Donald McManus Statement of Facts (1)

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Donald McManus Statement of Facts

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  • IN THE UNITED STATES DISTRICT COURT FOR THEEASTERN DISTRICT OF VIRGINIA

    NORFOLK DIVISION

    FILEDIN OPEN COURT

    OCT 1 4 2015

    CLERK, U.S. DISTRICT COURTNORFOLK. VA

    UNITED STATES OF AMERICA

    v.

    DONALD G. MCMANUS,

    Defendant.

    STATEMENT OF FACTS

    By signing below, the parties and their respective counsel agree that if this case had gone

    to trial, the government's evidence would have established the following facts beyond a

    reasonable doubt:

    1. In or about February 2015, Donald G. McManus, the defendant, was an active duty

    member of the United States Navy stationed on board the USS GEORGE H.W. BUSH (CVN 77)

    (hereinafter, USS BUSH).

    2. The USS BUSH is a United States Naval warship owned by the United States of

    America. At the times pertinent to the events below, the USS BUSH was located within the

    Eastern District of Virginia and, specifically, at Naval Station Norfolk, Virginia.

    3. The defendant is at the time of this agreement, and was during the month of February

    2015, married to Breanna L. McManus. From on or about February 18,2015, and continuing to

    on or about February 23, 2015, the defendant entered into a conspiracy with his co-defendant and

    wife, Breanna L. McManus, to possess with intent to distribute and to distribute a detectable

    amount of heroin to another sailor on board the USS BUSH in exchange for U.S. currency.

    4. While on a restricted status, in February 2015, the defendant approached a shipmate and

    offered to sell heroin to her. The shipmate accepted the defendant's offer. The defendant called

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  • his co-defendant, Breanna McManus, who brought heroin on board the USS BUSH. The

    defendants then led the female sailor to a secure space in the air wing on board the USS BUSH

    where all three of them proceeded to inject heroin into their bodies. On a second occasion

    during the conspiracy, the defendants led the female sailor to a secure space in the air wing on

    board the USS BUSH and used heroin again. The female sailor paid approximately $150 to the

    defendants in exchange for heroin.

    4. On February 23,2015, a few days after purchasing heroin from the defendants, the

    female sailor went into a heroin overdose on board the USS BUSH. An uninvolved sailor

    stationed on board the USS BUSH found the female sailor unresponsive on the floor close to her

    sleeping quarters. The sailor called the USS BUSH's medical clinic and informed clinic

    personnel of the situation. The ship's medical response team provided immediatecare until

    civilian Emergency Medical Techniciansarrived on scene. The female sailor was withouta

    pulse for approximately 14 minutes until she was revived.

    5. The acts taken by the defendant in furtherance of the offense charged in this case,

    including the acts described above, were done willfully and knowingly with the specific intent to

    violate the law. The defendant acknowledges that the foregoing statement of facts does not

    describe all of the defendant's conduct relating to the offenses charged in this case, nor does it

    identify all of the persons with whom the defendant may have engaged in illegal activities. The

    defendant further acknowledges that he is obligated under his plea agreement to provide

    additional information about this case beyond that which is described in this statement of facts.

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  • Respectfully submitted,

    Dana J. BoenteUnited States Attorney

    John F. Butler/Special Assistant United States AttorneyUnited States Attorney's Office101 W. Main Street, Suite 8000Norfolk, Virginia 23510(757)[email protected]

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  • After consulting with my attorney and pursuant to the plea agreement entered into this

    day between the defendant, DONALD G. MCMANUS, and the United States, I hereby stipulate

    that the above Statement of Facts is true and accurate, and that had the matter proceeded to trial,

    the United States would have proved the same beyond a reasonable doubt.

    Ddnalnald G. McManus

    I am DONALD MCMANUS' attorney. I have carefully reviewed the above Statement of

    Facts with him. To my knowledge, his decision to stipulate to these facts is an informed and

    voluntary one.

    Kirsten R. Kmet, Esq.Counsel for Defendant

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