Pandemic Darlings The pandemic economy, in original documents
Home Source documents Court filing — No. 1:24-cr-10010 (Dkt. 21, D. Mass.)

Court filing — No. 1:24-cr-10010 (Dkt. 21, D. Mass.)

Full text

         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 1 of 8




                            UNITED STATES DISTRICT COURT
                             DISTRICT OF MASSACHUSETTS


UNITED STATES OF AMERICA
                                                    Criminal No.    24cr10010
                                                    Violations:
              v.
                                                    Count One: Felon in Possession of a
GLENROY MILLER,                                     Firearm
                                                    (18 U.S.C. § 922(g)(1))
                     Defendant
                                                    Count Two: Felon in Possession of a
                                                    Firearm and Ammunition
                                                    (18 U.S.C. § 922(g)(1))

                                                    Count Three: Felon in Possession of
                                                    Ammunition
                                                    (18 U.S.C. § 922(g)(1))

                                                    Count Four: Possession of a Machinegun
                                                    (18 U.S.C. § 922(o))

                                                    Count Five: Trafficking in Firearms
                                                    (18 U.S.C. § 933(a)(1))

                                                    Firearm Forfeiture Allegation:
                                                    (18 U.S.C. § 924(d)(1); 28 U.S.C. § 2461(c))


                                         INDICTMENT

                                          COUNT ONE
                                 Felon in Possession of a Firearm
                                     (18 U.S.C. § 922(g)(1))

The Grand Jury charges:

       On or about August 7, 2023, in Boston, in the District of Massachusetts, the defendant,

                                     GLENROY MILLER,

knowing that he was previously convicted in a court of a crime punishable by imprisonment for a

term exceeding one year, did knowingly possess, in and affecting commerce, a firearm, that is, a

                                                1
         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 2 of 8




Heckler and Koch VP .40 caliber pistol, bearing serial number 222-21045.

       All in violation of Title 18, United States Code, Section 922(g)(1).
         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 3 of 8




                                        COUNT TWO
                       Felon in Possession of a Firearm and Ammunition
                                    (18 U.S.C. § 922(g)(1))

The Grand Jury further charges:

       On or about September 11, 2023, in Boston, in the District of Massachusetts, the

defendant,

                                     GLENROY MILLER,

knowing that he was previously convicted in a court of a crime punishable by imprisonment for a

term exceeding one year, did knowingly possess, in and affecting commerce, a firearm and

ammunition, that is, a Glock 19 9mm pistol, bearing serial number BVUS031 and 11 rounds of

9mm ammunition.

       All in violation of Title 18, United States Code, Section 922(g)(1).




                                                3
         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 4 of 8




                                       COUNT THREE
                              Felon in Possession of Ammunition
                                    (18 U.S.C. § 922(g)(1))

The Grand Jury further charges:

       On or about October 10, 2023, in Boston, in the District of Massachusetts, the defendant,

                                     GLENROY MILLER,

knowing that he was previously convicted in a court of a crime punishable by imprisonment for a

term exceeding one year, did knowingly possess, in and affecting commerce, ammunition, that

is, 15 rounds of .40 caliber ammunition.

       All in violation of Title 18, United States Code, Section 922(g)(1).




                                                4
         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 5 of 8




                                        COUNT FOUR
                              Unlawful Possession of a Machinegun
                                     (18 U.S.C. § 922(o))

The Grand Jury further charges:

       On or about October 10, 2023, in Boston, in the District of Massachusetts, the defendant,

                                     GLENROY MILLER,

knowingly possessed a machinegun, as defined by Title 26, United States Code, Section 5845(b),

that is a Glock 19X, 9mm pistol, bearing serial number BNVU610 with a machinegun

conversion device attached to it.

       All in violation of Title 18, United States Code, Section 922(o).




                                                5
           Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 6 of 8




                                            COUNT FIVE
                                        Trafficking in Firearms
                                        (18 U.S.C. § 933(a)(1))

The Grand Jury further charges:

          On or about October 24, 2023, in Boston, in the District of Massachusetts, the defendant,

                                        GLENROY MILLER,

did ship, transport, transfer, cause to be transported, and otherwise dispose of firearms, that is a

Glock 27 .40 caliber pistol, bearing serial number RHW990; and a Springfield Hellcat 9mm

pistol, bearing serial number BY543907, to another person, whose identity is known to the

Grand Jury, in and otherwise affecting commerce, knowing and having reasonable cause to

believe that the use, carrying, and possession of the firearm by the recipient would constitute a

felony.

          All in violation of Title 18, United States Code, Section 933(a)(1).




                                                   6
         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 7 of 8




                           FIREARM FORFEITURE ALLEGATION
                         (18 U.S.C. § 924(d)(1) and 28 U.S.C. § 2461(c))

The Grand Jury further finds:

        1.      Upon conviction of one or more of the offenses in violation of Title 18, United

 States Code, Sections 922(g)(1), 922(o), or 933(a)(1), set forth in Counts One through Five, the

 defendant,

                                      GLENROY MILLER,

 shall forfeit to the United States, pursuant to Title 18, United States Code, Section 924(d)(1),

 and Title 28, United States Code, Section 2461(c), any firearm or ammunition involved in or

 used in any knowing commission of the offenses.

        2.     If any of the property described in Paragraph 1, above, as being forfeitable

pursuant to Title 18, United States Code, Section 924(d)(1), and Title 28, United States Code,

 Section 2461(c), as a result of any act or omission of the defendant --

                       a. cannot be located upon the exercise of due diligence;

                       b. has been transferred or sold to, or deposited with, a third party;

                       c. has been placed beyond the jurisdiction of the Court;

                       d. has been substantially diminished in value; or

                       e. has been commingled with other property which cannot be divided
                          without difficulty;

it is the intention of the United States, pursuant to Title 28, United States Code, Section 2461(c),

incorporating Title 21, United States Code, Section 853(p), to seek forfeiture of any other

property of the defendant up to the value of the property described in Paragraph 1 above.




                                                 7
         Case 1:24-cr-10010-NMG Document 21 Filed 01/17/24 Page 8 of 8




       All pursuant to Title 18, United States Code, Section 924, and Title 28, United States

Code, Section 2461.



                                                     A TRUE BILL




LU Y SUN
P   IP C. CHENG
A SISTANT UNITED STATES ATTORNEYS
DISTRICT OF MASSACHUSETTS

District of Massachusetts: January        , 2024
Returned into the District Court by the Grand Jurors and filed.


                                                                         01/17/2024
                                                     DEPUTY CLERK




                                                8


File and source

File
21.pdf
Size
934,687 bytes
SHA-256
104fd42e0f394a7d298c356c1a8c6cbabce24adcc1844e2ac28a833d5a043160
Our copy
21.pdf
Original
No public link identified.
Back to top