Ir.l

UNITED STATES OF AMERICA

v. Case No. 1:10MJ &qG


STEPHEN INGLE,

Defendant.

AFFIDAVIT IN SUPPORT OF CRIMINAL COMPLAINT AND ARREST WARRANT

I, Julie Hilario, being duly sworn, depose and state:

1. I am a Special Agent of the United States Department of Homeland

Security, U.S. Immigration and Customs Enforcement (ICE). I am currently assigned to

the Washington, D.C. Special-Agent-in-Charge (SAC/DC) office and am assigned to the

Washington Dulles International Airport. I have been employed by ICE since December

2006.

2. My duties as a Special Agent with ICE include, but are not limited to, the

investigation of federal laws governing Immigration violations, Customs violations, as

well as drug violations for the importation of a controlled substance (21U.S.C. § 952). I

have received training in general law enforcement, including training in Title 21, United

States Code, and I am a graduate of the Federal Law Enforcement Training Center at

Glynco, Georgia.

3. The facts set forth in this affidavit are based on my personal knowledge

and review of records, documents, and other physical evidence obtained during this

investigation, as well as information conveyed to me by other law enforcement officials

and private persons. All observations referenced in this affidavit that were not made by
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