PC Dto Indictment
PC Dto Indictment
PC Dto Indictment
Count One
In or about December 2018, in the Eastern District of Texas and elsewhere, the
defendants, Gary Collin B ssell, Ben Westin, Scott Perras, William Grant Allbrook,
and Peter Yin aided and abetted by each other did knowingly and intentionally possess with
and the death of R.J.P. on or about December 28,2018, resulted from the use of Alprazolam
Count Two
including on or about November 22, 2019, in the Eastern District of Texas and elsewhere,
Gary Collin Bussell, Ben Wes in, Scott Perras, William Grant Allbrook, Austin
Seymour, Lis Young, George Wagner, III, Gina Corwin, Todd She make, and Peter
Yin defendants, did knowingly and intentionally combine, conspire, and agree with each
other and other persons known and unknown to the United States Grand Jury, to knowingly
and intentionally distribute and possess with the intent to distribute a mixture or substance
Count Three
Violation: 18 U.S.C. §3
(Accessory after the Fact)
In or about December 2018, in the Eastern District of Texas, the defendant, Frank
Eric Dockery, knowing that an offense against the United States had been committed, to
(Fentanyl), by co-defendant, Ben Westin, as charged in Count One of this Indictment, did
receive, relieve, comfort, and assist Ben Westin in order to hinder and prevent his
Count Four
Violation: 18 U.S.C. §4
(Misprison of a Felony)
court of the United States, to-wit, possession with intent to distribute a mixture or substance
by failing to report the criminal activity and did not make known this fact as soon as
possible to a judge or other person in a position of authority under the United States.
In violation of 18 U.S.C. § 4.
Count Five
including on or about November 22, 2019, Gary Collin Bussell, Ben Westin, Scott
Perras, Frank Eric Dockery, William Grant Allbrook, Austin Seymour, Lisa Young,
Todd Shewmake, and Peter Yin aided and abetted by each other did knowingly and
Count Six
On or about March 26, 2019, in the Eastern District of Texas, Ben Westin,
defendant, did knowingly possess firearms, namely a Remington Shotgun serial number
RS40408 and a Mossberg .22 Rifle serial number 13507727, in furtherance of a drug
trafficking crime for which he may be prosecuted in a Court of the United States, to wit:
Count Seven
including the date of this Indictment, in the Eastern District of Texas, Frank Eric Dockery,
defendant, did knowingly possess a firearm in furtherance of a drug trafficking crime for
which he may be prosecuted in a Court of the United States, to wit: possession with intent
Count Eight
including on or about November 22, 2019, in the Eastern District of Texas and elsewhere,
Gary Collin Bussell, Ben Westin, Scott Perras, William Grant Allbrook, Austin
Seymour, Lisa Young, Gina Corwin, Todd Shewmake, and Peter Yin defendants, did
knowingly and intentionally combine, conspire, and agree with each other and other
persons known and unknown to the United States Grand Jury, to knowingly and
intentionally distribute and possess with the intent to distribute 500 grams or more of a
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shall forfeit to the United States, pursuant to 21 U.S.C. § 853, all property, real and
personal, involved in the offenses alleged or traceable to such property, and all property,
real or personal, used to commit or facilitate the offenses alleged, including, but not limited
Firearms
Substitute Assets
it is the intent of the United States, pursuant to 18 U.S.C. § 982(a)(4), to seek forfeiture of
any other property of each defendant up to the value of the above forfeitable property,
including but not limited to all property, both real and personal owned by each defendant.
By virtue of the commission of the offenses alleged in this Indictment, any and all
interest that each defendant has in the above-described property is vested in and hereby
A TRUE BILL
JOSEPH D. BROWN
UNITED STATES ATTORNEY
NOTICE OF PENALTIES
Count One
Penalty: If death or serious bodily injury resulted from the uses of such substance
then a term of imprisonment of not less than 20 years or more than life, a
fine not to exceed $5,000,000 or both. A term of supervised release of at
least five (5) years.
Count Two
Penalty: A term of imprisonment of not more than 20 years imprisonment, a fine not
to exceed $1,000,000.00 or both; supervised release of at least three years;
Count Three
Violation: 18U.S.C. §3
Penalty: A term of imprisonment of not more than 15 years, a fine not to exceed
$2,500,000, or both. A term of supervised release of at least three (3)
years.
Count Four
Violation: 18U.S.C. §4
Penalty: Not more than 3 years, a fine not to exceed $250,000, or both. A term of
supervised release of not more th n one (1) year.
Count Five
Penalty: A term of imprisonment of not more than 20 years imprisonment, a fine not
to exceed $1,000,000.00 or both; supervised release of at least three years;
Penalty: Imprisonment for not less than 5 years or more than life, which
imprisonment must be consecutive to any other sentence imposed for the
drug trafficking crime during which the firearm was possessed, a fine not to
exceed $250,000.00 or both. A term of supervised release of not more
than 3 ye rs.
Count Eight