New Jersey Indictment
Count One: Transportation of an Explosive With Intent to Kill or Injure
Count Two: Mailing an Explosive Device With Intent to Kill or Injure
Count Three: Use of a Destructive Device in Relation to a Crime of Violence
Here's the October 1, 1996 indictment of Theodore Kaczynski in connection with the mail bombing death of Thomas Mosser, a New Jersey advertising executive, linked to the Unabomber.
UNITED STATES DISTRICT COURT
DISTRICT OF NEW JERSEY
UNITED STATES OF AMERICA
v.
THEODORE JOHN KACZYNSKI,
a/k/a "FC"
Criminal No.
18 U.S.C. Secs. 844, 924, 1716 and 2
INDICTMENT
The Grand Jury in and for the District of New Jersey, sitting at Newark, charges:
Count One: Transportation of an Explosive With Intent to Kill or Injure
1. From on or about November 14, 1994, to on or about December 3, 1994, the defendant, THEODORE JOHN KACZYNSKI, a/k/a "FC," transported a bomb and bomb components from Montana to San Francisco, California.
2. On or about December 3, 1994, the defendant mailed the bomb from San Francisco, California, to Thomas J. Mosser in North Caldwell, New Jersey. The bomb was contained in a wooden box placed inside a cardboard box and wrapped in brown paper.
The package containing the bomb was delivered to Mr. Mosser's home on or about December 9, 1994.
3. On or about December 10, 1994, while in his home, Mr. Mosser opened the package referred to in paragraph 2, causing it to explode, killing Mr. Mosser.
4. From on or about November 14, 1994, to on or about December 9, 1994, at North Caldwell, in the District of New Jersey, and elsewhere, defendant THEODORE JOHN KACZYNSKI, a/k/a "FC," knowingly and willfully did transport, attempt to transport, and cause to be transported, in interstate commerce an explosive with the knowledge and intent that it would be used to kill, injure and intimidate an individual and unlawfully to damage and destroy real and personal property, which did result in the death of Thomas J. Mosser.
In violation of Title 18, United States Code, Sections 844(d) and 2(b).
Count Two: Mailing an Explosive Device With Intent to Kill or Injure
5. Paragraphs 1 through 3 are repeated and realleged as though set forth in full.
6. On or about December 3, 1994, defendant THEODORE JOHN KACZYNSKI, a/k/a "FC," knowingly and willfully did deposit for mailing and delivery and knowingly and willfully did cause to be delivered by mail at North Caldwell, in the District of New Jersey, and elsewhere, according to the direction thereon, nonmailable matter, to wit: a device and composition which could ignite and explode, with the intent to kill and injure another, and which did result in the death of Thomas J. Mosser.
In violation of Title 18, United States Code, Section 1716.
Count Three: Use of a Destructive Device in Relation to a Crime of Violence
7. Paragraphs 1 through 3 are repeated and realleged as though set forth in full.
8. From on or about November 14, 1994, to on or about December 9, 1994, at North Caldwell, in the District of New Jersey, and elsewhere, during and in relation to a crime of violence for which he may be prosecuted in a court of the United States, to wit: transportation of an explosive with intent to kill and injure and mailing an explosive device with intent to kill and injure, as charged in Counts One and Two, defendant THEODORE KACZYNSKI, a/k/a "FC," knowingly and willfully did use and carry a firearm, that is, a destructive device.
In violation of Title 18, United States Code, Section 924(c)(1).
A TRUE BILL
_______________
FOREPERSON
_______________
FAITH S. HOCHBERG
United States Attorney