RFrF1VED

Transcription

RFrF1VED
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KEVIN V. RYAN (CSBN Il832I)
United States Attorney
ROSS W. NADEL (CSBN 87940)
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Chief, Criminal Division
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JANE H. SHOEMAKER (CSBN 125815)
JAMES T. CHOU (CSBN 142123)
Assistant United States Attorneys
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RFrF1VED
MAY
280 South First St., Rm 371
San Jose, California 95113
(408) 535-5043 1 (415) 436-7159
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7 2004
BY:
Attorneys for the United States
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN JOSE DIVISION
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UNITED STATES OF AMERICA,
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Plaintiff,
v.
ANH THE DUONG,
Defendant.
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No. CR 01-20154 IF
NOTICE OF INTENT TO SEEK
THE DEATH PENALTY
The United States of America, by and through Kevin V. Ryan, United States Attorney for
the Northern District of California, pursuant to Title 18, United States Code, Section 3593(a),
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notifies the defendant, ANH THE DUONG, his counsel , and the Court that, in the event the
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defendant is convicted under one or more of Counts Six and Seven of the Superseding
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Indictment relating to the death of Chau Quach; Counts Eighteen and Nineteen of the
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Superseding lndictment relating to the death ofHsu-Pin Tsai; and Counts Twenty-Eight and
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Twenty-Nine of the Superseding Indictment relating to the death of Josefino Cambosa. the
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NOTICE OF INTENT TO SEEK
THE DEATH PENALTY
United States believes that the circumstances of the offenses are such that a sentence of death is
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justified under Chapter 228 ofTitie 18 of the United States Code, and the United States will seek
the sentence of death.
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At a death penalty hearing. the United States proposes to prove the following statutory
and non·statutory factors as justifying a sentence of death with regard to each of Counts Six,
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Seven, Eighteen, Nineteen, Twenty-Eight and Twenty-Nine of the Superseding Indictment,
except as expressly noted below.
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A.
Statutory Proportionality Factors.
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The defendant intentionally killed the victim named in the respective capital count
of the Superseding Indictment (18 U.S.C. § 3591(a)(2)(A)).
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The defendant intentionally inflicted serious bodily injury that resulted in the
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death of the victim named in the respective capital count of the Superseding Indictment (18
U.S.c. § 3591 (a)(2)(B)).
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The defendant intentionally participated in one or more acts, contemplating that
the life ofa person would be taken or intending that lethal force would be used in connection
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with a person, other than a participant in the offense, and the victim named in the respective
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capital count of the Superseding Indictment died as a direct result of such act or acts (18 U.S.C. §
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3591 (a)(2)(C)).
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4.
The defendant intentionally and speci ficall y engaged in one or more acts of
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violence, knowing that the act or acts created a grave risk of death to a person, other than a
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participant in the offense, such that participation in such act or acts constituted a reckless
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disregard for human life, and the victim named in the respective capital count of the Superseding
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Indictment died as a direct result of such act or acts (I8 U.S.C. § 3591(a)(2)(D)).
NOTICE OF INTENT TO SEEK
THE DEATH PENALTV
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B.
Statutory Aggravating Factors.
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I.
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Except as to Counts Six, Eighteen, and Twenty-Eight, the defendant has
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previously been convicted of State offenses punishable by a term of imprisonment of more than
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onc year, involving the use or attempted or threatened use ofa fireann (as defmed in 18 U.S.C. §
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921) against another person, to wit: three counts of first degree murder and one count of second
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degree murder, all in violation ofCalifomia Penal Code § 187(a), judgment entered on or about
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March 7, 2003, in People v. Anh The Duong, Superior Court of California, Los Angeles County,
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Case No. BA 240170 (18 U.S.C. § 3592(c)(2».
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2.
The defendant has previously been convicted of State offenses resulting in the
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death of a person, for which a sentence of life imprisonment or death was authorized by statute,
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to wit: three counts of first degree murder and onc count of second degree murder, all in
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violation of California Penal Code § I 87(a),judgment entered on or about March 7, 2003, in
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PeoDle v. Anh The Duong, Superior Court of California, Los Angeles County, Case No. BA
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240170 (18 U.S .C. § 3592(c)(3)).
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3.
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Except as to Counts Eighteen and Nineteen, the defendant, in the commission of
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the offense, or in escaping apprehension for the offense, knowingly created a grave risk of death
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to one or more persons in addition to the victim of the offense named in the respective capital
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count of the Superseding Indictment (18 U.S.C. § 3592(c)(5».
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C.
Non Statutory Aggravating Factors (18 U.S.C. § 3593(a)).
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The defendant caused severe and irreparable loss, injury, and hann to the victims
and their families, including but not limited to physical pain and suffering of the victims, and
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extreme emotional suffering of the families of the victims as a result of the impact of the killings
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NOTICE OF INTENT TO SEEK
THE DEATH PENALTY
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on the victims' families. See Payne v. Tennessee, 501 U.S. 808, 825-827 (1991).
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2.
The defendant has engaged in other criminal acts of violence involving firearms,
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including offenses in which the defendant intentionally fired his weapon, seriously injured others,
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and killed others, including but not limited to the multiple capital homicides and other offenses
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and acts as alleged in all Counts of the Superseding Indictment and in this Notice.
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3.
The defendant's leadership role as the organizer, planner, recruiter and sole
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common participant in the numerous episodes of criminal conduct alleged in the Superseding
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Indictment was the prime cause of a malicious multi-jurisdictional wave of violent crime,
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extending over the course of several years, that exacted a terrible toll in property loss and human
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suffering.
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The United States further gives notice that in support of the imposition of the death
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penalty it intends to rely upon all the evidence admitted by the Court at the guilt phase ofthe trial
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and the offenses of conviction as described in the Superseding Indictment as they relate to the
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background and character of the defendant, ANH THE DUONG, his moral culpability, and the
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nature and circumstances of the offenses charged in the Superseding Indictment.
Dated this ~ day of May, 2004.
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Respectfully submitted,
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UNITED STATES OF AMERICA
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United States Attorney
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NOTICE OF INTENT TO SEEK
THE DEATH PENALTY
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U_S_v, AND THE DUONG
CR 01 -20154 JF
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I, Gina Brewer, declare that I am a citizen of the United States, over the age of 18 years and
n .... t !> "' <>~ I t .... tl. .. .. ,; .... ; .... ,.t;" ..
I hereby certify that a copy of the foregoing:
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II
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I.
NOTICE OF INTENT TO SEEK THE DEATH PENALTY
was served today_ by hand; _ by facsirnile;_ by Federal Express~ by first class mail
by placing a true copy of each such document(s) in a sealed envelope with postage thereon fully paid,
either in a U.S. Mail mailbox or in the designated area for outgoing U.S . Mail in accordance with the
normal practice of the United States Attorney's Office; x
by placing in the Public Defender's
piclcup box located in the reception area afthe San Jose Office of The U.S. Attorney and addressed to
the following Counsel of Record:
David Andersen and Richard Zimmer
385 Grand Avenue
Oakland, CA 94610
Vicki Young
555 Bryant Street
Palo Alto, CA
Jay Rorty
Federal Public Defender's Office
160 W. Santa C lara, St, Suite 575
San Jose, CA 951 13-1725
John Phillipsbom
Civic Center Building
507 Polk Street, Suite 250
San Francisco, CA
John Patrick Dolan
555 Point Drive
Building 3, Suite 302
Brea, CA 92821
Terrence J. Shannon
34052 La Plaza Drive
Suite 205
Dana Point, CA 92629
Kevin Ctymo
322 2"" Street, #200
Sacramento, CA 95814
Frank Leidman
473 Jackson St., 3'" Floor
San Francisco, CA 941 11-1607
Peter Leeming
108 Locust Street, #7
Santa Cruz, CA 95060
M. Gerald Schwartzbach
655 Redwood Highway #277
Mill Valley, CA 94941-3057
Tony Tamburello
214 Duboce Avenue
San Francisco, CA 94103
Michael Burt
600 Townsend St., Ste 329E
San Francisco, CA 94 103
Daniel Barton
600 University Avenue
Palo Alto, CA 94301
Jack Gordon
95 S. Market Street, #300
San Jose, CA 95113-2350