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    SUPREME COURT OF THE STATE OF NEW YORKCOUNTY OF NEW YORK

    THE PEOPLE OF THE STATE OF NEW YORK

    -against-

    KENNY HERNANDEZ a/k/a Jay,FELIX NUNEZ, a/k/a Jake,OSCAR ALMONTE,

    Defendants.

    THE GRAND JURY OF THE COUNTY OF NEW YORK, by this

    indictment, accuse defendants KENNY HERNANDEZ, a/k/a Jay, FELIX

    NUNEZ, a/k/a Jake, and OSCAR ALMONTE, of the crime of CONSPIRACY

    IN THE SECOND DEGREE, in violation of Penal Law 105.15, committed as

    follows:

    The defendants, in the County of New York, and elsewhere, during the period

    from on or about June 1, 2015, to on or about the date of this indictment, with intent

    that conduct constituting the crime of CRIMINAL SALE OF A CONTROLLED

    SUBSTANCE IN THE SECOND DEGREEbe performed, said crime being a

    class A felony, agreed to engage in and cause the performance of such conduct.

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    OVERT ACTS

    In furtherance of said conspiracy and to effect the objects thereof, from on or

    about June 1, 2015, to on or about the date of this indictment, the following overt acts,

    among others, were committed in New York County (unless otherwise stated):

    1. On or about June 1, 2015, in a series of telephone communications, 1 a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    2. On or about June 1, 2015, in the vicinity of 18 First Avenue, defendant

    HERNANDEZ sold cocaine to a police officer known to the Grand Jury.

    3.

    On or about June 4, 2015, in a series of telephone communications, a co-conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    4. On or about June 4, 2015, in the vicinity of 138 Orchard Street, a co-conspirator

    sold cocaine to a police officer known to the Grand Jury.

    5. On or about June 16, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    6. On or about June 16, 2015, in the vicinity of 140 Orchard Street, defendant

    HERNANDEZsold cocaine to a police officer known to the Grand Jury.7. On or about July 1, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    8. On or about July 1, 2015, in the vicinity of 100 Delancey Street, defendant

    HERNANDEZsold cocaine to a police officer known to the Grand Jury.

    9. On or about July 22, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    10.

    On or about July 22, 2015, in the vicinity of 100 Delancey Street, defendantNUNEZsold cocaine to a police officer known to the Grand Jury.

    11.On or about September 2, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    1All telephone communications described herein are described in part and in substance.

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    12.On or about September 2, 2015, in the vicinity of 122 Ludlow Street, two co-

    conspirators, acting together, sold cocaine to a police officer known to the

    Grand Jury.

    13.On or about October 6, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    14.On or about October 6, 2015, in the vicinity of 50 Avenue D, defendant

    ALMONTEsold cocaine to a police officer known to the Grand Jury.

    15.On or about October 13, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    16.On or about October 13, 2015, in the vicinity of 140 Forsyth Street, defendant

    NUNEZsold cocaine to a police officer known to the Grand Jury.

    17.On or about October 20, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    18.On or about October 20, 2015, in the vicinity of 100 Delancey Street, defendant

    HERNANDEZsold cocaine to a police officer known to the Grand Jury.

    19.On or about October 20, 2015, after the sale of cocaine to a police officer

    known to the Grand Jury, defendant HERNANDEZ entered 138 Ludlow

    Street.20.On or about October 29, 2015, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    21.On or about October 29, 2015, in the vicinity of 76 East 1st Street, a co-

    conspirator sold cocaine to a police officer known to the Grand Jury.

    22.On or about November 11, 2015, in a series of telephone communications, a

    co-conspirator agreed to sell cocaine to a police officer known to the Grand

    Jury.23.On or about November 11, 2015, in the vicinity of 76 East 1stStreet, a co-

    conspirator sold cocaine to a police officer known to the Grand Jury.

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    24.On or about November 23, 2015, in a series of telephone communications, a

    co-conspirator agreed to sell cocaine to a police officer known to the Grand

    Jury.

    25.On or about November 23, 2015, in the vicinity of 100 Delancey Street,

    defendant HERNANDEZ sold cocaine to a police officer known to the

    Grand Jury.

    26.On or about December 21, 2015, in a series of telephone communications, a

    co-conspirator agreed to sell more than one half of one ounce of cocaine to a

    police officer known to the Grand Jury.

    27.On or about December 21, 2015, in the vicinity of 100 Delancey Street,

    defendantHERNANDEZ

    sold more than one half of one ounce of cocaineto a police officer known to the Grand Jury.

    28.On or about January 4, 2016, in a series of telephone communications, a co-

    conspirator agreed to sell cocaine to a police officer known to the Grand Jury.

    29.On or about January 4, 2016, in the vicinity of 100 Delancey Street, defendant

    NUNEZsold cocaine to a police officer known to the Grand Jury.

    30.On or about January 26, 2016, in the vicinity of Second Avenue and East 32 nd

    Street, after a series of telephone communications during whichCHRISTOPHER DODSONordered 2 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    31.On or about January 29, 2016, in the vicinity of 43 West 13thStreet, after a series

    of telephone communications during which ordered

    200 but agreed to DO 3 [TO] GET 4, defendant HERNANDEZsold

    cocaine to .

    32.

    On or about January 29, 2016, in the vicinity of Third Avenue and East 30th

    Street, after a series of telephone communications during which KYLE

    HOLMES ordered 2 to his OLD BUILDING, defendant

    HERNANDEZsold cocaine to KYLE HOLMES.

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    33.On or about January 29, 2016, in the vicinity of Rivington Street, after a series

    of telephone communications during which

    ordered FOUR BAGS OF WHITE to her hotel room and referenced

    BLOW, defendant HERNANDEZ sold cocaine to

    .

    34.On or about January 31, 2016, in the vicinity of Second Avenue and East 32 nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 3 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    35.On or about February 2, 2016, in the vicinity of 162 Orchard Street, after a

    series of telephone communications during whichordered 100 AT WORK to WASSAIL, defendant HERNANDEZsold

    cocaine to .

    36.On or about February 2, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 3 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    37.

    On or about February 3, 2016, in a series of telephone calls where a customerordered 100 to 19th AND PARK defendant HERNANDEZ told a

    customer to meet inside of a CVS pharmacy at Park Avenue and East 20thStreet.

    38.On or about February 3, 2016, in a series of telephone communications,

    defendant HERNANDEZagreed to sell more than one half of one ounce of

    cocaine to a police officer known to the Grand Jury.

    39.On or about February 3, 2016, in the vicinity of 100 Delancey Street, defendant

    HERNANDEZsold more than one-half of one ounce of cocaine to a policeofficer known to the Grand Jury.

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    40.On or about February 3, 2016, prior to the sale of more than one half of one

    ounce of cocaine a police officer known to the Grand Jury, a co-conspirator

    entered and exited 138 Ludlow Street several times, after which defendant

    HERNANDEZleft 138 Ludlow Street to sell cocaine, with the co-conspirator

    acting as a lookout.

    41.On or about February 4, 2016, after a series of telephone communications

    during which a customer ordered cocaine, defendant HERNANDEZtook a

    black livery cab to the vicinity of 77 Water Street to sell cocaine.

    42.On or about February 4, 2016, in the vicinity of Lexington Avenue and East

    100thStreet, after a series of telephone communications during which

    agreed to purchase 150 of SOME NICE SHIT[HERNANDEZ] JUST GOT, defendant HERNANDEZsold cocaine to

    .

    43.On or about February 4, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which AUSTIN

    DODSONordered 2, defendant HERNANDEZsold cocaine toAUSTIN

    DODSON.

    44.

    On or about February 5, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 2 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    45.On or about February 7, 2016, in the vicinity of Madison Avenue and East 37th

    Street, after a series of telephone communications during which KYLE

    HOLMES ordered TWO and defendant HERNANDEZ told KYLE

    HOLMES he was IN A LITTLE BLACK CAR, defendantHERNANDEZsold cocaine to KYLE HOLMES.

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    46.On or about February 8, 2016, in the vicinity of 1101 Greene Avenue, Kings

    County, after a series of communications during which

    ORDERED 200, defendant HERNANDEZ sold cocaine to JAMES

    HULIHAN.

    47.On or about February 10, 2016, in the vicinity of Avenue A and East 5thStreet,

    after a series of communications during which

    ORDERED 100, defendant HERNANDEZ sold cocaine to JAMES

    HULIHAN.

    48.On or about February 10, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSON ordered 60 to DUANE READE, a co-

    conspirator sold cocaine to CHRISTOPHER DODSON.

    49.On or about February 14, 2016, in the vicinity of 1082 Eastern Parkway, Kings

    County, after a series of communications during which

    ordered 200 to [his] PLACE, defendant HERNANDEZ

    sold cocaine to .

    50.On or about February 14, 2016, in the vicinity of Orchard Street and Rivington

    Street, after a series of telephone communications during whichordered 100 while AT WORK, defendant HERNANDEZ

    sold cocaine to .

    51.On or about February 14, 2016, in the vicinity of 162 Orchard Street, after a

    series of telephone communications during which

    ordered 100 while STILL AT WORK, defendant HERNANDEZ sold

    cocaine to .

    52.

    On or about February 14, 2016, in the vicinity of Amsterdam Avenue and West82nd Street, after a series of telephone communications during which

    ordered THREE TICKETS, defendant

    HERNANDEZsold cocaine to .

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    53.On or about February 17, 2016, in the vicinity of Sixth Avenue and West 38th

    Street, after a series of telephone communications during which CHRISTIAN

    JEWETT ordered TWO AT THE AUSTRAILIAN BAR, defendant

    HERNANDEZsold cocaine to CHRISTIAN JEWETT.

    54.On or about February 18, 2016, in the vicinity of 69 Fourth Avenue, Kings

    County, after a series of telephone communications during which

    ordered 5 FOR 200, defendant HERNANDEZ sold

    cocaine to .

    55.On or about February 18, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 2 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    56.On or about February 18, 2016, in the vicinity of Lexington Avenue and East

    100thStreet, after a series of telephone communications during which

    ordered 150 TO [HIS] SPOT, defendant HERNANDEZsold

    cocaine to .

    57.On or about February 19, 2016, in the vicinity of Ludlow Street, after a series

    of telephone communications during whichreferenced an 8 BALL but ordered $1400 of WHITE to her hotel to be

    distributed amongst at least seven people, defendant HERNANDEZ sold

    cocaine to .

    58.On or about February 20, 2016, in the vicinity of Allen Street and Stanton Street,

    after a series of telephone communications during which

    ordered 100 while AT WORK, defendant HERNANDEZ

    sold cocaine to .59.On or about February 20, 2016, in the vicinity of 160 West 22ndStreet, after a

    series of telephone communications during which ordered

    2 BAGS, defendant HERNANDEZsold cocaine to .

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    60.On or about February 21, 2016, in the vicinity of 315 South End Avenue, after

    a series of telephone communications during which ROMAN YOFFEagreed

    to purchase 4 FOR 6 inside a Gristedes supermarket, defendant

    HERNANDEZsold cocaine to ROMAN YOFFE.

    61.On or about February 24, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSON ordered THE 4 DEAL to DUANE

    READE, defendant HERNANDEZ sold cocaine to CHRISTOPHER

    DODSON.

    62.On or about February 25, 2016, in the vicinity of 140 Orchard Street, after a

    series of telephone calls where defendantHERNANDEZ

    told a malecustomer who had ordered TWO HUNDRED to meet him inside a deli,

    defendant HERNANDEZsold cocaine to a male customer.

    63.On or about February 26, 2016, in the vicinity of 77 Water Street, after a series

    of telephone communications during which ROMAN YOFFE agreed to

    purchase 4 FOR 6 at THE OFFICE, defendant HERNANDEZ sold

    cocaine to ROMAN YOFFE.

    64.

    On or about February 28, 2016, in the vicinity of Stanton Street and OrchardStreet, after a series of telephone communications during which CHRISTIAN

    JEWETT ordered TWO, defendant HERNANDEZ sold cocaine to

    CHRISTIAN JEWETT.

    65.On or about March 1, 2016, in the vicinity of 77 Water Street, after a series of

    telephone communications during which ROMAN YOFFE agreed to

    purchase 2 at THE OFFICE, defendant HERNANDEZsold cocaine to

    ROMAN YOFFE.66.On or about March 2, 2016, in the vicinity of Second Avenue and East 32 nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 4 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

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    67.On or about March 2, 2016, in the vicinity of 77 Water Street, after a series of

    telephone communications during which ROMAN YOFFE agreed to

    purchase 2 at THE OFFICE, defendant HERNANDEZsold cocaine to

    ROMAN YOFFE.

    68.On or about March 2, 2016, in the vicinity of Second Avenue and East 41st

    Street, after a series of telephone communications during which KYLE

    HOLMES ordered TWO AT THE DELI before heading home to

    Astoria, defendant HERNANDEZsold cocaine to KYLE HOLMES.

    69.On or about March 2, 2016, in the vicinity of 39 West 27thStreet, after a series

    of telephone communications during which defendant HERNANDEZagreed

    to sell cocaine to a customer at a hotel, defendantHERNANDEZ

    entered andexited a hotel.

    70.On or about March 3, 2016, in the vicinity of 160 West 22ndStreet, after a series

    of telephone communications during which ordered 200,

    defendant HERNANDEZsold cocaine to .

    71.On or about March 4, 2016, in the vicinity of 77 Water Street, after a series of

    telephone communications during which ROMAN YOFFE agreed to

    purchase 4 FOR 6 at THE OFFICE, defendant HERNANDEZ soldcocaine to ROMAN YOFFE.

    72.On or about March 4, 2016, in the vicinity of Second Avenue and East 32 nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 3 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    73.On or about March 4, 2016, in the vicinity of Lexington Avenue and East 58th

    Street, after a series of telephone communications during whichrequested KILLER STUFF and agreed to purchase 5/4

    packaged ALL TOGETHER, defendant HERNANDEZ sold cocaine to

    .

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    74.On March 4, 2016, in a series of telephone communications, defendant

    HERNANDEZ asked a customer, WHAT YOU NEED? to which the

    customer responded, BLOW, to which defendant HERNANDEZreplied,

    I KNOW THAT, HOW MUCH? and told the customer he was on his way.

    75.On or about March 5, 2016, in the vicinity of Orchard Street and Rivington

    Street, after a series of telephone communications during which

    ordered 150 while AT WORK, defendant HERNANDEZ

    sold cocaine to .

    76.On or about March 5, 2016, in the vicinity of Orchard Street and Rivington

    Street, after a series of telephone communications during which

    ordered 150 MORE TO THE SAME PLACE, defendantHERNANDEZsold cocaine to .

    77.On or about March 5, 2016, in the vicinity of 1082 Eastern Parkway, Kings

    County, after a series of communications during which

    ordered 220 FOR THE 5 while AT HOME, defendant

    HERNANDEZsold cocaine to .

    78.On or about March 8, 2016, in the vicinity of Second Avenue and East 5thStreet,

    after a series of telephone communications during whichordered 100?2 bags, defendant HERNANDEZsold cocaine

    to .

    79.On or about March 8, 2016, in the vicinity of 43 West 13thStreet, after a series

    of telephone communications during which ordered

    200 but agreed to DO 3 [to] GET 4, defendant HERNANDEZ sold

    cocaine to .

    80.

    On or about March 8, 2016, in the vicinity of First Avenue and East 7th

    Street,after a series of telephone communications during which

    ordered 100 to a DELI ON THE CORNER, defendant HERNANDEZ

    sold cocaine to .

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    81.On or about March 10, 2016, in a series of telephone communications,

    defendant HERNANDEZagreed to sell cocaine to a police officer known to

    the Grand Jury.

    82.On or about March 10, 2016, in the vicinity of 100 Delancey Street, defendant

    HERNANDEZsold cocaine to a police officer known to the Grand Jury.

    83.On or about March 11, 2016, in the vicinity of 637 East 6thStreet, after a series

    of telephone communications during which CHRISTIAN JEWETTordered

    4 FOR 5 to MY APT, defendant HERNANDEZ sold cocaine to

    CHRISTIAN JEWETT.

    84.On or about March 11, 2016, in the vicinity of Lexington Avenue and East 59th

    Street, after a series of telephone communications during which defendantHERNANDEZtold I GOT IT LIKE YOU WANT IT

    TODAY, defendant HERNANDEZsold cocaine to .

    85.On or about March 11, 2016, in the vicinity of Essex Street and Delaney Street,

    after a series of telephone communications during which

    ordered 100 to the THE NINETY-NINE CENT STORE, defendant

    HERNANDEZsold cocaine to .

    86.

    On or about March 12, 2016, in the vicinity of Second Avenue and East 32nd

    Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 2 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    87.On or about March 12, 2016, in the vicinity of Second Avenue and East 51ST

    Street, after a series of telephone communications during which AUSTIN

    DODSON ordered $120 to A RESTAURANT, defendant

    HERNANDEZsold cocaine toAUSTIN DODSON.

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    88.On or about March 16, 2016, in a telephone conversation, a co-conspirator told

    defendant HERNANDEZ, IM WAITING FOR THAT NIGGA MAN,

    to which defendant HERNANDEZ responded, AND THE OTHER

    ONE? and the co-conspirator replied, I DIDNT LIKE THAT SHIT THAT

    HE BRING YESTERDAY. THAT SHIT WAS WET.

    89.On or about March 18, 2016, in a telephone conversation, defendant

    HERNANDEZ stated, MIGHT HAVE TO PUT IN WORK OVER

    THERE. MY SHIT DEAD RIGHT NOW SON. YOU WANT SOME? to

    which a co-conspirator responded, MY COUSIN GOT THIS NIGGA SHIT

    TOO, WHICH IS BETTER, but, HE DONT TAKE SAMPLES LIKE

    THAT, HE ONLY TAKES TEN GIRLS AS A SAMPLE, to which defendantHERNANDEZresponded, IM NOT GIVING TEN GRAMS THOUGH

    IN ONE NIGHT, to which the co-conspirator replied, NO, I KNOW

    THAT, HE BUYS IT and defendant HERNANDEZsaid, TELL HIM TO

    BRING IT TO ME THEN.

    90.On or about March 18, 2016, in a telephone conversation, defendant

    HERNANDEZasked a co-conspirator, HOW MUCH YOU DO FOR AN

    EIGHT? and told the co-conspirator BRING ME THAT THEN.91. On or about March 18, 2016, in a telephone conversation, a co-conspirator,

    asked defendant HERNANDEZ, YOU MIND IF I HAVE LANCE

    BRING ME A WHOLE RIGHT NOW? to which defendant

    HERNANDEZreplied, I DONT CARE, TELL HIM TO SELL IT.

    92.On or about March 19, 2016, in the vicinity of 162 Orchard Street, after a series

    of telephone communications during which

    ordered 100 while AT WORK, defendant HERNANDEZsold cocaineto .

    93.On or about March 19, 2016, in a telephone conversation, a co-conspirator,

    asked defendant HERNANDEZ, YOU GET THAT OR NO? to which

    defendant HERNANDEZreplied, THEY ONLY HAD EIGHTS.

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    94.On or about March 20, 2016, in a series of telephone conversations, a customer

    ordered 200 to Second Avenue and East 34 th Street and defendant

    HERNANDEZdirected the customer to meet inside of a CVS pharmacy and

    told the customer in what aisle defendant HERNANDEZwould be.

    95.On or about March 21, 2016, in the vicinity of Second Avenue and East 85 th

    Street, after a series of telephone communications during which CHRISTIAN

    JEWETT ordered TWO, defendant HERNANDEZ sold cocaine to

    CHRISTIAN JEWETT.

    96.On or about March 22, 2016, in a telephone conversation, a co-conspirator told

    defendant HERNANDEZ, I CAN BRING THE HALF RIGHT NOW

    TOO, IF YOU WANT, and shortly thereafter, a co-conspirator arrived byvehicle and entered and exited 138 Ludlow Street.

    97.On or about March 24, 2016, in a telephone conversation, a co-conspirator

    asked defendant HERNANDEZ, WHAT YOU NEED? to which

    defendant HERNANDEZreplied, LIKE, TEN.

    98.On or about March 25, 2016, in the vicinity of Lexington Avenue and East 100th

    Street, after a series of telephone communications during which

    ordered 120 TO MY SPOT, defendant HERNANDEZsoldcocaine to .

    99.On or about March 25, 2016, in the vicinity of Second Avenue and East 41st

    Street, after a series of telephone communications during which KYLE

    HOLMES ordered TWO BETWEEN SECOND AND THIRD,

    defendant HERNANDEZsold cocaine to KYLE HOLMES.

    100. On or about March 26, 2016, in a telephone conversation, a co-

    conspirator told defendant HERNANDEZ, I HAVE SOMEONE BY 2AND 2ND, to which defendant HERNANDEZ replied, WHAT THEY

    WANT? and asked for the address.

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    101. On or about March 26, 2016, in a telephone conversation, a co-

    conspirator told defendant HERNANDEZ, THAT SHIT WAS FUCKING

    HALF BY POWER, HE SAID ITS WHACK THEN BASICALLY, to which

    defendant HERNANDEZ responded, THATS THE WORK I GOT

    TOO.

    102. On or about March 26, 2016, in a telephone conversation, a co-

    conspirator told defendant HERNANDEZ, I HAVE SOMEONE OUT

    DOOR ON 38THAND 8, and defendant HERNANDEZreplied, OK.

    103. On or about March 27, 2016, in the vicinity of Second Avenue and East

    32nd Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 1.5 to DUANE READE because

    he only had 100, defendant HERNANDEZ sold cocaine to

    CHRISTOPHER DODSON.

    104. On or about March 30, 2016, in a series of telephone communications,

    defendant HERNANDEZagreed to sell more than one half of one ounce of

    cocaine to a police officer known to the Grand Jury.

    105. On or about March 30, 2016, in the vicinity of 110 Ludlow Street,

    defendant HERNANDEZsold more than one half of one ounce of cocaineto a police officer known to the Grand Jury.

    106. On or about March 31, 2016, in a telephone conversation, a co-

    conspirator asked defendant HERNANDEZYOU THINK YOU COULD

    MAKE TEN GIRLS FOR ME AND GIVE IT TO ME? to which defendant

    HERNANDEZ responded, LISTEN, UM, I TOOK TWENTY FROM

    THERE, to which the co-conspirator asked, CAN YOU MAKE THE REST

    AND GIVE IT TO ME THEN? and defendant HERNANDEZreiterated,I TOOK OUT TWENTY GRAMS.

    107. On or about March 31, 2016, in a telephone communication, a male

    customer said, I NEED COKE PLEASE, after which defendant

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    HERNANDEZagreed to sell the customer cocaine and said he would see the

    customer soon.

    108. On or about March 31, 2016, in the vicinity of 132 West 3rdStreet, after

    a series of telephone communications during which ALEXANDER

    MALLORY ordered 200 to MY PLACE and said to BUZZ 2,

    defendant HERNANDEZsold cocaine toALEXANDER MALLORY.

    109. On or about March 31, 2016, in the vicinity of 412 West 25thStreet, after

    a series of telephone communications during which KATHERINE

    WELNHOFERordered 200, defendant HERNANDEZsold cocaine to

    KATHERINE WELNHOFER.

    110.

    On or about April 2, 2016, in the vicinity of 162 Orchard Street, after aseries of telephone communications during which

    ordered cocaine, defendant HERNANDEZ sold cocaine to

    .

    111. On or about April 4, 2016, in a telephone conversation, defendant

    HERNANDEZ said to a co-conspirator, THIS NIGGA TEXT ME

    TODAY IF WE COULD TAKE THE WHOLE THING, to which the co-

    conspirator asked FOR THE THREE-FIVE OR THE NUMBER BETTERTHAN THAT? to which defendant HERNANDEZreplied that he DONT

    WANT TO TAKE THAT RESPONSIBILITY AND THEN TAKE MAD

    LONG TO DO IT MYSELF, to which the co-conspirator replied MY

    COUSIN HAS SOMEBODY.

    112. On or about April 5, 2016, in the vicinity of 69 Central Avenue, Kings

    County, after a series of telephone communications during which

    ordered 200 while AT HOME, defendant HERNANDEZsold cocaine to .

    113. On or about April 8, 2016, in a telephone conversation, a co-conspirator

    told defendant HERNANDEZ, I HAVE SOMEONE ON 74TH, to which

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    defendant HERNANDEZ then called a female customer, confirmed her

    location and that she needed ONE, and said he was on his way.

    114. On or about April 9, 2016, in a telephone conversation, a co-conspirator

    asked defendant HERNANDEZ, HOW MUCH HE PAYING? to which

    defendant HERNANDEZreplied IM SAYING FORTY-TWO, FORTY-

    THREE AROUND THERE, to which the co-conspirator responded, TEXT

    HIM AND SHOW HIM WHAT YOU GOT AND THEN ILL JUST BRING

    THE FIFTY.

    115. On or about April 11, 2016, in a telephone conversation, a co-

    conspirator, asked defendant HERNANDEZ, YOU ALREADY GOT

    THAT FROM P OR NO? to which defendantHERNANDEZ

    replied hehadnt, and the co-conspirator said FUCK IT, IM ABOUT TO GET IT

    FROM SOMEBODY ELSE.

    116. On or about April 13, 2016, in the vicinity of Bowery and East 4thStreet,

    after a series of telephone communications during which CHRISTIAN

    JEWETT ordered TWO, defendant HERNANDEZ sold cocaine to

    CHRISTIAN JEWETT.

    117.

    On or about March 25, 2016, in the vicinity of Lexington Avenue andEast 100th Street, after a series of telephone communications during which

    ordered 120 TO MY SPOT, defendant

    HERNANDEZsold cocaine to .

    118. On or about April 13, 2016, in the vicinity of Eighth Avenue and West

    22nd Street, after a series of communications during which

    ORDERED 200, defendant HERNANDEZsold cocaine to

    JAMES HULIHAN.119. On or about April 13, 2016, in a series of telephone communications,

    defendant HERNANDEZagreed to sell cocaine to a police officer known to

    the Grand Jury.

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    120. On or about April 13, 2016, in the vicinity of 110 Ludlow Street,

    defendant HERNANDEZ sold cocaine to a police officer known to the

    Grand Jury.

    121. On or about April 13, 2016, in a telephone conversation, defendant

    HERNANDEZtold a co-conspirator, CALL ME WHEN YOU AROUND

    SO I CAN GIVE YOU SOME BREAD.

    122. On or about April 14, 2016, in the vicinity of Second Avenue and East

    32nd Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 3 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    123.

    On or about April 14, 2016, in a telephone conversation, a co-conspirator asked defendant HERNANDEZ, YOU MAKE THOSE

    UNITS OR NO? and told defendant HERNANDEZ to MAKE

    STRAIGHT HUNDOS and defendant HERNANDEZ replied, I GOT

    YOU.

    124. On or about April 15, 2016, in a telephone conversation, defendant

    HERNANDEZ, told a co-conspirator, I DID A COUPLE HUNDRED

    AND THE REST FIFTY, to which the co-conspirator responded ITHOUGHT IT WAS LIKE TEN GRAMS THERE? to which defendant

    HERNANDEZ replied, CALL ME IF YOU GONNA COME PICK IT

    UP.

    125. On or about April 16, 2016, in the vicinity of First Avenue and East 79th

    Street, after a series of telephone communications during which

    ordered THREE TIMES, defendant HERNANDEZ

    sold cocaine to .126. On or about April 16, 2016, in a telephone conversation, defendant

    HERNANDEZ told a co-conspirator ILL LET YOU KNOW WHATS

    THERE ANYWAY, to which the co-conspirator responded PROBABLY

    LIKE THREE GIRLS IN TOTAL.

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    127. On or about April 16, 2016, in a telephone conversation, a co-

    conspiratortold defendant HERNANDEZ, I WAS GONNA BE DOWN

    THERE WITH PRODUCT IN AN HOUR.

    128. On or about April 17, 2016, in the vicinity of Second Avenue and East

    32nd Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 2 to DUANE READE, defendant

    HERNANDEZsold cocaine to CHRISTOPHER DODSON.

    129. On or about April 17, 2016, in a telephone conversation, defendant

    HERNANDEZ told a co-conspirator IM GOING TO GIVE YOU

    SEVEN. HES GOING TO GIVE YOU SEVEN-FIFTY. YOU GONNA

    GET LIKE FIFTEEN HUNDRED and to JUST PICK IT UP.130. On or about April 17, 2016, in a telephone conversation, a co-

    conspirator asked defendant HERNANDEZ, YOU GOT GIRLS OVER

    THERE? to which defendant HERNANDEZreplied, NO, IM AT THE

    AIRPORT.

    131. On or about April 17, 2016, in the vicinity of Lexington Avenue and

    East 60thStreet, after a series of telephone communications during which a co-

    conspirator told he had REALLY GOOD stuff,agreed to buy 5/4 200 and was later told by the co-

    conspirator to HOP IN THE FRONT of a white Mercedes, at which time

    the co-conspirator sold cocaine to .

    132. On or about April 19, 2016, in the vicinity of Lexington Avenue and

    East 53rd Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered 4 FOR 240 and a co-conspirator told

    CHRISTOPHER DODSON HES GONNA BE IN A WHITEMERCEDES BETWEEN 53RDAND 54TH, A WHITE E-CLASS, HE HAS

    LIKE GLASSES, at which time the co-conspirator sold cocaine to

    CHRISTOPHER DODSON.

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    133. On or about April 19, 2016, in the vicinity of Sixth Avenue and

    Washington Place, after a series of telephone communications during which

    ALEXANDER MALLORYordered 60 FOR 1 to a CVS pharmacy, a co-

    conspirator sold cocaine toALEXANDER MALLORY.

    134. On or about April 20, 2016, in a series of telephone communications, a

    customer ordered TWO HUNDRED WORTH to Worth Street and Wall

    Street, to which a co-conspirator responded that he was Jays Cousin, that

    Jay was in the Dominican Republic but he would SEND HIS GUY, and

    thereafter called the customer and told the customer to HOP IN THE BLUE

    CAR, ITS A BLUE HONDA.

    135.

    On or about April 20, 2016, in the vicinity of 162 Orchard Street, aftera series of telephone communications during which

    ordered 100, a co-conspirator sold cocaine to

    .

    136. On or about April 21, 2016, in the vicinity of Lexington Avenue and

    East 53rd Street, a co-conspirator sold cocaine to CHRISTOPHER

    DODSON.

    137.

    On or about April 21, 2016, in the vicinity of 43 West 13th

    Street, after aseries of telephone communications during which

    ordered 200 and agreed to wait in the lobby of 43 West 13thStreet, a co-

    conspirator sold cocaine to .

    138. On or about April 21, 2016, in a series of telephone communications, a

    co-conspirator agreed to sell cocaine to a police officer known to the Grand

    Jury.

    139.

    On or about April 21, 2016, in the vicinity of 109 Essex Street, defendantNUNEZ, sold cocaine to a police officer known to the Grand Jury.

    140. On or about April 22, 2016, in the vicinity of 637 East 6thStreet, after a

    series of telephone communications during which CHRISTIAN JEWETT

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    ordered 2 HUNDREDS to MY APT, a co-conspirator sold cocaine to

    CHRISTIAN JEWETT.

    141. On or about April 23, 2016, a co-conspirator called another male and

    asked the male to add minutes to the cell phone bill of 646-704-6955.

    142. On or about April 23, 2016, in the vicinity of 31-60 33rdStreet, Queens

    County, after a series of telephone communications during which KYLE

    HOLMES ordered THREE to his apartment and a co-conspirator told

    KYLE HOLMESIM IN THE WHITE MERCEDES, HOP UP FRONT,

    a co-conspirator sold cocaine to KYLE HOLMES.

    143. On or about April 27, 2016, in the vicinity of 43 West 13thStreet, after a

    series of telephone communications during whichordered 200 and agreed to wait in the lobby of 43 West 13thStreet, a co-

    conspirator sold cocaine to .

    144. On or about April 27, 2016, in the vicinity of 315 West 55 thStreet, after

    a series of telephone communications during which a co-conspirator told

    he had only had ONE-HUNDRED PIECES,

    agreed to buy TWO FOR $180 and was later told by the co-

    conspirator to get into a blue Nissan, at which time the co-conspirator soldcocaine to .

    145. On or about April 29, 2016, in a telephone conversation, defendant

    HERNANDEZasked a co-conspirator, WHEN ARE YOU GOING TO

    BRING ME THE PHONE?

    146. On or about April 29, 2016, in a series of telephone communications, a

    co-conspirator asked defendant HERNANDEZ, U GOT MONEY, SEEMS

    LIKE MY WORK IS FREE AFTER A CERTAIN AMOUNT.147. On or about April 29, 2016, in the vicinity of Sixth Avenue and West

    57thStreet, after a series of telephone communications during which KYLE

    HOLMES ordered TWO to THE RESTAURANT QUALITY

    ITALIAN, defendant HERNANDEZsold cocaine to KYLE HOLMES.

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    148. On or about April 30, 2016, in the vicinity of 495 Broome Street, after a

    series of telephone communications during which

    ordered 200 and agreed to wait RIGHT INSIDE 495 Broome Street,

    defendant HERNANDEZsold cocaine to .

    149. On or about May 1, 2016, in the vicinity of Second Avenue and East

    32ndStreet, after a series of telephone communications during which defendant

    HERNANDEZagreed to GIVE [CHRISTOPHER DODSON] THREE

    and allowed CHRISTOPHER DODSON TO PAY THE FOUR

    HUNDRED ON FRIDAY, defendant HERNANDEZ sold cocaine to

    CHRISTOPHER DODSON.

    150.

    On or aboutMay 1, 2016, in a telephone conversation, a co-conspiratorasked defendant HERNANDEZ, WHAT HAPPENED? to which

    defendant HERNANDEZ replied, I WAS SUPPOSED TO SEE LIKE

    TWO PEOPLE AND THEY FLAKED ON ME. ILL CALL YOU AS

    SOON AS I HAVE IT.

    151. On or aboutMay 4, 2016, in a telephone conversation, a co-conspirator

    asked defendant HERNANDEZ, YOU KNOW ANYONE THAT

    WANTS WEIGHT RIGHT NOW? to which the co-conspirator said IMGOING TO BRING FOUR BILLS THEN, but asked defendant

    HERNANDEZ, BRING THAT MUCH OR JUST BRING LIKE TWO?

    to which defendant HERNANDEZreplied, BRING IT THEN.

    152. On or about May 4, 2016, in a telephone conversation, a co-conspirator

    told defendant HERNANDEZ, IM JUST GOING TO BRING THE

    WHOLE THING OVER THERE, CAUSE TO OPEN IT AT MY CRIB IS

    GOING TO BE JUST CRAZY.153. On or about May 4, 2016, in a telephone conversation, a co-conspirator

    told defendant HERNANDEZ to OPEN THE DOOR, and the co-

    conspirator then entered 138 Ludlow Street carrying a backpack, and exited 138

    Ludlow Street without the backpack.

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    154. On or about May 5, 2016, in the vicinity of Sixth Avenue and

    Washington Place, after a series of telephone communications during which

    ALEXANDER MALLORYordered 100 to a CVS pharmacy, defendant

    HERNANDEZsold cocaine toALEXANDER MALLORY.

    155. On or about May 5, 2016, in a series of telephone communications, a

    defendant HERNANDEZagreed to sell cocaine to a police officer known to

    the Grand Jury.

    156. On or about May 5, 2016, in the vicinity of 119 Ludlow Street, defendant

    HERNANDEZsold cocaine to a police officer known to the Grand Jury.

    157. On or about May 6, 2016, in the vicinity of Sixth Avenue and

    Washington Place, after a series of telephone communications during whichALEXANDER MALLORY ordered 100 to a CVS pharmacy, a co-

    conspirator sold cocaine toALEXANDER MALLORY.

    158. On or about May 6, 2016, in the vicinity of 77 Water Street, after a series

    of telephone communications during which ROMAN YOFFEagreed to DO

    4 /6 at THE OFFICE, defendant HERNANDEZ sold cocaine to

    ROMAN YOFFE.

    159.

    On or about May 6, 2016, in the vicinity of 637 East 6th

    Street, after aseries of telephone communications during which CHRISTIAN JEWETT

    ordered 4/5, defendant HERNANDEZ sold cocaine to CHRISTIAN

    JEWETT.

    160. On or about May 6, 2016, in a telephone conversation, a co-conspirator

    asked defendant HERNANDEZ, YOU GOT BREAD FOR ME? to which

    defendant HERNANDEZ responded, SHITS DEAD TODAY,

    TOMORROW IS FRIDAY, to which the co-conspirator replied HOWABOUT THAT SHIT, YOU FOUND OUT IF ITS GOOD OR NOT? and

    defendant HERNANDEZ stated, YEP, BUT HE SAID IT WAS

    OFFICIAL.

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    161. On or about May 6, 2016, in a telephone conversation, a co-conspirator

    said to defendant HERNANDEZ, I GOT THESE TEN YAMS ON ME,

    SHOULD I BRING IT UP OR NO? to which defendant HERNANDEZ

    asked, YOU GOT WHAT? and the co-conspirator replied, TEN YAMS IN

    THE STASH, and defendant HERNANDEZ told the co-conspirator,

    NAH, LEAVE THAT SHIT THERE.

    162. On or about May 8, 2016, in a series of telephone conversations, a co-

    conspirator asked defendant HERNANDEZ, WOULD YOU MIND IF

    THIS WHITE KID COMES THROUGH TO GET TWENTY GIRLS? and

    asked YOU MIND SEPARATING TENS AND FIVES FOR THIS GUY?

    To which defendantHERNANDEZ

    replied, TEN AND FIVE, THATSALL HE WANTS IS FIFTEEN? and later stated THAT NIGGA GAVE

    ME THREE-FIFTY.

    163. On or about May 8, 2016, in a series of telephone conversations, a

    customer asked defendant HERNANDEZ, YOU GOT ANY ADERALL?

    to which defendant HERNANDEZreplied, NO. I HAVE SOME GOOD

    WHITE. TRY WHAT I HAVE AND IF YOU DONT LIKE IT, ILL GIVE

    YOU YOUR MONEY BACK.164. On or about May 9, 2016, in the vicinity of Sixth Avenue and

    Washington Place, after a series of telephone communications during which

    ALEXANDER MALLORYordered 100 to a CVS pharmacy, defendant

    HERNANDEZsold cocaine toALEXANDER MALLORY.

    165. On or aboutMay 10, 2016, in a telephone conversation, a co-conspirator

    told defendant HERNANDEZ, YO KENNY, I NEED TWO RIGHT

    NOW, PULLING UP THE FRONT, causing defendant HERNANDEZtoadmonish the co-conspirator, YOU CANT BE BRINGING NIGGAS TO

    MY BUILDING, but later said ILL BUZZ YOU IN.

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    166. On or about May 10, 2016, in the vicinity of 132 West 3rdStreet, after a

    series of telephone communications during which ALEXANDER

    MALLORYordered 200 AT MY PLACE, defendant HERNANDEZsold

    cocaine toALEXANDER MALLORY.

    167. On or about May 11, 2016, in the vicinity of Sixth Avenue and

    Washington Place, after a series of telephone communications during which

    ALEXANDER MALLORY ordered 100 to CVS pharmacy, a co-

    conspirator sold cocaine toALEXANDER MALLORY.

    168. On or about May 11, 2016, in the vicinity of 157 Allen Street, after a

    series of telephone communications during which

    ordered 100 while AT WORK, defendantHERNANDEZ

    sold cocaineto .

    169. On or about May 11, 2016, in the vicinity of 43 West 13 thStreet, after a

    series of telephone communications during which

    ordered 200, defendant HERNANDEZ sold cocaine to

    170. On or about May 12, 2016, in telephone conversations, a co-conspirator

    told defendant HERNANDEZ, I GOT SOME NIGGA THAT LOOKINGTO TAKE LIKE TEN, TWENTY, BUZZ ME UP, and I GOT GOOD

    NEWS ACROSS THE BOARD. JUST NINE, TEN, CALL IF YOU COULD

    DO FIVE AND FIVE, JUST MAKE IT REAL QUICK SO I CAN RUN

    RIGHT OUT, to which defendant HERNANDEZresponded, ILL CALL

    YOU WHEN IM THERE THEN, to which the co-conspirator then said,

    NIGGA WANTS TWENTY, SO HAVE THAT READY FOR HIM

    TOMORROW, and defendant HERNANDEZreplied, ALRIGHT.171. On or about May 12, 2016, in the vicinity of 412 West 25 thStreet, after

    a series of telephone communications during which KATHERINE

    WELNHOFERordered 2 BAGS, defendant HERNANDEZsold cocaine

    to KATHERINE WELNHOFER.

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    172. On or about May 13, 2016, in the vicinity of Essex Street and Delaney

    Street, after a series of telephone communications during which

    ordered 150 to THAT CHINESE STORE and was told he

    would receive A FREE ONE because defendant HERNANDEZwas late,

    defendant HERNANDEZsold cocaine to .

    173. On or about May 13, 2016, in a telephone conversation, defendant

    HERNANDEZ told a co-conspirator, YOU NEED TO BE ON YOUR

    SHIT, COME FAST, TODAY IS FRIDAY WHEN I START, WHEN I GO

    OUTSIDE I LAST THREE, FOUR HOURS, THEN I COME BACK, GET

    ANOTHER.

    174.

    On or about May 13, 2016, in a telephone conversation, a co-conspiratortold defendant HERNANDEZ, BOWERY BETWEEN STANTON AND

    HOUSTON, 255, GR GALLERY, BRING TWO HUNDO. Then in a

    separate telephone conversation, defendant HERNANDEZ confirmed the

    sale with a male customer and told the customer, HEY, IM HERE, YOU IN

    THE GALLERY?

    175. On or about May 14, in the vicinity of 43 West 13thStreet, after a series

    of telephone communications during which ordered200 and agreed to wait in the lobby of 43 West 13thStreet, a co-conspirator

    sold cocaine to .

    176. On or about May 16, 2016, in the vicinity of Second Avenue and East

    32nd Street, after a series of telephone communications during which

    CHRISTOPHER DODSONordered MORE and asked, AM I GIVING

    YOU THE MONEY I OWE YOU?, a co-conspirator sold cocaine to

    CHRISTOPHER DODSON.177. On or about May 16, 2016, in a telephone conversation, defendant

    HERNANDEZ asked a co-conspirator, THIS NIGGA PAY YOU?

    CHRIS? to which the co-conspirator replied, YEAH.

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    178. On or about May 16, 2016, in the vicinity of 156 Second Avenue, a co-

    conspirator sold cocaine to CHRISTIAN JEWETT.

    179. On or about May 18, 2016, in a series of telephone communications, a

    co-conspirator agreed to sell cocaine to a police officer known to the Grand

    Jury.

    180. On or about May 18, 2016, in the vicinity of 112 Ludlow Street,

    defendant NUNEZsold cocaine to a police officer known to the Grand Jury.

    181. On or about May 18, 2016, in the vicinity of 77 Water Street, after a

    series of telephone communications during which ROMAN YOFFEagreed

    to purchase 250 FOR 300 inside a WHITE MERCEDES, defendant

    NUNEZ sold more than 500 milligrams of cocaine by pure weight to

    ROMAN YOFFE.

    182. On or about May 20, 2016, in the vicinity of Ludlow Street and Delaney

    Street, after a series of telephone communications during which

    ordered 100 to the 99 CENT STORE and a co-conspirator told

    that his BOY would be at the Duane Reade pharmacy, a

    co-conspirator sold cocaine to .

    183.

    On or about May 20, 2016, in the vicinity of 230 Gates Avenue, KingsCounty, after a series of telephone communications during which

    ordered THREE HUNDRED and met with a co-

    conspirator driving a WHITE CAR, a co-conspirator sold cocaine to

    .

    184. On or about May 22, 2016, in the vicinity of Broadway and West 49th

    Street, after a series of telephone communications during which a co-

    conspirator told he had only had ONE-HUNDREDPIECES, agreed to buy $300 for $250 and was later

    told by the co-conspirator to HOP IN FRONT of a white Mercedes, at which

    time the co-conspirator sold cocaine to .

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    185. On or about May 25, 2016, in the vicinity of 313 First Avenue, after a

    series of telephone communications during which

    ordered 5 FOR 200, a co-conspirator sold cocaine to

    .

    186. On or about May 29, 2016, in the vicinity of Stanton Street between

    Chrystie Street and the Bowery, after a series of telephone communications

    during which CHRISTOPHER DODSONordered $240 and was directed

    to take cocaine from inside a blue Nissan Maxima, defendant NUNEZsold

    CHRISTOPHER DODSONcocaine.

    187. On or about May 29, 2016, in the vicinity of Stanton Street between

    Chrystie Street and the Bowery, after a series of telephone communicationsduring which defendant NUNEZdirected a male customer to a blue Nissan,

    New York license plate HEF 3858, parked on Stanton Street, defendant

    NUNEZsold cocaine to another individual.

    188. On or about May 29, 2016, in a telephone conversation, defendant

    HERNANDEZtold defendant NUNEZ, I JUST LANDED. Defendant

    NUNEZreplied, YOU KNOW YOU GOT SAVED RIGHT NOW. WE

    BOTH GOT SAVED, THAT NIGGA WAS WORKING WITH THEMTHE WHOLE TIME.

    189. On or about May 30, 2016, in telephone conversations, defendant

    HERNANDEZ told defendant NUNEZ, THE PHONE NIGGA, YOU

    IN THE CRIB? YOU WANT ME TO GET IT? TEXT ME THE

    ADDRESS, IM IN A CAB RIGHT NOW. IM RIGHT HERE IN

    QUEENS.

    190.

    On or about May 30, 2016, in a telephone call, defendantHERNANDEZcalled himself to test a new cellular telephone, a phone that

    defendant HERNANDEZtransitioned to in order to take customer orders.

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    191. On or about June 2, 2016, in a telephone conversation, a co-conspirator

    asked defendant HERNANDEZ, YOU ON DECK AND SHIT? I NEED

    TWENTY OF THEM, to which defendant HERNANDEZ replied,

    COME TO MY BUILDING, 138 LUDLOW.

    192. On or about June 5, 2016, in a telephone conversation, defendant

    HERNANDEZ told a co-conspirator, YO, MY BOY HIT ME UP. HE

    SAID HE COULD ONLY BRING ME EIGHTY FOR TODAY, YOU

    WANT IT? to which the co-conspirator replied, YEAH, I GUESS.

    193. On or about June 7, 2016, in a series of telephone communications, a

    police officer know to the grand jury asked defendant HERNANDEZ, YOU

    AROUND THIS WEEKEND? to which defendantHERNANDEZ

    responded from a new telephone number, and said ITS JAY, THIS IS MY

    NEW NUMBER, SAVE IT. WHAT YOU NEED? CALL ME AT THIS

    NUMBER, I WONT HAVE THE OTHER NUMBER NO MORE.

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    SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNY HERNANDEZ of the crime of OPERATING AS A

    MAJOR TRAFFICKER, in violation of Penal Law 220.77(1), committed as follows:

    The defendant, in the County of New York and elsewhere, acted as director of

    a controlled substance organization during the period from on or about June 1, 2015

    to on or about May 31, 2016, during which period such controlled substance

    organization sold a controlled substance, to wit, cocaine, and the proceeds collected

    and due from such sales had a total aggregate value of seventy-five thousand dollars

    and more.

    THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about June 1, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    FOURTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about June 4, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

    FIFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about June 16, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about July 1, 2015, knowingly

    and unlawfully sold to a police officer known to the Grand Jury, a narcotic drug, to wit,

    cocaine.

    SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendants KENNY HERNANDEZ and FELIX NUNEZ of the crime of

    CRIMINAL SALE OF A CONTROLLED SUBSTANCE IN THE THIRD

    DEGREE, in violation of Penal Law 220.39(1), committed as follows:

    The defendants, in the County of New York, on or about July 22, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    EIGHTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about September 2, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

    NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZand OSCARALMONTEof the crime of

    CRIMINAL SALE OF A CONTROLLED SUBSTANCE IN THE THIRD

    DEGREE, in violation of Penal Law 220.39(1), committed as follows:

    The defendants, in the County of New York, on or about October 6, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    TENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendants KENNY HERNANDEZ and FELIX NUNEZ of the crime of

    CRIMINAL SALE OF A CONTROLLED SUBSTANCE IN THE THIRD

    DEGREE, in violation of Penal Law 220.39(1), committed as follows:

    The defendants, in the County of New York, on or about October 13, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

    ELEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about October 20, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    TWELFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about October 29, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

    THIRTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about November 11, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    FOURTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about November 23, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

    FIFTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE SECOND DEGREE, in violation of

    Penal Law 220.41(1), committed as follows:

    The defendant, in the County of New York, on or about December 21, 2015,

    knowingly and unlawfully sold to a police officer known to the Grand Jury one or more

    preparations, compounds, mixtures and substances containing a narcotic drug and the

    preparations, compounds, mixtures and substances were of an aggregate weight of one-

    half ounce or more.

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    SIXTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendants KENNY HERNANDEZ and FELIX NUNEZ of the crime of

    CRIMINAL SALE OF A CONTROLLED SUBSTANCE IN THE THIRD

    DEGREE, in violation of Penal Law 220.39(1), committed as follows:

    The defendants, in the County of New York, on or about January 4, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

    SEVENTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about January 26, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    EIGHTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about January 29, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    NINTEENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about January 29, 2016,

    knowingly and unlawfully sold to KYLE HOLMES, a narcotic drug, to wit, cocaine.

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    TWENTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about January 29, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    TWENTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about January 31, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    TWENTY-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 2, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    TWENTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 2, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    TWENTY-FOURTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE SECOND DEGREE, in violation of

    Penal Law 220.41(1), committed as follows:

    The defendant, in the County of New York, on or about February 3, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury one or more

    preparations, compounds, mixtures and substances containing a narcotic drug and the

    preparations, compounds, mixtures and substances were of an aggregate weight of one-

    half ounce or more.

    TWENTY-FIFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 4, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

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    TWENTY-SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 4, 2016,

    knowingly and unlawfully sold to AUSTIN DODSON, a narcotic drug, to wit,

    cocaine.

    TWENTY-SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 5, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    TWENTY-EIGHTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 7, 2016,

    knowingly and unlawfully sold to KYLE HOLMES, a narcotic drug, to wit, cocaine.

    TWENTY-NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 8, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    THIRTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 10, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    THIRTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 10, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    THIRTY-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of Kings, on or about February 14, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    THIRTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 14, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    THIRTY-SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 17, 2016,

    knowingly and unlawfully sold to CHRISTIAN JEWETT, a narcotic drug, to wit,

    cocaine.

    THIRTY-SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 18, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to

    wit, cocaine.

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    THIRTY-EIGHTH COUNT:

    AND THE GRANDJURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 18, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

    THIRTY-NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 18, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

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    FOURTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 19, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    FORTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 20, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    FORTY-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 20, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

    FORTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 21, 2016,

    knowingly and unlawfully sold to ROMAN YOFFE, a narcotic drug, to wit, cocaine.

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    FORTY-FOURTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 24, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

    FORTY-FIFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 26, 2016,

    knowingly and unlawfully sold to ROMAN YOFFE, a narcotic drug, to wit, cocaine.

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    FORTY-SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about February 28, 2016,

    knowingly and unlawfully sold to CHRISTIAN JEWETT, a narcotic drug, to wit,

    cocaine.

    FORTY-SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 1, 2016,

    knowingly and unlawfully sold to ROMAN YOFFE, a narcotic drug, to wit, cocaine.

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    FORTY-EIGHTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 2, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

    FORTY-NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 2, 2016,

    knowingly and unlawfully sold to ROMAN YOFFE, a narcotic drug, to wit, cocaine.

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    FIFTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 2, 2016,

    knowingly and unlawfully sold to KYLE HOLMES, a narcotic drug, to wit, cocaine.

    FIFTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 3, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

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    FIFTH-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 4, 2016,

    knowingly and unlawfully sold to ROMAN YOFFE, a narcotic drug, to wit, cocaine.

    FIFTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 4, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    FIFTY-FOURTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 4, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

    FIFTY-FIFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 5, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    FIFTY-SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 5, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    FIFTY-SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in New York County and elsewhere, on or about March 5, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    FIFTY-EIGHTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 8, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    FIFTY-NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 8, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    SIXTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 8, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

    SIXTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 10, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    SIXTY-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 11, 2016,

    knowingly and unlawfully sold to CHRISTIAN JEWETT, a narcotic drug, to wit,

    cocaine.

    SIXTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 11, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

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    SIXTY-FOURTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 11, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

    SIXTY-FIFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 12, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    SIXTY-SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 12, 2016,

    knowingly and unlawfully sold to AUSTIN DODSON, a narcotic drug, to wit,

    cocaine.

    SIXTY-SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 19, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    SIXTY-EIGHTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 21, 2016,

    knowingly and unlawfully sold to CHRISTIAN JEWETT, a narcotic drug, to wit,

    cocaine.

    SIXTY-NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 25, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

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    SEVENTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 25, 2016,

    knowingly and unlawfully sold to KYLE HOLMES, a narcotic drug, to wit, cocaine.

    SEVENTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 27, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    SEVENTY-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE SECOND DEGREE, in violation of

    Penal Law 220.41(1), committed as follows:

    The defendant, in the County of New York, on or about March 30, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury one or more

    preparations, compounds, mixtures and substances containing a narcotic drug and the

    preparations, compounds, mixtures and substances were of an aggregate weight of one-

    half ounce or more.

    SEVENTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 31, 2016,

    knowingly and unlawfully sold to ALEXANDER MALLORY, a narcotic drug, to

    wit, cocaine.

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    SEVENTY-FOURTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about March 31, 2016,

    knowingly and unlawfully sold to KATHERINE WELNHOFER, a narcotic drug,

    to wit, cocaine.

    SEVENTY-FIFTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 2, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

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    SEVENTY-SIXTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in New York County and elsewhere, on or about April 5, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    SEVENTY-SEVENTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 13, 2016,

    knowingly and unlawfully sold to a police officer known to the Grand Jury, a narcotic

    drug, to wit, cocaine.

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    SEVENTY-EIGHTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 13, 2016,

    knowingly and unlawfully sold to CHRISTIAN JEWETT, a narcotic drug, to wit,

    cocaine.

    SEVENTY-NINTH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 13, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit, cocaine.

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    EIGHTIETH COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 13, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to wit,

    cocaine.

    EIGHTY-FIRST COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 14, 2016,

    knowingly and unlawfully sold to CHRISTOPHER DODSON, a narcotic drug, to

    wit, cocaine.

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    EIGHTY-SECOND COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof the crime of CRIMINAL SALE OF A

    CONTROLLED SUBSTANCE IN THE THIRD DEGREE, in violation of

    Penal Law 220.39(1), committed as follows:

    The defendant, in the County of New York, on or about April 16, 2016,

    knowingly and unlawfully sold to , a narcotic drug, to

    wit, cocaine.

    EIGHTY-THIRD COUNT:

    AND THE GRAND JURY AFORESAID, by this indictment, further accuses

    the defendant KENNYHERNANDEZof