Https Ecf.nywd.Uscourts.gov Cgi-bin Show Temp.pl File=2092070-0--27817
Transcript of Https Ecf.nywd.Uscourts.gov Cgi-bin Show Temp.pl File=2092070-0--27817
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IN THE DISTRICT COURT OF THE UNITED STATES
For the Western District of New York_______________________________
October 2011 Grand Jury(Impaneled October 20, 2011)
THE UNITED STATES OF AMERICA INDICTMENT
-vs- Violations:21 U.S.C. 841(a)(1) and 846;
KEITH RUTHER a/k/a Kiki 18 U.S.C. 924(c)(1)and 2
(Counts 1, 2), (5 Counts)
EARNEST BAKER a/k/a Slay a/k/a Q
(Counts 1, 2),
ERIC BRADLEY a/k/a Little E
(Counts 1, 2),
LEANDRO JONES a/k/a Gutta
(Counts 1, 2),
MATTHEW LATSON a/k/a Ponytail
(Counts 1, 2),PRINTICE LATSON a/k/a Cuda
(Counts 1, 2),
CEDRIC LEWIS a/k/a Nephew
(Counts 1-5),
JAMAR NELSON a/k/a Son Son
(Count 1), and
ROBERT BAXTER a/k/a Low
(Count 1)
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COUNT 1
(Narcotics Conspiracy)
The Grand Jury Charges That:
Beginning in or about January 2008, the exact date being
unknown to the Grand Jury, and continuing thereafter up to the date
of the return of this Indictment, in the Western District of New
York, and elsewhere, the defendants, KEITH RUTHER a/k/a Kiki,
EARNEST BAKER a/k/a Slay a/k/a Q, ERIC BRADLEY a/k/a Little E,
LEANDRO JONES a/k/a Gutta, MATTHEW LATSON a/k/a Ponytail, PRINTICE
LATSON a/k/a Cuda, CEDRIC LEWIS a/k/a Nephew, JAMAR NELSON a/k/a
Son Son, and ROBERT BAXTER a/k/a Low, did knowingly, willfully and
unlawfully combine, conspire and agree together and with others,
known and unknown, to commit the following offenses, that is, to
possess with the intent to distribute, and to distribute, 280 grams
or more of a mixture and substance containing a detectable amount
of cocaine base, and 5 kilograms or more of a mixture and substance
containing a detectable amount of cocaine, both Schedule II
controlled substances, in violation of Title 21, United States
Code, Sections 841(a)(1) and 841(b)(1)(A).
All in violation of Title 21, United States Code, Section 846.
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COUNT 2
(Possession of Firearms in Furtherance of Narcotics Conspiracy)
The Grand Jury Further Charges That:
Beginning in or about January 2008, the exact date being
unknown to the Grand Jury, and continuing thereafter up to the date
of the return of this Indictment, in the Western District of New
York, and elsewhere, the defendants, KEITH RUTHER a/k/a Kiki,
EARNEST BAKER a/k/a Slay a/k/a Q, LEANDRO JONES a/k/a Gutta,
MATTHEW LATSON a/k/a Ponytail, PRINTICE LATSON a/k/a Cuda, and
CEDRIC LEWIS a/k/a Nephew, in furtherance of a drug trafficking
crime for which they may be prosecuted in a court of the United
States, that is, a violation of Title 21, United States Code,
Section 846 as set forth in Count 1 of this Indictment, the
allegations of which are incorporated herein by reference, did
knowingly and unlawfully possess firearms.
All in violation of Title 18, United States Code, Sections
924(c)(1) and 2.
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COUNT 3
(Distribution of a Controlled Substance)
The Grand Jury Further Charges That:
On or about November 28, 2011, in the Western District of New
York, the defendant, CEDRIC LEWIS a/k/a Nephew, did knowingly,
intentionally and unlawfully possess with the intent to distribute,
and distribute, a mixture and substance containing a detectable
amount of cocaine base, a Schedule II controlled substance.
All in violation of Title 21, United States Code, Sections
841(a)(1) and 841(b)(1)(C).
COUNT 4
(Possession with Intent to Distribute a Controlled Substance)
The Grand Jury Further Charges That:
On or about November 30, 2011, in the Western District of New
York, the defendant, CEDRIC LEWIS a/k/a Nephew, did knowingly,
intentionally and unlawfully possess with the intent to distribute
a mixture and substance containing a detectable amount of cocaine
base, a Schedule II controlled substance.
All in violation of Title 21, United States Code, Sections
841(a)(1) and 841(b)(1)(C).
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COUNT 5
(Possession of Firearms in Furtherance of Narcotics Trafficking)
The Grand Jury Further Charges That:
On or about November 30, 2011, in the Western District of New
York, the defendant, CEDRIC LEWIS a/k/a Nephew, in furtherance of
a drug trafficking crime for which he may be prosecuted in a court
of the United States, that is, a violation of Title 21, United
States Code, Section 841(a)(1), as set forth in Count 4 of this
Indictment, the allegations of which are incorporated herein by
reference, did knowingly and unlawfully possess firearms.
All in violation of Title 18, United States Code, Section
924(c)(1).
DATED: Rochester, New York, January 19, 2012.
WILLIAM J. HOCHUL, JR.United States Attorney
BY: s/Douglas E. GregoryDOUGLAS E. GREGORY
Assistant U.S. Attorney
United States Attorney's Office
Western District of New York
500 Federal Building
100 State Street
Rochester, New York 14614
585/263-6760, ext. 2238
A TRUE BILL:
s/ForepersonFOREPERSON
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