Documente Academic
Documente Profesional
Documente Cultură
OF THE
DISTRICT OF COLUMBIA
QUruAN THOMAS
Also Known As Lil Quan
PDID:725-669 Violations: ' ,.
V.
DARRISE JEFFERS
Also Known As Neff
Also Known As Shape-up
PDID: 637-417
QUANISHA RAMSLIER
PDID:713-538
ISAIAH MURCHISON
AIso Known AsZay
Also Known AsZa
Also Known As Cutta
PDID: 722-164
DCTN: Ul9014828
ANTONIO MURCHISON
Also Known As Earlz
Also Known As Tonyearlz
PDID: 632-989
DCTN: U19014829
FIRST COLINT: ,
The Consoiracv
Between on or about May 7,2017 and on or about May 22,2019, within the District of
Columbia and elsewhere, Saquan Williams, also known as "Head," also known as
"Headmoney," Quincy Garvin, also known as "CDuece," Quentin Michals, also known &s "e,,,
also known as "Q-ball," Qujuan Thomas, also known as "Lil euan," Gregory Taylor, also known
as "Gizzle," also k owr, as "Gillette," Mark Price, also known as "Little Maxk,,, also known as
"Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello," Darrise Jeffers,
also known as 'Nefl" also known as "Shape-up," Isaiah Murchison, also known as,,Zay,,, also
who are members of a criminal organization referred to by many names, to include "DF" and
"Glizzy Gang," ("GG") but which will be referred to for putposes of this indictment as
"Wellington Park," did knowingly and willfully combine, conspire, confederate, and agree
together to assault and kill anyone whose interests were contrary to those of the defendants and
their associates, to include members and associates of rival crews and groups, in violation of 22
D.C. Code Sections 401, 402, 404, 2101, 2103 and 4502.
Objects
The principal goals and purposes of this conspiracy were for the co-conspirators,
including defendants Saquan Williams, also known as "Head," also known as "Headmoney,"
Quincy Garvin, also known as "CDuece," Quentin Michals, also known oS "Q," also known as
"Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor, also known as "Gizzle,"
also known as "Gillette," Mark Price, also known as "Little Mark," also known as "Machiano,"
Marquell Cobbs, also known as "Stello," also known as "Quello," Darrise Jeffers, also known as
"Neff" also known as "Shape-up," Isaiah Murchison, also known as "Zay," also known as "Za,"
also known as "Cutt4" Antonio Murchison, also known as "Earlz," also known as "T9nyeatlz,"
and other persons whose identities are known and unknown to the Grand Jury, to: (1) assault and
kill anyone whose interests were contrary to those of Wellington Park members and their
associates, particularly members and associates of rival crews and groups to include the "Glizzy
Murder Gang" and Clay Terrace (2) safeguard and protect their members and their turf and base
of operations, which were centered in the area of the 2500 block of Pomeroy Rd., S.E.,
Washington, D.C. and the 2500 block of Elvans Rd., S.E., Washington, D.C., within which area
the crew engaged in illegal activities including the distribution of narcotics; and (3) hinder and
prevent efforts by law enforcement to investigate, arrest and prosecute, for their illegal activities,
The ways, manner, dnd means by which members of Wellington Park, to include
defendants Saquan Williams, also known as "Head," also known as "Headmoney," Quincy
Garvin, also known as "CDuece," Quentin Michals, also known as "Q," also known as "Q-ball,"
Qujuan Thomas, also known as "Lil Quan," Gregory Taylor, also known as "Gizzle," also
known as "Gillette," Mark Price, also known as "Little Mark," also known as "Machiano,"
Marquell Cobbs, also known as "Stello," also known as "Quello," Darrise Jefflers, also known as
'Neff," also known aS "Shape-up," ISaiah MUrChiSon, also known as"Zay," alSO known as"Za,"
also known as "Cutta," Antonio Murchison, also known as "Eatlz," also knorryn as "Tonyearlz,"
and other persons whose identities are known and unknown to the Grand Jury, acted in order to
assault and kill individuals with contrary interests, to safeguard and protect their turf and base of
operations, and to prevent apprehension and prosecution by law enforcement include but are not
limited to:
1. Members and associates of Wellington Park promoted and enhanced their status
2. Members and associates of Wellington Park often possessed and carried firearms
and also shared in the possession of firearms in part so that they were always ready to launch an
3. Members and associates of Wellington Park sought to discourage rivals and those
with contrary interests, from retaliating against them by promoting the violent nature of the
efforts to evade detection by law enforcement, for example, by attempting to remove various
incriminating postings from social media, by waming one another of the presence of law
enforcement, and by attempting to hide firearms and other illegal contraband, in an effort to
evade detection b,y law enforcement and to obstruct the due administration ofjustice.
Overt Acts
In furtherance of the conspiracy, and in order to affect the objects thereof, members and
associates of Wellington Park, to include defendants Saquan Williams, also known as "Head,"
also known as "Headmoney," Quincy Garvin, also known as "CDuece," Quentin Michals, also
known &s "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as "Gizzlq" also known as "Gillette," Mark Price, also known as "Little
Mark," also known as "Machiano," Marquell Cobbs, also known as "Stello," also known as
"Quello," Darrise Jefflers, also known as 'Neff" also known as "Shape-up," Isaiah Murchison,
also known as 'oZay," also known as "2a," also known as "Cutta," Antonio Murchison, also
known as "Eatlz," also known as "Tonyear lz," andother persons whose identities are known and
unknown to the Grand Jury, alone and in various combinations, in the District of Columbia and
elsewhere, directly and indfuectly, committed overt acts including, but not limited to, the
following:
3. On July 28, 2017, Saquan Williams posted a photograph of himself on his lnstagram
of himself holding four firearms with the caption "GG Suckas All Glocks."
Cobbs, Quentin Michals, and others whose identities are both known and unknown to the Grand
Jury, on his Instagram account wearing matching t-shirts stating "Don't Tell on Me."
12. On September 10,2017 , Saquan Williams and Quincy Garvin entered a vehicle with
13. On September 70,2017, a fourth individual, whose identity is unknown to the Grand
Jury,'drove Saquan Williams, Quincy Garvin, and the third individual, whose identity is
unknown to the Grand Jury, to the area ofthe 1200 block of I Street SE in Washington, DC.
14. On September 10,2017, that fourth individual drove around the block multiple times.
15. On September 10,2017, the fourth individual stopped the car to let Saquan Williams,
16. On September 10,2017, Quincy Garvin exited the car armed with a firearm.
17 . On September 10,2017, Saquan Williams exited the car armed with a firearm.
1g. On September 10, 2Ol7,the third individual, whose identity is rinknown to the Grand
19. On September 10,2077, Quincy Garvin, Saquan Williams, and the third individual,
whose identity is unknown to the Grand Jury, ran from the car to a gate separating the courtyard
22. Onseptember 10,2017,the third individual, whose identity is unknown to the Grand
23. Onseptember 10,2017; Saquan Williams, Quincy Garvin, and the third individual,
whose identity is unknown to the Grand Jgry, all ran back to the car, which was waiting in the
24. On September 10,2017, the fourth individual, whose identity is unknown to the
Grand Jury, drove Saquan Williams, Quincy Garvin, and the third individual, whose identity is
25. Onseptember 13,2017, Saquan Wiltiams and another individual whose identity is
known to the Grand Jury exchanged text messages about the price of a firearm.
account of himself, Isaiah Murchison, and another individual whose identity is known to the
Grand Jury with the caption "All Of My Niccas Bout Gun Play Don't Come On My Block This
A I Way."
Ghzzy's."
Wellington Park indicating that they all needed to put in money to purchase guns.
30. In response to Quentin Michals' message, on September 18, 2017, Quincy Garvin
sent a message on Instagram to members of Wellington Park stating "On snoop I'm wit
whatever."
sent a message on Instagram to members of Wellington Park stating "Yall Kno Im Widd
Whateva."
sent a message on Instagram to members of Wellington Park stating "On snoop I got enybody
sent a message on Instagtam to members of Wellinglon Park stating "On snoop I'm w it."
sent a message on Instagram to members of Wellington Park stating "We got to we need this shit
yall."
can't play wit these niggas on snoop we gotta go to houses and all dat."
36. On September 21,2077, Saquan Williams posted a video of himself on his Instagram
other members of Wellington Park indicating that he had located two firearms that
were
available.
Witliams warning him not to come outside because law enforcement was outside.
40. On October 1,2017, Saquan Williams posted a video of himself on his Instagram
o'fofever Wellington."
account in which he stated words to the efflect:
41. On October 2,2017, Saquan Williams posted a video of himself on his Instagram
42. Onoctober 4,2017, Saquan Williams posted a video of himself on his Instagram
Quincy Garvin, Darrise Jeffers, and another person whose identity is known to the Grand
Jury,
Wellington Park alerting them that Saquan Williams had been arrested.
46. From on or about June 5,2018 through on or about June 28, 2018, Gregory Taylor,
Qujuan Thomas, and Quentin Michals engaged in numerous communications with persons
whose identities are both known and unknown to the Grand Jury, about obtaining additional
firearms.
47. OnJune 1l,2018,Antonio Murchison posted a photograph on his Instagram account
of himself standing in the parking lot in the 2500 block of Pomeroy Rd., S.E., Washinglon, D.C.
49. On July 6,2018, Qujuan Thomas engaged in multiple text communications trying to
obtain ammunition.
50. Between July 7,2018 and July 8, 2018, Marquell Cobbs engaged in multiple text
messages with another individual whose identity is known to the Grand Jury about purchasing
guns.
5 1 . On July 8, 201 8 Gregory Taylor communicated with another person whose identity is
himself, Marquell Cobbs, and other persons both known and unknown to the Grand Jwy,
discussing that he is out there with his "brothers" and on a "rack of this gang shit."
53. On July 10, z}lS,Antonio Murchison posted a video of himself on his Instagram
54. On July 10, 2018, Marquell Cobbs and Danise Jeffers communicated about the
55. On July 11, 2018 Marquell Cobbs sent a video to Qujuan Thomas depicting alarge
56. Between on or about July 11,2018 and on or about July 13, 2018, Gregory Taylor,
Quentin Michals, and other persons whose identities are knorvn to the Grand Jury,
communicated about the availability of a vehicle they needed.
57. On July 73, 2018, Qujuan Thomas and Marquell Cobbs communicated about the
58. Between July 13, 2018 and July 14, 2078, Mark Price, Gregory Taylor, Qujuan
Thomas, and Quentin Michals went to the area near Clay Terrace.
59. On July 14, Zilg,Quentin Michals and Darrise Jeffers obtained a black Infiniti from
60. On July 16,2018, Quentin Michals and Qujuan Thomas discussed the best way to
61. On July 16,2018, Qujuan Thomas and Gregory Taylor discussed where to find
62. On July 16,2018 Gregory Taylor reached out to another person whose identity is
63. On July 16,2018 Gregory Taylor and Quentin Michals discussed reaching Mark
64. On the aftemoon of July 16, 2018 Da:rise Jeffers possessed multiple handguns.
Darrise Jeffers, Isaiah Murchison, Gregory Taylor, Antonio Murchison, Quentin Michals, and
Mark Price were congregating inside and around 2508 Pomeroy Rd., S.E. Washington, D.C.
66. Prior to 7:00 pm on July 16, 2018, Darrise Jeffers obtained an assault rifle.
67. At approximately 7:00 pm on July 16,2018, Darrise Jeffers and another person
whose identity is unknown to the Grand Jury, delivered the assault rifle to 2508 Pomeroy Rd.,
68. On the evening of July 16,2}l9,Isaiah Murchison armed himself with a firearm and
70. On the evening of July 16, 2018, Gregory Taylor armed himself with a firearm and
71. On the evening of July 16,2018, Qujuan Thomas armed himself with a firearm and
72. Onthe evening of July 16,z)ll,Mark Price drove a black Infiniti to the area of Clay
73. Onthe evening of July 16,2078,Mark Price stopped the black Infiniti in an area near
a courtyard and waited while the four men exited the vehicle armed with firearms.
74. Onthe evening of July 16,2}ll,Isaiah Murchison shot a frearm into a courtyard in
75. Onthe evening of July 16,zLll,Antonio Murchison shot a firearm into a cowtyard
76. On the evening of July 16,2018, Gregory Taylor shot a firearm into a courtyard in
77. On the evening of July 16,2018, Qujuan Thomas shot a fuearm into a courtyard in
78. On the evening of July 16,2)ll,Mark Price drove the four armed individuals away
from the Clay Terrace neighborhood and back to the area near Wellington Park.
79. On the evening of July 16,2018, Quentin Michals, Darrise Jeffers, and Marquell
Cobbs remained in the area near 2508 Pomeroy Rd., S.E., Washington, D.C.
80. On July 16,2018 after the shooting in the Clay Terrace neighborhood, Mark Price
82. On July 16, 2Ol8 after the shooting ir the Clay Terrace neighborhood, Darrise
Jeffers, Marqueli Cobbs, Quentin Michals, Mark Price, Qujuan Thomas, Antonio Murchison,
Isaiah Murchison, and Gregory Taylor congregated in the area inside and around 2508 Pomeroy
83. On July 16, 2018 after the shooting in the Clay Terrace neighborhood, Quentin
Michals and other persons whose identities are klown and unknown to the Grand Jury,
84. On July 17,2018, Quentin Michals and Darrise Jeffers communicated regarding the
85. On July i9, 2018 and July 20,2018, Qujuan Thomas updated Quincy Garvin
regarding the July 16, 2018 shooting ir Clay Tenace and identified the participants in the
shooting.
SECOND COI]NT:
Saquan Williams, also known as "Head," also known as "Headmoney," Quincy Garvin,
also known as "CDuece," and other persons whose identities are unknown'to the Grand Jury,
within the District of Columbia, while armed with a fuearm, purposely and witl deliberate and
premeditated malice, killed Carl Hardy by shooting him with a fuearm on or about September
10, 2017, thereby causing injuries from which Carl Hardy died on or about Octobet 1,2017.
(First Degree Murder While Armed (Premeditated), in violation of 22 D'C. Code, Sections 2101,
known as "Head," also known as "Headmoney," and Quincy Garvin, also known as "CDuece,"
did possess a firearm while committing the crime of first degree murder while armed as set forth
in the second count of this indictnnent. @ossession of a Firearm During Crime of Violence or
FOURTH COUNT:
l. The allegations set forth in the first count of this indictment are realleged and
organization referred to by various names including, but not limited to, "DF" and"Glizzy G*g,"
("GG") but which will be referred to for pu{poses of this indictment as "Wellington Park," was a
criminal street gang that had as one of its purposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C. Code Sections
Williams, also known as "Head," also known as "Headmoney," and Quincy Garvin, also known
as 'oCDuece," a member or active participant of the Wellington Park criminal street gang,
knowingly and wiUfully participated in a felony or violent misdemeanor, that is, first degree
murder while armed as set forth in the second count of this indictment, committed for the benefit
of at the direction of, and in association with any other member or participant of the Wellington
Park criminal street gang (Criminal Street Gang (Participation in a Crime), in violation of 22
Quentin Michals, also known &S "Q," also known as "Q-ball," Qujuan Thomas, also
known as "Lil Quan," Gregory Taylor, also known as"Gizzle," also known as "Gillette," Mark
Price, also known as "Little Mark," also known as "Machiano," Marquell Cobbs, also known as
"Stello," also known as "Quello," Darrise Jeffers, aiso known as l'Neff," also known as "Shape-
up," Isaiah Murchison, also known as"Zay," also known as"Za," also known as "Cutta,"
Antonio Murchison, also known as"Earlz," also known as 'oTonyearlz," ald other persons whose
identities are known and unknown to the Grand Jury, within the District of Columbia, while
armed with a firearm, purposeiy and with deliberate and premeditated malice, killed Makiyah
Wilson by shooting her with a firearm on or about July 16, zlll,thereby causing injuries from
which Makiyah Wilson died on or about July 16, 2018. (First Degree Murder While Armed
The Grand Jury Further Charges that at the time such murder was committed, the
following aggiavatingcircumstance existed: the murder was a drive-by or random shooting. (22
The Grand Jury Further Charge^s that at the time such murder was committed, the
following aggravating circumstance existed: the victim was especially vulnerable due to age. (22
D.C. Code, Sections 2104.01(bX10), 2104(a),24D.C. Code, Section 403.01(b-2) (2001 ed.)).
t
SIXTH COTINT:
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
&S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Matk," also
known as j'Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as "Neff," also known as "Shape-up," Isaiah Murchison, also known
as"Zay," also known as"Za," also known as "Cutta," Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," afld other persons whose identities are known and unknown
to the Grand Jwy did possess a firearm while committing the crime of first degree murder while
armed as set forth in the fifth count of this indictmenl. (Possession of a Firearm During Crime
of Violence or Dangerous Offense, in violation of 22 D.C. Code, Section 4504(b) (2001 ed.))
SEVENTH COUNT:
1. The allegations set forth in the frst count of this indictment are realleged and
organization referred to by various names including, but not limited to, "DF" and"Glizzy G*g,"
("GG") but which will be referred to for purposes of this indictrrent as "Wellington Park," was a
criminal street gang that had as one of its putposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C. Code Sections
known &S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as"Gizzle," also known as "Giilette," Mark Price, also known as "Little
Mark," alsO known as "Machiano," Ma.rquell CObbs, alSo knOWn aS "Stello," also known as
"Quello," Darrise Jeffers, also known as 'Neff," also known as "Shape-up," Isaiah Murchison,
also known aS"Zay," also known aS"Za," also known as "Cutta," and Antonio Murchison, also
known as"Eatlz," also known as "Tonyearlz," amember or active participant of the Wellington
Park criminal street gang, knowingly and willfully participated in a felony or violent
misdemeanor,thatis, frst degree murder while armed as set forth in the fifth count of this
indictment, committed for the benefit of at the direction of, and in association with any other
member or participant of the Wellington Park criminal street gang (Criminal Street Gang
EIGHTH COIINT:
On or about July 16, 2018, within the District of Columbi4 Quentin Michals, also known
* i'Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also knorvn as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as'I.{efl" also known as "Shape-up," Isaiah Murchison, also known
as"Zay," also known as"Za," also known as "Cutta," Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," atdother persons whose identities are known and unknown
to the Grand Jury, while armed with a frrearm, assaulted Curtis Gilmore with intent to kill Curtis
Gilmore and another (AssaultWith lntent to Kill While Armed, in violation of 22D.C. Code,
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
oS "Q," also known as "Q-ball," Qujuan Thomas, also knOwn as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known aS "Stello," also known as "Quello,
Darrise Jeffers, also known as'Neff," also known as "Shape-up," Isaiah Murchison, also known
AS'oZAy," alsO known aS"ZA," alSO known as "Cutt4" AntOnio Murchison, also known as
"Earlz," also known as "Tonyearlz," and other persons whose identities are known and unknown
to the Grand Jury did possess a fireamr while committing the crime of assault with intentto kill
while armed as set forth in the eighth count of this indictment. @ossession of a Firearm During
Crime of Violence or Dangerous Offense, in violation of 22 D.C. Code, Section 4504(b) (2001
ed.))
TENTH COUNT:
1. The allegations set forth in the first count of this indictrnent are realleged and
organization referred to by various names including, but not limited to, "DF" and"Gliz,zy Gang,"
("GG") but which will be referred to for purposes of this indictment as "Wellington Park," was a
criminal street gang that had as one of its putposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C- Code Sections
known BS "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as "Gizzle," also known as "Gillette," Mark Price, also known as "Little
Mark," also knOwn as "Machiano," Marquell Cobbs, also known as "Stello," also known as
"Quel|o," Darrise Jeffers, also knOwn as'Neff" also known as "Shape-up," Isaiah Murchison,
also known as'oZay," also known aS"Z4" also known as "Cutta," and Antonio Murchison, also
Park criminal street gang, knowingly and willfully participated in a felony or violent
misdemeanor, that is, assault with intent to kill while armed as set forth in the eighth count of
this indictment, committed for the benefit of, at the direction of, and in association with any
other member or participant of the Wellington Park criminal street gang (Criminal Street Gang
ELEVENTH COUNT:
On or about July 16, 2018, within the District of Columbi4 Quentin Michals, also known
&s "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as'oMachiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as'Neff,," also known as "Shape-up," Isaiah Murchison, also known
as"Zay," also known as"Za," also known as "Cutta," Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," and other persons whose identities are known and unknown
to the Grand Jury, while armed with a ftrearm, did by any means, under circumstances
manifesting extreme indifference to human life, intentionally and knowingly engage in conduct
which created a grave risk of serious bodily injury to another and thereby caused serious bodily
injury to Curtis Gilmore. (Aggravated Assault While Armed, in violation of 22D.C. Code,
On or about July 16, 2078,within the District of Columbia, Quentin Michals, also known
oS "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Matk," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as "Neff," also known as "Shape-up," Isaiah Murchison, also known
aso'Zay," also known as"Za," also known as "Cutta," Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," afid other persons whose identities are known and unknown
to the Grand Jury did possess a firearm while commiuing the crime of aggravated assault while
armed as set forth in the eleventh count of this indictment. (Possession of a Firearm During
Crime of Violence or Dangerous Offense, in violation of 22 D.C. Code, Section 4504(b) (2001
ed.))
THIRTEENTH COUNT:
1. The allegations set forth inthe first count of this indictment are realleged and
2. Between on or about May 1, 2017 and on or about May 22,2019, the criminal
orgaruzation referred to by various nzrmes including, but not limited to, "DF" and"Glizzy Gang,"
("GG") but which will be referred to for purposes of this indictment as "Wellington Park," was a
criminal street gang that had as one of its purposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C. Code Sections
known os "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as "Gizzle," also known as "Gillette," Mark Price, also known as "Little
Mark," also known as "Machiano," Marquell Cobbs, also known as "Stello," also known as
"Quello," Darrise Jeffers, also known as'Neff" also known as "Shape-up," Isaiah Murchison,
also known as"Zay," also known as"Z4" also known as "Cutta," and Antonio Murchison, also
known as'o&atlz," also known as "Tonyearlz," a member or active participant of the Wellington
Park criminal street gang, knowingly and willfully participated in a felony or violent
misdemeanor, that is, aggravated assault while armed as set forth in the eleventh count of this
indictment, committed for the benefit of, at the direction of, and in association with any other
member or participant of the Wellington Park criminal street gang (Criminal Street Gang
FOURTEENTH COUNT:
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
&S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,))
Darrise Jeffers, also known as't[eff," also known as "Shape-up," Isaiah Murchison, also known
as"Zay," also known as"Za," also known as "Cutta," Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," andother persons known and unknown to the Grand Jury,
while armed with a firearm, assaulted Stefon Freshley with intent to kill Stefon Freshley and
another (Assault With Intent to Kill While Armed, in violation of 22D.C. Code, Sections 401,
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
BS "Q," also known as "Q=ball," Qujuan Thomas, also known aS "Lil Quan," Gregory Taylor,
also known as"Giz-zle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as "Neff," also known as "Shape-up," Isaiah Murchison, also known
as "Zay," also known as "Za," also known as "Cutta," Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," and other persons whose identities are known and unknown
to the Grand Jury did possess a firearm while committing the crime of assault with intent to kill
while armed as set forth in the fourteenth count of this indictnent. (Possession of a Firearm
During Crime of Violence or Dangerous Offense, in violation of 22 D.C. Code, Section 4504(b)
(2001 ed.))
SD(TEENTH COIINT:
l. The allegations set forth in the first count of this indictment are realleged and
2. Between on or about May 1, 2017 and on or about May 22,2019, the criminal
orgarization referred to by various names including, but not limited to, "DF" and"Glizzy Gang,"
("GG") but which will be referred to for purposes of this indictment as "Wellington Park," was a
criminal street gang that had as one of its purposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,Z2D.C. Code Sections
known ffi "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little
Mark," also known as "Machiano," Marquell Cobbs, also known as "Stello," also known as
"Quello," Darrise Jeffers, also known as'Neff," also known as "Shape-up," Isaiah Murchison,
also known as"Zay," also known as"Za," also known as "Cutta," and Antonio Murchison, also
known as'oEarlz," also known as "Tonyearlz," ar\ember or active participant of the Wellington
Park criminal street gang, knowingly and willfully participated in a felony or violent
misdemeanor, that is, assault with intent to kitl while armed as set forth in the fourteenth count of
this indictment, committed for the benefit of, at the direction of and in association with any
other member or participant of the Wellington Park criminal street gang (Criminal Street Gang
SEVENTEENTH COUNT:
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
o'Q,"
&s also known as "Q-ba11," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marqueil Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as "Nefl" also known as "Shape-up," Isaiah Murchison, also known
as "Zay," also known as "Za," also known as "Ct)tt4" Antonio Murchison, also known as
"Eatlz," also known as "Tonyearlz," arrd other persons whose identities are known and unknown
to the Grand Jury, while armed with a fuearm, assaulted Gary Bailey with intent to kill Gary
Bailey and another (Assault With Intent to Kill While Armed, in violation of 22D.C. Code,
EIGHTTEENTH COUNT:
On or about July 16, 2078, withinthe District of Columbia, Quentin Michals, also known
&S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known aso'Gizzle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darise Jeffers, also known as't{eff," also known as "Shape-up," Isaiah Murchison, also known
as"Zay," also known as"Za," also known as "Cutta," Antonio Murchison, also.known as
'oBarlz," also known as "Tonyearlz," and other persons whose identities are known and unknown
to the Grand Jury did possess a fuearm while committing the crime of assault with intentto kill
while anned as set forth in the seventeenth count of this indictment. (Possession of a Firearm
Dwing Crime of Violence or Dangerous Offlense, in violationof 22 D.C. Code, Section 4504(b)
(2001 ed.))
NINETEENTH COUNT:
1. The allegations set forth in the first count of this indictment are realleged and
2. Between on or about May 1, 2017 and on or about May 22,2019, the criminal
organivalisn referred to by various names including, but not limited to, "DF" and"Glizzy Gang,"
("GG") but which will be referred to for purposes of this indictonent as "Wellington Park," was a
criminal street gang that had as one of its purposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C. Code Sections
known 3S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little
Mark," also known aS "Machiano," Marquell Cobbs, alsO knOwn aS "Stello," alSo knoWn as
"QUS||O," DarriSe JefferS, alsO knOwn aS'Neff," also knOwn as "shape:up," Isaiah Murchison,
also known aS"Zay," also known aS"Za," also known aS "Cutta," and Antonio Murchison, alsq
known as"Earlz," also known as "Tonyearlz," amember or active participant of the Wellington
Park criminal street gmg, knowingly and willfully participated in a felony or violent
misdemeanor, that is, assault with intent to kill while armed as set forth in the seventeenth count
of this indictment, committed for the benefit of at the direction of and in association with any
other member or participant of the Weltington Park criminal street gang (Criminal Street Gang
TWENTIETH COUNT:
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
ff "Q," also known as "Q-ball," Qujuau Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Giz-zle," also known as "Gillette," Mark Price, also known as "Little Matk," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jeffers, also known as'Nefl" also known as "Shape-up," Isaiah Murchison, also known
as"Zay," also known ffi"ZL" also known as "Cutta," Antonio Murchison, also known as
"Eatlz," also known as "Tonyearlz," and.other persons whose identities are known and unknown
to the Grand Jury, while arrned with a firearm, assaulted Troye Robertson with intent to kill
Troye Robertson and another (Assault With Intent to Kill While Armed, in violation of 22D.C.
TWENTY-FIRST COUNT:
On or about July 16, 201 8, within the District of Columbia, Quentin Michals, also known
&S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gi1lette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marqugll Cobbs, also known as "Stello," also known as "Quello,"
Darrise Jefflers, also known as "Nefl" also known as "Shape-up," Isaiah Murchison, also known
AS"ZAy," alSO knOWn AS"ZA," alSO knOWn aS "Cutta," AntOniO MUrChiSOn, alSO known aS
"Eatlz," also known as "Tonyearlz," afid other persons whose identities are known and unknown
to the Grand Jury did possess a firearm while committing the crime of assault with intent to kil1
while armed as set forth in the twentieth count of this indictment. (Possession of a Firearm
During Crime of Violence or Dangerous Offense, in violation of 22 D.C. Code, Section 4504(b)
(2001 ed.))
TWENTY-SECOND COIINT:
1. The allegations set forth in the frst count of this indicffirent are realleged and
2. Between on or about May 1, 2017 and on or about May 22,2019, the criminal
organization referred to by various names including, but not limited to, "DF" and"Glizzy Gang,"
("GG") but which will be referred to for purposes of this indictnent as "Wellington Park," was a
criminal street gang that had as one of its purposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C. Code Sections
known as "Q," also known as "Q-ba11," Qujuan Thomas, also known as "Lil Qual," Gregory
Taylor, also kno',vn as "Gizzle," also known as "Giilette," Mark Price, also known as "Little
Mark," also known as "Machiano," Marquell Cobbs, also known as "Stello," also known as
"Que1lo," Darrise Jeffers, also known as 'Neff," also known as "Shape-up"' Isaiah Murchison,
also known as "Zay," also known x "Za," also known as "Cutta," and Antonio Murchison, also
known as "Earlz," also known as "Tonyearlz," a member or active participant of the Wellington
Park criminal street gang, knowingly and willfully participated in a felony or violent
misdemeanor, thal is, assault with intent to kill while armed as set forth in the twentieth count of
this indictrnent, committed for the benefit of, at the direction of, and in association with any
other member or participant of the Wellington Park criminal street gang (Criminal Sheet Gang
TWENTY.THIRD COUNT:
On or about July 16, 2018, within the District of Columbi4 Quentin Michals, also known
as "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as "Gizzle," also knolvn as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known as "Stello," also known as "Queilo,"
Darrise Jeffers, also known as 'Nefl" also known as "Shape-up," Isaiah Murchison, also known
as "Zayl' also known as "24" also known as "Cutt4" Antonio Murchison, also known as
"Earlz," also known as "Tonyearlz," and other persons whose identities are known and urknown
to tle Grand Jury, while arrned with a firearm, assaulted Nyjhay Lewis with intent to kill Nyjhay
Lewis and another (Assault With Intent to Kill While Armed, in violation of 22D.C. Code,
TWENTY-FOURTH COUNT:
On or about July 16, 2018, within the District of Columbia, Quentin Michals, also known
?S "Q," also known as "Q-ball," Qujuan Thomas, also known as "Lil Quan," Gregory Taylor,
also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little Mark," also
known as "Machiano," Marquell Cobbs, also known aS "Stello," also known aS "Quello,"
Darrise Jeffers, also known as'T.{efl" also known as "shape-up," Isaiah Murchison, also known
AS"ZAy," alSO knOWn aS"ZA," alSO knOWn aS "Cutta," AntOniO MUrChiSOn, alSO knOWn aS
"Eatlz," also known as 'oTonyearlz," aad other persons whose identities are known and unknown
to the Grand Jury did possess a firearm while committing the crime of assault with intent to kill
while armed as set forth in the twenty-third count of this indictrnent. @ossession of a Firearm
During Crime of Violence or Dangerous Offense, in violatio nof 22D.C. Code, Section 4504(b)
(2001 ed.))
TWENTY-FIFTH COUNT:
1. The allegations set forth in the first count of this indictment are realleged and
2. Between on or about May 1, 2Afi and on or about May 22,2019, the criminal
organization referred to by various names including, but not limited to, "DF" and"Glizzy Gang,"
("GG") but which will be referred to for purposes of this indictment as "Wellington Park," was a
criminal street gang that had as one of its purposes and frequent activities the violation of the
criminal laws of the District of Columbia including, but not limited to,22 D.C. Code Sections
401, 402, 407,722,2101, 4502, 4503, 4504,and 48 D.C. Code Section 904.01 (2001 ed.).
3. On or about July 16, 2018, within the District of Columbia, Quentin Michals, also
known oS "Q," also known as "Q-bai1," Qujuan Thomas, also known as "Lil Quan," Gregory
Taylor, also known as"Gizzle," also known as "Gillette," Mark Price, also known as "Little
Mark," also known aS "Machiano," Marquell Cobbs, also known as "Ste1lo," also known as
"Quello," Darrise Jeffers, also known as'Nef[," also known as "Shape-up," Isaiah Murchison,
known as"Earlz," also known as "Tonyearlz," amember or active participant of the Wellington
Park criminal street Eal;,knowingly and willflrlly participated in a felony ilr violent
misdemeanor, that is, assault with intent to kill while armed as set forth in the twenty-third count
of this indictment, committed for the benefit of, at the direction of, and in association with any
other member or participant of the Wellington Park criminal street gang (Criminal Street Gang
TWENTY-SXTH COUNT:
comrptly and by tlreat of force obstruct, impede or endeavor to obstruct and impede the due
\z* V.M(u/^/
JESSIE K. LIU
United States Attorney
in and for the District of Columbia
A TRUE BILL:
Foreperson