JOSEPH P. RUSSONIELLO
United States Attorney
Attorney for Plaintiff
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
UNITED STATES OF AMERICA,
Plaintiff,
v.
JUAN NORWIN MENESES-CANTARERO,
a/k/a NORWIN MENESES,
Defendant.
Criminal No.:
VIOLATIONS: Title 21,
United States Code, Section 846,
CONSPIRACY TO DISTRIBUTE
COCAINE; Title 21, United States
Code, Section 841 (a) (1),
POSSESSION WITH INTENT TO
DISTRIBUTE COCAINE
INDICTMENT
COUNT ONE: (21 U.S.C. S. 846)
The grand Jury charges: THAT
Beginning on or about March 5, 1984, and continuing
thereafter until approximately November 28, 1984, in the City and
County of San Francisco, State and Northern District of
California, and elsewhere,
JUAN NORWIN MENESES-CANTARERO,
a/k/a NORWIN MENESES,
did knowingly and willfully combine, conspire and agree together
with others known and unknown to the Grand Jury to distribute
cocaine, all in violation of Title 21, United States Code, Section
846.
COUNT TWO: (21 U.S.C. S. 841 (a) (1))
The Grand Jury further charges: THAT
On or about July 15, 1985, in the City and county of San
Francisco, State and Northern District of California,
JUAN NORWIN MENESES-CANTARERO,
a/k/a NORWIN MENESES,
defendant herein,did knowingly and willfully possess with intent
todistribute approximately one kilogram of cocaine, all in
violation of Title 21, United States Code, Section
841 (a) (1).
DATED: A TRUE BILL.
FOREMAN
JOSEPH P. RUSSONIELLO
United States Attorney