"The rules of the team will be re-sent every day
Whoever doesn't send 5 flies and doesn't come back
We don't make trades, we send everything here
Inviting a lot of people
We don't send links"
"Motzach opens the media group and the secret group I've been working on for a long time!"
"Just saying friends to everyone! Whoever sends things that they have already sent is flying from here to send only new things!!"
"Guys, the team is purely Israeli, whoever sends non-Israeli women is a banner instead."
During the relevant period, Defendant 1 created additional closed Telegram groups aimed at distributing sexual content.
The Ottoman Settlement [Old Version] 1916On December 8, 2022, he created a Telegram group called "Exclusivity + Videos + Hidden Photos" (hereinafter: the exclusivity groups).
12-34-56-78 Chekhov v. State of Israel, P.D. 51 (2)
On December 17, 2022, he created another Telegram group called "Our Crazy Group" (hereinafter: the Crazy Group).
On May 14, 2023, after Defendant 1 closed the "Exclusivity Group" and the "Crazy Group", Defendant 1 created a third Telegram group called "We Are Back and Big" (hereinafter: the "Back and Big" group) (the name of the three groups was called: the closed groups).
Defendant 1 defined the closed groups as groups that were blocked from joining new users, and charged entrance fees ranging from ILS 30 to ILS 310 per user for joining the groups and viewing the sexual content appearing in them.
Defendant 1 frequently asked the users of these groups to transfer additional sums of money to him in order for him to purchase new exclusive content for the groups. Sometimes, defendant 1 offered users to purchase different types of subscriptions that allow them access to groups and grant them immunity from removal even without distributing new content on their part, as required in some of the groups he created by selling access to groups closed to hundreds of users on Telegram.
As of December 8, 2022, Defendant 1 reduced the publication of sexual content in the open group and at the same time, began marketing the closed groups as exclusive groups containing sexual content that was not distributed to the public. For example, on December 24, 2022, Defendant 1 in the open group published: