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Case 2:21-cr-00443-PA Document 1 Filed 09/21/21 Page 1 of 4 Page ID #:1

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9/21/2021
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JB
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8 UNITED STATES DISTRICT COURT

9 FOR THE CENTRAL DISTRICT OF CALIFORNIA

10 June 2021 Grand Jury

11 UNITED STATES OF AMERICA, CR 2:21-cr-00443 -PA


12 Plaintiff, I N D I C T M E N T

13 v. [18 U.S.C. § 922(g)(1): Felon in


Possession of a Firearm and
14 TIMOTHY CORNELL PATTERSON, Ammunition; 18 U.S.C. § 924(d),
and 28 U.S.C. § 2461(c): Criminal
15 Defendant. Forfeiture]
16

17 The Grand Jury charges:


18 [18 U.S.C. § 922(g)(1)]
19 On or about January 29, 2021, in Los Angeles County, within the
20 Central District of California, defendant TIMOTHY CORNELL PATTERSON
21 knowingly possessed a firearm, namely, a Glock Model 26 Gen 4, 9mm
22 caliber pistol, bearing serial number UFN731, and ammunition, namely,
23 approximately 16 rounds of Speer 9mm Luger caliber ammunition, in and
24 affecting interstate and foreign commerce.
25 Defendant PATTERSON possessed such firearm and ammunition
26 knowing that he had previously been convicted of at least one of the
27 following felony crimes, each punishable by a term of imprisonment
28 exceeding one year:
Case 2:21-cr-00443-PA Document 1 Filed 09/21/21 Page 2 of 4 Page ID #:2

1 1. Possession of Firearm by Convicted Felon, in violation of

2 California Penal Code Section 29800(a)(1), in the Superior Court of

3 the State of California, County of Sacramento, case number 14F01995,

4 on or about November 24, 2014;

5 2. Carrying a Loaded Firearm, in violation of California Penal

6 Code Section 12031(a), in the Superior Court of the State of

7 California, County of Sacramento, case number 08F09028, on or about

8 January 28, 2009;

9 3. Sale of Marijuana, in violation of California Health and

10 Safety Code Section 11360(a), in the Superior Court of the State of

11 California, County of Sacramento, case number 05F10640, on or about

12 February 3, 2006; and

13 4. Possession of Marijuana for Sale, in violation of

14 California Health and Safety Code Section 11359, in the Superior

15 Court of the State of California, County of Sacramento, case number

16 05F10640, on or about February 3, 2006.

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Case 2:21-cr-00443-PA Document 1 Filed 09/21/21 Page 3 of 4 Page ID #:3

1 FORFEITURE ALLEGATION

2 [18 U.S.C. § 924(d)(1) and 28 U.S.C. § 2461(c)]

3 1. Pursuant to Rule 32.2 of the Federal Rules of Criminal

4 Procedure, notice is hereby given that the United States of America

5 will seek forfeiture as part of any sentence, pursuant to Title 18,

6 United States Code, Section 924(d)(1), and Title 28, United States

7 Code, Section 2461(c), in the event of the defendant’s conviction of

8 the offense set forth in this Indictment.

9 2. If so convicted, defendant shall forfeit to the United

10 States of America the following:

11 (a) All right, title, and interest in any firearm or

12 ammunition involved in or used in such offense, including but not

13 limited to the following:

14 i. One Glock Model 26 Gen 4, 9mm caliber pistol

15 bearing serial number UFN731; and

16 ii. approximately 16 rounds of Speer 9mm Luger

17 caliber ammunition; and

18 (b) To the extent such property is not available for


19 forfeiture, a sum of money equal to the total value of the property

20 described in subparagraph (a).

21 3. Pursuant to Title 21, United States Code, Section 853(p),

22 as incorporated by Title 28, United States Code, Section 2461(c),

23 defendant PATTERSON, if so convicted, shall forfeit substitute

24 property, up to the value of the property described in the preceding

25 paragraph if, as the result of any act or omission of defendant

26 PATTERSON, the property described in the preceding paragraph or any

27 portion thereof (a) cannot be located upon the exercise of due

28 diligence; (b) has been transferred, sold to, or deposited with a

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Case 2:21-cr-00443-PA Document 1 Filed 09/21/21 Page 4 of 4 Page ID #:4

1 third party; (c) has been placed beyond the jurisdiction of the

2 court; (d) has been substantially diminished in value; or (e) has

3 been commingled with other property that cannot be divided without

4 difficulty.

5 A TRUE BILL
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/S/
Foreperson
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9 TRACY L. WILKISON
Acting United States Attorney
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SCOTT M. GARRINGER
13 Assistant United States Attorney
Chief, Criminal Division
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CHRISTINA T. SHAY
15 Assistant United States Attorney
Deputy Chief, Criminal Division
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SHAWN J. NELSON
17 Assistant United States Attorney
Chief, International
18 Narcotics, Money Laundering &
Racketeering Section
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CHRISTOPHER C. KENDALL
20 Assistant United States Attorney
Deputy Chief, International
21 Narcotics, Money Laundering &
Racketeering Section
22
SCOTT D. DUBOIS
23 Assistant United States Attorney
International Narcotics,
24 Money Laundering &
Racketeering Section
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