Friday, January 3, 2025

VCJC News & Notes 1/3/25

 

Van Cortlandt Jewish Center
News and Notes

Here's this week's edition of the VCJC News and Notes email. We hope you enjoy it and find it useful!

Reminders

  1. Shabbos
    Shabbos information is, as always, available on our website, both in the information sidebar and the events calendar.
    Here are the times you need:  
    Shabbos Candles Friday 1/3/2025 @ 4:23 pm
    Shabbos morning services at 8:40 am.  Please join the services if you can do so safely. 
    Shabbos Ends Saturday 1/4/2025 @ 5:27 pm

    If you require an aliyah or would like to lead services, read from the torah or haftorah please speak to one of the gabbaim.
     

  2. Save the date

    Sunday, February 2, 2025. 9:30 AM to 2:00 PM

    We will be sponsoring a BLOOD DRIVE in conjunction with the New York Blood Center.

    It will be held in the first floor game room.


Our mailing address is:

Van Cortlandt Jewish Center
3880 Sedgwick Ave
Bronx, NY 10463

D.A. Bragg: Man Indicted For Slashing Ex-Girlfriend, Shoving Her Onto Subway Tracks, In Front Of Teenage Daughters

 

Manhattan District Attorney Alvin L. Bragg, Jr., announced the indictment of MICHAEL BLOUNT, 29, for attempting to murder his ex-girlfriend by slashing her with a razor blade and shoving her onto the subway tracks in front of her teenage daughters on November 5, 2024. BLOUNT is charged in a New York State Supreme Court indictment with Attempted Murder in the Second Degree, among other charges.[1]

“As alleged, Michael Blount brutally slashed his ex-girlfriend before pushing her onto the train tracks in front of her teenage daughters,” said District Attorney Bragg. “Despite what must have been a terrifying attack, one of her daughters was able to pull her mother from the tracks, likely saving her life. Intimate partner violence remains a top priority for my office, and we have the resources and specially trained staff to assist survivors and their families. Please call us at 212-335-4308.”

According to court documents and statements made on the record, at approximately 11 p.m. on November 5, 2024, BLOUNT approached his ex-girlfriend and her daughters in a Harlem deli after repeatedly calling her. The victim did not engage with his attempts to speak with her and left the deli with her daughters. BLOUNT followed them to the stairs of a nearby A-train station before returning to the deli, where he purchased a single razor blade. He entered the subway and went to the southbound platform where the victim was waiting for the train with her daughters.

BLOUNT grabbed her by her hair from behind and attempted to slash her neck with the razor blade as her daughters stood a few feet away. The victim fought back and was slashed multiple times in the face as she prevented BLOUNT from reaching her neck. BLOUNT then shoved her with both hands into the subway track before fleeing.

One of the victim’s daughters was able to pull her mother from the subway tracks approximately 2 minutes before the next train entered the station. A bystander called them a car that took them to the hospital. The victim received plastic surgery for her injuries.

BLOUNT evaded arrest for several weeks while calling, texting, and harassing the victim and her daughters before his arrest on December 28, 2024.

Assistant D.A. Charlotte Armour of the Intimate Partner and Sexual Violence Bureau is handling the prosecution of this case under the supervision of Assistant D.A.s Maxine Rosenthal (Senior Counsel to the Special Victims Division), Bethany Spiro and Vanessa Puzio (Deputy Chiefs of the Intimate Partner and Sexual Violence Bureau), and Executive Assistant D.A. Justin McNabney (Chief of the Special Victims Division). Analyst Eva Nikitovic is assisting with the case as are Rokel Jefferson (Director of Advocates) and Beverly Gilchrist (Chief of the Survivor Services Bureau).

District Attorney Bragg thanked the NYPD, particularly John Williams of the Manhattan Transit Crime Squad, and Detective Peter McCarthy and Sergeant Patrick Marron of the Manhattan Warrant Squad.

[1] The charges contained in the indictment are merely allegations, and the defendant is presumed innocent unless and until proven guilty. All factual recitations are derived from documents filed in court and statements made on the record in court.  

Pennsylvania Man Who Traveled to Lebanon and Syria with Goal of Joining Hizballah Indicted on Terrorism Offense and for Lying to FBI

 

Jack Danaher Molloy, 24, a former resident of Pittsburgh, Pennsylvania, has been indicted by a grand jury on charges of attempting to support the foreign terrorist organization Hizballah and making false statements involving international terrorism to a department or agency of the United States.

Molloy was previously charged by criminal complaint with making false statements on Dec. 6, 2024, with much of the conduct underlying the charges in the indictment set forth in the complaint. Molloy was arrested in Chicago, Illinois, on Dec. 6, 2024, and transported by the U.S. Marshals Service to Pittsburgh on Dec. 30, 2024.

As alleged in the indictment and complaint, from in and around August 2024 through in and around December 2024, in Lebanon, Syria, the Western District of Pennsylvania, and elsewhere, Molloy attempted to provide material support and resources—namely, personnel (including himself) and services — to Hizballah, a foreign terrorist organization (FTO), knowing that the organization was a designated terrorist organization and that the organization had engaged in and was engaging in terrorist activity and terrorism. As outlined in the court documents, Hizballah, also commonly spelled Hezbollah, was formed in the wake of the 1982 Israeli invasion of Lebanon and has conducted numerous terrorist attacks against Israeli and Western targets, including against American military and diplomatic personnel.

As alleged, Molloy — a dual citizen of the United States and Ireland, who previously served on active-duty status in the U.S. Army — traveled to Lebanon in August 2024 and attempted to join Hizballah. While in Lebanon, Molloy was told by multiple individuals that the time was not right, and that he needed to take other steps before he could join the terrorist organization. Molloy then traveled from Lebanon to Syria in October 2024 in an effort to fight for Hizballah in Syria. After returning to the United States, Molloy resided in Upper St. Clair, where he continued his attempts to join Hizballah, including through communication with individuals online and in Lebanon. During his time in the United States and abroad, Molloy also allegedly expressed his hatred toward, and promoted violence against, Jewish people. Molloy’s alleged animus toward Jews was also evidenced by multiple images and videos on his electronic devices and the usernames he chose for his social media and email accounts, including the username “KIKEKILLER313” on the social media platform X. In one alleged WhatsApp exchange with a family member, Molloy agreed that his “master plan was to join Hezbollah and kill Jews.” And while he was residing in Upper St. Clair, Molloy also allegedly visited a website detailing the possible incarceration location of Robert Bowers, who carried out the Pittsburgh Tree of Life Synagogue shooting during which he murdered 11 Jewish worshippers.

The indictment further alleges that, upon arriving at the Pittsburgh International Airport on Oct. 20, 2024, Molloy lied to agents of the FBI when he told them (1) that he had no current or future plans to become involved with Hizballah, and (2) that he had no business in, nor was he meeting with anyone, in Syria. These statements and representations were false because Molloy knew at that time that (1) he did have current and future plans to become involved with Hizballah and (2) Molloy travelled to Syria in furtherance of his attempts to join Hizballah, and while in Syria, set up a meeting with an individual there.

If convicted, Molloy faces a maximum penalty of 20 years in prison for material support charge. For false statement charges, he faces a maximum penalty of eight years in prison, a $250,000 fine, or both. A federal district court judge will determine any sentence after considering the U.S. Sentencing Guidelines and other statutory factors.

The FBI Pittsburgh and Chicago Field Offices are investigating the case with substantial assistance from the U.S. Marshals Service.

Assistant U.S. Attorney Nicole Vasquez Schmitt of the Western District of Pennsylvania and Trial Attorney Andrew Briggs of the National Security Division’s Counterterrorism Section are prosecuting the case.

An indictment and criminal complaint are merely an allegation. All defendants are presumed innocent until proven guilty beyond a reasonable doubt in a court of law.

Statement from Governor Kathy Hochul RE: Robert Brooks.

Governor Kathy Hochul New York State Seal
“Now that the Attorney General has appointed the Onondaga District Attorney as special prosecutor, I expect prosecutors will work expeditiously to bring formal charges and make arrests for the killing of Robert Brooks. Too much time has passed without charges being brought against the individuals responsible. The video of this horrific attack demonstrates that crimes clearly were committed, and I believe initial charges can be brought even as more serious charges are considered based on further investigation. While it is outside the power of my office to order arrests or bring charges, my team has offered any necessary resources to help prosecutors move as quickly as possible to ensure that justice is served. The family of Mr. Brooks deserves no further delays.”

Thursday, January 2, 2025

Proclamation of Special Election

 

As a result of the resignation of Kalman Yeger from the City Council effective December 31, 2024, a vacancy has been created in the seat he has held as a Council Member for the forty-fourth Council district. Accordingly, pursuant to the authority vested in me by Section 25(b)(l) and 25(b)(6) of the New York City Charter, I hereby proclaim that a special election shall be held in the forty-fourth Council district on March 25, 2025, to elect a Council Member to serve until December 31, 2025. Pursuant to Section 25(b)(7) of the Charter, nomination of candidates in this election shall be by independent nominating petition.

DATED: January 2, 2025

Eric Adams
Mayor