Common use of Factual Basis for Guilty Plea Clause in Contracts

Factual Basis for Guilty Plea. The parties agree that the facts constituting the offenses to which he is pleading guilty are as follows: That between on or about January 1, 2002, and May 31, 2007, in the Western District of Missouri and elsewhere, XXXXXX X. XXXXXX, defendant herein, did knowingly and intentionally combine, conspire, confederate, and agree with others, both known and unknown, to distribute a mixture or substance containing a detectable amount of methamphetamine, a Schedule II controlled substance, in an amount of 50 grams or more, contrary to the provisions of Title 21, United States Code, Sections 841(a)(1) and 841(b)(1)(B); all in violation of Title 21, United States Code, Section 846. Defendant was a member of the El Forastero Motorcycle Club chartered in Kansas City, Missouri. The El Forastero have an affiliate organization known as the Galloping Goose Motorcycle Club and in fact, the clubs share a common clubhouse in Kansas City, Missouri. As a member of the El Forastero, he was required to annually pay dues and attend a certain number of motorcycle trips, known as “runs” per year. On each run, the members were required to pay run money that was pooled, or collected by each club charter, forwarded to the specific El Forastero or Galloping Goose charter that hosted the particular motorcycle run, and was used to purchase methamphetamine, cocaine, and marijuana. Those drugs were maintained in run bags and were distributed, or made available, to all the club members that attended the run. The defendant knew what the money was going be used for and knowingly contributed run money and in so doing, the defendant admits that he distributed methamphetamine, cocaine, and marijuana and assisted others in the distribution of those drugs. As an active member of the El Forastero Motorcycle Club, defendant participated in the distribution of between 500 - 1500 grams of methamphetamine, figuring at least 20 runs over 5 years, each involving the distribution of 1 ounce (28 grams) of methamphetamine or more per run.

Appears in 1 contract

Samples: Plea Agreement

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Factual Basis for Guilty Plea. The parties agree that the facts constituting the offenses to which he is pleading guilty are as follows: That between on or about January 1, 2002, and May 31, 2007, in the Western District of Missouri and elsewhere, XXXXXX X. XXXXXXXXXXX, defendant herein, did knowingly and intentionally combine, conspire, confederate, and agree with others, both known and unknown, to distribute a mixture or substance containing a detectable amount of methamphetamine, a Schedule II controlled substance, in an amount of 50 grams or more, contrary to the provisions of Title 21, United States Code, Sections 841(a)(1) and 841(b)(1)(B); all in violation of Title 21, United States Code, Section 846. Defendant was a member of the El Forastero Galloping Goose Motorcycle Club chartered in Kansas City, Missouri. The El Forastero Galloping Goose have an affiliate organization known as the Galloping Goose El Forastero Motorcycle Club and in fact, the clubs share a common clubhouse in Kansas City, Missouri. As a member of the El ForasteroGalloping Goose, he was required to annually pay dues and attend a certain number of motorcycle trips, known as “runs” per year. On each run, the members were required to pay run money that was pooled, or collected by each club charter, forwarded to the specific Galloping Goose or El Forastero or Galloping Goose charter that hosted the particular motorcycle run, and was used to purchase methamphetamine, cocaine, and marijuana. Those drugs were maintained in run bags and were distributed, or made available, to all the club members that attended the run. The defendant knew what the money was going to be used for and knowingly contributed run money and in so doing, the defendant admits that he distributed methamphetamine, cocaine, and marijuana and assisted others in the distribution of those drugs. As an active member of the El Forastero Galloping Goose Motorcycle Club, defendant participated in the distribution of between 500 - 1500 -1500 grams of methamphetamine, figuring at least 20 runs over 5 years, each involving the distribution of 1 ounce (28 grams) of methamphetamine or more per run.

Appears in 1 contract

Samples: Plea Agreement

Factual Basis for Guilty Plea. The parties agree that the facts constituting the offenses to which he is pleading guilty are as follows: That between on or about January 1, 2002, and May 31, 2007, in the Western District of Missouri and elsewhere, XXXXXX X. XXXXXXXXXX, defendant herein, did knowingly and intentionally combine, conspire, confederate, and agree with others, both known and unknown, to distribute a mixture or substance containing a detectable amount of methamphetamine, a Schedule II controlled substance, in an amount of 50 grams or more, contrary to the provisions of Title 21, United States Code, Sections 841(a)(1) and 841(b)(1)(B); all in violation of Title 21, United States Code, Section 846. Defendant was a member of the El Forastero Galloping Goose Motorcycle Club chartered in Kansas City, Missouri. The El Forastero Galloping Goose have an affiliate organization known as the Galloping Goose El Forastero Motorcycle Club and in fact, the clubs share a common clubhouse in Kansas City, Missouri. As a member of the El ForasteroGalloping Goose, he was required to annually pay dues and attend a certain number of motorcycle trips, known as “runs” per year. On For each run, whether or not the member went on a particular run, the members were required to pay run money that was pooled, or collected by each club charter, forwarded to the specific Galloping Goose or El Forastero or Galloping Goose charter that hosted the particular motorcycle run, and was used to purchase methamphetamine, cocaine, methamphetamine and marijuana. Those drugs were maintained in run bags and were distributed, or made available, to all the club members that attended the run. The As the treasurer of the Galloping Goose, the defendant knew what the money was going to be used for and knowingly contributed run money and in so doing, the defendant admits that he distributed methamphetamine, cocaine, methamphetamine and marijuana and assisted others in the distribution of those drugs. As an active member of the El Forastero Galloping Goose Motorcycle Club, defendant participated in the distribution of between 500 - 1500 -1500 grams of methamphetamine, figuring at least 20 runs attended (out of a total of 35 runs possible) over 5 years, each involving the distribution of 1 ounce (28 grams) of methamphetamine or more per run.

Appears in 1 contract

Samples: Plea Agreement

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Factual Basis for Guilty Plea. The parties agree that the facts constituting the offenses to which he is pleading guilty are as follows: That between on or about January 1, 2002, and May July 31, 2007, in the Western District of Missouri and elsewhere, XXXXXX Xxxx X. XXXXXXXxxxxx, defendant herein, did knowingly and intentionally combine, conspire, confederate, and agree with others, both known and unknown, to distribute a mixture or substance containing a detectable amount of methamphetamine, a Schedule II controlled substance, in an amount of 50 five-hundred (500) grams or more, contrary to the provisions of Title 21, United States Code, Sections 841(a)(1) and 841(b)(1)(B841(b)(1)(A); all in violation of Title 21, United States Code, Section 846. Defendant was a member of the El Forastero Galloping Goose Motorcycle Club chartered in Kansas City, Missouri. The El Forastero Galloping Goose have an affiliate organization known as the Galloping Goose El Forastero Motorcycle Club Gang and in fact, the clubs gangs share a common clubhouse in Kansas City, Missouri. Additionally, the Galloping Goose and El Forastero maintained many different charters throughout the Midwest in such cities as Okoboji, IA, Des Moines, IA, Minneapolis, MN, Wichita, KS, Springfield, MO, and Kansas City, MO. As a member of the El ForasteroGalloping Goose, he was required to annually pay dues and attend a certain number of motorcycle trips, known as “runs” per year. On These runs were sponsored by a specific Galloping Goose or El Forastero charter. For each run, whether or not the member attended, the members were required to pay run money that was pooled, or collected by each club charter, forwarded to the specific El Forastero or Galloping Goose xxXx Xxxxxxxxx charter that hosted the particular motorcycle run, and was used to purchase purchase, among other things, methamphetamine, cocaine, and marijuana. Those drugs were maintained in run bags and were distributed, or made available, to all the club members that attended the run. The As a founding member of the Kansas City, Kansas charter of the Galloping Goose, the defendant knew what the money was going to be used for and knowingly contributed run money and in so doing, the defendant admits that he distributed methamphetamine, cocaine, and marijuana and assisted others in the distribution of those drugs. As an active member of the El Forastero Galloping Goose Motorcycle Club, defendant participated in the distribution of between 500 - 1500 grams of methamphetamine, figuring at least 20 runs attended (out of a total of 35 runs possible) over 5 years, each involving the distribution of 1 ounce (28 grams) of methamphetamine or more per run.

Appears in 1 contract

Samples: Plea Agreement

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