Reader Ad Slot
Reader Ad Slot placeholder
If you would like to support SpookStack without paying out of pocket, please consider allowing advertising cookies. It helps cover hosting costs and keeps the archive free to browse. You can change this choice at any time.
SNIPEMUR — Part 1
Page 180
180 / 214
to further an unlawful activity, to wit, extortion in violation of 18 U.S.C. § 1951, and thereafter
committed crimes of violence to further the unlawful activity, in violation of 18 U.S.C. §§ 1952 and
2.
5) On or about October 3, 2002, in the District of Maryland and elsewhere, the defendant,
JOHN ALLEN MUHAMMAD, a/k/a JOHN WILLIAMS, a/k/a WAYNE WEEKS, a/k/a WAYNE
WEEKLEY, did knowingly travel in interstate commerce from the State and District of. Maryland to
the District of Columbia, with intent to commit crimes of violence, to wit, murders, to further an
unlawful activity, to wit, extortion in violation of 18 U.S.C. § 1951, and thereafter committed crimes
of violence to further the unlawful activity, in violation of 18 U.S.C. §§ 1952 and 2.
6) On or about October 7, 2002, in the District of Maryland and elsewhere, the defendant,
JOHN ALLEN MUHAMMAD, a/k/a JOHN WILLIAMS, a/k/a WAYNE WEEKS, a/k/a WAYNE
WEEKLEY, did knowingly travel in interstate commerce from the Commonwealth of Virginia to the
State and District of Maryland, with intent to commit crimes of violence, to wit, murders, to further
an unlawful activity, to wit, extortion in violation of 18 U.S.C. § 1951, and thereafter committed
crimes of violence to further the unlawful activity, in violation of 18 U.S.C. §§ 1952 and 2.
7) On or about October 9, 2002, in the District of Maryland and elsewhere, the defendant,
JOHN ALLEN MUHAMMAD, a/k/a JOHN WILLIAMS, a/k/a WAYNE WEEKS, a/k/a WAYNE
WEERLEY, did knowingly travel in interstate commerce from the State and District of Maryland to
the Commonwealth of Virginia, with intent to commit crimes of violence, to wit, murders, to further
an unlawful activity, to wit, extortion in violation of 18 U.S.C. § 1951, and thereafter committed
crimes of violence to further the unlawful activity, in violation of 18 U.S.C. §§ 1952 and 2.
8) On or about October 22, 2002, in the District of Maryland and elsewhere, the defendant,
JOHN ALLEN MUHAMMAD, a/k/a JOHN WILLIAMS, a/k/a WAYNE WEEKS, a/k/a WAYNE
WEEKLEY, did knowingly travel in interstate commerce from the Commonwealth of Virginia to the
State and District of Maryland, with intent to commit crimes of violence, to wit, murders, to further
an unlawful activity, to wit, extortion in violation of 18 U.S.C. § 1951, and thereafter committed
crimes of violence to further the unlawful activity, in violation of 18 U.S.C. §§ 1952 and 2.
9) On or about October 2, 2002, at approximately 5:20 p.m., in the District of Maryland, the
defendant, JOHN ALLEN MUHAMMAD, a/k/a JOHN WILLIAMS, a/k/a WAYNE WEEKS, a/k/a
WAYNE WEEKLEY, did knowingly use and discharge a firearm during and in relation to a crime
of violence for which he may be prosecuted in a court of the United States, to wit, the violations of
18 U.S.C. §§ 371, 1951 and 1952 described in paragraphs 1, 2, 3 and 4 above, in violation of 18
US.C. §§ 924(c) and 2.
10) On or about October 2, 2002, at approximately 6:04 p.m., in the District of Maryland,
the defendant, JOHN ALLEN MUHAMMAD, a/k/a JOHN WILLIAMS, a/k/a WAYNE WEEKS,
a/k/a WAYNE WEEKLEY, did knowingly use and discharge a firearm during and in relation to a
Page 2 of 5
@ A
Reveal the original PDF page, then click a word to highlight the OCR text.
Community corrections
No user corrections yet.
Comments
No comments on this document yet.
Bottom Reader Ad Slot
Bottom Reader Ad Slot placeholder
If you would like to support SpookStack without paying out of pocket, please consider allowing advertising cookies. It helps cover hosting costs and keeps the archive free to browse. You can change this choice at any time.
Continue Exploring
Agency Collection
Explore This Archive Cluster
letter
bureau
Related subtopics
Subtopic
Subtopic
Subtopic
Subtopic
Subtopic
Subtopic