summon couar .. I OF THE ZUIZ SEP ll= Ub DISTRICT OF COLUMBIA Holding aCriminal Tenn I I I Grand Jury Swom in on July 9, 2012 THE UNITED STATES OF AMERICA Criminal No: 2011 CF 1 24733 v. Violation: 22 D.C. Code, Sections 2101 4502; ANDREW W. WHLIAMS, 22 D.C. Code, Section 4504(b); ALSO KNOWN AS DREW, 22 D.C. Code Section 4503(a)(1); ALSO KNOWN AS BARBERSHOP 22 D.C. Code, Section 4504(a) (2001 ed.) PDID: 560-069 (First Degree Murder While Armed (Premeditatned); Possession Of a Firearm - During Crime Of Violence Or Dangerous Offense; Unlawhxl Possession of a Firearm; Carrying a Pistol Without a License (Outside Home or Place of Business)) The Grand Jury charges: FIRST COUNT: Andrew W. Williams, also known as Drew, also known as Barbershop, within the District I of Columbia, while armed with a firearm, purposely and with deliberate and premeditated malice, killed Junon Snead by shooting him with a firearm on or about May 14, 2011, thereby I causing injuries from which Junon Snead died on or about May 14, 2011. (First Degree Murder While Armed (Premeditated), in violation of 22 D.C. Code, Sections 2101, 4502 (2001 SECOND COUNT: On or about May 14, 2011, within the District of Columbia, Andrew W. Williams, also known as Drew, also known as Barbershop, did possess a firearm while committing the crime of murder as set in the first count of this indicnnent. (Possession Of a Firearm During Crime Of Violence Or Dangerous Offense, in violation of 22 D.C. Code, Section 4504(b) (2001 THIRD COUNT: On or about May 14, 2011, within the District of Columbia, Andrew W. William also - known as Drew, also known as Barbershop, previously having been convicted in any court of a crime prmishable by imprisonment for a term exceeding one year, owned, kept and had within his possession and control, a lirearm. (Unlawful Possession of a Firearm, in violation of 22 D.C. Code Section 4503(a)(1) (2001 FOURTH COUNT: I - On or about May 14, 201 1, within the District of Columbia, Andrew W. Williams, also known as Drew, also known as Barbershop, previously having been convicted of a felony or a violation of 22 D.C. Code, Section 4504(a) (2001 did carry, openly and concealed on or about his person, in a place other than his dwelling place, place of business or on other land possessed by him, a pistol, without a license issued pursuant to law. (Carrying a Pistol Without a License (Outside Home or Place of Business), in violation of 22 D.C. Code, Section 4S04(a) (2001 RONALD C. MACHEN JR. - United States Attomey ua an. I