United States v. Alimehmeti

284 F. Supp. 3d 477
CourtDistrict Court, S.D. Illinois
DecidedFebruary 15, 2018
DocketS1 16–CR–398 (PAE)
StatusPublished
Cited by1 cases

This text of 284 F. Supp. 3d 477 (United States v. Alimehmeti) is published on Counsel Stack Legal Research, covering District Court, S.D. Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Alimehmeti, 284 F. Supp. 3d 477 (S.D. Ill. 2018).

Opinion

PAUL A. ENGELMAYER, District Judge:

Trial in this case is scheduled for May 2018. This decision resolves the Government's motion for partial closure of the courtroom during the testimony of certain undercover officers who are expected to testify and for various other measures aimed at protecting these officers' identities from public exposure. For the reasons that follow, the Court grants the Government's motion in large measure, but with certain modifications aimed at assuring press access to this aspect of the upcoming trial.

*481I. Factual Background

A. The Indictment

Sajmir Alimehmeti is charged in a two-count superseding indictment with (1) knowingly and intentionally providing and attempting to provide material support to a foreign terrorist organization ("FTO"), namely, the Islamic State of Iraq and al-Sham ("ISIS"), in violation of 18 U.S.C. §§ 2339B and 2; and (2) attempting to fraudulently procure a United States passport to facilitate an act of international terrorism in violation of 18 U.S.C. § 1542. Dkt. 70. Trial was originally set to commence January 29, 2018, but has been adjourned to May 2018 to accommodate the substitution earlier this month of defense counsel.

B. Relevant Factual Allegations1

The Government expects to establish, inter alia , the following at trial.

1. Background to Alimehmeti's Introduction to the Undercover Officers

Alimehmeti is a 24-year-old U.S. citizen who was born in Albania. Before his arrest, he was a resident of the Bronx, and, according to the Government, had become a supporter of ISIS. In 2014, Alimehmeti was twice denied entry into the United Kingdom. Materials confiscated from him after the second attempt include terrorist propaganda, images of jihadist fighters, and ISIS's black flag. In 2015, Alimehmeti began to amass the sort of weapons, such as combat knives, that could be used in a "lone wolf"-style terrorist attack.

2. Alimehmeti's Dealings with Undercover Officers

Relevant to this motion, in September 2015, Alimehmeti was introduced to two undercover officers ("UC-1" and "UC-2"). Over the course of several months, UC-1 and UC-2 developed relationships with Alimehmeti. They met with Alimehmeti in multiple locations, including his apartment. They observed an ISIS flag displayed on one of the apartment's walls. In his dealings with the UCs, Alimehmeti repeatedly expressed his support for ISIS, played ISIS propaganda videos for them, and communicated to them his desire to join ISIS in Syria.

In February 2016, UC-2 introduced Alimehmeti to UC-3, an undercover FBI employee posing as an ISIS supporter. On May 9, 2016, UC-2 showed Alimehmeti a photograph of UC-3 in a desert waiving an ISIS flag. UC-2 told Alimehmeti that UC-3 had joined ISIS. Alimehmeti expressed his excitement and desire to join UC-3.

On May 16, 2016, UC-2 and Alimehmeti met again, this time in Queens. UC-2 told Alimehmeti about "UC-4," an alleged associate of UC-3's who was actually another undercover FBI employee. UC-2 told Alimehmeti that UC-4 was traveling to New York City from Florida on his way to Syria to join UC-3 and ISIS.

On May 17, 2016, UC-2 introduced Alimehmeti to UC-4 at a Manhattan restaurant. Alimehmeti asked UC-4 about his route to Syria. UC-2 asked Alimehmeti if he would help UC-4 get supplies for his journey. Alimehmeti agreed and assisted UC-4 in purchasing a cellphone, flashlight, bag, and compass. Alimehmeti also helped UC-4 download encrypted messaging applications to his phone that he could use to communicate with other ISIS supporters, and gave UC-4 his contact information with the expectation that UC-4 would pass *482that information on to the individual facilitating UC-4's travel. At some point during the day, Alimehmeti told UC-4 that he wanted to travel to Syria as well, and that he had saved $2,500 to make the journey. At the end of the day, Alimehmeti accompanied UC-4 to the airport so UC-4 could begin his journey to join ISIS.

Alimehmeti's interactions with the UCs were recorded on audio and in some instances videotape.

On May 24, 2016, the FBI arrested Alimehmeti.

II. Procedural Background to this Motion
A. The Government's Motion

On December 8, 2017, the Government filed an omnibus motion in limine , Gov. MIL, and the defense filed its own motion, Dkt. 74. In a decision issued on January 7, 2018, the Court resolved the pending in limine motions, save the Government motion at issue here. Dkt. 96.

As to that motion, the Government seeks an order imposing 10 protective measures. Each is aimed at minimizing the risk of exposing the identities or appearance of the undercover officers, some or all of whom are expected to testify at trial. The measures the Government seeks were set out in a proposed order, which would provide for the following:

(1) Partial courtroom closure: "During the testimony of the UCs, only the Court, essential courtroom personnel, the defendant, the defendant's counsel, and the Government's trial team [will be] permitted to be present in the courtroom." During "[t]his partial closure of the courtroom," "a live audio broadcast of the UCs' testimony [will] be made available to the public at another location in the courthouse"; and "transcripts of the UCs' testimony [will]... be made publicly available as soon as feasible after their testimony."
(2) Nondisclosure of UCs' identities: "Public disclosure of the true identities of the UCs in connection with the trial of this matter [will be] prohibited."
(3) Pseudonymous UC testimony: "The UCs [will be] permitted to testify under the pseudonyms that they used during the investigation of this matter instead of their true names."
(4) Non-public entry to courthouse by UCs: "The UCs [will be] permitted to enter and exit the courthouse through non-public entrances on the dates of their testimony, and the courthouse staff and [the] U.S. Marshals Service [are ordered to] assist the Government to make the necessary arrangements for the use of such non-public entrances by the UCs."
(5) Obscuring of images of UCs in publicly available materials: "Any videos, photographs, or other images of the UCs that are shown in open court, or otherwise made available to the public, [will] ... be altered to pixelate or otherwise obscure the UCs' faces"; however, "this measure [will] ... not apply to materials viewed only by the Court, essential courtroom personnel, the jury, the defendant and his counsel, and the Government's trial team."
(6)

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284 F. Supp. 3d 477, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-alimehmeti-ilsd-2018.