Breanna McManus Statement of Facts
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Transcript of Breanna McManus Statement of Facts
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7/23/2019 Breanna McManus Statement of Facts
1/4
IN THE UNITED STATES DISTRICT
COURT
FOR THE
E A S TE R N D I ST R IC T O F V IR G IN IA
NORFOLK DIVISION
FILED
IN OP EN COURT
OCT
2 5
CLERK, U.S. DISTRICT CO
NORFOLK. VA
U N ITED STATES
O F A M ER IC A
BREANNA L.
MCMANUS
Defendant
S T A T E ME N T
O F
F A C T S
Bysigning below, the parties andtheirrespective counsel agreethat if thiscasehadgone
to
trial,
the
government s
evidence
would have
established
the
following
facts beyond
a
reasonable doubt:
1. The USS GEORGE H.W.BUSH(CVN77) (hereinafter, USS BUSH is a United States
Navalwarship owned by the United Statesof America. At the times pertinentto the events
below, theUSS BUSH was located within theEastern District of Virginia and,specifically, at
Naval Station Norfolk, Virginia.
2. Thedefendant is at the time of this agreement, andwasduringthe monthof February
2015, married to Donald G.McManus. From onor about
February
18,2015, and
continuing
to
onor
about February
23,2015, the
defendant entered into
a
conspiracy
with her
co-defendant
and
husband, Donald
G.
McManus,
to possess with intentto distributeand to distribute a
detectable
amount of heroin to a female
sailor
on
board
the USS BUSH in
exchange for
U.S.
currency
3. At thetimeof theeventsdescribed herein, thedefendant s husband,
Donald
G.
McManus, wasan activeduty member
of
the UnitedStatesNavy stationed on board the USS
BUSH.
While ina restricted status, in February 2015, Donald G.
McManus
approached a
Criminal No 2 :15cr
109
Case 2:15-cr-00109-RAJ-RJK Document 42 Filed 10/15/15 Page 1 of 4 PageID# 99
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Respectfully submitted,
Dana J Boente
United States Attorney
John F
Butler
Special AssistantUnitedStatesAttorney
United States Attorney s Office
101 W. Main Street, Suite 8000
Norfolk, Virginia 23510
(757)441-6331
Case 2:15-cr-00109-RAJ-RJK Document 42 Filed 10/15/15 Page 3 of 4 PageID# 101
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After consulting with my attorney and pursuant to the plea agreement entered into this
day between the defendant, BREANNA L.MCMANUS, and the United States, I hereby
stipulate that the above Statement ofFacts is true and accurate, and that had the matter proceeded
to trial, the United States would have proved the same beyond a reasonable doubt.
//Breanna L.Mc
Defendant
I am BREANNA MCMANUS attorney. I have carefully reviewed the above Statement
of
Facts with her. To my knowledge, her decision to stipulate to these facts is an informedand
voluntary one.
ricLeckie, sq
5 n
Counsel for Defendant ^
Case 2:15-cr-00109-RAJ-RJK Document 42 Filed 10/15/15 Page 4 of 4 PageID# 102