Case 1:13-mj-00620-AK Document 1 Filed 08/10/13 Page 1 of 1 FILED A0 91 [Rev 5165] Criminal Complaint - - - AUG Umted States D15 Court 0" 1 0 rk. U.s. District at Bankru For The District Columbia Dlstiictotcaiuninia UNITED STATES OF AMERICA Case: :1 3--mj--U62Ci v_ Assigned To Magistrate Judge Alan Kay Assign. Date 0811 0i'2D13 Description: Criminal Complaint HERMAN CURTIS MALONE I, the undersigned complainant being duly sworn state the following is true and correct to the best of my knowledge and belief: From at least August 2010 up to and including August 9. 2013. within the District of Columbia and elsewhere, defendants HERMAN CURTIS MALONE and MICAH JERRY BIDGELL and others known and unknown to law enforcement did knowingly and willfully combine. conspire. confederate. and agree together, and with other persons both known and unknown to law enforcement, to unlawfully, knowingly, and intentionally distribute and possess with intent to distribute 100 grams or more of a mixture or substance containing a detectable amount of heroin, a Schedule 1 controlled substance, and 500 grams or more of a mixture or substance containing a detectable amount of cocaine, a Schedule II controlled substance, in violation of Title 21, United States Code. Sections 841(a)(l), and [Conspiracy to Distribute and Possess with Intent to Distribute 100 Grams or More of a Mixture or Substance Containing Heroin and 500 Grams or More of Cocaine, in violation of Title 21, United States Code, Section 846) I further state that i am Agent Nicholas Singer with the DEA, and that this complaint is based on the following facts: See Attached Affidavit Continued on the attached sheet and made a part hereof: Yes No Signature of Agent Singer, DEA 08 at Washington. DC. Date I City and State Nameti.Title of Judicial Officer Sig Lire of a icer