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MAY. 30.2006 9:47AM US A-rvs OfC/EDVA IW.9255 P 2 r;",i ':";"l t" :".. ~. ' IN THE UNITED STATES DISTRICT COURT FOR THE.. EASTERN DISTRICT OF VIRGINIA Alexandria Division UNITED STATES OF AMERICA ) ) v. ) No.1 :05CR264 ) THOMAS MOROCCO HAGER ) Judge Ellis NOTICE OF INTENT TO SEEK A SENTENCE OF DEATH The United States of America, by and through its attorneys, Chuck Rosenberg, United States Attorney for the Eastern District of Virginia, and James L. Trump and Steven D. Mellin, Assistant United States Attorneys, hereby notifies the Court and the defendant, THOMAS MOROCCO HAGER, and his counsel, Joseph J. McCarthy and John C. Kiyonaga, pursuant to Title 21, United States Code, Sections 848(e)(1 )(A) and 848(h)(l )(A) & (B), that in the event of the defendant's conviction on the sole count of the Second Superseding Indictment, wherein the defendant is charged with intentionally killing Barbara White, and aiding and abetting said intentional killing, while engaged in an offense punishable under Title 21, United States Code, Section 841(b)(1)(A), the United Slates will smk!'i sentence of death. I. STATUTORY AGGRAVATING FACTORS The Government will seek to prove the following statutory aggravating factors as the basis for imposition of the death penalty for the intentional killing of Barbara White as charged in the Second Superseding Indictment: 2'd 69917 1.2220S' '01 8862 6bS 01.

M~Y, 31),2006 9:47AM us ~TvS OfClf DVA NO, 9255 p, 3 Statutory Aggravating Factors Enumerated under 21 U.S.C. 848(0) (1) (A) through (D): 1. The defendant, THOMAS MOROCCO HAGER, intentionally killed Barbara White. Title 21, United States Code, Section 848(n)(1)(A). 2. The defendant, THOMAS MOROCCO HAGER, intentionally inflicted serious bodily injury which resulted in the death of Barbara White, Title 21, United States Code, Section 848(n)( I )(8). 3. The defendant, THOMAS MOROCCO HAGER, intentionally engaged in conduct intending that the victim, Barbara White, be killed and that lethal force be employed against the victim, which resulted in the death of Barbara White, Title 21, United States Code, Section 848(n)(I)0. 4. The defendant, THOMAS MOROCCO HAGER, intentiolllllly engaged in conduct which the defendant knew would create a grave risk of death to a person, other than one of the participants in the offense, and that eon duct resulted in the death of Barbara. White. Title 21, United States Code, Section 848(nXI )(D). B, Statutory Aggravating Factors Enumerated under 21 U.S.C. 848(n) (2) through (12): I, The defendant, THOMAS MOROCCO HAGER, has been convicted of another offense resulting in the death of a person, for which a sentence of life imprisonment was authorized by slntule. Title 21, United States Code, Section 848(n)(2). 2. The defendant, THOMAS MOROCCO HAGER, has been convicted of two otber offenses punishable by a teml ofirtlprisorunent of more than one year, corrunil1ed on liifferent occasions, involving the infliction of, or attempted infliction of, serious bodily injury upon another 2 ('d 699b.L2220.,1 :01 8862 6f,., 0L

i1i~ Y. 3 O. 2006 9: 43AM US AiTYS OfC/EOYA NO, 9255 p, 4 persoll, Title 21, United States Code, Section 848(n)(3). 3. The defendant, THOMAS MOROCCO HAGER, knowingly created a grave risk of death to a person in addition to Barbara White in the commission of the offense and in escaping apprehension for the offense. Title 21, United States Code, Section 848(n)(5), 4. The defendant, THOMAS MOROCCO HAGER, committed the offense charged after substantial planning and premeditation. Title 21, United States Code, Section 848(n)(8), 5.. The defendant, THOMAS MOROCCO HAGER. distributed II controlled substance, namely. crack cocaine. to ajuvenile, in violation of Title 21, United States Code, Section 859. Title 21, United States Code, Section 848(n)(11). 6. The defendant, THOMAS MOROCCO HAGER, committed the offense charged herein in an especially heinous, cruel, or depraved manner in that it Involved tolture or serious physical abuse to Barbara White. Title 21, United States Code, Section 848(n)(l2). II. NON-STATUTORY AGGRAVATING FACTORS The United States, pursuant to Title 21, United States Code, Sections 848(h)(I)(B) and 848(k), will seek to prove the following non-statutory aggravating factors as the basis for imposition of the dea.th penalty for the intentional killing of Barbara White as charged in the Second Superseding Indictment: A, The defendant, THOMAS MOROCCO HAGER, engaged in a pattern of criminal activity, including a plmem of violence, dating from at Icast age seventeen (17), as demonstrated by the following: -3 b'd 6991>.1.2220S1:01 8862 61>S [0.1. ~~~NOAI~ NHOr:WO~~ 21:S1 L002-2-N~r

W,Y. 30, 2006 9: 48AM US ATTYS OfC/EDVA NO. 9255 P. 5 I. On or about April 23, 1990, the defendant, ajuvenile at the.jime, possessed with the intent to distribute cocaine. He was found guilty by an adjudication on or about September G 18,1990. From in or about 1992, and continuing until at least in or about 1991, the defendant repeatedly bought and sold cocaine and crack cocaine in and aiound Washington, p, C., and directed others to buy and sell cocaine and crack cocaine. The defendant illegally obtained, possessed, used, and carried numerous firearms in relation to and in furtherance of his drug trafficking activities. The defendant regularly used violence and threats of violence to further and protect his d~u~jness. ~ From in or about 1992, and continuing until at least in or about 1997, the defendant repeatedly threatened to rob and did rob at gunpoint individuals, including other drug dealers, of dnlgs, money and other valuable property, in and around Washington, D, C. 4. On or about December 30, 1992, the defendant and his brother, Terrell Hager, engaged in an exchange of gunfire with rival drug dealers in the 2900 block of Nelson Place, S.E., Washington, D.C. During the exchange, the defendant shot and killed DeCarlos Bannister. S. On or about October 22,1993, the defendant shot and severely wounded Christopher Fletcher and Ric Pears Oil. two rival dnlg dealers, in Washington, D.C. 6. On or about March 30, 1995, the defendant broke into Jerome Robinson's apartment and shot and killed Robinson. For these crimes, the defendant was convicted of first Degree Burglary while Armed, Felony Murder while Armed, Attempted Robbery while Anned, First Degree Murder while Armed, Possession of a Firearm during a Crime of Violence, Second Degree Murder while Armed, Carrying a Pistol without a License, and Obstruction of Justice The defendant 4 S'd 8862 6PS 0L I:l!')ClNO,\I>I NHOf :t"o<l~ T :ST L002-2-NCIf

MA1 30. 2006 9:48AM US AllYS OFC/EDVA NO. 9255 ~. 6 was sentenced on March 23, 2001, to a toull ofg? years to life in prison forthese,effenses. 7. On or about February26, 1996, the defendant directed Loneldon Windsor, his cousin, to kill Cornell Coplin, and, on that date, Windsor shot and killed Coplin. 8. On oraboutmay 16, 1996, the defendantshot and killed Montao Heard in the 1400 block of2sth Street, S.B., Washington, D.C. 9. On or about October 20, 1996, the defendant shot and killed Londell "Lump" Duvall in the 4800 block of Alabama Avenue, S.E., WaShington, D.C. Duvall died from multiple gun shot wounds to the head. The defendant was convicted of manslaughter while armed for this killing and was sentenced on June 14, 1999, to 20 years to life in prison. 10. On or about July 3, 1997, the defendant shot and killed Jason Hopkins in an alley in the 2900 block of Nelson Place. S.E., WaShington, D.C. II. On or about November 6, 1999, while incarcerated by the District of Columbia Department ofcorroctions, the defendant was found in possessionofa dangerous weapon, an eight-inch long metal rod with a sharpened point on one end. 12. On or about March 15, 2003, while incarcerated at U.S.P. Pollock, a penitentiary, the defendant was observed hiuing another inmate during a large-scale prison fight, which resulted in a prison lock down. 13. On or about April 27, 2004, while incarcerated at U.S.P. Pollock, the defendant was disciplined for possession of a dangerous weapon, an eight.inch long metal shank with a sharpened point on one end. 14. On or about June 29,2004, while incarcerated at U.s.P. Pollock, the defendant hit and kicked an inmate in the head and body as part of a targeted attack by the defendant and 5 9'd 699I7L2220,:01 8862 617 0,1.

MAY. 30. 2006 9: 49AM US ATTYS OFC/EOVA NO. 9255 p, 7 inmates associated with the defendant against a rival group of other inmates. A,s a result of the incident, the prison w~s placed on a week-long lock down. B. The defenda nt, THOMAS MOROCCO HAGER, has had little or no gainful employment in his adult life and has supported himself by drug trafficking and robbery. C. The defendant. THOMAS MOROCCO HAGER, has displayed no remorse for the murder of BarbaIa White; rather, the defendant bragged that by killing BaIbaIa White and directing his co-conspirators, Arlington Johnson, Jr. am! Lonnie Barnett, Jr., to participate in the killing of BaIbaIa White, he trained Johnson and Barnett to kill. D. The defendant, THOMAS MOROCCO HAGER, poses a future danger to others in that he is likely to commit, and to direct others to commit, additional acts of violence in any setting. E. The defendant, THOMAS MOROCCO HAGER, caused injury, haim and loss to the victim and the victim' 5 fainily and friends, as evidenced by the victim '5 personal chaiact~ristics and by the impact of her death upon the victim's family and friends. The United States further gives notice that, in support of imposition of the death penalty, it intends to rely upon all the evidence admitted by the Court at the guilt phase of the trial and the offense of conviction as alleged in the Second Superseding Indictment as they relate to the background and character of the defendant, THOMAS MOROCCO HAGER, his moral culpabili \Y. L'd 599Vi.222BS' :01 8852 6bS ml.

MAY, 30. 2006 9; 49AM ls AlTYE OfC/EDVA NO, 9255 p, 8 his future dangerousness, and the naluie and circumstances of the offense chargtld ifl the Second Superseding Indictment. Respectfully submitted, CHUCK ROSENBERG I ITEDSTATESATTORNEY Assistant United States Atto -7- S'd 699H2220 1 :Ol 8862 61> 1:0'-

MAY. 30. 2006 9: 49AM us Arry! OfC/EDVA NO. 9255 P. 9 CERTIFICATE OF SERVICE., The undersigned hereby certifies that on the<&.-rtaay of May. 2006, a copy of the foregoing notice was sent by mail, postage prepaid. and by fax to: Josepb J. McCarthy S 1 0 King Street, Suite 400 Alexandria, Virginia 22314 10hn C. Kiyonaga 526 King Street, Suite 213 Alexandria, Virginia 223] 4 J es L. Trump teven D. Mellin Assistant United States A omeys 8 G'd 8852 61><; C0L ~9~NOAI~ NHor:WO~J 9T:<;T L002-2-N~r