2024-04-16 DOJ SDNY complaint 306 KB 38,049 chars

United States v. WINSTON J. COLON CORREA, Southern District of New York (Apr. 16, 2024) — Complaint

raw: United States v. WINSTON J. COLON CORREA

United States v. WINSTON J. COLON CORREA (S.D.N.Y. Apr. 16, 2024)

Caption
UNITED STATES OF AMERICA v. WINSTON J. COLON CORREA
summary

Winston J. Colon Correa faces federal charges in the Southern District of New York for the sexual exploitation, receipt, distribution, and possession of child pornography involving three minors.

paragraph

Winston J. Colon Correa has been charged with violations of 18 U.S.C. §§ 2251(a), 2251(e), 2252A(a)(2)(B), 22seb2A(b)(1), 2252A(a)(5)(B), and 2252A(b)(2). The federal complaint alleges he coerced a 16-year-old into transmitting sexually explicit videos, received material involving a 15-year-old, and possessed images of a 12-year-old. The investigation, conducted by the FBI, uncovered evidence of his interactions with multiple minors via electronic devices.

narrative

Winston J. Colon Correa is facing a sealed criminal complaint in the Southern District of New York involving multiple counts of child pornography-related offenses. The charges include the sexual exploitation of a 16-year-old, the receipt and distribution of material involving a 15-year-old, and the possession of images depicting a 12-year-old. According to the FBI investigation, the defendant used the internet and electronic devices to induce minors to engage in sexually explicit conduct and transmit visual depictions. Evidence from the investigation includes text messages and files recovered from electronic devices. The complaint details activities occurring between May 2022 and February 2024. Law enforcement officials have presented these allegations to establish probable cause for his arrest.

Enriched metadata

Scheme
non-corporate (100%)
Court
Southern District of New York
Victims
15
Classified non-corporate(confidence 100%). No EDGAR filing fingerprint (criminal/DOJ-side scheme). detection rule →
Statutes
Title 18, United States Code, Section 2251(a)Title 18, United States Code, Sections 2252A(a)Title 18, United States Code, Section 2256Title 18, United States Code, Section 2256(8)
Parties
United States of AmericaWINSTON J. COLON CORREA
Keywords
colon correacoloncorreavictim-minor-sexually explicitcorrea textedaboutlawenforcementvideotextedrespondedcorrea respondedsexually

Extracted insights

Entities 5
  • person alexandra chacon
  • person count one violation
  • agency special agent with federal bureau of investigation
  • person william c. kinder
  • person winston j. colon correa
Triples 13
  • Winston J. Colon Correa employed and coerced 16-year-old minor to engage in sexually explicit conduct
  • Winston J. Colon Correa induced Victim-1 to transmit video over Internet
  • Winston J. Colon Correa received and distributed child pornography material containing videos of 15-year-old minor
  • Winston J. Colon Correa possessed and accessed images of 12-year-old minor engaged in sexually explicit conduct
  • Alexandra Chacon is Special Agent with Federal Bureau of Investigation
  • William C. Kinder is AUSA
  • Offense occurred in Southern District of New York and Bronx
  • Count One violation occurred between August 27, 2022 and August 29, 2022
  • Count Two violation occurred between May 28, 2022 and May 29, 2022
  • Count Three violation occurred on February 29, 2024
  • Winston J. Colon Correa violated 18 U.S.C. § 2251(a) and (e)
  • Winston J. Colon Correa violated 18 U.S.C. § 2252A(a)(2)(B) and (b)(1)
  • Winston J. Colon Correa violated 18 U.S.C. § 2252A(a)(5)(B) and (b)(2)
Text layers
Extracted body text (38,049c)

AUSA: William C. Kinder 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF NEW YORK 
UNITED STATES OF AMERICA 
v. 
WINSTON J. COLON CORREA, 
Defendant. 
      SEALED COMPLAINT 
      Violations of 18 U.S.C. §§ 2251(a) and 
      (e); 2252A(a)(2)(B) and (b)(1); and  
      2252A(a)(5)(B) and (b)(2) 
      COUNTY OF OFFENSE: 
      NEW YORK & BRONX 
SOUTHERN DISTRICT OF NEW YORK, ss.: 
ALEXANDRA CHACON, 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 
(Sexual Exploitation of a Child) 
1.From at least on or about August 27, 2022 through at least on or about August 29,
2022, in the Southern District of New York and elsewhere, WINSTON COLON CORREA, the 
defendant, knowingly employed, used, persuaded, induced, enticed, and coerced a minor to engage 
in sexually explicit conduct, for the purpose of producing a visual depiction of such conduct, and 
for the purpose of transmitting a live visual depiction of such conduct, knowing and having reason 
to know that such visual depiction would be transported and transmitted using a means and facility 
of  interstate  and foreign  commerce  and  in  and  affecting  interstate  and  foreign  commerce  and 
mailed,  and  the  visual  depiction  was  produced  and  transmitted  using  materials  that  had  been 
mailed, shipped, and transported in and affecting interstate and foreign commerce by any means, 
including by computer, and the visual depiction was actually transported and transmitted using a 
means and facility of interstate and foreign commerce and in and affecting interstate and foreign 
commerce  and  mailed,  to  wit,  COLON  CORREA induced a  16-year-old  minor (“Victim-1”) to 
engage in sexually explicit conduct, video the conduct, and transmit the video over the Internet to 
COLON CORREA in Manhattan, New York. 
(Title 18, United States Code, Section 2251(a) and (e).) 
COUNT TWO 
(Receipt and Distribution of Child Pornography) 
2.From at least on or about May 28, 2022 through on or about May 29, 2022, in the
Southern  District  of  New  York  and  elsewhere, WINSTON  COLON  CORREA,  the  defendant, 
knowingly received and distributed material that contained child pornography using a means and 
facility  of interstate  and foreign commerce  and that  had been mailed and had  been shipped  and 
transported in and affecting interstate and foreign commerce by any means, including by computer, 
24 MAG 1488

2 
 
to  wit,  COLON  CORREA  received  videos  of  a 15-year old minor (“Victim-2”) engaged in 
sexually explicit conduct over an Internet-connected electronic device in the Bronx, New York. 
(Title 18, United States Code, Sections 2252A(a)(2)(B) and (b)(1).) 
 
COUNT THREE 
(Possession of Child Pornography) 
 
3. On  or  about February 29, 2024,  in  the  Southern  District  of  New  York  and 
elsewhere, WINSTON COLON CORREA, the defendant, knowingly possessed and accessed with 
intent  to view, a  book, magazine,  periodical, film,  videotape,  computer disk, and  other  material 
that contained an image of child pornography that had been mailed, shipped and transported using 
a means and facility of interstate and foreign commerce and in and affecting interstate and foreign 
commerce by any means, including by computer, and that was produced using materials that had 
been  mailed,  shipped  and  transported  in  and  affecting  interstate  and  foreign  commerce  by  any 
means, including by computer, to wit, COLON CORREA possessed images of a 12-year old minor 
(“Victim-3”) engaged in sexually explicit conduct on an electronic device in the Bronx, New York. 
(Title 18, United States Code, Section 2252A(a)(5)(B) and (b)(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  I  have  been  personally  involved  in  the 
investigation  of  this  matter.    This  affidavit  is  based  in  part  on my  personal  participation  in  the 
investigation,  my  review  of  documents,  conversations  I  have  had  with  other  law enforcement 
officers and witnesses about this matter, my training and experience, and numerous discussions I 
have  had  with  other  law  enforcement  personnel  concerning  the  creation,  distribution,  and 
proliferation  of  child  pornography.    Because  this  Complaint  is  being  submitted  for  the  limited 
purpose of establishing probable cause to arrest the defendant, I have not included the details of 
every  aspect  of  the  investigation.    Where  actions,  conversations,  and  statements  of  others  are 
related herein, they are related in substance and in part, except where otherwise indicated. 
Definitions 
5. The following terms have the indicated meaning in this Complaint: 
a. The terms “minor,” “sexually explicit conduct,” and “visual depiction,” as 
used herein, are defined as set forth in Title 18, United States Code, Section 2256. 
b. The  term “child  pornography,” as  used  herein, is  a  visual  depiction  of  a 
minor involved  in  sexually  explicit  conduct  as  defined  in  Title  18,  United  States  Code, Section 
2256(8).  
c. An Internet Protocol (“IP”) address  is  a  unique  numeric  address  used  to 
identify  a  particular  computer  connected  to  the  Internet.    An  IP  address  looks  like  a  series  of 
numbers separated by periods.  Every computer connected to the Internet must be assigned an IP 
address so that communications from or directed to that computer are routed properly. 

3 
 
COLON CORREA is Reported to Law Enforcement 
 
6. Based  on  my  conversations  with  other  law  enforcement  officers  involved  in  this 
investigation, my review of law enforcement reports and records, and my review of text messages 
obtained in the course of this investigation, I have learned, in substance and in part, the following: 
a. On or about December 21, 2022, a parent reported to law enforcement that 
she had discovered sexually explicit text messages sent to her 14-year-old child (“Minor-1”) by an 
individual purporting  to  be  a  17-year-old  male purportedly named “John” and  who  was later 
identified to be WINSTON COLON CORREA, the defendant.  The parent indicated that she had 
engaged a private investigator, who had determined that the individual who sent sexually explicit 
text messages was not a 17-year-old male, but in fact was a thirty-one-year-old male from New 
York, named “Winston Jonathan Colon Correa.” 
b. On  or  about  January  10,  2023,  law  enforcement  conducted  a  forensic 
interview of Minor-1.  Minor-1 reported that a male claiming to be 17 years old contacted her by 
text message.  Minor-1 did not know how the male obtained Minor-1’s phone number.  Minor-1 
said  that  the  male had sent her text  messages attempting to  get  sexually  explicit  images  from 
Minor-1, as well as messages about meeting with Minor-1 in person to engage in sexual contact.  
Minor-1 further informed law enforcement that the male sent her a sexually explicit image of his 
penis. 
c. Minor-1’s  cellphone  was  provided  to  law  enforcement.    Based  on  my 
review of text messages obtained from Minor-1’s cellphone, I know that the user of a cellphone 
number ending in 6984 (the “6984 Cellphone”) sent sexually explicit text messages to Minor-1 on 
or about December 9, 2022. 
i. The sexually explicit messages from COLON CORREA to Minor-
1 included questions about Minor-1’s sexual experiences and preferences, and statements about 
sexual activity that COLON CORREA wanted to engage in with Minor-1.  In addition, COLON 
CORREA attempted to persuade Minor-1 to send him depictions of Minor-1 engaged in sexually 
explicit conduct.  For example, at approximately 9:11 p.m.,
1 
COLON CORREA asked Minor-1, 
“Do you touch yourself when you are wet[?]”
2
  One minute later, Minor-1 responded, “What if I 
told you I’m touching myself rn.”  COLON CORREA replied, “You got to show me.”   
ii. COLON  CORREA  attempted  to  persuade Minor-1 to  send  him 
sexually  explicit  depictions  of  herself  despite  knowing,  based  on  text  messages  sent  to  him  by 
Minor-1, that Minor-1 was 14 years old. 
d. Based on my review of records from T-Mobile, Inc., I know that the 6984 
Cellphone is subscribed to in the name of “Winston J. Colon Correa,” at a particular address in the 
Bronx, New York (“Address-1”). 
 
1
 All times referred to herein are in Coordinated Universal Time (“UTC”). 
 
2
 Unless indicated by the use of brackets or ellipses, all text messages quoted herein are unaltered 
from their original form, including typos, grammatical errors, abbreviations, or slang terms. 

4 
 
e. Based  on  a  comparison  of a selfie  photograph  that  the  user  of  the  6984 
Cellphone sent to Minor-1 and an image of COLON CORREA obtained from law enforcement 
database records, I believe that COLON CORREA is the user of the 6984 Cellphone and the person 
who sent sexually explicit text messages to Minor-1 on or about December 9, 2022. 
f. Based  on  my  review of  law  enforcement  database  records,  I  know  that 
COLON CORREA was approximately 31 years old on or about December 9, 2022, when COLON 
CORREA sent sexually explicit messages to Minor-1. 
Law Enforcement’s Search of COLON CORREA’s Phone  
 
7. On or about February 22, 2024, based in part on information provided by Minor-1, 
law enforcement obtained a warrant to search the person of WINSTON COLON CORREA, the 
defendant, including any cellphones in his possession (the “Phone Warrant”).  Based on my 
involvement  in  this investigation  and  my  participation in the  search  conducted  pursuant  to  the 
Phone Warrant, I am aware of the following, in substance and in part: 
a. Law  enforcement  executed  the Phone  Warrant  on  or  about  February  29, 
2024,  as  COLON  CORREA  was  approaching a  particular  address in  the  Bronx,  New  York 
(“Address-2”).  At the time, COLON CORREA was in possession of the 6984 Cellphone—that is, 
the phone COLON CORREA used to communicate with Minor-1.  Law enforcement seized the 
6984  Cellphone.  During the course of law enforcement’s execution of the Phone Warrant, 
COLON CORREA confirmed that he resided at Address-2 in the Bronx, New York. 
b. Law enforcement’s search of the 6984 Cellphone revealed that  COLON 
CORREA  has  engaged  in  sexually  explicit  text  message  conversations  with numerous minors 
other  than Minor-1.  Based  on  my  training  and  experience,  I  have  identified,  on  the  6984 
Cellphone, sexually explicit text messages between COLON CORREA and approximately over 
15 individuals whom I believe to be minor girls, and over approximately 20 files, which I believe 
contain child pornography. 
c. In particular, law enforcement’s search has revealed that in the course of his 
text  message  conversations  with  minors, COLON  CORREA  induced the  production  of child 
pornography, received  child  pornography, and possessed  child  pornography, including sexually 
explicit depictions of minors’ genitals, and depictions of minors masturbating.  COLON CORREA 
engaged in this conduct despite having reason to know and knowing that he was communicating 
with minors. 
COLON CORREA Produces, Receives, and Possesses Child Pornography of Victims 1-3 
8. Based on my participation in this investigation, my conversations with other law 
enforcement  officers  and witnesses,  and  my  review  of the  6984  Cellphone,  I  have  learned  that 
WINSTON COLON CORREA, the defendant, engaged in sexually explicit communications with, 
among others, Victim-1, Victim-2, and Victim-3, as described in relevant part below.   
Victim-1 
 
9. Based on my participation in law enforcement’s review of the 6984 Cellphone and 
my conversations with witnesses and other law enforcement officers, I have learned the following, 

5 
 
in substance and in part, regarding the text message communications between WINSTON COLON 
CORREA, the defendant, and Victim-1: 
a. On or about August 27, 2022, COLON CORREA began sending sexually 
explicit text messages to Victim-1. 
i. At  approximately 4:21  p.m.,  COLON  CORREA  initiated  a  text 
message  conversation with Victim-1.  COLON CORREA introduced himself as “John” and 
indicated that he lived in New York City.   
ii. At  approximately  5:46  p.m.,  COLON  CORREA  asked  to  see  a 
photograph of Victim-1.  Approximately one minute later, Victim-1 sent a photograph depicting 
two individuals inside a school who, based on my training and experience, appear to be minors.  
One  of the  individuals  in  the  photograph  has , and 
glasses  with   frames.    COLON  CORREA  responded  at  approximately  5:47  p.m., 
asking, “The one  is you?”  Victim-1  replied, “Yes[.]”  
iii. Based on my communications with a parent of Victim-1 (“Parent-
1”), I know that Parent-1 confirmed that the individual  depicted in the photograph 
described in  paragraph 9(a)(ii) is her daughter, Victim-1.    I  further  know, based  on  my 
communications  with  Parent-1,  that  at  the  time  of Victim-1’s communications with COLON 
CORREA described herein, Victim-1 was 16 years old.  
iv. COLON CORREA’s subsequent messages to Victim-1 were sexual 
in  nature.   At  approximately  5:53  p.m. on  or about  August  27,  2022,  COLON  CORREA  asked 
Victim-1, “Do you know what’s ddlg[?].”  Based on my training and experience, I know that 
“ddlg” is an acronym for “daddy dom/little girl,” which is a category of sexual relationship in 
which a male plays the role of a dominant “daddy” and the female plays the role of a young girl.  
COLON CORREA then asked Victim-1 about her sexual experiences and preferences, including 
questions about Victim-1’s interest in sex toys and particular sex acts.  
v. At approximately  8:35  p.m., COLON  CORREA  asked Victim-1, 
“Places you had sex at[?].”  Victim-1 then described the first time she had sex, which was in the 
“[c]hoir practice room.”  COLON CORREA responded, “That’s hot . . . I want to fuck you now . 
. . raw and have you pin down going rough while fingering your ass . . . [w]hile I have a camera 
set up watching us.” 
vi. At approximately 8:54 p.m., COLON CORREA texted Victim-1, “I 
would love a video of you.”  Approximately 4 minutes later, Victim-1 sent COLON CORREA a 
video, approximately 90 seconds long, of a female wearing light blue underwear inside a bathroom 
stall, with the message, “This was me at school.”   
1. In the video, the female wearing light blue underwear can be 
seen gyrating her buttocks in a sexual manner.  The skin color and body composition of the female 
are consistent with the skin color and body composition of Victim-1, as depicted in the photograph 
described in paragraph 10(a)(ii). 
2. COLON CORREA responded, “Wish I was their I would 
have you bend over fucking both your holes.”   

6 
 
vii. At  approximately 9:02  p.m., COLON  CORREA  texted Victim-1, 
“What else do you have[?]”  Approximately one minute later, Victim-1 sent COLON CORREA a 
video that is approximately 90 seconds long.   
1. The video depicts a female’s vaginal area while she used her 
fingers to masturbate.  The video shows that while masturbating, the female was sitting on a toilet.  
Also visible is light blue underwear, which was pulled down below the female’s vaginal area while 
she  masturbated.  The  light  blue  underwear  is  the  same  color  as  the  underwear  from  the  video 
described in paragraph 9(a)(vi).  
2. The  skin  color  and  body  composition  of  the female are 
consistent  with  the  skin  color  and  body  composition  of  the female in  the  video  described  in 
paragraph 9(a)(vi),  as  well  as the  skin  color  and  body  composition  of Victim-1,  as  seen  in  the 
photograph described in paragraph 9(a)(ii). 
3. Records obtained in the course of this investigation indicate 
that at the time Victim-1 sent the video to COLON CORREA, the 6984 Cellphone was connected 
to particular IP Address that resolved to the Bronx, New York. 
b. On  or  about  August  29,  2022, COLON  CORREA  had  further  sexually 
explicit communications with Victim-1, resulting in the production of child pornography. 
i. At approximately 1:12 p.m., COLON CORREA asked Victim-1 to 
send  a  picture  showing Victim-1’s  face.    Less  than  a  minute  later, Victim-1 sent  COLON 
CORREA a selfie photograph.  The photograph shows Victim-1 wearing a black t-shirt with the 
word  and  an  image  of a   The photograph also 
depicts Victim-1’s face, including  —that 
is, the same hair and glasses that are visible in the photograph of Victim-1 described in paragraph 
9(a)(ii). 
ii. Beginning at  approximately 4:44  p.m.,  COLON  CORREA and 
Victim-1 had the following text message exchange: 
COLON CORREA (4:44 p.m.):  Have you masterbate in school[?] 
Victim-1 (4:45 p.m.):  Yes 
COLON CORREA (4:45 p.m.):  How many times 
COLON CORREA (4:45 p.m.):  And when was that last time 
Victim-1 (4:46 p.m.):  Last week 
COLON CORREA (4:46 p.m.):  What got you that horny[?] 
Victim-1 (4:51 p.m.):  Idk tbh 
COLON CORREA (4:51 p.m.):  Wyd rn 
Victim-1 (4:52 p.m.):  Class 
COLON CORREA (4:53 p.m.):  Go to the bathroom 
Victim-1 (4:55 p.m.):  Ok daddy 
COLON CORREA (4:55 p.m.):  Let daddy know when your in the bathroom 
Victim-1 (4:56 p.m.):  I am 
COLON CORREA (4:56 p.m.):  Can you get naked? 
Victim-1 (4:56 p.m.):  Kinda 

7 
 
COLON CORREA (4:56 p.m.):  Take as much stuff you can off 
Victim-1 (4:56 p.m.):  Ok daddy 
COLON CORREA (4:57 p.m.):  Good girl and I’ll go to the bathroom and show you my 
cock 
Victim-1 (4:57 p.m.):  Ok daddy 
COLON CORREA (4:57 p.m.):  Did you take it off 
Victim-1 (4:58 p.m.):  Yes 
COLON CORREA (4:58 p.m.):  Show daddy 
 
iii. Then, at approximately 5:00 p.m., Victim-1 responded by sending 
COLON  CORREA  a  photograph  of  her  torso  while  sitting  inside  what  appears  to  be  a  school 
bathroom.   Victim-1’s   and black t-shirt are visible,  including the t-shirt’s 
 and .  The black t-shirt is pulled up to reveal Victim-1’s bare 
breasts.  Also visible are Victim-1’s fingernails, which are painted with a  pattern. 
iv. At  approximately  5:01  p.m.,  COLON  CORREA  texted Victim-1, 
“Show your face like how you are now . . . Touch your pussy for daddy too . . . Then we can finish 
this when you get home.”  
v. In  response,  at  approximately 5:04  p.m., Victim-1 sent COLON 
CORREA a video that was approximately 15 seconds long.   
1. The video depicts Victim-1’s vaginal area while she used her 
fingers to masturbate.  The video shows that while masturbating, Victim-1 was sitting on a toilet.  
Also visible are Victim-1’s black t-shirt and her  painted fingernails.   
2. Records obtained in the course of this investigation indicate 
that at the time Victim-1 sent the video to COLON CORREA, the 6984 Cellphone was connected 
to particular IP Address that resolved to Manhattan, New York. 
c. COLON CORREA continued to send Victim-1 sexually explicit messages 
until  September  14,  2022,  when Victim-1’s  father,  using Victim-1’s  phone,  texted  COLON 
CORREA, “This is the first and last time I’m going to say this.  This is [Victim-1]’s father, stay 
the fuck away from my daughter you piece of shit don’t ever message her or talk to her again.”  
COLON CORREA responded, “Ok sorry.”   
Victim-2 
 
10. Based on my participation in law enforcement’s review of the 6984 Cellphone, my 
conversations with other law enforcement officers, and my review of state driver records, I have 
learned  the  following,  in  substance  and  in  part, regarding  sexually  explicit  communications 
between WINSTON COLON CORREA, the defendant, and Victim-2: 
a. Based  on my  conversations  with  other  law  enforcement  officers  and  my 
review of state driver records, including a photograph from state driver records of an individual 
who  matches  the  appearance  of  Victim-2, I have  learned  that at  the  time  of Victim-2’s 
communications with COLON CORREA described herein, Victim-2 was 15 years old.   

8 
b.On or about May 28, 2022, COLON CORREA began communicating with
Victim-2 by text message.  COLON CORREA’s messages to Victim-2 were frequently sexual in 
nature.  In the course of the communications, Victim-2 sent COLON CORREA multiple images 
of herself engaged in sexually explicit conduct: 
i.At  approximately  2:45  a.m.,  COLON  CORREA  texted Victim-2
that he could be her “master in secret,” and asked Victim-2, “What are the rules though about being 
your master?”  Victim-2 responded, “If I say no it means no and if I say mc don’t message until I 
say it’s safe and I can’t send till my mom goes to sleep.”  COLON CORREA texted back, “Copy.” 
ii.At  approximately  3:07 a.m.,  COLON  CORREA  texted Victim-2,
“When I saw you in your prom dress I had many thoughts about us[.]”  Victim-2 then asked, “Like 
what[?]”  COLON CORREA responded, “I would a took you to a empty place where your prom 
was at and bend you over . . . I would lift the dress up and move or pull your panties down.  I’ll 
eat you out once you get nice and wet I’ll slide my cock in raw . . . I’ll start to fuck your house 
gently until I go hard and fast . . . We will go for few minutes and cum in your pussy . . . After that 
we go back to the prom and dance while no one know you have a full load in you.” 
iii.Later the same day, beginning at approximately 7:02 p.m., COLON
CORREA and Victim-2 had the following text message exchange: 
COLON CORREA (7:02 p.m.):  Your home alone[?] 
Victim-2 (7:03 p.m.):  Yeah 
COLON CORREA (7:03 p.m.):  I’ll come over and give you physical therapy ;) 
Victim-2 (7:04 p.m.):  No 
COLON CORREA (7:05 p.m.):  Just cuddle then with my hand on your thigh 
Victim-2 (7:08 p.m.):  Yeah 
COLON CORREA (7:09 p.m.):  What would you do as we cuddle 
Victim-2 (7:09 p.m.):  Idk 
COLON CORREA (7:09 p.m.):  Ooh ok what’s are you watching 
iv.In  response,  at  approximately  7:10  p.m., Victim-2 sent  COLON
CORREA a 34-second video.  The video depicts Victim-2, including portions of her face, lying on 
a bed wearing a dark-colored, long-sleeve t-shirt and underwear.  Victim-2 uses her left hand to 
move her underwear to the side, exposing her vagina and vulva.  Victim-2 then begins fingering 
her genitals.  At approximately 7:28 p.m., COLON CORREA responded, “I want to finger you.” 
v.Then, at approximately 7:29 p.m., Victim-2 sent COLON CORREA
a 28-second video.  It depicts Victim-2 lying on the same bed, wearing the same t-shirt.  Victim-2 
lifts her t-shirt above her underwear, displaying her vaginal area.  She then moves her underwear 
to the side, exposing her vulva and genitals. 
vi.Records obtained in the course of this investigation indicate that at
the time Victim-2 sent the videos described in paragraphs 10(b)(iv) & (v) to COLON CORREA, 
the 6984 Cellphone was connected to particular IP Address that resolved to the Bronx, New York. 
c.On or about May 29, 2022, COLON CORREA had further sexually explicit
communications  with Victim-2, resulting  in COLON  CORREA’s receipt of multiple  images  of 
Victim-2 engaged in sexually explicit conduct: 

9 
 
i. At  approximately  2:31  a.m.,  COLON  CORREA  texted Victim-2, 
“Mom home now[?]”  Victim-2 responded that her mother was not home.   
ii. At approximately 2:36 p.m., Victim-2 sent COLON CORREA a 28-
second video.   In  the  video, Victim-2 displays  her  vagina  and  begins  to  finger  her  genitals.  
Approximately one minute later, COLON CORREA responded, “God I want to cum that pussy.”   
iii. At  approximately 2:41  p.m., Victim-2 sent COLON  CORREA 
another video, 74 seconds long.  The video shows Victim-2 insert a blue hairbrush into her vagina 
and move it back and forth in a sexual manner.  At approximately 2:43 p.m., COLON CORREA 
responded, “I want to breed that pussy of yours[.]”   
iv. Records obtained in the course of this investigation indicate that at 
the time Victim-2 sent the videos described in paragraphs 10(c)(ii) & (iii) to COLON CORREA, 
the 6984 Cellphone was connected to particular IP Address that resolved to the Bronx, New York 
Victim-3 
 
11. Based on my participation in law enforcement’s review of the 6984 Cellphone, my 
conversations  with  other  law  enforcement  officers,  and  my  review  of  local  law  enforcement 
records, I  have  learned  the  following,  in  substance  and  in  part, regarding  sexually  explicit 
communications between WINSTON COLON CORREA, the defendant, and Victim-3: 
a. Based  on my  conversations  with  other  law  enforcement  officers  and  my 
review of local law enforcement records, I know that at the time of Victim-3’s communications 
with COLON CORREA described above, Victim-3 was 12 years old. 
b. In  or  about March  2023,  COLON  CORREA  began  communicating  with 
Victim-3 by text message.
3
  COLON CORREA’s messages with Victim-3 were frequently sexual 
in nature.  The messages also reflected COLON CORREA’s awareness of Victim-3’s age.  For 
example: 
i. On  or  about  March  9,  2023,  at  approximately  2:03  a.m.,  COLON 
CORREA asked Victim-3 if she wanted to have sex with or without a condom, and if Victim-3 
was  on  birth  control.    After Victim-3 indicated  that  she  was  not  on  birth  control,  COLON 
CORREA texted, “I’ll pull out,” and “You should give me head.”  Victim-3 responded, “Yea . . . 
You should come over . . . My parents have work tomorrow and I’m suspended from school[.]” 
ii. On  or  about  March  9,  2023,  at  approximately  2:31  a.m.,  COLON 
CORREA texted Victim-3, “You should come back to the Bronx.”  When Victim-3 indicated that 
her mother would not allow her to come to the Bronx, COLON CORREA suggested, “You can 
say you visited a friend[.]”  Victim-3 responded, “Nah . . . [my mom] would have to bring me.”  
 
3
 Victim-3 used  two  separate  email  accounts  to  communicate  with  COLON  CORREA by  text 
message.  From March 9, 2023 through March 28, 2023, Victim-3 texted with COLON CORREA 
using Email Account-1.  From April 3, 2023 through June 23, 2023, Victim-3 texted with COLON 
CORREA using Email Account-2. 

10 
 
COLON CORREA then texted, in agreement, “Yea I don’t think she want to see her daughter to 
get cream[.]” 
iii. On or about March 10, 2023, Victim-3 told COLON CORREA that 
she was 13 years old.   
1. At   approximately   9:36   p.m., Victim-3 texted   COLON 
CORREA, “Im a pedophile . . . [a]ccording to my ex.”  COLON CORREA responded, “How 
so[?]”  Victim-3 stated, “Cus I’m 13 talking to guys around my age? Idfk.”  COLON CORREA 
then wrote, in apparent reference to himself, “But your dating a older guy[.]”  Victim-3 then asked, 
“Wait aren’t u like 15???”  COLON CORREA responded, falsely, that he was only 17 years old: 
“17 my dear . . . Did you forget[?] . . . We talk about this.”   
2. Based on my review of law enforcement database records, I 
know that COLON CORREA was not 17 years old at the time of his message to Victim-3; rather, 
he was 31 years old.   
c. COLON   CORREA   continued   to   engage   in   sexually   explicit   text 
communications   with Victim-3 through March   and   April   2023.    In   the   course   of   the 
communications, COLON CORREA pressured Victim-3 to send him sexually explicit images of 
herself, which Victim-3 eventually did: 
i. On or about March 21, 2023, at approximately 10:34 a.m., COLON 
CORREA asked Victim-3 what she was wearing.  When Victim-3 responded that she was wearing 
a t-shirt and sweatpants, COLON CORREA instructed her to take her sweatpants off and “Show 
daddy.”  Victim-3 responded, “No i don’t [w]anna.”  COLON CORREA texted back, “You have 
to for master . . . You have panties on[?] . . . Take them off too.”  When Victim-3 texted, “They’re 
off,” COLON CORREA responded, “Good girl . . . Can I see so I can lick you slowly[?]”  Victim-
3 said, “No[.]”  At approximately 10:51 a.m., COLON CORREA tried again:  “Show me you 
fingering your pussy[.]”  Victim-3 responded, “Noo[.]”  Approximately one minute later, COLON 
CORREA texted back, “I want to see your [p]ussy that belong to me . . . Can I see your pussy . . . 
That will get cream[?]”  Victim-3 responded, “I don’t wanna[.]” 
ii. On or about April 12, 2023, at approximately 11:26 p.m., COLON 
CORREA texted Victim-3, “Wyd,” which I understand to mean, “What are you doing?”  Less than 
a minute later, Victim-3 texted back, “Wanna see[?]”  COLON CORREA responded, “Yes[.]”  At 
approximately  11:28  p.m., Victim-3 texted  COLON  CORREA a 45-second video  depicting her 
genitals.   In  the  video, Victim-3 displays  her  vaginal  area, massages  her  vulva  and  inserts  her 
fingers into her vagina.  Approximately one minute later, COLON CORREA responded, “Damn I 
want to fuck you.” 
iii. One day later, on or about April 13, 2023, at approximately 10:08 
p.m., Victim-3 texted  COLON  CORREA  a  video again depicting  her genitals.    The  99-second 
video shows Victim-3, in the same location seen in the video described in the preceding paragraph, 
massaging her vagina with a pink vibrator.  COLON CORREA responded, “Put it inside of you . 
. . trust daddy[.]” 

11 
 
iv. COLON  CORREA  possessed  the  videos  described  in  paragraphs 
11(c)(ii) & (iii), in the Bronx when law enforcement seized the 6984 Cellphone on February 29, 
2024. 
COLON CORREA’s Sexual Relationship with Minor-2 
 
12. Based   on   my   participation   in   the   review   of   the   6984   Cellphone and   my 
conversations with other law enforcement officers, I have learned the following, in substance and 
in part, regarding the relationship between WINSTON COLON CORREA, the defendant, and a 
16-year-old minor (“Minor-2”): 
a. Based  on my conversations  with  other  law  enforcement  officers,  and  my 
review of law enforcement and school records, I have learned that Minor-2 is presently 16 years 
old,  and  that  she  was  16  years  old  at  the  time  of her communications  with  COLON  CORREA 
described herein. 
b. On or about July 27, 2023, at approximately 12:18 p.m., COLON CORREA 
began communicating with Minor-2 by text message.  COLON CORREA’s messages to Minor-2 
were frequently sexual in nature.  COLON CORREA’s text messages with Minor-2 also reflected 
his awareness that Minor-2 attended school, and that she was subject to parental restrictions.  For 
example, COLON CORREA and Minor-2 had the following exchanges: 
i. On  or  about  July  28,  2023,  in  a  discussion  with Minor-2 about 
playing the game “Pokemon,” Minor-2 joked that COLON CORREA should “go to my school.”  
COLON CORREA responded, “Idk I’m to o[l]d for your school lol[.]” 
ii. On or about February 6, 2024, at approximately 2:27 p.m., COLON 
CORREA texted Minor-2, “Wish you can come over . . . Is it wrong that I kind a want to breed 
you.”  Minor-2 responded, “Idk,” which I understand to be slang for “I don’t know.”  COLON 
CORREA texted back, “Like if I just cream you to make little wolf pups that I take care of you 
and them.”  Minor-2 responded, “I can’t get pregnant yet- my dad will kill me.” 
c. In  addition,  the  text  messages  between  COLON  CORREA  and Minor-2 
reflect that COLON CORREA met with Minor-2 in person to engage in sexual activity with her 
and produce child pornography.  For example: 
i. On  or  about  July  28,  2023, at  approximately  1:06  p.m.,  COLON 
CORREA wrote, “Beside me did you miss anything else[?]”  He then texted, “I think I know what 
you miss . . . You miss master cock going in your holes.”  Minor-2 responded, “Maybe.” 
ii. On  or  about  September  3,  2023,  at  approximately  1:30  a.m., 
COLON CORREA texted Minor-2, “If you want me to compare which tittys are the best I need to 
see yours[.]”  Minor-2 responded, “U already seen them.”  COLON CORREA texted back, “It 
doesn’t hurt to see them again.”  At approximately 1:38 a.m., COLON CORREA texted, “Don’t 
worry I’m going to take more photos of us . . . Like this[.]”  COLON CORREA then sent a 
photograph  depicting  COLON  CORREA  and Minor-2 together, posing  for  the  camera  in  an 
embrace. 

12 
 
iii. On  or  about  September  16,  2023,  at  approximately 3:48  p.m., 
COLON  CORREA  texted Minor-2,  “Same  spot?”    At  approximately 4:05  p.m.,  COLON 
CORREA texted, “I’m at the school.”  Minor-2 responded, “O ok, I wish I can come badly.”  
COLON CORREA texted back, “If you can let me know we can go to our spot hug make out and 
stuff.”  At approximately 4:11 p.m., COLON CORREA texted, “What are you doing . . . Th[e] 
bathroom are open at ne[x]t to the field.”  Minor-2 responded, “Lol, I’m talking with my dad.”  
COLON  CORREA  texted  back,  “Trying  to  convince  him  to  let  you  out  for  a  bit.”    At 
approximately 4:29 p.m., COLON CORREA texted, “Any luck[?]”  Minor-2 responded, “No.”  At 
approximately 5:27 p.m., COLON CORREA texted, “Ugh wish I can see you for a bit before I go 
home . . . Quickie?”  Minor-2 responded, “He said I can’t leave the house.”  COLON CORREA 
texted back, “Well shit . . . I guess next time[.]” 
iv. On or about November 3, 2023, at approximately 12:50 a.m., Minor-
2 texted COLON CORREA, “My friend doesn’t believe me that I gave head to someone.”  
COLON CORREA responded, “I mean you gave head to me a few times.”  Minor-2 texted back, 
“True.”  At approximately 12:52 a.m., Minor-2 asked COLON CORREA, “Can you send me the 
video of me giving u head[?]”  Minor-2 requested the video because she wanted to show it to her 
friend who did not believe that she had “g[iven] head to someone.”  COLON CORREA responded, 
“Ok give me a minute[.]”  Subsequent text communications reflect that COLON CORREA sent a 
video to Minor-2.  Just minutes later, at approximately 1:02 a.m., Minor-2 texted, “She scream and 
now believes me.”
4
  
v. On  or  about  November  3,  2023,  at  approximately  1:03  a.m., 
COLON CORREA referenced another video depicting a sex act between COLON CORREA and 
Minor-2:  “I use to have a video of us doing it but I lost it[.]” 
vi. On or about October 2, 2023, at approximately 6:20 p.m., COLON 
CORREA texted Minor-2, “I kept watching that video we made[.]”  Minor-2 responded, “Shhh.”  
COLON CORREA texted back, “I would love to make another one[.]” 
d. COLON CORREA’s text messages to Minor-2 show  that  he  persistently 
sought  to  meet  with Minor-2 to  engage  in  sexual  activity  with  her,  including  as  recently  as 
February 2024.   
i. In the two weeks prior to law enforcement’s seizure of the 6984 
Cellphone,  COLON  CORREA  sent nearly  two  dozen text  messages  to Minor-2 attempting to 
arrange a meeting with her to engage in sexual activity.   
ii. Those  messages  include  the  following  exchange from  on  or  about 
February 28, 2024—that is, one day before law enforcement seized the 6984 Cellphone: 
COLON CORREA (10:34 a.m.):  Next week thrusday don’t make plans please 
Minor-2 (10:35 a.m.):  It depends on the weather dear 
COLON CORREA (10:37 a.m.):  Light rain 
 
4
 Based on my review of the 6984 Cellphone, I have learned that the video of Minor-2 performing 
oral sex on COLON CORREA was not saved on or sent using the 6984 Cellphone, suggesting that 
COLON CORREA used other devices or electronic platforms to save and transmit the video to 
Minor-2. 

13 
 
COLON CORREA (10:37 a.m.):  I think 
Minor-2 (10:38 a.m.):  Ok 
COLON CORREA (10:39 a.m.):  And we would be outside or inside? 
Minor-2 (10:40 a.m.):  If my dad isn’t home, inside if he is at home than school 
COLON CORREA (10:41 a.m.):  I hope your dad not home cause we can make out 
COLON CORREA (1:14 p.m.):  Question? 
Minor-2 (6:49 p.m.):  Ask 
COLON CORREA (6:49 p.m.):  How do you feel about anal? 
Minor-2 (6:49 p.m.):  Idk 
Minor-2 (6:50 p.m.):  Pain? 
COLON CORREA (6:50 p.m.):  Probably for the first time maybe now after 
Minor-2 (6:53 p.m.):  Ok 
COLON CORREA (6:54 p.m.):  We can try to see how much you will take 
COLON CORREA (6:54 p.m.):  Also if you [d]ad not home do I meet at the house? 
COLON CORREA (6:56 p.m.):  When we meet I want three things from you 
 
13. Based on my participation in this investigation, I have also learned the following 
about COLON CORREA’s knowledge of Minor-2’s age: 
a. During the execution of the Phone Warrant on or about February 29, 2024, 
I asked WINSTON COLON CORREA, the defendant, in substance and in part, if he engaged in 
sexual communications with girls using his phone.  COLON CORREA said, in substance and in 
part,  that  he  had  communicated  with  some  girls,  but  that  if  he  came  to  learn  that any  girl  was 
underage, he stopped speaking to them.  COLON CORREA stated, in substance and in part, that 
he had stopped speaking with a particular girl, who COLON CORREA identified by a first name 
(“Name-1”), upon learning that she was a minor.   
b. Based on my review of the 6984 Cellphone, I know that COLON CORREA 
saved Minor-2’s phone number under Name-1, indicating that COLON CORREA’s reference to 
Name-1 was a reference to Minor-2. 
c. Based  on my  review  of  the  6984 Cellphone,  I  further know that  COLON 
CORREA’s statement to me, that he stopped speaking to Name-1 upon learning she was a minor, 
was untrue.  Rather, in the days leading up to the seizure of the 6984 Cellphone, COLON CORREA 
was making plans to meet with Name-1 (that is, Minor-2) to engage in sexual activity with her.  
See supra ¶¶ 12(d)(i)-(ii). 

14 
14.WHEREFORE,  I  respectfully  request  that  a  warrant  be issued  for  the  arrest  of
WINSTON COLON CORREA, the defendant, and that he be arrested, and imprisoned or bailed, 
as the case may be. 
______________________________ 
ALEXANDRA CHACON 
Special Agent 
Federal Bureau of Investigation 
Sworn to me through the transmission of  
this Complaint by reliable electronic  
means (telephone), this 13th day of April, 2024. 
___________________________________ 
THE HONORABLE SARAH NETBURN 
Chief United States Magistrate Judge 
Southern District of New York