STATE OF FLORIDA
COUNTY OF MIAMI-DADE

VICTIM AFFIDAVIT OF SASCHA BARROS


I, SASCHA BARROS, also known as Manuel Sascha Barrows and formerly known as Manuel Sascha Riley, being of legal age, residing at ____redacted, 400_____, and being first duly sworn according to law, depose and state under penalty of perjury pursuant to Section 92.525, Florida Statutes, that the following statements are true and correct based on my personal knowledge:

1. I was born on June 23, 1973, under the name Manuel Sascha Barrows. At approximately four years of age, I was adopted by William Kyle Riley and Irene Ursela Riley (née Liskey). I enlisted in the United States Army at the age of 18 in 1991 and served until 1998. I rejoined in 2002 and served until 2016, serving under the name William Sascha Riley and finishing my career at the rank of Sergeant First Class (SFC), E07. My final assignment was with Alpha Battery, 1st Battalion, 30th Field Artillery Battalion at Fort Sill, Oklahoma. I was previously stationed at Fort Carson, Colorado, from 2007 to 2011. In total, I have served at least 20 years and am eligible for retirement.

2. I allege that my adoptive father, William Kyle Riley, utilized international adoption processes as a facade for child trafficking activities abroad. Following my adoption, I was subjected to sexual abuse by William Kyle Riley, commencing when I was approximately six years old. This abuse encompassed grooming and sexual exploitation. Furthermore, I was photographed and filmed for the purpose of producing and distributing child exploitation material across various states in the United States, including Texas, Tennessee, Alabama, and Florida.

3. During my childhood, I was coerced into participating in the production of approximately 10 to 12 child exploitation films. These included a snuff film in which a prepubescent girl, named Patricia, was murdered on camera. The perpetrators informed me that I would not be killed because "boys are hard to find," indicating that male victims were deemed more challenging to procure for such exploitation.

4. I describe my experiences of sexual assault during childhood as involving mental dissociation, wherein I would ‘go off into another place.’ I claim to have witnessed multiple acts of violence during this period, including the beating to death of an adult male and the murders of prepubescent girls trafficked within the exploitation network. Their names are Samantha, Patricia and Sarah who were mostly runaways, or kidnapped.

5. I was frequently administered illegal drugs, such as heroin and cocaine concoctions, to the extent that I was drugged out of my mind. These substances have affected my ability to recall events with complete clarity, resulting in vivid memories of certain incidents while others remain fragmented or inaccessible.

6. At the age of ten, I was transported to a rural Texas farm ranch where multi-day event gatherings occurred. Temporary tents were erected for private activities. The initial days appeared legitimate, but by the third day, illegal activities emerged, including forced homosexual acts in orgy settings with the presence of chemical substances. These events also involved bare-knuckle fighting for illegal gambling purposes. The events were timed to coincide with political after-parties, federal holidays, or extended weekends, such as during government shutdowns.

7. Various public figures and political personalities were present at times during these events at the Texas farm ranch. Individuals that I recall in attendance were: Andy Biggs, Jim Jordan, Donald Trump, Clarence Thomas, and Lindsey Graham. These individuals were in my presence at different times and had not necessarily participated in the illegal activities that occurred by the third day of an event. Private tent structures facilitated multi-day gatherings where sexual encounters, including homosexual activity, were common among some participants.

8. Not all attendees publicly acknowledged their sexual orientation.

9. During a 1983 event at the ranch, I was placed inside a tent with Donald Trump, who orchestrated a sexual encounter. I was provided with a condom, which, at ten years old, I found abhorrent. Trump was positioned on his stomach on a makeshift massage table. I slipped the condom onto a nearby wooden tent stake, climbed onto the table, positioned the stake between Trump's glutes, and kicked it into his anus. The resulting injury required that Trump be airlifted by helicopter to an undisclosed medical facility for treatment.

10. William Kyle Riley was a pilot who transported some attendees, by helicopter, to the Texas farm ranch. I allege that Riley arranged my travels to the ranch since I was ten years of age. I was sexually assaulted and exploited by individuals of various political offices at every event held. After my altercation with Donald Trump, I was administered mixtures of heroin and cocaine to render me compliant. Traces of heroin were later detected in my system when I was interned at a behavioral health facility in Coffee County, Alabama, following an intervention by Child Protective Services that related to an incident report.

11. William Riley conducted secondary helicopter flights for clients associated with Jeffrey Epstein and adoption activities. These flights were distinct from Epstein's fixed-wing aircraft, known as the "Lolita Express," and I acknowledge that Epstein may not have been present on Riley's flights.

12. As I and other adopted children aged, we were viewed not as assets but as liabilities by those controlling us. Some children were removed in a Chevrolet van and never seen again.

13. I allege that my adoptive father, William Kyle Riley, attempted to stage fatal "accidents" against me in every state that we moved to. Riley relocated myself and his wife to another state, every time Child Protection Services were called to investigate an incident. In one incident reported to CPS, Riley threw me into the deep end of a swimming pool in an effort to cause drowning. In another incident, Riley pushed me down a flight of stairs, resulting in a head injury.

14. My second adoptive mother, Mary Lynn Riley, died on July 28, 2018, in Johnson City, Texas, at the age of 75. I believe her death was a suicide, involving the consumption of Jack Daniels whiskey combined with unidentified pills.

15. I was in garrison at Fort Carson, between deployments in 2008 or 9, when I was summoned by Captain Colasanto for an inquiry regarding paedophila discovered in possession of NCO Staff Sergeant Habel. I was in the company of First Sergeant Michael Balis at the time of the inquiry. The inquiry led to my disclosure of abuse allegations in my childhood.

16. I requested that the Federal Bureau of Investigation examine my abuse allegations against William Kyle Riley, but was informed that there was insufficient basis to initiate a case.

I have reported or attempted to report these incidents to relevant authorities, including law enforcement and Child Protective Services, as detailed herein. I fear for my safety due to the nature of these events and the potential for retaliation. This affidavit is submitted in support of any applicable legal proceedings, including but not limited to claims for victim compensation, injunctions for protection, or civil actions under Florida law.

I understand that the statements made herein are subject to penalties for perjury under Florida Statutes.



Dated: redacted, 100

__redacted, 200_____
SASCHA BARROS

Sworn to and subscribed before me this redacted, 20 day of redacted, 100, by SASCHA BARROS, who is personally known to me or who has produced redacted, 100 as identification.



redacted ____redacted, 300_____
Notary Public, State of Florida
Name: redacted, 200
Commission Expires: redacted, 100