YSL Indictment
YSL Indictment
RE-INDICTMENT OF
2ZSC182273
FILED IN OFFICE F315- fifinufl/e.
'
UG 2022
g Clerk No. QQS'C [LS 3g7g
DEPU Y CLE K su ERIOR COURT
FULTON COUNTY. GA
FULTON SUPERIOR COURT
29 ‘
TRONTAVIOUS STEPHENS 36 i
POSSESSION 0F FIREARM DURING
A/K/A TICK 1
COMMISSION OF A FELONY
A/K/A SLUG E O.C.G.A. §16-11-106 .
~
Count(s): 1
45 POSSESSION 0F A TELECOMMUNICATION
DEVICE BY INCARCERATED INDIVIDUAL
O.C.G.A. §42-5-18
49 4
MURDER O.C.G.A. §16—5-1
FUC BILL
«f-Hx
, 2022
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of Witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads ,
formal arraignment and pleads
Guilty. Guilty. Guilty.
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list 0f witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty.
‘
Guilty.
The Defendant waives copy of The Defendant waives copy of The Defendant waives copy of
indictment, list of witnesses, indictment, list of witnesses, indictment, list of witnesses,
formal arraignment and pleads formal arraignment and pleads formal arraignment and pleads
Guilty. Guilty. Guilty.
THE GRAND J URORS, selected, chosen and sworn for the County of Fulton, to Wit:
10
COUNT1
The Grand Jurors‘ aforesaid, in the name of and on behalf of the citizens of Georgia, do
charge and accuse: KAHLIEFF ADAMS, AKA BOBBY HUNT
MARTINEZ ARNOLD, Am DUKE
DERONTAE BEBEE, AKA BEE, AKA B
DAMONE BLALOCK, AKA BALI
JAVARIS BRADFORD, AKA TUDA
JUSTIN COBB, AKA DUWAP
CORDARIUs DORSEY, AKA POLO, AKA JUICY
CHRISTIAN EBPINGER, AKA BHRIs
MILES FARLEY, AKA SLATO, AKA LIL MILES
JEVON FLEETWOOD, AKA 4TRAY, AKA PSYCHO
DAMEKION GARLINGTON, AKA DEE, AKA SXARFAXE
QUANTAVIOUS GRIER, AKA UNEOONK
MARQUAViUS HUEY, AKA QUA
DEAMONTE KENDRICK, AKA YAK GOTTI
SERGIO KITCHENS, AKA GUNNA
WUNNIE LEE, AjKA SLIMELIFE SHAWTY
DEMISE MCMULLEN, AKA NARD
TENQUARIUS MENDfER, AKA NARD, AKA STUNNA
WALTER MURPHY AKA DK
JAYDEN MYRICK, AKA SETTRIP, AKA JAYMAN
QUAMARVIOUS NICHOLS, AKA QUA
RODALIUS RYAN, AKA LIL ROD
ANTONIO SLEDGE, AKA MOUNK TOUNK A
11
with the offense of CONSPIRACY TO VIOLATE THE RACKETEER INFLUENCED AND
CORRUPT ORGANIZATIONS ACT (O.C.G.A. § 16-14-4 (c)), for the said accused together
with unindicted co-conspirators, in the State of Georgia, and County of Fulton, on or between the
24th day of January, 2013 and the 8th day of May, 2022, did unlawfully conspire to acquireand
maintain, directly and indirectly, an interest in and control of United States currency and other
personal property through a pattern of racketeering activity, in Violation of O.C.G.A. § 16-14-4
(a), and while associated with an enterprise, did unlawfully conspire to conduct and participate in,
directly and indirectly, such enterprise through a pattern of racketeering activity in violation of
O.C.G.A. § 16-14—4 ®), as described below and incorporated by reference as if fully set forth
herein, contrary to the law of said State, the good order, peace, and dignity thereof;
As associates of the enterprise Young Slime Life (hereinafter “YSL”), the defendants
conspired to associate together and with Others for the common purposes of illegally obtaining
money and property through a pattern of racketeering activity and conducting and participating in
the enterprise through a pattern of racketeering activity. In furtherance of the conspiracy, the .
defendants engaged in the activities enumerated herein. The objectives of the conspiracy included
but were not limited to:
o Preserving, protecting and enhancing the reputation, power and territory of the enterprise
through acts of racketeering activity including murder, assault and threats of violence;
o Preserving, protecting and enhancing the reputation, power and territory of the enterprise
by the posting of messages, images, videos and songs, demonstrating allegiance to the
enterprise and a willingness to engage in violence on its behalf;
o Maintaining armed individuals ready and willing to preserve, protect and enhance the
reputation, power and territory of the enterprise through the use of violence;
12
Part 2 - The Entergrise
A. The Enterprise
YSL is an enterprise consisting of a group of individuals associated in fact although not a
legal entity. YSL constitutes an ongoing organization whose associates function as a continuing
unit for the common purpose of achieving the objectives of the enterprise.
B. YSL
1. History
YSL is a criminal street gang that started in late 2012 in the Cleveland Avenue area of
Atlanta, Georgia. YSL claims affiliation with the national Bloods gang.
YSL’s founders were Jeffery Williams AKA “Young Thug,” AKA “Slime,” Walter
Murphy AKA “DK,” and Trontavious Stephens AKA “Tick,” AKA “Slug.” Jeffery Williams, an
Atlanta-based hip-hop artist, made YSL a well—known name by referring to it in his songs and on
'
social media.
2. Identifiers
YSL associates use a variety of identifiers including colors, clothing, tattoos, and hand
signs, as well as verbal and written identifiers. YSL claims affiliation with the national Bloods
gang, and some associates also claim the Blood subset gangs Sex” Money Murder or 30 Deep. YSL
‘
associates often display their colors by wearing a green or red bandana on their person, a practice -
known as flagging. YSL associates often wear clothing with the letters “YSL” or the word “Slime”
printed on them. YSL associates also often wear pendants displaying the letters “YSL” or the
word “SLATT.” The most predominant YSL colors are red for Bloods, and green for Slime.
YSL associates use a variety of hand signs. One of the most common hand signs is wiping
the nose with the index finger. Another frequently used YSL hand sign consists of curling the ring
and pinky finger inward toward the palm while extending the index and thumb with the middle
finger slightly curved. The extended middle and index fingers represent the “Y.” The curved
middle finger and curved ring finger represent the “S.” The extended index finger and thumb
represent the “L.” YSL associates will also make the "two guns" hand sign by forming pistols
with their fingers, and pointing them in opposite directions.
YSL associates use a variety of other identifiers. Often, YSL associates will write or say
the word “BLATT,” which means “Blood Love All the Time." YSL associates also use the word
“SLATT” which means “Slime Love All the Time.” Often, associates will simply refer to each
other as “Blood" or “Slime.” They also refer to Cleveland Avenue as “Bleveland,” replacing the
“C" with a “B.” Green Heart, Green Snake, Blowing Nose, and Green Vomit emojis are also
symbols commonly used by associates 0f YSL.
3. Primary Locale _
YSL associates are predominately active in Southeast Atlanta in the Cleveland Avenue
area, but are expanding their activities into the surrounding metropolitan Atlanta area.
13
Part 3 - Acts in Furtherance of the Conspiragy
In furtherance of the conspiracy and to effect its objectives and purposes, the defendants
committed and caused to be committed, among others, the following overt acts, certain of which
constitute acts of racketeering activity:
V
06/18/2013 Defendant JUSTIN COBB, an associate of YSL, did commit the felony
offense of THEFT BY DECEPTION against the person of Draonte
Johnson, by obtaining a firearm by deceitful means from Draonte Johnson
with the intention of depriving Draonte Johnson of said firearm, in
violation of Georgia Law pursuant to O.C.G.A. § 16-8—3, which is an act
of racketeering activity under O.C.G.A. § 16—14-3 (5)(A)(xii), and an
overt act in furtherance of the conspiracy.
14
09/11/2013 Defendant WALTER MURPHY, an associate of YSL, did, with the
intent to commit a theft, commit the felony offense of ATTEMPTED
ARMED ROBBERY, by taking a substantial step toward the
commission of the offense by pointing an offensive weapon, to wit: a
firearm, at the person of Derrick Dotson and demanding property from,
or from the immediate presence of, Derrick Dotson, in violation of
Georgia law pursuant to O.C.G.A. § 16—4-1, which is an act of
racketeering activity under O.C.G.A. § 16-14-3 (5)(A)(xiii), and an overt
act in furtherance of the conspiracy.
'15
04/20/2014 Defendant JEFFERY WILLIAMS, an associate of YSL, did appear in
a video released on social media titled “Eww,” where Defendant states
“Red just like Elmo but I never fuckin giggle,” “YSL won’t fold, pick his
ass off fiom the balcony,” “YSL, wipe a nigga nose,” “I’ma fuck for the
cash then she getting robbed by Tick,” “In a Bentley on West Lee getting
trailed by sniper,” “All I ever wanted was the money, put your hands in
the air if you dare,
any motherfucker to step over here, F&N put em in a
wheel chair,” an overt act in fithherance of the conspiracy.
:
10 07/13/2014 _
Defendant WALTER MURPHY, an associate of YSL, did pose for a
photo released on Murphy’s Instagram account with the letters “YSL”
tattooed on his forehead, an overt act in furtherance of the conspiracy.
fl” 5} ysl dk
$4..
?:’}._3
mM
$15
16
11 09/18/2014 Defendant MARTINEZ ARNOLD, an associate of YSL, did commit the
felony offense of AGGRAVATED ASSAULT WITH A DEADLY
WEAPON, to wit: a firearm, an object which when used offensively
against a person is likely to result in serious bodily injury, against the
person of Michael Castellini, by shooting at, toward and in the direction
of Michael Castellini with said firearm, in violation of Georgia law
pursuant to O.C.G.A. § 16-5-21, which is an act of racketeering activity
under O.C.G.A. § 16-14-3 (5)(A)(v), and an overt act in furtherance of
the conspiracy.
‘. sxarjaxe - Fallow
profitent wh92p O
369;. Raply
0
sew Reply
fl @Jabonitaaa west up 0
® sxarJaxe
368w RepSy
@ gabrfellaaagabrlellaaa DM me 0
15m. Donia
IX]
148 likes
525794251 21, mm
17
14 11/03/2014 Defendant JEFFERY WILLIAMS, an associate of YSL, did pose for a
photo released on social media wearing red clothing, and flashing a YSL
gang hand sign, an overt act in furtherance of the conspiracy.
33%
T“;
‘23
a
3E yxfiéfééfifiiggflmmghs_19mzzazz.nm
Sum Wary
m3“; ififa’fsim
“m 3
mm:
“if: firm y, mm mm m. swank:
Garlington’s Instagram account with the caption, “we ain’t going back
and forth,” an overt act in furtherance of the conspiracy.
18
17 01/10/2015 JAVARIS BRADFORD, JUSTIN COBB, DEAMONTE
Defendants
KENDRICK, DEMISE MCMULLEN and SHANNON
STILLWELL, associates of YSL, did unlawfully and with malice
aforethought, commit the felony offense of MURDER, by causing the
death of Donovan Thomas Jr., an associate of a rival gang, a human being,
by shooting Donovan Thomas Jr. With a firearm, in violation of Georgia
law pursuant to O.C.G.A. § 16-5-1, which is an act of racketeering
activity under O.C.G.A. § 16-14-3 (5)(A)(iv), and an overt act in
furtherance of the conspiracy.
23 01/19/2015 Defendant JUSTIN COBB, an associate of YSL, did unlawfully and with
malice aforethought and with the intent to kill, commit the felony offense
of ATTEMPTED MURDER, against the person of Travis White, by
shooting Travis :White with a firearm, in violation of Georgia law
pursuant to O.C.G.A. § 16-4-1, which is an act of racketeering activity
under O.C.G.A. § 16-14-3(5)(A)(iv), and an overt act in fiartherance of
the conspiracy.
24 01/19/2015 Defendant JUSTIN COBB, an associate of YSL, did commit the felony
offense of POSSESSION OF A FIREARM BY CONVICTED
FELON, in Violation of Georgia law pursuant to O.C.G.A. § 16-11-131,
by possessing a firearm, to wit: a handgun, afier having been convicted
of a felony in Indictment 13SC120462, in the Superior Court of Fulton
County, Georgia, for the offense of POSSESSION OF COCAINE on
the 24th day of January, 2014, an overt act in furtherance of the
conspiracy.
20
25 01/25/2015 Defendant JEFFERY WILLIAMS, an associate of YSL, and Kyle Oree,
one of the leaders of the criminal street gang Sex Money Murder, did'
engage in conversation with one another, and the conversation stated
“sacrifices must be made, soldiers must fall in order for battle to be won.”
The conversation further states “5, H020 Street Life, KG DA GOD,
3Shot, Nazty Nu, and M1 [the AKA’s of the 5 leaders of Sex Money
Murder in Georgia], anybody not under one of these individuals in the
state of GA must line up PETE-SAP. There is no rolling from one to the
other. Everything is as is' if you are one, SEX MONEY MURDA. Nothing
added and nothing taken away 2 gunz,” an overt act in furtherance of the
‘
conspiracy.
21
29 03/20/2015 Defendants MARTINEZ ARNOLD, DAMEKION GARLINGTON,
DEAMONTE KENDRICK, SHANNON STILLWELL and
JEFFERY WILLIAMS, associates of YSL, did pose for a photo
released on Garlington’s Instagram account flashing a YSL gang hand
Sign, an overt act in furtherance of the conspiracy.
skar_faxe
l
1:}
" "gr
OQV
$33 Liked by n30§lce and 151 others
sxar__faxe In these new Orleans streets
View all 7 comments
March 20, 2015 i
22
32 04/12/2015 Defendants DEMISE MCMULLEN and WALTER MURPHY,
associates of YSL, did unlawfully with malice aforethought and with the
intent to kill, commit the felony offense of ATTEMPTED MURDER,
against the person of Deangelo White, by shooting at Deangelo White
with a firearm, in Violation of Georgia law pursuant to O.C.G.A. § 16-4-
1, which is an act of racketeering activity under O.C.G.A. § 16-14-3
(5)(A)(iv), and an overt act in furtherance of the conspiracy.
34 04/ 12/2015 Defendant WALTER MURPHY, an associate of YSL, did commit the
felony offense of POSSESSION OF A FIREARM BY CONVICTED
FELON, in violation of Georgia law pursuant to O.C.G.A. § 16—1 1-131,
by possessing a firearm, to wit: a handgun, after having been convicted
of a felony‘in Indictment 098C86267, in the Superior Court of Fulton
County, Georgia, for the offense of ROBBERY on the ‘16‘h day of
February, 2010, an overt act in furtherance of the conspiracy.
23
35 04/12/2015 Defendant DEMISE MCMULLEN, an associate of YSL, did commit
the felony offense of POSSESSION OF A FIREARM BY A
CONVICTED FELON, in Violation of Georgia law pursuant to
O.C.G.A. § 16-11-131, by possessing a firearm, to wit: a handgun, after
having been convicted of a felony in Indictment 04SC15568, in the
Superior Court of Fulton County, Georgia, for the offense of THEFT BY
RECEIVING STOLEN PROPERTY on the 9th day of July, 2004;
Indictment 04SC1 843 8, in the Superior Court of Fulton County, Georgia,
for the offenses of POSSESSION OF COCAINE WITH INTENT TO
DISTRIBUTE ‘and POSSESSION OF MARIJUANA WITH
INTENT TO DISTRIBUTE on the 30th day of December, 2004;
Indictment 04SC21480, in the Superior Court of Fulton County, Georgia,
for the offense of SALE OF COCAINE on the 30th day of December,
2004; Indictment 06SC41803, in the Superior Court of Fulton County,
Georgia, for the offense of POSSESSION OF A FIREARM BY
CONVICTED FELON on the 10th day of May, 2006;, and Indictment
lOSC95387, in the Superior Court of Fulton County, Georgia, for the
offense of BURGLARY on the 14th day of July, 2011, an overt act in
. furtherance of the conspiracy.
37 04/15/2015 Defendant JAYDEN MYRICK, an associate of YSL, did with the intent
to commit a thefi, commit the felony offense of ARMED ROBBERY,
by taking property, to wit: a handbag, from or from the immediate
presence of another, to wit: Kimberly Craig, by use of an offensive
weapon, to wit: a firearm, in violation of Georgia law pursuant to
O.C.G.A.v§ 16-8—41, which is an act of racketeering activity under
O.C.G.A. § 16-14-3 (5)(A)(xiii), and an overt act in furtherance of the
conspiracy.
24
38 04/15/2015 Defendant JAYDEN MYRICK, an associate of YSL, did Commit the
felony offense of AGGRAVATED ASSAULT WITH A DEADLY
WEAPON, to wit: a firearm, against the person of Kimberly Craig, by
pointing at, toward and in the direction of Kimberly Craig with said
firearm, placing Kimberly Craig in reasonable apprehension of
immediately receiving a Violent injury, in Violation of Georgia law
pursuant to O.C.G.A. § 16-5-21, which is an act of racketeering activity
under O.C.G.A. § 16-14-3 (5)(A)(V), and an overt act in furtherance of
the conspiracy.
25
42 04/28/2015 Defendants DAMEKION GARLINGTON and ANTONIO SLEDGE,
associates of YSL, did commit the felony offense of AGGRAVATED
ASSAULT WITH A DEADLY WEAPON, to Wit: a firearm, an object
which when used offensively against a person is likely to result in serious
bodily injury, against the person of Cecilla Davis, by shooting at, toward
and in the direction of Cecilla Davis with said firearm, in Violation of
Georgia law pursuant to O.C.G.A. § 16-5-21, which is an act of
racketeering activity under O.C.G.A. § 16—14-3 (5)(A)(v), and an overt
act in furtherance of the conspiracy.
44 04/28/2015 Defendants
associates of YSL, did commit the felony offense of AGGRAVATED
ASSAULT WITH A DEADLY WEAPON, to wit: a firearm, an object
which when used offensively against a person is likely to result in serious
bodily injury, against the person of Natassia Battle, by shooting at, toward
and in the direction of Nastassia Battle with said firearm, in Violation of
Georgia law pursuant to O.C.G.A. § 16-5-21, which is an act of
racketeering activity under O.C.G.A. § 16-14-3 (5)(A)(v), and an overt
act in furtherance of the conspiracy.
26
46 04/28/2015 Defendants DAMEKION GARLINGTON and ANTONIO SLEDGE,
YSL, did unlawfully commit the felony offense of
associates of
PARTICIPATION IN CRIMINAL STREET GANG ACTIVITY
(O.C.G.A. § 16-15‘-4(a)), when, while associated with a criminal street
gang, to wit: YSL, participate in criminal street gang activity through the
commission of at least one of the offenses enumerated in paragraph (1)
of O.C.G.A. § 16-15-3, to wit: AGGRAVATED ASSAULT WITH A
DEADLY WEAPON and AGGRAVATED BATTERY, acts
involving Violence and possession or use of a weapon, in Violation of
Georgia law pursuant to O.C.G.A. § 16—5-21 and O.C.G.A. § 16-5-24, as
alleged in Acts 41, 42, 43 and 44 of this Count, an overt act in furtherance
of the conspiracy.
ysl_lildee (3'1
O 67 likes
ysl_lildee They can fuck with us if they want we
gonna bring em homicide @30deep_dee
n01 trusted_ Wya
27
48 07/03/2015 V
Defendant TRONTAVIOUS STEPHENS, an associate of YSL, did
commit the felony offense of POSSESSION OF MARIJUANA WITH
INTENT TO DISTRIBUTE, in violation of Georgia law pursuant to
O.C.G.A. § 16-13-3OG)(1), which is an act of racketeering activity under
O.C.G.A. § 16-14-3 (5)(A)(xxxVi), and an overt act in furtherance of the
conspiracy.
51 07/07/2015 J
Defendant EFFERY WILLIAMS, an associate of YSL, did commit the
felony offense of TERRORISTIC THREATS, when Christopher May, p
conspiracy.
‘
a
28
53 07/15/2015 Defendant TRONTAVIOUS STEPHENS, an associate of YSL, did
commit the felony offense of CRIMINAL USE 0F AN ARTICLE
WITH ALTERED ID (OTHER THAN MOTOR VEHICLE), in
violation of Georgia law pursuant to O.C.G.A. § 16-9-70, by possessing
a firearm fiom which the accused knew the identification mark had been
removed for the purpose of concealing and destroying the identity of said
article, an overt act in furtherance of the conspiracy.
54
'
29
56 10/01/2015 Defendants MARTINEZ ARNOLD and DEAMONTE KENDRICK,
associates of YSL, did unlawfully commit the felony offense of
CONSPIRACY TO COMMIT MURDER, by driving to the territory
of a rival gang with the intent to cause the death of another human being
in retaliation for a prior shooting by the rival gang, while armed with an
AK—47 assault rifle and a .40 caliber handgun, in violation of Georgia law
pursuant to O.C.G.A. § 16-4-8, which is an act of racketeering activity
under O.C.G.A. § 16-14-3 (5)(B), and an overt act in filrtherance of the
conspiracy.
57 10/01/2015 Defendants
KENDRICK, associates of YSL, did commit the felony offense of
THEFT BY RECEIVING STOLEN PROPERTY, when Arnold and
Kendrick possessed property, to wit: a firearm, the property of
Christopher Greer, that Arnold and Kendrick knew or should have known
was stolen with the intent of depriving Christopher Greer of said property,
in violation of Georgia law pursuant to O.C.G.A. § 16-8—7, which is an
act of racketeering activity under O.C.G.A. § 16-14-3 (5)(A)(xii), and an
overt act in furtherance of the conspiracy.
3O
6O 03/25/2016 Defendant JEFFERY WILLIAMS, an associate of YSL, released a song
on YouTube titled “Slime Shit,” where lyrics state “Hey, this that slime
shit, hey, YSL shit, hey, killin 12 shit, hey, flick a jail shit, hey,” “cooking
white brick,” “I’m not new to this, hey, I’m so true to this, hey, I done put
a whole slime on a hunnid licks,” “slime or get slimed,” “I’m in the VIP
and I got that pistol on my hip, you prayin that you live I’m prayin that I
hit, hey, this that slime shit,” “Fuck, filck the police (fuck’em), in a high
speed,” “hundred rounds in a Tahoe,” “I’m prepared to take em down,”
“got banana clips for all these niggas actin monkey,” “this that slim shit,
this that mob shit,” “fuck the judge, YSL, this that mob life,” an overt act
in furtherance of the conspiracy.
31
64 02/27/2017 Defendant JIMMY WINFREY, an associate of YSL, did unlawfully
commit the felony offense of PARTICIPATION IN CRIMINAL
STREET GANG ACTIVITY (O.C.G.A. § 16-1 5-4(a)), when, while
associated with a criminal street gang, to wit: YSL, participate in criminal
street gang activity through the commission of at least one of the offenses
enumerated in paragraph (l) of O.C.G.A. § 16-15-3, to wit:
POSSESSION OF MARIJUANA WITH INTENT TO
DISTRIBUTE, as alleged in Act 63 of this Count, in violation of Georgia
law pursuant to O.C.G.A. § 16-13-3 0(1')(1), an overt act in furtherance of
the conspiracy.
32
68 09/24/2017 Defendants SERGIO KITCHENS and JEFFERY WILLIAMS,
associates of YSL, did commit the felony offense of THEFT BY
RECEIVING STOLEN PROPERTY, when they possessed property,
to wit: a firearm, the property of Trevon Lewis that Kitchens and
Williams knew or should have known was stolen with the intent of
depriving Trevon Lewis of. said property, in violation of Georgia law
pursuant to O.C.G.A. § 16-8-7, which is an act of racketeering activity
under O.C.G.A. § 16-14-3 (5)(A)(xii), and an overt act in furtherance of
'
the conspiracy.
33
72 09/24/2017 Defendants SERGIO KITCHENS and JEFFERY WILLIAMS,
associates of YSL, did unlawfillly commit the felony offense of
PARTICIPATION IN CRIMINAL STREET GANG ACTIVITY
(O.C.G.A. § 16—15-4(a)), when, while associated with a criminal street
gang, tovwit: YSL, participate in criminal street gang activity through the
commission of at least one of the offenses enumerated in paragraph (l)
of O.C.G.A. § 16-15-3, to wit: THEFT BY RECEIVING STOLEN
PROPERTY, to wit: a firearm, in violation of Georgia law pursuant to
O.C.G.A. § 16-8-7, POSSESSION OF METHAMPHETAMINE
WITH INTENT TO DISTRIBUTE, a controlled substance, in violation
POSSESSION OF
‘
75 05/18/2018 J
Defendant EFFERY WILLIAMS, an associate of YSL, was the subject
of a traffic stop for speeding, involved in the stop were two vehicles, one
being driven by Williams, and another vehicle closely following Williams
containing four individuals who were armed with numerous weapons
with high-capacity magazines to include an AK—47 with a 30-round
magazine, an overt act in furtherance of the conspiracy.
34
76 05/25/2018 Defendant MARQUAVIUS HUEY, an associate of YSL, did commit
the felony offense of THEFT BY RECEIVING STOLEN
PROPERTY, when he possessed property, to wit: a firearm, the property
of Jeremy Smith, that Huey knew or should have known was stolen with
the intent of depriving Jeremy Smith of said property, in Violation of
Georgia law pursuant to O.C.G.A. § 16-8-7, which is an act of
racketeering activity under O.C.G.A. § 16-14-3 (5)(A)(xii), and an overt
act in furtherance of the conspiracy.
35
80 02/23/2019 Defendants DAMONE BLALOCK and RODALIUS RYAN,
associates of YSL, did commit the felony offense of AGGRAVATED
ASSAULT WITH A DEADLY WEAPON, to Wit: a firearm, an object
which when used offensively against a person is likely to result in serious
bodily injury, against the person of Bernard Mitchell, Jr., an associate of
another gang, by shooting. at, toward, and in the direction of Bernard
Mitchell, Jr. with said firearm, in Violation of Georgia law pursuant to
O.C.G.A. § 16—5-21, which is an act of racketeering activity under
O.C.G.A. § 16-14-3 (5)(A)(V), and an overt act in furtherance of the
conspiracy.
36
85 04/22/2019 Defendant JEVON FLEETWOOD, an associate of YSL, did commit
the felony offense of HIJACKING A MOTOR VEHICLE IN THE
FIRST DEGREE, by unlawfully, while in possession of a firearm,
obtaining a 2017 Dodge Charger from the person of Casey Battle by force
and violence, in violation of Georgia law pursuant to O.‘C.G.A. § 16—5-
44.l, which is an act of racketeering activity under O.C.G.A. § 16—14-3
(5)(B), and an overt act in furtherance of the conspiracy.
37
89 04/26/2019 Defendant MARQUAVIUS HUEY, an associate of YSL, did commit
the felony offense of AGGRAVATED ASSAULT WITH A DEADLY
WEAPON, to Wit: a firearm, an object which when used offensively
against a person is likely to result in serious bodily injury, against the
person of Dujuan Maynard, by striking Dujuan Maynard in the face with
said firearm, in violation of Georgia law pursuant to O.C.G.A. § 16-5-21,
which is an act of racketeering activity under O.C.G.A. § 16-14-3
(5)(A)(V), and an overt act in filrtherance of the conspiracy.
38
93 05/10/2019 Defendant JEVON FLEETWOOD, an associate of YSL, did unlawfully
commit the felony offense of PARTICIPATION IN CRIMINAL
STREET GANG ACTIVITY (O.C.G.A. § 16-15—4(a)), when, while
associated with a criminal street gang, to wit: YSL, participate in criminal
street gang activity through the commission of at least one of the offenses
enumerated in paragraph (1) of O.C.G.A. § 16-15-3, to Wit:
ATTEMPTED MURDER, an act involving Violence and possession or
use of a weapon, as alleged in Act 91 of this Count, in Violation of Georgia
law pursuant to O.C.G.A. § 16-4-1, an overt act in furtherance of the
conspiracy.
39
97 09/16/2019 Defendants MARTINEZ ARNOLD and JEFFERY WILLIAMS, an
associates of YSL, did appear in a YouTube video titled “Just How It Is,”
with Williams stating “I escaped every one of the licks cause I was
supposed to be rich, I don’t care nothing bout no cop, I’m tellin you just
how it is,” “Hit em with the MAC now, now his whole body scabbed,” “I
done for the crew, I done did the robbin, I done did the jackin, now I’m
full rappin,” “last nigga tried me almost got popped in Lenox, ask the
cops, ask the detectives, they know all the business, ask the cops and the
detectives, all the jurisdictions,” “gave the lawyer close to two mil, he
handles all the killings,” “we don’t speak bout shit on wax, it’s all mob
business, we know to kill the biggest cats of all kittens,” an overt act in
fithherance of the conspiracy.
4O
100 01/21/2020 Defendant DERONTAE BEBEE, an associate of YSL, did commit the
felony offense of POSSESSION OF COCAINE, a controlled substance,
in violation of Georgia law pursuant to O.C.G.A. § 16-13-30(a), which is
an act of racketeering activity under O.C.G.A. § l6—l4-3(5)(A)(xxxiv),
an overt act in furtherance of the conspiracy.
104 05/08/2020 Defendant DERONTAE BEBEE, an associate of YSL, did commit the
felony offense of SALE OF MARIJUANA, in violation of Georgia law
pursuant to O.C.G.A. § 16-13-300)(1), Which is an act of racketeering
activity under O.C.G.A. § 16-14-3(5)(A)(xxxvi), and an overt act in‘
fiirtherance of the conspiracy.
41
105 05/08/2020 Defendant DERONTAE BEBEE, an associate of YSL, did commit the
felony offense of POSSESSION OF MARIJUANA WITH INTENT
TO DISTRIBUTE, in violation of Georgia law pursuant to O.C.G.A. §
16-13-300")(1), which is an act of racketeering activity under O.C.G.A. §
16—14-3 (5)(A)(xxxvi), and an overt act in furtherance of the conspiracy.
106 05/ 08/2020 Defendant DERONTAE BEBEE, an associate of YSL, did commit the
felony offense of THEFT BY RECEIVING STOLEN PROPERTY,
when he possessed property, to wit: a firearm, the property of Michael
Eubanks, that Bebee knew or should have known was stolen with the
intent of depriving Michael Eubanks of said property, in violation of
Georgia law pursuant to O.C.G.A. § 16-8-7, which is an act of
racketeering activity under O.C.G.A. § 16-14-3 (5)(A)(xii), and an overt
act in fiirtherance of the conspiracy.
107 05/08/2020 Defendant DERONTAE BEBEE, an associate of YSL, did commit the
felony offense of POSSESSION OF A FIREARM BY A
CONVICTED FELON, in violation of Georgia law pursuant to
O.C.G.A. § 16-11—131, by possessing a firearm, to wit: a handgun, afier
having been convicted of a felony on Accusation 20$C174500, in the
Superior Court of Fulton County, Georgia, for the offense of
POSSESSION OF COCAINE on the 10th day of March, 2020, an overt
act in furtherance of the conspiracy.
108 05/ 08/2020 Defendant DERONTAE BEBEE, an associate of YSL, did unlawfully
commit the felony offense of PARTICIPATION IN CRIMINAL
STREET GANG ACTIVITY (O.C.G.A. § 16—15-4(a)), when, while
associated with a criminal street gang, to wit: YSL, participate in criminal
street gang activity through the commission of at least one of the offenses
enumerated in paragraph (1) of O.C.G.A. § 16—15-3, to wit: SALE OF
MARIJUANA and POSSESSION OF MARIJUANA WITH
INTENT TO DISTRIBUTE, as alleged in Acts 104 and 105 of this
Count, in violation of Georgia law pursuant to O.C.G.A. § 16-13-300')(1),
an overt act in furtherance of the conspiracy.
l
42
110 06/13/2020 Defendant MILES FARLEY and WUNNIE LEE associates of YSL,
did appear in a YouTube Video titled “Where You From,” with Lee
stating “fiee Lil Rod,” “Fuck your squad,” “where you from, I’m from
Bleveland, throw yOur set up,” “but where I’m fiom nigga talk too much
then get wet up,” “the opps hate the crew we getting this paper and we
ducking cases, slime, slime,” “free Lil Shannon,” “I’ma rock that crew
thuggin,” “Ain’t know about tick,” “slimelife Young Thug nigga,” an
overt act in furtherance of the conspiracy.
112 07/23/2020 Defendant JEVON FLEETWOOD, an associate of YSL, did pose for a
photo released on social media showing a “YSL” tattoo on the right side
of his face, an overt act in furtherance of the conspiracy.
$3 4tray_‘_1:bworld
‘.
i" "
<
‘ ‘ ' ' "" '
...
‘ ]‘M"
o V m.
@EQE Liked by s’quiggloc and others
4tray_tbwo_rld can't wait to put a couple slimes
l on a
jet. They gone really think it's snakes on a plane.
#lcnelychild
July 23, 2020
113 08/11/2020 Defendant DEAMONTE KENDRICK, an associate of YSL, did pose
for a photo released on social media standing on the vehicle of Rayshawn
Bennett AKA “YFN Lucci,” Rayshawn Bennett being the leader of a rival
street gang, an overt act in furtherance of the conspiracy.
115 09/18/2020 Defendant SHANNON STILLWELL, an associate of YSL, did pose for
a photo released on Stillwell’s Instagram account with the caption “Ain’t
nun more compatible than a trench, a carbon While in the trenches,” an
overt act in furtherance of the conspiracy.
44
116 10/01/2020 Defendant MARQUAVIUS HUEY, an associate of YSL, did, with the
intent to commit a thefi, commit the felony offense of ARMED
ROBBERY, by taking property, to Wit: an iPhone, from or fiom the
immediate presence of another, to wit: Gary Holliman, by use of an
offensive weapon, to wit: a firearm, in Violation of Georgia law pursuant
to O.C.G.A. § 16-8-41, which is an act of racketeering activity under
O.C.G.A. § 16-14-3 (5)(A)(xiii), and an overt act in furtherance of the
’
conspiracy.
117 10/01/2020 Defendant MARQUAVIUS HUEY, an associateof YSL, did, with the
intent to commit theft, commit the felony offense of HIJACKING A
MOTOR VEHICLE IN THE FIRST DEGREE, by unlawfully, while
’
118 10/01/2020 Defendant MARQUAVIUS HUEY, an’associate of YSL, did, with the
intent to commit a theft, commit the felony offense of ARMED
ROBBERY, by taking property, to wit: an iPhone, from or from the
immediate presence of another, to wit: Dilmesha Coppage, by use of an
offensive weapon, to wit: a firearm, in violation of Georgia law pursuant
to O.C.G.A. § 16-8-41, which is an act of racketeering activity under
O.C.G.A. § 16-14—3 (5)(A)(xiii), and an overt act in furtherance of the
conspiracy. »
45
120 10/19/2020 Defendant MILES FARLEY, an associate of YSL, did pose for a photo
released on social media wearing clothing with the words “Slime 18 you
slime enough,” an overt act in furtherance of the conspiracy.
121 11/06/2020 Defendant JIMMY WINFREY, of YSL, did pose for a an associate
photo released on Winfrey’s Instagram account with the caption, “IM
FREE DEATHB4DISHONOR SLATTMAFIA BIZNE$$
4EVERYOUNG GOATFREE BANKROLLMAF IA Y$L,” an overt act
in furtherance of the conspiracy.
122 11/13/2020 Defendant JIMMY WINFREY, of YSL, did pose for a an associate
photo released on Winfrey’s Instagram account with the caption, “I WAS
LOCKED UP NOT FUCKED UP #DEATHB4DISHONOR
#FREEATLAST #BANKROLLMAFIA #$LATTBIZNESS,” an overt
act in furtherance of the conspiracy.
“ “7”
~-—
. ——-.2-M-_-*_~rm - _,_
W __ ., ,,
‘
..
1
7
A
,
.
: I -_ ;
‘
{£3' peeweeakamscoe-Fallaw
x
a, . :1 ,
>
i .
‘ fl
£3
peeweeakaroscne
Monucxsoummmumsnouoa
I was LOCKED up
GFREEATLAST 9BANKROLUJIAFIA
esLmauNEss 094959
:HUMANGOAT
6m
\x
3‘13: \
@
0 ‘7 w
UK\\'\ ‘
'
46
124 11/20/2020 Defendant ANTONIO SUMLIN, an associate of YSL, did pose for a
photo released on Sumlin’s Instagram account wearing red with the letters
“MASA” [AKA make America slime again], while in Cleveland Avenue
Park, an overt act in furtherance of the conspiracy.
126 01/21/2021 Defendant ANTONIO SUMLIN, an associate of YSL, did pose for a
photo released on Sumlin’s Instagram account displaying gang tattoos
with “YSL” on his chest and “slime for life” on his right arm, an overt act
in furtherance of the conspiracy.
128 04/08/2021 Defendant ANTONIO SLEDGE, an associate of YSL, did pose for a
photo released on social media wearing pants with the letters “OTS”
[AKA only the slime] with the caption “OG’z” with a green snake emoji
and green heart emoji, an overt act in furtherance of the conspiracy.
129 04/16/2021 J
Defendant EFFERY WILLIAMS, an associate of YSL, released a song
on YouTube titled “Really Be Slime,” with lyrics stating “My nigga,
really, they slime, and we committing them crimes,” “hop out and shoot,”
“roll one up for the gang,” “you wanna be slime? Go catch you a body,”
“me and lil bro, we used to steal from the store, we had to stick it and go,”
an overt act in furtherance of the conspiracy.
47
130 04/16/2021 Defendants DEAMONTE KENDRICK and JEFFERY WILLIAMS,
an associate of YSL, released a song on YouTube titled “Slatty,” with
lyrics stating “I killed his man in front of his momma, like fuck lil bruh,
sister and his cousin,” “I shootout,” “kill em, not leaving a trace,” “I had
to break in the safe, yeah, and I didn’t leave em a trace,” “dissect your
body like science class, nigga,” “gangster cause you got a body, lil nigga,
magazine clips, so you might get your issue, you think you gangster cause
you got a pistol,” “look at my trigger, my trigger start itching,” “YSL, we'
D >1 d) 2281214
48
133 06/16/2021 Defendant DEAMONTE KENDRICK, an associate of YSL, did pose
for a photo released on social media wearing a red bandana and a “YSL”
pendant, an overt act in furtherance of the conspiracy.
O shotbywolf
- Follow
"
e shotbywolfTha
26w
Family,
6)
Q aaviiiiliii®hoodrixh_corez didn't
you have this on yesterday?
0
2faxe723 Check dm 0
,fi)
26w Reply
@2,
eazyelviswheretheslidesat® O
i
26w Reply
p
,
O o v m
135 07/ 10/2021 Defendant JIMMY WINFREY, an associate of YSL, did commit the
felony offense of POSSESSION OF OXYCODONE, a controlled
substance, in Violation of Georgia law pursuant to O.C.G.A. § 16-13-
30(a), which is an act of racketeering activity under O.C.G.A. § 16-14-
3(5)(A)(xxxiv), and an overt act in fiartherance of the conspiracy.
49
136 07/10/2021 Defendant JIMMY WINFREY, an associate of YSL, did commit the
felony offense of POSSESSION 0F A FIREARM BY A
CONVICTED FELON, in Violation of Georgia law pursuant to
O.C.G.A. § 16-11-131, by possessing a firearm, to wit: a handgun, after
having been convicted of a felony in Indictment 15-9-2765—28, in the
Superior Court of Cobb County, Georgia, for the offense of
PARTICIPATION IN CRIMINAL STREET GANG ACTIVITY on
the 7th day of August, 2020, an overt act in furtherance of the conspiracy.
137 07/ 10/2021 Defendant JIMMY WINFREY, an associate of YSL, did unlawfully
commit the felony offense of PARTICIPATION IN CRIMINAL
STREET GANG ACTIVITY (O.C.G.A. § 16-15-4(a)), when, while
associated with a criminal street gang, to wit: YSL, participate in criminal
street gang activity through the commission of at least one of the offenses
enumerated in paragraph (1) of O.C.G.A. § 16-15-3, to wit:
POSSESSION OF OXYCODONE, a controlled substance, in violation
of Georgia law pursuant to O.C.G.A. § 16-13-30(a), as alleged in Act 135
of this Count, and an overt act in filrtherance of the conspiracy.
- Fallcw
shop_major
® shop_major @yakgotu'
sshopMajor
flYSL
fineratsallowed
#norats
nnoralz
#explore
16's!
@QV N
3 likes
141 09/11/2021 Defendant MILES FARLEY, an associate of YSL, did pose for a photo
released on social media wearing clothing with the words “Slime or Die,”
displaying tattoos stating “ESPN” [AKA every slime plays nasty] and
“ROC crew” [AKA raised on Cleveland], an overt act in furtherance of
the conspiracy.
51
143 09/29/2021 Defendants DERONTAE BEBEE and CHRISTIAN EPPINGER,
associates of YSL, did pose for a photo released on Eppinger’s Instagram
account with the caption “you know I hang with them snakes on da block
gotta watch out for jakes,” with Bebee wearing clothing with the lettering
“OTS” and the words “only the slime,” and Eppinger wearing clothing
with the words “keep America Slime,” an overt act in furtherance of the
conspiracy.
"
'
\
® bentleybzdl ~ Follow
é“
.
. ® benllzybzdl You know l hang wnh [hem
snakes on da block 90ml watch cm for
jakes cmxnmsmgasw
10w
6)
l
jbspcewzay O
15;?
e9 um mu. nmx,
moneyhungrylrcuble_4evarixh20s g,
x.
‘
, 1“” RR love Va family
I?!
Q9 Ukcd by Inigori! and 413 oth
~
wrmrm t-;.'>r11
v‘ (u) «\ddarommenl, mu
144 10/01/2021 Defendant RODALIUS RYAN, an associate of YSL, did pose for a
photo released on Ryan’s Instagram account while Ryan was in the
Georgia Department of Corrections custody, with the caption “If You
Xaught A Xase & Stayed Solidd You Deserve A Bag When You Get
Home,” an overt act in furtherance of the conspiracy.
52
145 10/04/2021 Defendants WUNNIE LEE and RODALIUS RYAN, associates of
YSL, did appear in a photo released on Lee’s Instagram account holding
an unknown amount of cash, with the caption “Sorry we made you thug
early 1i1 Thug,” an overt act in furtherance of the conspiracy.
< Po'st I
'3
OOV
Liked by cutgangg and 20,817 others
s!irnelife.shawty Knew It was more t'o life than sailin:
blow & Choppa bussin , but what’s the good in knowih
bétter if ainvtellem nothin. #11720/16 made us We talked
about that in that cell, the qther day R9 I"m glad we was
able to talk face to fac'e that shit gave me chills , wish
I
thug . l'ma try my bestlto come and get you back word
to 11:20. #BottomBoy4L“#FreeLilRod P.s im sorry we
made you thug early lil thug G
10::
53
148 10/12/2021 Defendants DERONTAE BEBEE and CHRISTIAN EPPINGER,
associates of YSL, did commit the felony offense of HIJACKING A
MOTOR VEHICLE IN THE FIRST DEGREE, by unlawfully, while
in possession of a firearm, obtaining a 2003 GMC Savana fiom the person
of Darius Smith by force and Violence, in Violation of Georgia Law
pursuant to O.C.G.A. § 16—5-44.1, which is an act of racketeering activity
under O.C.G.A. § 16-14-3 (5)(B), and an overt act in furtherance of the
conspiracy.
151 12/05/2021 Defendant ANTONIO SLEDGE, an associate of YSL, did commit the
f
felony offense of POSSESSION OF FIREARM BY CONVICTED
FELON PREVIOUSLY CONVICTED OF FELONY INVOLVING
THE USE OR POSSESSION OF A FIREARM, in Violation of
Georgia law pursuant to O.C.G.A. § 16—11-133, by possessing a firearm,
to wit: a handgun, afier having been convicted of a felony in Indictment
lSSCl38994, in the Superior Court of Fulton County, Georgia, for the
offense of POSSESSION OF A FIREARM DURING COMMISSION
OF A FELONY and AGGRAVATED ASSAULT WITH A DEADLY
WEAPON on the 10th day of January, 2018, an overt act in filrtherance
of the conspiracy.
152 12/27/2021 Defendant SHANNON STILLWELL, an associate of YSL, did pose for
a photo released on Stillwell’s Instagram account wearing a hooded
sweatshirt with the lettering “Slime,” an overt act in furtherance of the
conspiracy.
54
153 12/29/2021 Defendants SHANNON STILLWELL and ANTONIO SUMLIN,
associates of YSL, did pose for a photo released on social media with the
caption, “Suit up and lace your Boots lt’s War Time #standONhizzness,”
an overt act in furtherance of the conspiracy.
‘
31p" slime bmglnng - Follow
,-§5€T7033§33~¢Jgl (:3;
/ k
N
A:’:»%
<53: 2‘;:::%:;"3v;;*;rt:“dw
_
#standONbizzness
1.1 _;
1d
: l j
;
. og.bool_9% Q
' , 1d Hike
, Reply
..-.
\flm‘: replies {1)
5 ’.
(.91 vaesayslatt_ Big Business 9% 0
I ‘
\fi 1d Hike Reply
O O V W
;
5: Likes? a, lllkeed and 305 others
"
©
.
9“
€16“ #h‘;"c_::';%_~"vw if; kid Addammmcntr, Post
155 12/31/2021 Defendant JEFFERY WILLIAMS, an associate of YSL, did pose for a
photo released on Williams’ Instagram account wearing a “YSL” pendant
with his index finger wiping under his nose, an overt act in furtherance of
the conspiracy.
156 01/16/2022 Defendant JEFFERY WILLIAMS, an associate of YSL, did appear in
a Video released on Williams’ Instagram account flashing a “Bloods”
gang sign, an overt act in furtherance of the conspiracy.
158 01/27/2022 Defendant SHANNON STILLWELL, an associate of YSL, did pose for
a photo released on Stillwell’s Instagram account wearing a hoodie with
the word “Slime” with the Spanish caption “mani tumba de piedra”
referring to the tombstone of Donovan Thomas Jr., aka Peanut, an overt
act in furtherance of the conspiracy.
56
159 02/07/2022 Defendant CHRISTIAN EPPINGER, of YSL, did
an associate
unlawfully with malice aforethought and with the intent to kill, commit
the felony offense of ATTEMPTED MURDER, against the person of
David Rodgers, a uniformed Atlanta Police Officer While in the
performance of his duties, by shooting David Rodgers with a firearm, in
violation of Georgia law pursuant to O.C.G.A. § 16-4-1, which is an act
of racketeering activity under O.C.G.A. § 16-14-3 (5)(A)(iv), and an
overt act in furtherance of the conspiracy.
57
162 02/07/2022 Defendant CHRISTIAN EPPINGER, an associate of YSL, had the
letters “YSL,” and other gang tattoos on his face, an overt act in
furtherance of the conspiracy.
58
164' 02/07/2022 Defendant CHRISTIAN EPPINGER, of YSL, did
an associate
unlawfully comrhit the felony offense of PARTICIPATION IN
CRIMINAL STREET GANG ACTIVITY (O.C.G.A. § 16-15-4(a)),
when, while associated with a criminal street gang, to wit: YSL,
participate in criminal street gang activity through the commission of at
least one of the offenses enumerated in paragraph (1) of O.C.G.A. § 16-
15—3, to wit: the ATTEMPTED MURDER of William Johnson, an
Atlanta Police Officer while in the performance of his official duties, an
act involving violence and possession or use of a weapon, as alleged in
Act 160 of this Count, in violation of Georgia law pursuant to O.C.G.A.
§ 16-4—1, an overt act in furtherance of the conspiracy.
59
168 02/12/2022 Defendant JEFFERY WILLIAMS, an associate of YSL, did pose for a
photo released on Williams’ Instagram account wearing a “YSL”
pendant, a bracelet with the word “Slime,” and with a red letter “B” tattoo
on his chest, an overt act in furtherance of the conspiracy.
60
171 02/22/2022 Defendants CHRISTIAN EPPINGER and ANTONIO SUMLIN,
associates of YSL, did commit the felony offense of CONSPIRACY TO
COMMIT MURDER, by discussing how to obtain the permission of
“Slime,” AKA Jeffery Williams, to make a second attempt to murder
Rayshawn Bennett, AKA YFN Lucci, While Rayshawn Bennett was
incarcerated} at the Fulton County Jail, said first attempt to murder
Rayshawn Bennett being alleged in Act 144 of this Count, in violation of
Georgia law pursuant to O.C.G.A. § 16-4-8, which is an act of
racketeering activity under O.C.G.A. § 16-14-3 (5)(B), and an overt act
in furtherance of the conspiracy.
i
QufinaOsFoIlm-a
a '
mikewillr'nadeltofl
5a 1mm saga;
g
--—»
“a rcfiiés €23
a Qvé‘rfy
%;
O Q V N
cfi Likedvix‘y filolémgqo'n and 335.513 6ih¢§2
We”
61
174 03/14/2022 Defendant SHANNON STILLWELL, an associate of YSL, did commit
the felony offense of POSSESSION OF FIREARM BY CONVICTED
FELON PREVIOUSLY CONVICTED OF FELONY INVOLVING
THE USE OR POSSESSION OF A FIREARM, in Violation of
Georgia law pursuant to O.C.G.A. § 16-11-133, by possessing a firearm
afier having been convicted of felonies involving the use or possession of
a firearm in Indictment lSSCl40132, in the Superior Court of Fulton
County, Georgia, for the offense of POSSESSION OF A FIREARM
BY A CONVICTED FELON, on the 10th day of March, 2016; and
Indictment 19SC173371, in the Superior Court of Fulton County,
Georgia, for the offense of POSSESSION OF A FIREARM BY
CONVICTED FELON, on the 17th day of January, 2020.
62
177 04/03/2022 Defendants DAMEKION GARLINGTON and QUANTAVIOUS
GRIER, associates of YSL, when, while speaking over a cell phone to an
incarcerated Fulton County inmate, discussed protecting an incarcerated
YSL associate from rival gang associates, an overt act in furtherance of
the conspiracy.
63
182 04/28/2022 Defendant CORDARIUS DORSEY, an associate of YSL, did
unlawfully commit the felony offense of PARTICIPATION IN
CRIMINAL STREET GANG ACTIVITY (O.C.G.A. § 16-15-4(d)),
when, while associated with a criminal street gang, to wit: YSL, and while
occupying a position of organizer, supervisor, or other position of
management or leadership of the. criminal street gang YSL, did engage
in, directly or indirectly, or conspire to engage in an act of criminal street
gang activity, to wit: CONSPIRACY TO COMMIT MURDER, as
alleged in Act 181 of this Count, an overt act in filrtherance of the
conspiracy.
64
186 05/09/2022 Defendants MARTINEZ ARNOLD, DEAMONTE KENDRICK
AND JEFFERY WILLIAMS, associates of YSL, did commit the felony
offense of POSSESSION OF COCAINE, in Violation of Georgia law
pursuant to O.C.G.A. § 16-13-30(b),> which is an act of racketeering
activity under O.C.G.A. § 16-14-3 (5)(A)(XXxvi), and an overt act in
furtherance of the conspiracy.
65
189 05/09/2022 Defendant DEAMONTE KENDRICK, an associate of YSL, did
commit the felony offense of POSSESSION OF FIREARM BY
CONVICTED FELON PREVIOUSLY CONVICTED OF F ELONY
INVOLVING THE USE OR POSSESSION OF A FIREARM, in
violation of Georgia law pursuant to O.C.G.A. § 16-11-133, by
possessing a GLOCK 3OS firearm, a GLOCK 357 firearm, a FN firearm,
aGLOCK 19 firearm, a SMITH & WESSON M&P firearm and a
GLOCK 45 firearm with a converter switch and extended magazine after
having been convicted of felonies involving the use or possession of a
firearm in Indictment lSSCl40116, in the Superior Court of Fulton
OF FIREARM OR
County, Georgia, for the offenses of POSSESSION
KNIFE DURING THE COMMISSION OR ATTEMPT TO
COMMIT CERTAIN FELONIES; and POSSESSION OF A
FIREARM BY A CONVICTED FELON, on the 28th day of August
2017, an overt act in furtherance of the conspiracy.
66
191 03/17/2022 Defendant QUAMARVIOUS NICHOLS, an associate of YSL, did
commit the felony offense of POSSESSION OF FIREARM BY
CONVICTED FELON PREVIOUSLY CONVICTED OF FELONY
INVOLVING THE USE OR POSSESSION OF- A FIREARM, in
violation of Georgia law pursuant to O.C.G.A. § 16-11-133, by
possessing a firearm, to wit: a handgun, after having been convicted of
felonies involving the use or possession of a firearm in Indictment
17SC153307, in the Superior Court of Fulton County, Georgia, for the
offense of POSSESSION OF A FIREARM BY A CONVICTED
FELON, on the 27th day of March, 2018; and Indictment 18SC162953,
in the Superior Court of Fulton County, Georgia, for the offense of
POSSESSION OF A FIREARM BY CONVICTED FELON, on the
6th day of November, 2020.
The acts set forth above were committed in furtherance of the conspiracy alleged above
and had the same or similar intents, results, accomplices, victims, or methods of commission or
otherwise were interrelated by distinguishing characteristics.
67
COUNT 2
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
firearm, contrary to the laws of said State, the good order, peace and dignity thereof.
COUNT 3
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
68
COUNT 4
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT 5
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT 6
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
69
COUNT7
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNTS
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT9
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
70
COUNTIO
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
contrary to the laws of said State, the good order, peace and dignity thereof.
COUNTll
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT12
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
71
COUNT 13
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT 14
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT15
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
the laws of said State, the good order, peace and dignity thereof.
72
COUNT16
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT17'
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
I
accuse:
COUNT18
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse!
73
COUNT19
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT20
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
'
accuse:
74
COUNT21
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT22
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
75
COUNT23
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
‘
accuse:
COUNT24
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNTZS
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT27
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
77
'COUNT28
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT29
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
78
COUNT30
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT31
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT32
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
79
COUNT33
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT34
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT35
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse
80
COUNT36
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT37
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT38
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
81
COUNT39
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
'
accuse:
COUNT40
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT41
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
Jail, possess a weapon, to wit: a shank, contrary to the laws of said State, the good order, peace
and dignity thereof.
82
COUNT42
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT43
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
83
COUNT44
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
County Jail, possess a weapon, to wit: a shank, contrary to the laws of said State, the good order,
peace and dignity thereof.
COUNT45
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
84
COUNT46
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT47_
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
85
COUNT48
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT49
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
86
COUNTSO
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
. accuse:
COUNTS]
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
87
COUNT52
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse
COUNT53
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse
88
COUNT54
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNTSS
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
89
COUNT 56
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT 57
The Grand Jurors aforesaid, in the name of and on behalf of the citizens of Georgia, do
I
90
COUNT58
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT59
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
91
COUNT60
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT61
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
92
COUNT62
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
COUNT63
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse:
'93
COUNT64
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse
COUNT65
And the Grand Jurors aforesaid, in the name and behalf of the citizens of Georgia, do charge and
accuse
94
Related Clerk N0: 22SC182273
Complaint #z
WITNESS LIST
>95