?l4, Case 1: 17- -cr- -O-O452 CCB Dobumeglt 1 iled 08/24/17 Page 1 1? 9-: $213 u. it: 2,5133%; ?11-ng {315 grain K- itsTHE UNITED COURT FOR THE DISTRICT ht? MARYLAND I ?31: UNITED STATES OF AMERICA Criminal No. 611 6 7 4252, THOMAS ALLERS, Robbery, 18 U.S.C. 1951; Criminal v. (RICO Conspiracy, 18 U.S.C. 1962(d); RICO, 18 U.S.C. 1962(c); Hobbs Act Forfeiture, 21 U.S.C. 853) Defendant. INDICTMENT COUNT ONE (RICO Conspiracy) The Grand Jury for the District of Maryland charges that at all times relevant to this Indictment: THE ENTERPRISE 1. The Baltimore Police Department was an agency of the State of Maryland whose jurisdiction covered Maryland?s largest city, Baltimore, with a population of more than 621,000. The BPD was the eighth largest municipal police force in the United States staffed by nearly 3,100 civilians and sworn personnel. 2. The BPD constituted an ?enterprise,? as de?ned in Title 18, United States Code, Section 1961(4). The BPD engaged in, and its activities affected, interstate commerce. 3. The Gun Trace Task Force was a specialized unit within the Operational Investigation Division of the BPD. The primary mission of the GTTF was the _i tracking and tracing of recovered firearms in order to identify and suppress the possession, purchasing, and traf?cking of illegal ?rearms within Baltimore City, and to assist with the investigation and prosecution of ?rearms-related offenses. Case Document 1 Filed 08/24/17 Page 2 of 28 4. Sworn members of the BPD must abide by the Law Enforcement Of?cer?s Code of Ethics, which provides, in pertinent part: As a Law Enforcement Of?cer, my fundamental duty is to serve the community; to safeguard lives and property; to protect the innocent against deception, the weak against oppression or intimidation; the peaceful against violence or disorder; and to respect the constitutional rights of all to liberty, equality andjustice. I will keep my private life unsullied as an example to all and will behave in a manner that does not bring discredit to me or to my agency. I will maintain courageous calm in the face of danger, scorn or ridicule; develop self-restraint; and be constantly mindful of the welfare of others. Honest in thought and deed both in my personal and of?cial life, I will be exemplary in obeying the law and the regulations of my department I recognize the badge of my office as a symbol of public faith and I accept it as a public trust to be held so long as I am true to the ethics of police service. I will never engage in acts of corruption or bribery, nor will I condone such acts by other police of?cers. I will cooperate with all legally authorized agencies and their representatives in the pursuit of justice I will constantly strive to achieve these objectives and ideals, dedicating myself before God to my chosen profession . . . law enforcement. PURPOSE OF THE ENTERPRISE 5. The purpose of the BPD was to protect and preserve life, protect property, understand and serve the needs of the Baltimore City?s neighborhoods, and to improve the quality of life in Baltimore City. THE DEFENDANT 6. Sergeant THOMAS ALLERS joined the BPD on July 22, 1996. He became the of?cer-invcharge of the GTTF on or about July 25, 2013 and was reassigned out of the GTTF on June 14, 2016. PURPOSES OF THE DEFENDANT 7. The purposes of the defendant included violating the legitimate purposes of the BPD in order to enrich himself through illegal conduct, including robbery and extortion. Case Document 1 Filed 08/24/17 Page 3 of 28 THE RACKETEERING CONSPIRACY 8. Beginning at a date unknown to the Grand Jury, but at least by in or about 2014, through on or about the date of this Indictment, in the District of Maryland and elsewhere, the defendant, THOMAS ALLERS being a person employed by and associated with the BPD, an enterprise, which engaged in, and the activities of which affected, interstate and foreign commerce, together with MG. and .R. and other persons known and unknown to the Grand Jury, did knowingly, intentionally, and unlawfully combine, conspire, confederate and agree to violate Section 1962(c) of Title 18, United States Code, that is, to conduct and participate, directly and indirectly, in the conduct of the enterprise?s affairs through a pattern of racketeering activity, consisting of multiple acts involving: a. Robbery, and Attempted Robbery, chargeable under MD. CODE ANN., Crim. L. 3-402 and Conspiracy, chargeable under MD. CODE ANN., Crim. 1-202; and b. Extortion and Attempted Extortion by State or Local Government Of?cer or Employee chargeable under MD. CODE ANN, Crim. L. 3-702 and Conspiracy, chargeable under MD. CODE ANN, Crim. 1-202. It was part of the conspiracy that the Defendant agreed that a coconspirator would commit at least two acts of racketeering in the conduct of the affairs of the enterprise. MEANS AND METHODS OF THE CONSPIRACY 9. Among the means and methods by which the defendant and others pursued their illegal purposes were the following: Case Document 1 Filed 08/24/17 Page 4 of 28 a. ALLERS, M.G. and .R. stole cash from civilians when searching their residences and businesses. b. ALLERS released detainees and chose not to charge them criminally when he stole cash from them. c. In order to conceal their criminal conduct, M.G. and .R. and other members of the conspiracy authored false incident and arrest reports approved by or, the members of the conspiracy prepared no paperwork whatsoever documenting their encounters with detainees and arrestees. d. ALLERS became aware that M.G. and .R. were under investigation and, instead of holding that information in con?dence, tipped them off in order to thwart law enforcement efforts. OVERT ACTS 10. In furtherance of the conspiracy, the defendant committed the following overt acts in the District of Maryland and elsewhere: March 11, 2014, Robbery Extortion of G.W. and Y.W. 11. On or about March 1 l, 2014, Sergeant ALLERS and Detectives M.G. and .R., while acting in their capacity as police of?cers, executed a search warrant at the residence of G.W. and Y.W. located in Baltimore County, Maryland, after having arrested G.W. 12. G.W. had approximately $416,000 in the residence at the time of the search. Y.W. had approximately $1500 to $2000 in the house at the time of the search. 13. Prior to calling Baltimore County law enforcement to the scene, ALLERS, M.G. and .R. searched the house and located a drawer full of money in an upstairs bedroom. The 4 Case Document 1 Filed 08/24/17 Page 5 of 28 money was bundled in multiple stacks. ALLERS told MG. and .R. that the homeowner, ?wouldn?t miss a stack? or words to that effect and ALLERS took a stack of cash from the money in the drawer. M.G. and .R. then each took a stack of cash which contained approximately $8,000 to $10,000. ALLERS also had his adult son with him, who was not a police offer, for the execution of the search. son also took some of the cash. 14. When Baltimore County law enforcement arrived they seized the remaining cash from the residence, which amounted to $350,204. October 8, 2014, Robbery Extortion of D.K. 15. On or about October 8, 2014, Sergeant ALLERS and Detectives M.G., JR. and J.C., acting in their capacity as police of?cers, entered a store owned by DR. in Baltimore City to execute a search warrant. 16. UK. had approximately $9,000 in cash in his apartment above the store. 17. ALLERS stole $3,000 of the $9,000. The remaining $6,000 was recovered by the US. Marshals Service. 18. To conceal his illegal conduct, on or about October 8, 2014, ALLERS approved an incident report authored by .C. that was ?led with the BPD. Above his signature, ALLERS certi?ed that, af?rm and declare that the statements above are true to the best of my knowledge.? ALLERS approved the report knowing that it falsely stated that an ?Undetermined Amount US. Currency (Recovered by Store, Seized by US. Marshal Service)? had been seized when, in truth and fact, only $6,000 of the $9,000 that had been at the location was recovered by the US Marshals Service because ALLERS stole the rest. Case Document 1 Filed 08/24/17 Page 6 of 28 April 3, 2015, Robbery Extortion of D.M. and DR. 19. On or about April 3, 2015, Sergeant ALLERS and Detectives M.G., .R. and .C., acting in their capacity as police of?cers, entered the residence of D.M. and DR. in Baltimore City to execute a search warrant. 20. At the time of the search, D.M. and his wife had approximately $6,000 in their home which was a combination of money that D.M. had made buying and selling used cars and a i tax refund his wife, D.R., had received. 21. During the execution of the search warrant, M.G. located money in a portfolio and gave the money to JR. ALLERS then instructed M.G, and JR. to ?just do this here,? or words to that effect, which MG. and .R. understood to mean that they should take the money and split it with ALLERS. ALLERS, M.G., and .R. stole approximately $5700 from D.M. and DR. 22. To conceal his illegal conduct, on or about April 3, 2015, ALLERS approved an incident report authored by .C. that was ?led with the BPD. Above his signature, ALLERS certi?ed that, af?rm and declare that the statements above are true to the best of my knowledge.? ALLERS approved the report knowing that it falsely stated that $233 had been recovered from the search of D.M. and home when, in truth and fact, ALLERS, MG. and JR. seized $6,000. July 31, 2015, Robbery Extortion of Z.N. and C.J. 23. On or about July 31, 2015, Sergeant ALLERS and Detectives'MG. and .R., acting in their capacity as police officers, entered Z.N. and home in Anne Arundel County, Maryland, to execute a search warrant. Case Document 1 Filed 08/24/17 Page 7 of 28 24. Before Anne Arundel County police department personnel arrived, M.G. and .R. found $10,000 and stole $8,900 of it. The remaining cash was recovered by Anne Arundel County Police Department. 25. After ALLERS, M.G. and .R. left the residence they went to a bar/restaurant in Baltimore City and .R. gave ALLERS his share of the stolen cash. .R. and M.G. split the rest. February 10, 2016, Robbery I Extortion of P.E. 26. On or about February 10, 2016, Sergeant ALLERS and Detectives M.G. and .R., acting in their capacity as police of?cers, executed a search warrant at home in Baltimore City. 27. ALLERS, M.G. and JR. found approximately $10,000 in bedroom. P.E. had been counting the money when ALLERS, M.G. and .R. entered his home. ALLERS, M.G. and .R. stole approximately $8,300. 8 28. To conceal his illegal conduct, on or about February 10, 2016, ALLERS approved an incident report, authored by .R. Above his signature, ALLERS certi?ed that, affirm and declare that the statements above are true to the best of my knowledge.? ALLERS approved the report knowing that it falsely stated that only $1,684 had been seized from P.E., in truth and fact, ALLERS, M.G. and .R. seized approximately $10,000. February 23, 2016, Robbery I Extortion of RC. 29. On or about February 23, 2016, Sergeant ALLERS and Detectives M.G., and .R., acting in their capacity as police of?cers, executed a search warrant in a home in Baltimore County where B.C. had been renting a room. Case Document 1 Filed 08/24/17 Page 8 of 28 30. When ALLERS, MC. and .R. entered the home, they put B.C. and the person who owned the home in handcuffs. Before Baltimore County Police Department arrived, ALLERS, MC. and .R. located a handgun from the bedroom where B.C. was staying. B.C. also had $7,000 in that room, which ALLERS, M.G. and JR. stole. 31. When Baltimore County Police Department arrived on the scene, they seized the ?rearm and took B.C. into their custody. 32. To conceal his illegal conduct, on or about February 23, 2016, ALLERS approved an incident report, authored by M.G. Above his signature, ALLERS certi?ed that, af?rm and declare that the statements above are true to the best of my knowledge.? ALLERS approved the report knowing it falsely stated that the only property recovered from the home was an ?Amt Auto Mag 1 1, 22 magnum SIN 260351,? when in truth and fact ALLERS, MG. and .R. seized $7,000. March 2, 2016, Robbery Extortion of RH. and T.A. 33. On or about March 2, 2016, Sergeant ALLERS and Detectives .C., D.H., M.G., and acting in their capacity as police of?cers, executed a search warrant at 8H. and home in Baltimore City. 34. At the time of the search, T.A. had $200 in her purse, which her daughter had received the previous day during her birthday party, $900 to pay her rent for that month, $300 to pay down the amount of money she owed Baltimore Gas Electric for utilities and $8,000 which was the proceeds of drug sales. T.A. was a certi?ed nursing assistant and had earned her rent money and the money she was intending to use to pay down her bill. Case Document 1 Filed 08/24/17 Page 9 of 28 35. When ALLERS and the other members of the GTTF entered the house, T.A. was at home with her younger child. ALLERS and the other members of the GTTF also brought B.H. into the house, in handcuffs, after having arrested him outside the residence. 36. ALLERS stole some of the cash that TA. and B.1-1. had in their home. ALLERS told .R., ?here is some lunch money,? or words to that effect, and gave him a small portion of the money that ALLERS stole. 37. To conceal his illegal conduct, on or about March 2, 2016, ALLERS approved an incident report, authored by DH. Above his signature, ALLERS certi?ed that, af?rm and declare that the statements above are true to the best of my knowledge.? ALLERS approved the report knowing that it falsely stated that only $1,624 had been seized from B.H. when, in truth and fact, ALLERS had stolen more than $7,000 from B.H. and TA. April 28, 2016, Robbery Extortion of L.W. and DR. 38. On or about April 28, 2016, Sergeant ALLERS and Detectives D.H., M.G., and .R., acting in their capacity as police of?cers, arrested D.R. After D.R. was in custody, ALLERS, D.H., M.G., and .R. went inside the home where D.R. was living and obtained consent from L.W., who lived with DR. and their two children, to search the house. 39. L.W. and DR. had over $10,000 in their home at the time of the search. ALLERS stole over $10,000 during the search. Following the search, D.R. was shot and killed because he could not repay a drug-related debt. 40. To conceal his illegal conduct, on or about April 28, 2016, ALLERS approved an incident report, authored by .R. Above his signature, ALLERS certi?ed that, af?rm and declare that the statements above are true to the best of my knowledge.? ALLERS approved the Case Document 1 Filed 08/24/17 Page 10 of 28 report knowing that it falsely stated that the only property seized was two handguns and ammunition when, in truth and fact, ALLERS had stolen more than $10,000 from LW. and DR. May 28, 2016, Robbery Extortion of A.C. 41. On or about May 28, 2016, Sergeant ALLERS and Detectives D.H., M.G., and .R., acting in their capacity as police of?cers, arrested A.C. After AC. was in custody, ALLERS, D.H., M.G., and JR. went to the home where AC. was living in Anne Arundel County and obtained consent from the homeowner, D.W., who was grandmother, to search the house. 42. AC. had $1,000 in the basement where he slept. ALLERS, M.G., and .R. stole approximately $700 of the $1,000 and gave the rest to give to D.W. 13 U.S.C. 1962(d) 10 Case Document 1 Filed 08/24/17 Page 11 of 28 COUNT TWO (RICO) The Grand Jury for the District of Maryland further charges that: 1. Paragraphs One through Seven of Count One are hereby realleged and incorporated by reference herein as though fully set forth in this Count of the Indictment. THE RACKETEERING VIOLATION 2. From in or about 2014, until the date of this Indictment, in the District of Maryland, Sergeant THOMAS ALLERS, the defendant, together with M.G., IR, and others known and unknown to the Grand Jury, being persons employed by and associated with the Baltimore Police Department, an enterprise engaged in, and the activities of which affected, interstate and foreign commerce, unlawfully and knowingly conducted and participated, directly and indirectly, in the conduct of the affairs of that enterprise through a pattern of racketeering activity, that is, through the commission of the following acts: Racketeering Acts One through Seven below. THE PATTERN OF RACKETEERING ACTIVITY 3. The pattern of racketeering activity as de?ned in Title 18, United States Code, Sections 1961(1) and 1961(5), consisted of the following acts: 11 Case Document 1 Filed 08/24/17 Page 12 of 28 Racketeering Act One (March 11, 2014, Robbery Extortion of G.W. and Y.W.) 4. On or about March 11, 2014, Sergeant THOMAS ALLERS, the defendant, and Detectives M.G. and JR, acting in their capacity as police of?cers, and others, committed the following acts, any one of which alone constitutes the commission of Racketeering Act One: a. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, unlawfully conspired together with others known and unknown to the grand jury to wrongfully obtain money, property and anything of value from G.W. and Y.W. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 1-202 and 3-702; b. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully attempted to obtain money, property and anything of value from G.W. and Y.W. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; 0. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully obtained money, property and anything of value from G.W. and Y.W. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; d. unlawfully conspired together with others known and unknown to the grand jury to commit robbery in violation of MD. CODE ANN, Crim. L. 1-202 and 3402; 12 Case Document 1 Filed 08/24/17 Page 13 of 28 e. attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3-402; and f. committed robbery in violation of MD. CODE ANN ., Crim. L. 3-402. Racketeering Act Two (October 8, 2014, Robbery 1' Extortion of D.K.) 5. On or about October 8, 2014, Sergeant THOMAS ALLERS, the defendant, acting in his capacity as a police of?cer, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Two: a. as an of?cer and employee of the State of Maryland, to wit, as a police of?cer and employee of the BPD, wrongfully attempted to obtain money, property and anything of value from D.K, with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; b. as an of?cer and employee of the State of Maryland, to wit, as a police of?cer and employee of the BPD, wrongfully obtained money, property and anything of value from D.K. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; 0. attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3-402; and d. committed robbery in violation of MD. CODE ANN, Crim. L. 3-402. 13 Case Document 1 Filed 08/24/17 Page 14 of 28 - Racketeering Act Three I (April 3, 2015, Robbery I Extortion of D.M. and DR.) 6. On or about April 3, 2015, Sergeant THOMAS ALLERS, the defendant, and Detectives M.G. and .R, acting in their capacity as police of?cers, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Three: a. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, unlawfully conspired together with others known and unknown to the grand jury to wrongfully obtain money, property and anything of value from D.M. and DR. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 1-202 and 3-702; b. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully attempted to obtain money, property and anything of value from D.M. and DR. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; c. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully obtained money, property and anything of value from D.M. and DR. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; d. unlawfully conspired together with others known and unknown to the grand jury to commit robbery in violation of MD. CODE ANN, Crim. L. 1-202 and 3-402; 14 Case Document 1 Filed 08/24/17 Page 15 of 28 e. attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3?402; and f. committed robbery in violation of MD. CODE ANN, Crim. L. 3-402. Racketeering Act Four (July 31, 2015, Robbery I Extortion of Z.N. and C.J.) 7. On or about July 31, 2015, Sergeant THOMAS ALLERS, the defendant, and Detectives .G. and .R, acting in their capacity as police of?cers, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Four: a. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, unlawfully conspired together with others known and unknown to the grand jury to wrongfully obtain money, property and anything of value from Z.N. andiC.J. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 1-202 and 3-702; b. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully attempted to obtain money, property and anything of value from ZN. and OJ. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN ., Crim. L. 3-702; 0. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully obtained money, property and anything of value from Z.N. and C.J. with their consent under color and pretense of of?ce, 15 Case Document 1 Filed 08/24/17 Page 16 of 28 under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; . unlawfully conspired together with others known and unknown to the grandjury to commit robbery in violation of MD. CODE ANN, Crim. L. 1-202 and 3-402; attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3?402; and committed robbery in violation of MD. CODE ANN, Crim. L. 3-402. Racketeering Act Five (February 10, 2016, Robbery I Extortion of RE.) On or about February 10, 2016, Sergeant THOMAS ALLERS, the defendant, and Detectives M.G. and .R, acting in their capacity as police of?cers, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Five: as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, unlawfully conspired together with others known and unknown to the grand jury to wrongfully obtain money, property and anything of value from P.E. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 1-202 and 3-702; as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully attempted to obtain money, property and anything of value from P.E. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; 16 Case Document 1 Filed 08/24/17 Page 17 of 28 9. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully obtained money, property and anything of value from P.E. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN., Crim. L. 3-702; unlawfully conspired together with others known and unknown to the grand jury to commit robbery in violation of MD. CODE ANN, Crim. L. 1-202 and 3-402; attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3-402; and committed robbery in violation of MD. CODE ANN, Crim. L. 3-402. Racketeering Act Six (February 23, 2016, Robbery Extortion of RC.) On or about February 23, 2016, Sergeant THOMAS ALLERS, the defendant, and Detectives MC. and JR, acting in their capacity as police of?cers, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Six: a. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, unlawfully conspired together with others known and unknown to the grand jury to wrongfully obtain money, property and anything of value from BC. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE L. 1-202 and 3-702; as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully attempted to obtain money, property and 17 Case Document 1 Filed 08/24/17 Page 18 of 28 anything of value from BC. with consent under color and pretense of of?ce, under color of official right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; c. as of?cers and employees of the State of Maryland, to wit, as police officers and employees of the BPD, wrongfully obtained money, property and anything of value from BC. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; d. unlawfully conspired together with others known and unknown to the grand jury to commit robbery in violation of MD. CODE ANN, Crim. L. 1-202 and 3-402; e. attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3?402; and f. committed robbery in violation of MD. CODE ANN, Crim._ L. 3-402. Racketeering Act Seven (March 2, 2016, Robbery I Extortion of B.H. and T.A.) 10. On or about March 2, 2016, Sergeant THOMAS ALLERS, the defendant, acting in his capacity as a police of?cer, committed the following acts, any ?one of which alone constitutes the commission of Racketeering Act Seven: a. as an of?cer and employee of the State of Maryland, to wit, as a police of?cer and employee of the BPD, wrongfully attempted to obtain money, property and anything of value from B.H. and T.A. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; 18 Case Document 1 Filed 08/24/17 Page 19 of 28 b. as an of?cer and employee of the State of Maryland, to wit, as a police of?cer and employee of the BPD, wrongfully obtained money, property and anything of value from BH. and T.A. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrong?il use of actual and threatened force and violence in violation ofMD. CODE ANN., Crim. L. 3?702; c. attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3-402; and d. committed robbery in violation of MD. CODE ANN, Crim. L. 3-402. Racketeering Act Eight (April 28, 2016, Robbery I Extortion of L.W. and DR.) 1 1. On or about April 28, 2016, Sergeant THOMAS ALLERS, the defendant, acting in his capacity as a police of?cer, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Eight: a. as an of?cer and employee of the State of Maryland, to wit, as a police of?cer and employee of the BPD, wrongfully attempted to obtain money, property and anything of value from L.W. and DR. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; b. as an of?cer and employee of the State of Maryland, to wit, as a police of?cer and employee of the BPD, wrongfully obtained money, property and anything of value from L.W. and DR. with their consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; 19 Case Document 1 Filed 08/24/17 Page 20 of 28 c. attempted to commit robbery in violation of MD. CODE ANN., Crim. L. 3-402; and d. committed robbery in violation of MD. CODE ANN ., Crim. L. 3-402. Racketeering Act Nine (May 28, 2016, Robbery I Extortion of A.C.) 12. On or about May 28, 2016, Sergeant THOMAS ALLERS, the defendant, and Detectives M.G. and .R, acting in their capacity as police of?cers, committed the following acts, any one of which alone constitutes the commission of Racketeering Act Nine: 3. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, unlawfully conspired together with others known and unknown to the grand jury to wrongfully obtain money, property and anything of value from A.C. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in Violation of MD. CODE ANN, Crim. L. 1-202 and 3-702; b. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully attempted to obtain money, property and anything of value from A.C. with consent under color and pretense of of?ce, under color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; 0. as of?cers and employees of the State of Maryland, to wit, as police of?cers and employees of the BPD, wrongfully obtained money, property and anything of value from A.C. with consent under color and pretense of of?ce, under 20 Case Document 1 Filed 08/24/17 Page 21 of 28 color of of?cial right, and by wrongful use of actual and threatened force and violence in violation of MD. CODE ANN, Crim. L. 3-702; (1. unlawfully conspired together with others known. and unknown to the grand jury to commit robbery in violation of MD. CODE ANN, Crim. L. 1-202 and 3-402; e. attempted to commit robbery in violation of MD. CODE ANN, Crim. L. 3-402; and f. committed robbery in violation of MD. CODE ANN, Crim. L. 3-402. All in violation of 13 U.S.C. 1962(c) 21 Case Document 1 Filed 08/24/17 Page 22 of 28 COUNT THREE (Hobbs Act Robbery I Extortion of G.W. and Y.W.) The Grand Jury for the District of Maryland further charges that: On or about March 1 1, 2014, in the District of Maryland, the defendant, THOMAS ALLERS and M.G. and .R. and others known and unknown to the grand jury, did unlawfully obstruct, delay and affect and attempt to obstruct, delay and affect commerce, and the movement of articles and commodities in commerce, by robbery and extortion as those terms are de?ned in 18 U.S.C. 1951, in that the defendant knowingly and unlawfully took and obtained, and attempted to take and obtain, from a person and presence of such person, United States currency, that is approximately $66,000, against such person?s will, by means of actual and threatened force, violence and fear of injury, immediate and future, and with their consent, induced by wrongful use of actual and threatened force, violence and fear, and under color of of?cial right. 18 1951 13 U.S.C. 2 22, Case Document 1 Filed 08/24/17 Page 23 of 28 COUNT FOUR (Hobbs Act Robbery I Extortion of D.K.) The Grand Jury for the District of Maryland further charges that: On or about October 8, 2014, in the District of Maryland, the defendant, THOMAS ALLERS did unlawfully obstruct, delay and affect and attempt to obstruct, delay and affect commerce, and the movement of articles and commodities in commerce, by robbery and extortion as those terms are de?ned in 18 U.S.C. 1951, in that the defendant knowingly and unlawfully took and obtained, and attempted to take and obtain, from a person and presence of such person, United States currency, that is approximately $3,000, against such person?s will, by means of actual and threatened force, violence and fear of injury, immediate and future, and with their consent, induced by wrongful use of actual and threatened force, Violence and fear, and under color of of?cial right. 18 U.S.C. 1951 13 U.S.C. 2 23 Case Document 1 Filed 08/24/17 Page 24 of 28 COUNT FIVE (Hobbs Act Robbery [Extortion of D.R. and D.M.) The Grand Jury for the District of Maryland further charges that: On or about April 3, 2015, in the District-of Maryland, the defendant, THOMAS ALLERS and MG. and .R. and others known and unknown to the grand jury, did unlawfully obstruct, delay and affect and attempt to obstruct, delay and affect commerce, and the movement of articles and commodities in commerce, by robbery and extortion as those terms are de?ned in 18 U.S.C. 1951, in that the defendant knowingly and unlawfully took and obtained, and attempted to take and obtain, from a person and presence of such person, United States currency, that is approximately $5,700, against such person?s will, by means of actual and threatened force, violence and fear of injury, immediate and future, and with their consent, induced by wrongful use of actual and threatened force, violence and fear, and under color of of?cial right. 18 U.S.C. 1951 18 U.S.C. 2 24 Case Document 1 Filed 08/24/17 Page 25 of 28 new (Hobbs Act Robbery I Extortion of P.E.) The Grand Jury for the District of Maryland further charges that: On or about February 10, 20l6, in the District of Maryland, the defendant, THOMAS ALLERS and MG. and JR. and others known and unknown to the grand jury, did unlawfully obstruct, delay and affect and attempt to obstruct, delay and affect commerce, and the movement of articles and commodities in commerce, by robbery and extortion as those terms are de?ned in 18 U.S.C. 1951, in that the defendant knowingly and unlawfully took and obtained, and attempted to take and obtain, from a person and presence of such person, United States currency, that is approximately $8,300, against such person?s will, by means of actual and threatened force, violence and fear of injury, immediate and future, and with their consent, induced by wrongful use of actual and threatened force, violence and fear, and under color of of?cial right. 18 U.S.C. 1951 18 U.S.C. ?2 25 Case Document 1 Filed 08/24/17 Page 26 of 28 COUNT SEVEN (Hobbs Act Robbery I Extortion of B.H. and T.A.) The Grand Jury for the District of Maryland further charges that: On or about March 2, 2016, in the District of Maryland, the defendant, THOMAS ALLERS and MG. and JR. and others known and unknown to the grand jury, did unlawfully obstruct, delay and affect and attempt to obstruct, delay and affect commerce, and the movement of articles and commodities in commerce, by robbery and extortion as those terms are de?ned in 18 U.S.C. 1951, in that the defendant knowingly and unlawfully took and obtained, and attempted to take and obtain, from a person and presence of such person, United States currency, that is approximately $7,000, against such person?s will, by means of actual and threatened force, violence and fear of injury, immediate and future, and with their consent, induced by wrongful use of actual and threatened force, violence and fear, and under color of of?cial right. 13 1951 13 use. 2 26 Case Document 1 Filed 08/24/17 Page 27 of 28 FORFEITURE 1. Pursuant to Title 18, United States Code, Section 1963, upon conviction of an offense in violation of Title 18, United States Code, Section 1962, the defendant THOMAS ALLERS shall forfeit to the United States of America: a. any interest acquired or maintained in violation of section 1962; b. any interest in, security of, claim against, or property or contractual right of any kind affording a source of in?uence over, any enterprise which the defendant established, operated, controlled, conducted, or participated in the conduct of, in violation of section 1962; and c. any property constituting, or derived from, any proceeds obtained, directly or indirectly, from racketeering activity in violation of 1962. 2. The interests of the defendant subject to forfeiture to the United States pursuant to 18 U.S.C. 1963(a)(1), and include, but are not limited to a sum of money representing the amount of the gross proceeds received by the defendant derived from racketeering activity as alleged in this Indictment, for which each of the defendant are jointly and severally liable. Substitute Assets 3. If any of the property described above, as a result of any act or omission of the defendant: cannot be located upon the exercise of due diligence; has been transferred or sold to, or deposited with, a third party; has been placed beyond the jurisdiction of the court; has been substantially diminished in value; or has been commingled with other property that cannot be divided without dif?culty; 9999's? 27 Case Document 1 Filed 08/24/17 Page 28 of 28 the United States shall be entitled to forfeiture of substitute prOperty pursuant to 21 U.S.C. 853(p) and 18 U.S.C. 1963(m), as incorporated by 28 U.S.C. 2461(0). 21 U.S.C. 353 13 1963 28 U.S.C. 2461(0) 18 U.S.C. 924(d) M. SCHENNING i/W/ ACTING UNITED STATES ATTORNEY A TRUE BILL: SIGNATURE HEDACTED 8/zifz4 7 . Dat? Foreperson 28