Stephanie Lynn Schwab Indictment

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    IN THE UNITED STATES DISTR ICT COURT FOR THE

    EASTERN D ISTR ICT OF V IRG IN IA

    Alexandria Div ision

    FILEDIN OPEN COURT

    FEB I 6 zuizCLERK, U.S. DISTRICT COURALEXANDRIA. VIRGINIA

    UNITED STATES OF AMERICA,

    v.

    STEPHANIE LYNN SCHWAB,Defendant .

    Criminal Case No. l :12-cr-00063

    Counts 1.3.6: 18 U.S.C. 2113(a)(Bank robbery)Counts 2. 4. 5: 18 U.S.C. 2312(Transportation of stolen vehicle)

    INDICTMENT

    February 2012 Term - at Alexandria, VirginiaCOUNT ONE

    THE GRAND JURY CHARGES THAT:

    On or about November 18, 2011, in Prince William County, Virginia, within the EasternDistrict of Virginia, the defendant, STEPHANIE LYNN SCHWAB, did knowingly andunlawfully, by force and violence, and by intimidation, take from the person and presence ofanother, to wit, a bank teller at a branch of Virginia Commerce Bank, approximately $1,368 inUnited States currency, money belonging to, and in the care, custody, control, management, andpossession of Virginia Commerce Bank, the deposits of which were then insured by the FederalDeposit Insurance Corporation.

    (In violation of Title 18, United States Code, Section 2113(a).)

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    COUNTTWO

    THE GRAND JURY FURTHER CHARGES THAT:On or about November 18, 2011, the defendant, STEPHANIE LYNN SCHWAB, did

    knowingly and unlawfully transport in interstate commerce from the Eastern District ofVirginiato Maryland a motor vehicle, to wit: a 2007 Chrysler Town & Country, knowing the motorvehicle to have been stolen.

    (Inviolation ofTitle 18,United States Code, Section 2312.)

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    COUNT THREE

    THE GRAND JURY FURTHER CHARGES THAT:On or about November 22, 2011, in Fairfax County, Virginia, within the Eastern District

    of Virginia, the defendant, STEPHANIE LYNN SCHWAB, did knowingly and unlawfully, byforce and violence, and by intimidation, take from the person and presence of another, to wit, abank tellerat a branch of BB&T Bank, approximately $1,830 in United States currency, moneybelonging to, and in the care, custody, control, management, and possession of BB&T Bank, thedepositsofwhich werethen insuredby the Federal Deposit Insurance Corporation.

    (In violation ofTitle 18, United States Code, Section 2113(a).)

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    C O U N T F O UR

    THE GRAND JURY FURTHER CHARGES THAT:

    On or about November 22, 2011, the defendant, STEPHANIE LYNN SCHWAB, didknowingly and unlawfully transport in interstate commerce from the Eastern Districtof VirginiatoMarylanda motor vehicle, to wit: a 2003Acura TLS, knowing the motor vehicle to have beenstolen.

    (In violation ofTitle 18, United States Code, Section 2312.)

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    COUNT F IVE

    THE GRAND JURY FURTHER CHARGES THAT:On or about November 30, 2011, the defendant, STEPHANIE LYNN SCHWAB, did

    knowingly and unlawfully transport in interstate commerce from Maryland to the EasternDistrict of Virginia a motor vehicle, to wit: a 2010 Ford Escape, knowing the motor vehicle tohave been stolen.

    (In violationofTitle 18,United States Code, Section 2312.)

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    COUNT SIX

    THE GRAND JURY FURTHER CHARGES THAT:

    On or about November 30, 2011, in Fairfax County, Virginia, within the Eastern Districtof Virginia, the defendant, STEPHANIE LYNN SCHWAB, did knowingly and unlawfully, byforce and violence, and by intimidation, attempt to take from the person and presence of another,to wit, a bank teller at a branch of BB&T Bank, United States currency, money belonging to, andin the care, custody, control, management, and possession of BB&T Bank, the deposits of whichwere then insured by the Federal Deposit Insurance Corporation.

    (In violation of Title 18, United States Code, Section 2113(a).)

    A TRUE BILLPursuant lo :h e H-GovernmeniA.:the original ef this page has been filedunder scai in the Clerk's Office.

    By:

    Neil H. MacBrideUnited States Attorney

    Sean P. TonolliAssistant United States Attorney

    Foreperson

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