CHARGE SHEET I. PERSONAL DATA 1. NAME OF ACCUSED: Majid Shoukat Khan 2. ALIASES OF ACCUSED: Majid Shoukat Khan (aliases Bobdesi; Adnan; Yusif) 3. ISN NUMBER OF ACCUSED (LAST FOUR): 10020 II. CHARGES AND SPECIFICATIONS 4. CHARGE: VIOLATION OF SEcnON AND TITLE OF CRIME IN PART IV OF M.M.C. SPECIFICATION: See Attached Charges and Specifications. Sa. NAME OF ACCUSER (LAST, FIRST, MI) Hines, Glen R. III. SWEARING OF CHARGES Sb.GRAOE Sc. ORGANIZATION OF ACCUSER 0-5 Office of Military Commissions 58. DATE (YVYYMMDD) 5d.Slh~R.S~ 20120213 AFFIOAVI-r.' Before me, the undersigned. authorized by law to administer oath in cases of this character. personally appearad the above namad accuser the ~ day of February. 2012. and signed the foragolng charges and specifications under oath that he/she is a person subject to the Uniform Code of Military Justice and that he/she has personal knowledge of or has investigated the matters set forth therein and that the same are true to the best of hislher knowledga and belief. . James P. Benoit Typed Name of Offlcer Office of Milita~ Commissions Organization of Offlcer /IV-kI ,a i~n8tlfre L / ~udge Advocate Offlcia/ Capacity to Admin/ster Oath (See R.M. C. 307(b) must be commissioned offlcer) Me FORM +fAN 2007 IV. NOTICE TO THE ACCU8ED 6. On 13 February . 2012 !he accuaed was notJlled of the charget agalnat hlmIber (Sle R.M.C. 308)o "'T'6C>"'''''' ':3'. IA)Sc.~~ t2!~ Typed Name and Grade of Pe Who CiuNd AccuaerJ to B. NotJIled of Charge. "..u ~l.AT T~(._( "f,*,~ OrganlatJon of the F'tmIon WI>> CeuaerJ AccUl8d to Be NOtified ofCl'raqpl' - ~u4Nl..wI."''' ~J~ V. RECEIPT OF CHARGU 8Y CONVENING AUTHORITY 1. Th. sworn chargee went received at 1 fi ZQ hours. on l~ f~~,Q1, LocaUon oat Alrixand,ia l. VA For the Convening AuthOl1ty: Donna LI liilkin? Typed Name of 0ffI08' GS15~ ~ IV Vl.R~RAL M>/ld7i~ / SIgn.ture Ic.DATE (YYYYMMDD) ... DESIGNATION OF CONVENING AUTHORITY 8ii.PLACE Referred for tnal to the (non)oapltal military commloolon convened by military commlaalon convening order subject to Ihe following I"~I: By of Command. Order, or Direction Typed Name and Grade of Offtcer OffIcIal Capacity of 0ffICfIf SIgn/tIf Signature VII. SERVICE OF CHARGeS 9. On , Typed Name 01 TriBl Counsel I (caUled to b.) ..MId a copy these charllH on th. abOve raned 1CCUHd. GIed. of TrltJI Counael Signature of Trial COUI78a1 FOOTNOTU See R.M.C. 601 cOncerning Instructiono. If none. 10 state. Me FORM 458 JAN 2007 CHARGE I: VIOLATION OF 10 U.S.C. ? 950t(29), CONSPIRACY Spectrlcation: In that Majid Shoukat KHAN, a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, at various locations within the United States, ' Pakistan, Indonesia, Thailand, and elsewhere, from about January 2002, to about August 2003, knowingly and willfully conspire with Usama bin Laden, Khalid Sheikhh Mohammed, Ali Abdul al-Aziz Ali; Encep Nurjamen, alkJa Hambali (Hambali); Mohammed Nazir bin Lep, alkJa Lillie (Lillie); and Mohammed Fadk bin Amin, alkJa Zubair (Zubair); and other members and associates of the al Qaeda organization and its affiliated groups, known and unknown, to commit offenses triable by military commission, to wit: murder in violation of the law of war, providing material support for terrorism and spying, and in order to effect the object and purpose of the agreement, the above accused and his co-conspirators knowingly committed an overt act or acts, to wit: QYERTA<;IS 1. In about August 1996, Usama bin Laden issued a public "Declaration of Holy War Against. the Americans Who are Occupying'the Land of the Two Holy Places," in which he called for the murder of U.S. military personnel serving on the Arabian Peninsula. 2. In about 1996, KhaUd Sheikh Mohammed traveled to Malaysia and met with Abdullah Sungkar and Abu Bakr Ba'asyir, two leaders of the Southeast Asia-based organization, Jemaah Islamiyah. During this meeting, Khalid Sheikh Mohammed convinced Abdullah Sungkar and Abu Bakr Ba' asyir to travel to Afghanistan to meet with Usama bin Laden. 'Thereafter, Khalid Sheikh Mohammed facilitated Abdullah Sungkar and Abu Bakr Ba'asyir's travel to Afghanistan and a meeting with Usama bin Laden. After meeting with Usama bin Laden, Abdullah Sungkar and Abu Bakr Ba' asyir told Khalid Sheikh Mohammed that Usama bin Laden had advised them that at Qaeda and Jemaah Islamiyah should fight together. 3. In about March 1997, in an interview with CNN, Usama bin Laden promised to "drive Americans away from all Muslim countries," and warned the U.S. "to get out" if it did "not want to have its sons who are in the army killed.", Usama bin Laden could "not guarantee" the "safety" of U.S. civilinns since they were "not exonerated from responsibility" for U.S. foreign policy "because they chose the government and voted for it despite their knowledge of its crimes." He promised that ifhisdeinands were unmet, he would send the U.S. "messages with no words because" the U.S. President "does not know any words." 4. In about February 1998, Usama bin Laden and others, under the banner of the "International Islamic Front for Jihad against the Jews and the Crusaders," issued a fatwah (purported religious ruling) claiming that it was "God's order" and an "individual duty for every Muslim" to "ldll Americans ... wherever and whenever" 1 found. The fatwah directed all Muslims to "kill the Americans and their allies; civilians and military." 5. On or about May 28, 1998, in an interview with ABC News in Afghanistan, Usama bin Laden reiterated the February 1998 fatwah's call for killing Americans, emphasizing that, "We do not differentiate between those dressed in military uniforms and civilians. They are all targets in this fatwah." Usama bin Laden further stated that if his demands were not met, al Qaeda would "send" to the U. S. "the wooden boxes and the coffins" containing "the corpses of American troops and the American civilians." Bin Laden also noted that "American civilians were asked to gather information on Muslims and observant Muslim youth and to convey it to the security section in the embassy." 6. On or about May 29, 1998, Usama bin Laden issued a statement entitled. "The Nuclear Bomb of Islam," under the banner of the "International Islamic Front for Fighting Jews and Crusaders," in which bin Laden stated that "it is the duty of the Muslims to prepare as much force as possible to terrorize the enemies of God." PLOT TO USE KHAN IN POST 9/11 ATTACKS AgaINST IRE UNITED STATES 7. On or about October 16,2001, in Baltimore, Maryland, KHAN applied to the United States Immigration and Naturalization Service for a Refugee Travel Document and fraudulently claimed that he intended to travel to Dubai (to get married) and Saudi Ara~ia (for a pilgrimage).. 8. On or about January 4,2002, KHAN traveled, using the fraudulently obtained Refugee Travel Document, from Baltimore, Maryland to Karachi, Pakistan. 9. Between about January 4,2002 and about March 21, 2002, in or around Karachi, Pakistan, KHAN's close associate, Co-conspirator #1, who served on the al Qaeda media committee, introduced KHAN to KhaJid Sheikh Mohammed as a close associate from the United States who could be helpful to al Qaeda. 10. Between about January 4, 2002 and about March 21, 2002, in or around Karachi, Pakistan, KHAN met with Khalid Sheikh Mohammed and advised him that KHAN's family owned gas stations in the United States. 11. Between about January 4, 2002 and about March ,2 I ,2002, in or around Karachi Pakistan, KHAN discussed with Khalid Sheikh Mohammed a plot to blow-up underground gasoline storage tanks at gas stations within the United States. , 12. Between about January 4, 2002 and about March 21, 2002, in or near Karachi, Pakistan, Khalid Sheikh Mohammed directed KHAN to attend training on explosive device detonators and timers. 2 ) . 13. Between about January 4, 2002 and about March 21,2002, in or near Karachi, Pakistan, Khalid Sheikh Mohammed instructed KHAN that when KHAN returned to the United States, he should conduct research about the operation and maintenance of gas stations and fuel tanks in furtherance of a plot to explode underground gasoline storage tanks. 14. From abput January 4, 2002 to about March 21, 2002, KHAN began to work for Khalid Sheikh Mohammed, Ali Abdul al?Aziz Ali and al Qaeda, including checking al Qaeda operational email accounts and couriering messages for al Qaeda operatives andlor ass?Ciates. 15. On or about March 21, 2002, KHAN traveled from Karachi, Pakistan? to Baltimore, Maryland. 16. From about March 21, 2002 to about August II, 2002, in or near Baltimore, Maryland, KHAN worked at a gas station operated by his family. 17. Between about March 21, 2002 a~~, about August 11,2002, in or near Baltimore, Maryland, KHAN attempted to recruit a close associate to work for Khalid Sheikh Mohammed and al Qaeda. 18. In about July 2002, Khalid Sheikh Mohammed andlor another al Qaeda associate, ordered Khan to return to Pakistan. 19. On or about August 11,2002, KHAN returned to Pakistan, again traveling from Baltimore, Maryland to Karachi, Pakistan. 20. From about August 11,2002 to about March 5, 2003, in or near Karachi, Pakistan, KHAN worked directly for Khalid Sheikh Mohammed, Ali Abdul al-Aziz Ali and other aJ Qaeda associates, all of whom were evading capture by United States and Pakistani authorities. 21. On or about December 22, 2002, while in or near Karachi, Pakistan, KHAN allowed his United States Refugee Travel Document to expire, 22. Between about August 11,2002 and about March 5, 2003, in or near Karachi, . Pakistan, Ali Abdul al?Aziz Ali directed KHAN to obtain renewed travel documents to permit hiro to return to the United States so that Khalid Sheikh Mohammed could utilize him as an al Qaeda operative or facilitator within the United States. 23. From about August II, 2002 to about March 5, 2003, in or around Karachi, Pakistan, KHAN volunteered to go anywhere to help with an al Qaeda operation once he resolved his passport issue. 3 24. On or about December 30, 2002, Aafia Siddiqui (Siddiqui) opened a Post Office Box at a United States Post Office in Gaithersburg, Maryland. Siddiqui listed KHAN as the co-owner of the Post Office Box and falsely listed KHAN as her husband. 25. On or about December 30, 2002, in or near Gaithersburg, Maryland, Siddiqi mailed an application for a Refugee Travel Document to the United States Immigration and Naturalization Service on KHAN's behalf. 26. From about late January to about early February 2003, KHAN and Ali Abdul alAziz Ali met with Uzair Paracha and Saifullah Paracha in or near Karachi, Pakistan on at least two separate occasions. During these meetings, KHAN advised Uzair Paracha that he did not want United States Immigration officials to learn that he was not in the United States. KHAN directed that upon Uzair Paracha's return to the United States, Uzalr Paracha should, among other things, deposit money into KHAN's bank account, use his credit card, retrieve immigration papers from a post office box in Maryland and call INS from a pay phone, posing as KHAN. 27. Between about late January and about early February 2003, in or near Karachi Pakistan, Khan attempted to recruit Uzair Paracha to work for al Qaeda. 28. On or about February 17,2003, Uzair.Paracha traveled from Karachi, Pakistan to New York, New York. . 29. Between about February 17,2003 and about March 28,2003, in or near New York, New York, Uzair Parcha called a United States Immigration and Customs Enforcement telephone number posing as KHAN. 30. Between about February 17,2003 and about March 28,2003, in or near New York, New York, Uzair Parcha visited a website named:"Visapro," where he entered the receipt number for KHAN's Refugee Travel Document Application in order to check on its status as KHAN had instructed. I 31. Between about January 30, 2003 and about February 13,2003, in or near Karachi, Pakistan, KHAN and Co-conspirator #1 showed one of KHAN's close associates a videotape, produced by Co-conspirator #1, depicting al Qaeda training. ATTEMPT TO ASSAS$INATE PRESIDENT MUSHARRAF 32. Between about January 4,2002 and about March 21, 2002, in or near Karachi; Pakistan, KHAN told Khalid Sheikh Mohammed that he was willing to conduct a suicide attack against Pakistani President Pervez Musharraf. At Khalid Sheikh Mohammed's direction, KHAN recorded a "martyr video," wore an explosive vest and sat in a Mosque waiting for President Musharraf to arrive. 4 AtTACK ON J.W. MARBIOIT IN JAKARTA. INDONESIA 33. In about mid January 2002, Mohammed Jabarah. an operative sent by Khalid Sheikh Mohammed, met with Hambali in Thailand. Hambali stated that he planned to have his group conduct bombings against soft targets such as bars, cafes or nightclubs frequented by "Westerners" in Thailand. Malaysia, Singapore, Philippines and Indonesia. Hamt>ali also stated that he had one ton of explosives in Indonesia. 34. In about January 2002, Hambali instructed his lieutenants, lillie and Zubair, to travel from Hat Yai Thailand, to Hambali's location in Bangkok, Thailand. 35. Between about January 2002 and about June 2003, in or near Bangkok, Thailand, Hambali provided Lillie and Zubair with money to procure false identification documents for Hambali. 36. In about late 2002, Khalid Sheikh Mohammed and Ali Abdul al-Aziz Ali. who were located in or near Karachi. Pakistan, directed KHAN to deliver $50,000 United States Dollars (USD) to Hambali in Bangkok, Thailand. Khalid Sheikh Mohammed directed that KHAN should arrange the money transfer in the "black market," to avoid detection and the carrying of cash from Pakistan to Thailand. 37. In about late 2002, Ali Abdul al?Aziz Ali instructed KHAN to conduct Internet research about tourist activities in Thailand so that KHAN could dress appropriately and "blend in" unnoticed. Ali instructed KHAN to travel with his wife and use his honeymoon as a "cover story" for his trip to Thailand. 38. In about late 2002, Hambali's brother, Rusman Gunawan, alklal Abdul Hadi, (Gunawan), located in or near Karachi, PaIdstan, notified Hambali that Khalid Sheikh Mohammed was sending $50,000 USD to Hambali in Thailand. 39. In about late 2002, in or near Bangkok Thailand, Hambali told Zubair that they would be receiving $50,000 USD from at Qaeda. Zubair gave Hambali his telephone number to pass on to KHAN, so that KHAN could contact Zubair when he arrived in Thailand. Hambali told Zubair that the money was to be used for an "operation," such as a bombing or similar type of terrorist attack. Hambali subsequently provided Zubair's telephone number to Gunawan. 40. In about late 2002, Gunawan provided Ali Abdul ai-Aziz Ali with Zubair's telephone number in Bangkok, Thailand. Ali Abdul al-Aziz Ali then provided Zubair's phone number to KHAN. 41. On or about December 24. 2002, KHAN and his wife traveled from Pakistan to Bangkok, Thailand. 5 42. On or about December 24.2002 to about December 29. 2002. KHAN and his wife stayed at the Sofitel Hotel in Bangkok. Thailand. 43. On or about December 24.2002 to about December 29.2002. in or near Bangkok. Thailand, KHAN adopted a code-name and used coded methods to communicate with Ali Abdul al-Aziz Ali, who was located in or near Karachi, 1!kailand p",\<.~a..(\. ~~~~ \~ . 44. On or about December 26. 2002. KHAN received a message on the Sofitel Hotel's automated message system asking'him to call "Mr. Farooq" at a Thailand-based telephone number. KHAN called that phone number from his hotel room on or about December 28. 2002. 45. From about December 24,2002 to about December 29.2002, in or near Bangkok, Thailand. KHAN exchanged several e-mail messages with Ali Abdul al-Aziz Ali discussing the $50,000 USD money transfer to Hambali. 46. Between about December 24. 2002 and about December 28, 2002, KHAN telephoned Zubair and arranged to meet with him at a set location in Bangkok, Thailand. . 47. On or about December 28,2002 Zubair and KHAN met at a location in Bangkok, Thailand. At this meeting. KHAN delivered approximately $30,000 USD to Zubair. KHAN and Zubair arranged to meet again later that day so that KHAN Gould deliver the balance of the $50,000 USD to Zubair. 48. On or about December 28. 2002, Zubair and KHAN met a second time at a location in Bangkok, Thailand. KHAN delivered the remaining balance of the $50,000 USD to Zubair. . 49. On or about December 28,2002, KHAN sent an e-mail message to Ali Abdul 21? Aziz Ali confirming that he had successfully received the $50,000 USD and that he was delivering the money to Zubair. 50. On or about December 28. 2002. at Hambali's instruction. Zubair took the $50,000 USD he had received from KHAN to an apartment in or near Bangkok. Thailand, shared by Zubair and Lillie. for safekeeping. 51. In or about January 2003, at Hambali's instruction, Zubair met with a second al Qaed(J money courier in or near Bangkok, Thailand. At this meeting, the al Qaeda money courier gave Zubair approximately $49,000 USD. Zubair took this money to the apartment he shared with Lillie in or near Bangkok for safekeeping as welL 52. In or about February 2003, in or near Bangkok, Hambali directed Lillie and Zubair to take the money that they had received from KHAN and other conspirators and change it into other currencies. 6 53. In or about Spring 2003, at Hambali's direction, Lillie transferred the money to a fellow Malaysian and instructed him to hand-deliver the money to Indonesia, using codes and code names. Hambali told Lillie that this money was intended for Jemaah IslamiY(Jh member Dr. bin Hussein Azahari (Azahari). 54. In or about late Spring or early Summer 2003, Jemaah Islamiyah associate Mohammed Ikhwan. alkJa Ismail (Ismail), received the money delivered to him in Indonesia at Hambali's instruction. 55. In or about June 2003, Harrtbali contacted Zubair, at or near Bangkok, Thailand, and instructed him to remind Azahari that that some of the money that had been derived from the co-mingled funds, a portion of which had been delivered to Thailand by the Accused, and subsequently delivered to Indonesia by HambaU, was for families of Jemaah lslamtyah members and a portion was for a terrorist operation. 56. In or about late Spring or early Summer 2003, a group of Jemaah lslamiyah members began planning for a terrorist bombing, using the funds that had been delivered by Hambali, which were derived from the co-mingled funds that KHAN had delivered to Thailand in December 2002. 57. In or about early Summer 2003, Jemaah lslamiyah associates Nordin mat Top (Top) Ismail, and Azahari traveled to Jakarta, Indonesia, to construct a truck bomb. In order to covertly construct the truck bomb, Asmar and Tohir rented a safe house with a garage. 58. In or about mid~July 2003, Top and Azahari settled ori the J.W. Marriott Hotel in Jakruta. Indonesia, as the target of the terrorist attack. They did so in large part because they beJieved it had a large American presence. 59. On or about August 5, 2003, after allowing the selected suicide bomber to stop in a mosque to pray, Azahari joined Ismail on the motorcycle, and led the bombedn the truck bearing the bomb to the J.W. Marriott Hotel in Jakarta, Indonesia. Ismail and Azahari turned left on the street immediately prior to the J.W. Marriott Hotel and paused to ensure that the bomber turned into the J.W. Marriott Hotel driveway. 60. On or about August 5, 2003, in Jakarta, Indonesia, the suicide bomber drove the truck into the front entrance of the J.W. Marriott Hotel and detonated the bomb, killing eleven people, wounding at least eighty~one others, and severely damaging the J.W. Marriott HoteL 61. All of the groups' expenses for conducting the bombing of the August 5, 2003 J.W. Marriott hotel were paid for using the funds that were delivered by Hambali from. the co-mingled funds he received from KHAN and another al Qaeda money courier. 7 f '" CHARGE II: VIOLATION OF IOU.S.C. ? 9S0t(15)t MURDER IN VIOLATION OF THE LAW OF WAR. Specification: In that Majid Shoukat KHAN, a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, on or about August 5,2003, at or near Jakarta, Indonesia, in the context of and associated with hostilities, intentionally and unlawfully kill one or more protected persons in violation of the law of war by detonating a vehicle laden with explosives in front of theJ.W. Marriott Hotel located in Jarkarta, Indonesia, resulting in the deaths of 11 persons. (See Charge Sheet Appendix A for a list of victims kil1ed in the attack), CHARGE III: VIOLATION OF 10 U.S.C. ? 950t(28)t ATTEMPTED MURDER IN VIOLATION OF THE LAW OF WAR. Specification 1: In that Majid Shoukat KHAN, a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, on or about August 5, 2003, at or near Jakarta, Indonesia, in the context of and associated with hostilities, intentionally and unlawfully attempt to commit murder in violation of the law of war by intentionally detonating a vehicle laden with explosives in front of the J.W. Marriott Hotel located in Jarkarta, Indonesia, with the intent to kill protected persons in and around the hotel. which actions amounted to more than mere preparation and apparently tended to effect the commission of the offense of Murder in Violation of the Law of war. (See Charge Sheet Appendix B for a list of victims). SpeclflcatJon 2: In that Majid Shoukat KHAN, a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, on or about March 8, 2002, at or neal' Karachi, Pakistan, in the context of and associated with hostilities, intentionally and unlawfully attempt to kill Pakistani President Pervez Musharraf in violation of the law of war, by wearing a vest containing an improvised explosive device and traveling to a mosque where he expected President Musharraf to be with the intention of detonating the vest and killing President Musharraf, which actions amounted to more than mere preparation and apparently tended to effect the commission of the offense of Murder in Violation of the Law of war. CHARGE IV: VIOLATION OF 10 U.s.C. ? 950t(25), PROVIDING MATERIAL SUPPORT FOR TERRORISM Specification 1: In that Majid Shoukat KHAN, a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, from about January 2002 to about March 2003, at various locations within the United States, Pakistan, and Thailand, and elsewhere, in the context of and associated with hostilities, provide material support or resources, to wit: property, including currency or monetary instruments, and services, including financial services and personnel, including himself. knowing or intending that they were to be used in preparation for, or in carrying out, an act of terrorism as set forth in 10 U.S.C. ? 950t(24). 8 2 Specification 2: In that Majid Shoukat KHAN. a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, from abou( January 2002 to about March 2003, at various locations within the United States, Pakistan, ThaiJand, and elsewhere, in the context of and associated with hostilities, provide material support or resources, to wit: property, including currency or monetary instruments." services, including financial services, lodging, false documentation or identification, communications equipment, explosives, personnel, including himself, and transportation, to an international terrorist organization engaged in hostilities against the United States, to wit: al Qaeda and Jemaah lslamiyah, with the intent to provide such material support to al Qaeda and Jemaah lslamiyah, and knowing that al Qaeda and Jemaah lslamiyah has engaged in or engages in terrorism as set forth in 10 U.S.C, ? 950t(24). CHARGE V: VIOLATION OF 10 U.S.C. ? 950t(27), SPYING Specification: In that Majid Shoukat KHAN, a person subject to trial by military commission as an alien unprivileged enemy belligerent, did, in the context of and associated with hostilities, from about January 2002 to about March 2003, at or near Karachi, Pakistan and Baltimore, Maryland, collect or attempt to collect information by clandestine means or while acting under false pretenses, intending or having reason to believe the information collected would be used to injure the United States or to provide . an advantage to a foreign power and intending to convey such information to an enemy of the United States or one of the co-belligerents of the enemy, in violation of the law of war. 9 CHARGE SHEET: APPENDIX A The Dames Or persons kJlled as 8 result or the August 5, 2003 attack OD the J.W. Marriott The following are persons who were killed on August S, 2003, in or around Jakarta, Indonesia, as a result of the attack on the J. W. Marriott Hotel: 1. Em Haryanto 2. Edi Sucipto 3. Eyoh Zakaria 4. Hans Winkelmolen 5. Hidayat 6. Johanes Bolan 7. Miptah Tobiin 8. Rudi Dwi Laksono 9. Slamet Heriyanto 10. Syamsudin Bin Kosim 1L Ujang Harna CHARGE SHEET: APPENDIX B The names of persons who suffered serious bodily lnjury as a result of the August 5, 2003 attack on the J.W. Marriott The following people, and others not named below. evidence about whom will be presented at trial. are persons who suffered serious bodily injury and/or great bodily barm on August 5, 2003, in or around Jakarta, Indonesia, as a result of the attack on the J,W. Marriott Hotel: . II II o_ I o? II II II _ I II I_ o ---o o II II II II _ o oo o ooo o -. o oo o oo o .-o -ooooo o oo o o oo _. oooo II . ; 7 I I I >>