Case 1:08-cr-00030-JJF
Document 10
Filed 02/26/2008
Page 1 of 2
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELAWARE
UNITED STATES OF AMERICA
Criminal Action No. 08-~ Plaintiff,
v.
MARCUS DRYDEN, Defendant.
INDICTMENT
The Grand Jury for the District of Delaware charges that:
COUNT ONE
On or about January 31,2008, in the State and District of Delaware, MARCUS DRYDEN, defendant herein, did knowingly possess in and affecting interstate and foreign commerce, a firearm, that is, a Glock .40 caliber handgun, serial number KEZ308, after having been convicted of a felony crime punishable by imprisonment for a term exceeding one year on or about March 12,2007, in the Superior Court for the State of Delaware, all in violation of Title 18, United States Code, §§ 922(g)(I) & 924(a)(2).
COUNT TWO
On or about January 31,2008, in the State and District of Delaware, MARCUS DRYDEN, defendant herein, did knowingly possess in and affecting interstate and foreign commerce, ammunition, that is, fifty .40 caliber bullets, after having been convicted of a felony crime punishable by imprisonment for a term exceeding one year on or about March 12,2007, in the Superior Court for the State of Delaware, all in violation of Title 18, United States Code, §§ 922(g)(I) & 924(a)(2).
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Case 1:08-cr-00030-JJF
Document 10
Filed 02/26/2008
Page 2 of 2
COUNT III
On or about January 31,2008, in the State and District of Delaware, MARCUS DRYDEN, defendant herein, did knowingly possess, with the intent to distribute, a Schedule I controlled substance, to wit, less than fifty kilograms of marihuana, all in violation of Title 21, United States Code, §§ 841 (a)(l) & 841 (b)(l)(D).
COUNT IV
On or about January 31, 2008, in the State and District of Delaware, MARCUS DRYDEN, defendant herein, in furtherance of a drug trafficking crime for which he may be prosecuted in the United States (to wit, possession with intent to distribute less than fifty kilograms of marihuana in violation of Title 21, United States Code, §§ 841(a)(I) & 841 (b)(1 )(D), as set forth in Count III of this Indictment and incorporated by reference as if fully set forth herein), knowingly possessed a firearm, that is, a Glock .40 caliber handgun, serial number KEZ308, all in violation ofTitle 18, United States Code, § 924(c)(I).
A TRUE BILL:
CaLM F. CONNOLLY United tates Attorney
BY:4d!.2::::::::::::::===~~ Seth M. j3eau.§WIg Assistant United States Attorney Dated: February 26, 2008
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