United States v. AUSTIN SUMAN, Southern District of New York (Nov. 15, 2024)
raw: U.s. V. Suman Complaint
U.s. V. Suman Complaint (S.D.N.Y. Nov. 15, 2024)
Austin Suman was charged with threatening interstate communications, willfully making threats involving explosives, and interstate stalking, resulting in a complaint being filed against him in the Southern District of New York.
The United States has filed a complaint against Austin Suman in the Southern District of New York, alleging that he violated 18 U.S.C. §§ 875(c), 844(e), and 2261A(2) by threatening interstate communications, willfully making threats involving explosives, and interstate stalking. The charges stem from Suman's alleged threats to a news reporter, including threats to injure or kill her and her family, as well as threats to blow up her residence. Evidence supporting the allegations includes Facebook messages and emails sent by Suman to the victim, which were obtained from Meta Platforms, Inc. and Google LLC.
The United States has filed a complaint against Austin Suman in the Southern District of New York, alleging that he violated 18 U.S.C. §§ 875(c), 844(e), and 2261A(2) by threatening interstate communications, willfully making threats involving explosives, and interstate stalking. The charges stem from Suman's alleged threats to a news reporter, including threats to injure or kill her and her family, as well as threats to blow up her residence. Evidence supporting the allegations includes Facebook messages and emails sent by Suman to the victim, which were obtained from Meta Platforms, Inc. and Google LLC. Law enforcement observed a vehicle registered to Suman and a White male matching his description at his residence on November 9, 2024.
Extracted insights
- person Austin Suman ×2
- person PAO MEI Fisher ×2
- agency Federal Bureau of Investigation
- person Reyhan Watson
- agency special agent with the fbi
- Austin Suman Sent Several Facebook messages and emails threatening to injure or kill Victim-1 and her family
- Austin Suman Sent A Facebook message threatening to blow up Victim-1’s residence
- Austin Suman Used Mail, interactive computer service and electronic communication system to engage in conduct that placed Victim-1 in reasonable fear of death and caused emotional distress
- PaO Mei Fisher Is Special Agent with the FBI
AUSA: Reyhan Watson
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
UNITED STATES OF AMERICA
v.
AUSTIN SUMAN,
Defendant.
SEALED COMPLAINT
Violations of 18 U.S.C. §§ 875(c),
844(e), and 2261A(2)
COUNTY OF OFFENSE:
ORANGE
SOUTHERN DISTRICT OF NEW YORK, ss.:
PAO MEI FISHER, being duly sworn, deposes and says that she is a Special Agent with
the Federal Bureau of Investigation (“FBI”), and charges as follows:
COUNT ONE
(Threatening Interstate Communications)
1. On or about November 8, 2024, in the Southern District of New York and
elsewhere, AUSTIN SUMAN, the defendant, knowingly and intentionally transmitted in interstate
and foreign commerce a communication containing a threat to injure the person of another, to wit,
SUMAN sent several Facebook messages and emails to a news reporter (“Victim-1”) in which he
threatened to injure or kill Victim-1 and her family.
(Title 18, United States Code, Section 875(c))
COUNT TWO
(Willfully Making a Threat Involving an Explosive)
2. On or about November 8, 2024, in the Southern District of New York and
elsewhere, AUSTIN SUMAN, the defendant, through the use of the telephone or other instrument
of interstate or foreign commerce, or in or affecting interstate or foreign commerce, willfully made
a threat to kill, injure, or intimidate an individual or unlawfully to damage or destroy a building,
vehicle, or other real or personal property by means of fire or an explosive, to wit, SUMAN sent a
Facebook message over the Internet in which he threatened to blow up Victim-1’s residence.
(Title 18, United States Code, Section 844(e))
COUNT THREE
(Interstate Stalking)
3. On or about November 8, 2024, in the Southern District of New York and
elsewhere, AUSTIN SUMAN, the defendant, with the intent to kill, injure, harass, intimidate, and
place under surveillance with intent to kill, injure, harass, and intimidate another person, used the
JessicaHummel
Typewritten Text
24 MJ 3923
2
mail, any interactive computer service and electronic communication service and electronic
communication system of interstate commerce, and any other facility of interstate and foreign
commerce to engage in a course of conduct that placed that person in reasonable fear of the death
of and serious bodily injury to that person and caused, attempted to cause, and would be reasonably
expected to cause substantial emotional distress to that person, to wit, SUMAN sent several
Facebook messages and emails over the Internet to Victim-1, using various hate-based remarks
about race, ethnicity, national origin, and gender, in which he threatened to injure or kill Victim-1
and her family, which placed Victim-1 in reasonable fear of death and serious bodily injury, and
which caused, and would be reasonably expected to cause, substantial emotional distress.
(Title 18, United States Code, Section 2261A(2).)
The bases for my knowledge and for the foregoing charges are, in part, as follows:
4. I am a Special Agent with the FBI and member of the Hudson Valley Safe Streets
Task Force. I have been a Special Agent with the FBI since January 2017. I have participated in
numerous investigations involving interstate crimes through means of interstate commerce,
including telephone, mail, and the Internet. I have been personally involved in the investigation of
this matter.
5. This affidavit is based upon my personal participation in the investigation of this
matter, my conversations with law enforcement agents, and my examination of reports and records.
Because this affidavit is being submitted for the limited purpose of establishing probable cause, it
does not include all the facts that I have learned during my investigation. Where the contents of
documents and the actions, statements, and conversations of others are reported herein, they are
reported in substance and in part.
6. And as set forth in greater detail below, I have learned that, AUSTIN SUMAN, the
defendant, made a series of violent and hate-based threats to injure or kill, and blow up the
residence of, Victim-1, who is a news reporter based in Orange County, New York, in the Southern
District of New York.1
7. On or about November 8, 2024, AUSTIN SUMAN, the defendant, sent Victim-1
the following messages, among others, over Facebook Messenger to Victim-1’s professional, news
reporter-affiliated Facebook account. Based on my review of those messages:
a. SUMAN, unsolicited, sent Victim-1 a series of threatening messages: “you
are spick.” He then wrote: “you dumb fuckin cunt,” “female journalist what a joke,” “dumb
Mexican I will end you,” “you better stay in new york,” “I will end you and your family.” He then
said “Hahha ill see you soon . . . Dumb fuckin spick.”
b. SUMAN used a series of words and phrases reflecting a hate-based animus
against Hispanic people, particularly Mexicans. For example, SUMAN repeatedly referred to
Victim-1 as a “spick” and called her a “dumb Mexican.” Based on my training and experience,
1 Direct quotes attributed to AUSTIN SUMAN, the defendant, are included in this Complaint as
written by him and, therefore, may include typographical or grammatical errors.
3
“spick” is an ethnic slur that is intended to refer to people of Hispanic, Latin-American, or Spanish
descent. SUMAN added that Victim-1 was a “typical spick,” noting, “We are going to deport your
family all of them . . . [u]seless life. Dumb bitch. I would drag you by your legs naked with my
horse.”
c. SUMAN then explained that his threats were retaliation for a news article
that Victim-1 wrote about him “years ago.” Based on my review of posts written by Victim-1, in
or around February 2019, Victim-1 reported that a man named “Austin Suman,” and having a
photograph similar to SUMAN’s photograph in state and law enforcement databases, was arrested
for allegedly threatening his roommate with a firearm at their residence. SUMAN told Victim-1:
“I have more guns than ever.” “I’m full auto now bitch,” he said. Based on my training and
experience, I believe that the phrase “full auto” refers to someone with fully automatic firearms,
which are firearms that fire continuously so long as the trigger is held down, allowing for a much
faster rate of fire and potentially causing more damage in a shorter period than non-automatic
firearms. Such firearms are particularly lethal. SUMAN then explained that, although his guns had
previously been taken, they were “all returned” and “no charges [were] committed.” “Guess what
I have now? More than you or your family might know. Fucking spicks,” he said.
d. SUMAN also threatened to blow up Victim-1’s residence: “I can blow your
house off it’s foundation tread lightly.”
8. Around the same time that he sent threatening messages over Facebook, on or about
November 8, 2024, AUSTIN SUMAN, the defendant, also sent several emails from his Gmail
account to Victim-1’s professional, news reporter-affiliated email address. SUMAN wrote, “You
are a dumb spick, we coming for you.” In another email, he added, “You are a joke of a journalist,
dumb fuckin Spanish journalist . . . .”
9. Based on my review of Department of Motor Vehicle records, postal records, and
law enforcement reports and records, AUSTIN SUMAN, the defendant, is associated with a
residence in Myrtle Beach, South Carolina (“Suman Address”). For the following reasons, I
respectfully submit that there is probable cause to believe that SUMAN is the person who sent the
aforementioned threats:
a. Based on my review of documents obtained from Meta Platforms, Inc. (the
parent company of Facebook), the subscriber of the Facebook account that sent the threats is
“Austin Suman,” residing at the Suman Address. Subscriber information for the Facebook account
lists the same Gmail account as the one that sent Victim-1 threatening emails. Additionally, the
banner picture for the Facebook account shows a red or burgundy-colored Toyota with a white
roof in front of a residence, each of which appears to be the same vehicle and residence observed
by law enforcement on or about November 9, 2024, at the Suman Address. The vehicle observed
by law enforcement had South Carolina license plates registered to SUMAN at the Suman Address.
b. Based on my review of documents obtained from Google LLC
(the company that provides Gmail account services), the subscriber of the Gmail account that sent
the threats is “Austin Suman.” Subscriber information for the Gmail account reflects the same
verified phone number as the Facebook account.
4
c. Based on my review of the aforementioned documents obtained from
Facebook and Google, the accounts that sent the above communications were accessed on or
around November 8, 2024, from the same Internet protocol (“IP”) address: 64.138.244.235. This
IP address is connected to a device in the vicinity of the Suman Address. Based on my training
and experience, IP address location information will often not be able to identify the exact location
of the device associated with a given IP address.
d. Based on a law enforcement review of postal records for the Suman
Address, several packages have been shipped to that address bearing recipient name “Austin
Suman.” One of those packages was delivered on or around October 17, 2024. USPS records
reflect that a tracking inquiry for that package was made from the same IP address as indicated
above, among approximately three other IP addresses.
e. On or around November 9, 2024, law enforcement personnel conducted
surveillance at the Suman Address and, in addition to observing the above-mentioned vehicle
registered to SUMAN, law enforcement also observed a White male matching the description and
photos of SUMAN, as depicted in DMV records and social media accounts, including the above
Facebook account.
10. After Victim-1 received these threats, I spoke with her several times. Based on my
conversations with her and my review of reports and records relating to statements she made to
other law enforcement officers, Victim-1 indicated to me that these threats caused her and her
family substantial emotional distress. Victim-1 said she felt nervous, alarmed, and feared for her
and her family’s health and safety. As a result, in the morning of November 10, 2024, shortly after
the threats were made, Victim-1 went to local law enforcement to try to obtain an order of
protection to protect herself and her family.
WHEREFORE, I respectfully request that a warrant be issued for the arrest of AUSTIN
SUMAN, the defendant, and that he be arrested, and imprisoned or bailed, as the case may be.
_______________________________
PAO MEI FISHER
Special Agent
Federal Bureau of Investigation
Sworn to me through the transmission of this
Affidavit by reliable electronic means, i.e., by
FaceTime, pursuant to Federal Rules of
Criminal Procedure 41(d)(3) and 4.1, this 11th
day of November, 2024
______________________________________
THE HONORABLE JUDITH C. McCARTHY
UNITED STATES MAGISTRATE JUDGE
SOUTHERN DISTRICT OF NEW YORK
/s/ Pao Mei Fisher by JCM with permission
mccarthyj
New StampAUSA: Reyhan Watson
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
UNITED STATES OF AMERICA
v.
AUSTIN SUMAN,
Defendant.
SEALED COMPLAINT
Violations of 18 U.S.C. §§ 875(c),
844(e), and 2261A(2)
COUNTY OF OFFENSE:
ORANGE
SOUTHERN DISTRICT OF NEW YORK, ss.:
PAO MEI FISHER, being duly sworn, deposes and says that she is a Special Agent with
the Federal Bureau of Investigation (“FBI”), and charges as follows:
COUNT ONE
(Threatening Interstate Communications)
1. On or about November 8, 2024, in the Southern District of New York and
elsewhere, AUSTIN SUMAN, the defendant, knowingly and intentionally transmitted in interstate
and foreign commerce a communication containing a threat to injure the person of another, to wit,
SUMAN sent several Facebook messages and emails to a news reporter (“Victim-1”) in which he
threatened to injure or kill Victim-1 and her family.
(Title 18, United States Code, Section 875(c))
COUNT TWO
(Willfully Making a Threat Involving an Explosive)
2. On or about November 8, 2024, in the Southern District of New York and
elsewhere, AUSTIN SUMAN, the defendant, through the use of the telephone or other instrument
of interstate or foreign commerce, or in or affecting interstate or foreign commerce, willfully made
a threat to kill, injure, or intimidate an individual or unlawfully to damage or destroy a building,
vehicle, or other real or personal property by means of fire or an explosive, to wit, SUMAN sent a
Facebook message over the Internet in which he threatened to blow up Victim-1’s residence.
(Title 18, United States Code, Section 844(e))
COUNT THREE
(Interstate Stalking)
3. On or about November 8, 2024, in the Southern District of New York and
elsewhere, AUSTIN SUMAN, the defendant, with the intent to kill, injure, harass, intimidate, and
place under surveillance with intent to kill, injure, harass, and intimidate another person, used the
JessicaHummel
Typewritten Text
24 MJ 3923
2
mail, any interactive computer service and electronic communication service and electronic
communication system of interstate commerce, and any other facility of interstate and foreign
commerce to engage in a course of conduct that placed that person in reasonable fear of the death
of and serious bodily injury to that person and caused, attempted to cause, and would be reasonably
expected to cause substantial emotional distress to that person, to wit, SUMAN sent several
Facebook messages and emails over the Internet to Victim-1, using various hate-based remarks
about race, ethnicity, national origin, and gender, in which he threatened to injure or kill Victim-1
and her family, which placed Victim-1 in reasonable fear of death and serious bodily injury, and
which caused, and would be reasonably expected to cause, substantial emotional distress.
(Title 18, United States Code, Section 2261A(2).)
The bases for my knowledge and for the foregoing charges are, in part, as follows:
4. I am a Special Agent with the FBI and member of the Hudson Valley Safe Streets
Task Force. I have been a Special Agent with the FBI since January 2017. I have participated in
numerous investigations involving interstate crimes through means of interstate commerce,
including telephone, mail, and the Internet. I have been personally involved in the investigation of
this matter.
5. This affidavit is based upon my personal participation in the investigation of this
matter, my conversations with law enforcement agents, and my examination of reports and records.
Because this affidavit is being submitted for the limited purpose of establishing probable cause, it
does not include all the facts that I have learned during my investigation. Where the contents of
documents and the actions, statements, and conversations of others are reported herein, they are
reported in substance and in part.
6. And as set forth in greater detail below, I have learned that, AUSTIN SUMAN, the
defendant, made a series of violent and hate-based threats to injure or kill, and blow up the
residence of, Victim-1, who is a news reporter based in Orange County, New York, in the Southern
District of New York.1
7. On or about November 8, 2024, AUSTIN SUMAN, the defendant, sent Victim-1
the following messages, among others, over Facebook Messenger to Victim-1’s professional, news
reporter-affiliated Facebook account. Based on my review of those messages:
a. SUMAN, unsolicited, sent Victim-1 a series of threatening messages: “you
are spick.” He then wrote: “you dumb fuckin cunt,” “female journalist what a joke,” “dumb
Mexican I will end you,” “you better stay in new york,” “I will end you and your family.” He then
said “Hahha ill see you soon . . . Dumb fuckin spick.”
b. SUMAN used a series of words and phrases reflecting a hate-based animus
against Hispanic people, particularly Mexicans. For example, SUMAN repeatedly referred to
Victim-1 as a “spick” and called her a “dumb Mexican.” Based on my training and experience,
1 Direct quotes attributed to AUSTIN SUMAN, the defendant, are included in this Complaint as
written by him and, therefore, may include typographical or grammatical errors.
3
“spick” is an ethnic slur that is intended to refer to people of Hispanic, Latin-American, or Spanish
descent. SUMAN added that Victim-1 was a “typical spick,” noting, “We are going to deport your
family all of them . . . [u]seless life. Dumb bitch. I would drag you by your legs naked with my
horse.”
c. SUMAN then explained that his threats were retaliation for a news article
that Victim-1 wrote about him “years ago.” Based on my review of posts written by Victim-1, in
or around February 2019, Victim-1 reported that a man named “Austin Suman,” and having a
photograph similar to SUMAN’s photograph in state and law enforcement databases, was arrested
for allegedly threatening his roommate with a firearm at their residence. SUMAN told Victim-1:
“I have more guns than ever.” “I’m full auto now bitch,” he said. Based on my training and
experience, I believe that the phrase “full auto” refers to someone with fully automatic firearms,
which are firearms that fire continuously so long as the trigger is held down, allowing for a much
faster rate of fire and potentially causing more damage in a shorter period than non-automatic
firearms. Such firearms are particularly lethal. SUMAN then explained that, although his guns had
previously been taken, they were “all returned” and “no charges [were] committed.” “Guess what
I have now? More than you or your family might know. Fucking spicks,” he said.
d. SUMAN also threatened to blow up Victim-1’s residence: “I can blow your
house off it’s foundation tread lightly.”
8. Around the same time that he sent threatening messages over Facebook, on or about
November 8, 2024, AUSTIN SUMAN, the defendant, also sent several emails from his Gmail
account to Victim-1’s professional, news reporter-affiliated email address. SUMAN wrote, “You
are a dumb spick, we coming for you.” In another email, he added, “You are a joke of a journalist,
dumb fuckin Spanish journalist . . . .”
9. Based on my review of Department of Motor Vehicle records, postal records, and
law enforcement reports and records, AUSTIN SUMAN, the defendant, is associated with a
residence in Myrtle Beach, South Carolina (“Suman Address”). For the following reasons, I
respectfully submit that there is probable cause to believe that SUMAN is the person who sent the
aforementioned threats:
a. Based on my review of documents obtained from Meta Platforms, Inc. (the
parent company of Facebook), the subscriber of the Facebook account that sent the threats is
“Austin Suman,” residing at the Suman Address. Subscriber information for the Facebook account
lists the same Gmail account as the one that sent Victim-1 threatening emails. Additionally, the
banner picture for the Facebook account shows a red or burgundy-colored Toyota with a white
roof in front of a residence, each of which appears to be the same vehicle and residence observed
by law enforcement on or about November 9, 2024, at the Suman Address. The vehicle observed
by law enforcement had South Carolina license plates registered to SUMAN at the Suman Address.
b. Based on my review of documents obtained from Google LLC
(the company that provides Gmail account services), the subscriber of the Gmail account that sent
the threats is “Austin Suman.” Subscriber information for the Gmail account reflects the same
verified phone number as the Facebook account.
4
c. Based on my review of the aforementioned documents obtained from
Facebook and Google, the accounts that sent the above communications were accessed on or
around November 8, 2024, from the same Internet protocol (“IP”) address: 64.138.244.235. This
IP address is connected to a device in the vicinity of the Suman Address. Based on my training
and experience, IP address location information will often not be able to identify the exact location
of the device associated with a given IP address.
d. Based on a law enforcement review of postal records for the Suman
Address, several packages have been shipped to that address bearing recipient name “Austin
Suman.” One of those packages was delivered on or around October 17, 2024. USPS records
reflect that a tracking inquiry for that package was made from the same IP address as indicated
above, among approximately three other IP addresses.
e. On or around November 9, 2024, law enforcement personnel conducted
surveillance at the Suman Address and, in addition to observing the above-mentioned vehicle
registered to SUMAN, law enforcement also observed a White male matching the description and
photos of SUMAN, as depicted in DMV records and social media accounts, including the above
Facebook account.
10. After Victim-1 received these threats, I spoke with her several times. Based on my
conversations with her and my review of reports and records relating to statements she made to
other law enforcement officers, Victim-1 indicated to me that these threats caused her and her
family substantial emotional distress. Victim-1 said she felt nervous, alarmed, and feared for her
and her family’s health and safety. As a result, in the morning of November 10, 2024, shortly after
the threats were made, Victim-1 went to local law enforcement to try to obtain an order of
protection to protect herself and her family.
WHEREFORE, I respectfully request that a warrant be issued for the arrest of AUSTIN
SUMAN, the defendant, and that he be arrested, and imprisoned or bailed, as the case may be.
_______________________________
PAO MEI FISHER
Special Agent
Federal Bureau of Investigation
Sworn to me through the transmission of this
Affidavit by reliable electronic means, i.e., by
FaceTime, pursuant to Federal Rules of
Criminal Procedure 41(d)(3) and 4.1, this 11th
day of November, 2024
______________________________________
THE HONORABLE JUDITH C. McCARTHY
UNITED STATES MAGISTRATE JUDGE
SOUTHERN DISTRICT OF NEW YORK
/s/ Pao Mei Fisher by JCM with permission
mccarthyj
New Stamp