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648 lines
37 KiB
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648 lines
37 KiB
Plaintext
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TEXT OF SEARCH WARRANT FROM WACO, TEXAS:
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Affiant alleges the following grounds for search and seizure:
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I, Davy Aguilera, being duly sworn, depose and state that:
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I am a Special Agent with the US Treasury Department, BATF, Austin, Texas, and I have been so employed for approximately 5 years. This affidavit is
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based on my own investigation as well as information furnished to me by
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other law enforcement officers and concerned citizens.
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*NEXT TWO PARAGRAPHS LIST THE AGENT'S QUALIFICATIONS*
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On June 4, 1992, I met with Lt. Gene Barber, McClennan County Sheriff's
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Department, Waco, Texas, who has received extensive training in
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explosives classification, identification and the rendering safe of
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explosive devices and has been recognized in Federal Court as an expert
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witness in this field. Lt. Barber stated that he had received
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information in May 1992, from an employee of United Parcel Service,
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Waco, Texas, that from April through June of 1992, several deliveries
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had been made to a place known as the "Mag-Bag", Route 7, Box 555-B,
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Waco, Texas, 76705, located on Farm Road number 2491, in the names of
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Mike Schroeder and David Koresh, which the UPS employee believed to be
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firearms components and explosives. Through my investigation, I know
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that the place known as the "Mag-Bag" is a small tract of land located
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at the above address which has two metal buildings located on it. The
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name "Mag-Bag" comes from the shipping label which is accompanied many
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items shipped to the above address. I and other agents have personally
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observed vehicles consistently over the past six months at the "mag-Bag"
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location which are registered to Vernon Wayne Howell, aka: David Koresh.
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Lt. Barber further stated that the UPS employee, Larry Gilbreath, became
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suspicious and concerned about the deliveries, most of which were
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shipped COD because of their frequency and because of the method used by
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the recipient to receive the shipments and to pay for them.
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Lt. Barber explained that David Koresh was an alias name used by Vernon
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Wayne Howell who operated a religious cult commune near Waco, Texas, at
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a place commonly known as the Mount Carmel Center, which is one of the
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premises to be searched and more specifically described
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above. I have learned from my investigation, particularly from my
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discussions with former cult members that Vernon Howell adopted the name
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David Koresh more than a year ago. The name "David Koresh" was chosen
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by Howell because Howell believed that the name helped designate him as
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the messiah or the anointed one of God. Lt. Barber further related that
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he was told by Gilbreath that he had been making deliveries to the
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"Mag-Bag" and the Mt. Carmel Center on Double EE Ranch Road, Waco,
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Texas, for several years, but he had never been suspicious of any of the
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deliveries until 1992. Gilbreath became concerned because he made
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several COD deliveries addressed to the "Mag-Bag", but when he would
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stop at that location he was instructed to wait while a telephone call
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was made to the Mt. Carmel Center by the person at the "Mag-Bag",
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usually Woodrow Kendrick or Mike Schroeder, notifying the person who
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answered the phone at the Mt. Carmel Center that UPS was coming there
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with a COD delivery, after which Gilbreath would be instructed to drive
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to the Mt. Carmel Center to deliver the package and collect for it.
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That on those occasions when he was at the Mt. Carmel Center to deliver
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and collect for the COD packages he saw several manned observation
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posts, and believed that the observers were armed.
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Lt. Barber stated that he was told by Larry Gilbreath (UPS) that in May
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of 1992 two cases of inert hand grenades and a quantity of black
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gunpowder were delivered by him to the "Mag-Bag." The source of these
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shipments was unknown to Gilbreath.
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On June 9, 1992, I was contacted by Lt. Barber who told me that he had
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learned from Larry Gilbreath that in June of 1992, the UPS delivered 90
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pounds of powdered aluminum metal and 30 to 40 cardboard tubes, 24
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inches in length and 1 1/4 to 1 1/2 inches in diameter, which were
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shipped from the Fox Fire Company, Pocatello, Idaho, to "Mag-Bag." From
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another shipper whose identity is unknown, to parcels containing a total
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of 60 M-16/AR-15 ammunition magazines were delivered by UPS to the
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"mag-Bag" on June 8, 1992. I know based upon my training and experience
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that an AR-15 is a semi-automatic rifle practically identical to the
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M-16 rifle carried by United States Armed Forces. The AR-15 rifle fires
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.223 caliber ammunition and, just like the M-16, can carry magazines of
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ammunition ranging from 30 to 60 rounds of ammunition. I have been
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involved in many cases where defendants, following a relatively simple
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process, convert AR-15 semi-automatic rifles to fully automatic rifles
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of the nature of the M-16. This conversion process can often be
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accomplished by an individual purchasing certain parts which will
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quickly transform the rifle to fire fully automatic. Often times
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templates, milling machines, lathes and instruction guides are utilized
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by the converter.
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*THE NEXT FIVE PARAGRAPHS DESCRIBE THE HISTORY OF THE COMMUNE AND THE
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DISPUTE BETWEEN KORESH AND THE COMMUNE'S ORIGINAL FOUNDER WHICH RESULTED
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IN A GUN BATTLE. KORESH AND OTHERS WERE ACQUITTED ON ALL CHARGES*
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Lt. Barber furnished me with recently taken aerial photographs of the
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Mt. Carmel Center which had been taken by Captain Dan Weyenberg of the
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McClennan County Sheriff's Department, Waco, Texas. Among the things
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noted in the photographs was a buried bus near the main structure and an
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observation tower, approximately three or four stories tall with windows
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on all four sides enabling a view from the structure of 360 degrees.
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I was also advised by Lt. Barber that Robert Cervenka, a known long time
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McClennan County citizen, who lives near the Mt. Carmel Center compound,
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had, on several occasions, from January through February of 1992, heard
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machine gun fire coming from the compound property. Mr. Cervenka
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offered law enforcement authorities his residence to be used as a
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surveillance post.
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On July 21, 1992, I met with Robert L. Cervenka, Route 7, Box 103,
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Riesel, Texas. Mr. Cervenka farms the property surrounding the east side
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of the Mt. Carmel property. Mr. Cervenka stated that he has farmed that
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area since 1948. From about January and February of 1992 he has heard
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machine gun fire on the Vernon Howell property during the night hours.
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He is familiar with and knows the sound of machine gun fire because he
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did a tour overseas with the US Army. He believes that some of the
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gunfire he heard was being done with .50 caliber machine guns and
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possibly M-16 machine guns.
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On November 13, 1992, I spoke with Lt. Gene Barber who told me that Mr.
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Cervenka, whose ranch is adjacent to the Mt. Carmel property, had
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reported hearing bursts of gunfire from the Mt. Carmel compound on
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November 8, 1992, at approximately 2:45 p.m.
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On June 8, 1992, based on information gained from Gilbreath by Lt.
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Barber, I interviewed Dave Haupert, Olympic Arms Inc., Olympia
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Washington, a company which had shipped several parcels to David Koresh
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at the "Mag-Bag", Route 7, Box 555-B, Waco, Texas. Mr. Haupert told me
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that the records of Olympic Arms Inc., indicated that approximately
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forty-five AR-15/M-16 rifle upper receiver units, with barrels of
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various calibers, had been shipped from March through April of 1992 to
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the Mag-Bag corporation for a total cost of $11,107.31, cash on
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delivery.
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On January 13, 1993, I interviewed Larry Gilbreath in Waco, Texas, and
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confirmed the information which had previously been related to me by Lt.
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Barber. Mr. Gilbreath told me that although he had been making
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deliveries at the "Mag-Bag" and the Mt. Carmel Center for quite some
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time, his suspicion about the packages being delivered to those places
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was never aroused until about February 1992. At that time the invoices
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accompanying a number of packages reflected that they contained firearm
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parts and accessories as well as various chemicals. He stated that in
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May 1992, a package which was addressed to the "Mag-Bag" accidentally
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broke open while it was being loaded on his delivery truck. He saw that
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it contained three other boxes, the contents of which were "pineapple"
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type hand grenades which he believed to be inert. He stated that there
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were about 50 of the grenades and that he later delivered them to the
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Mt. Carmel Center. The Mt. Carmel Center is that tract of land depicted
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in the photograph labeled "attachment B" with the main residential
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structure being depicted in "attachment C."
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Mr. Gilbreath stated that these suspicious packages were usually
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addressed to the "Mag-Bag" or to David Koresh. When he would stop to
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deliver them to the "Mag-Bag" he was met most of the time by Woodrow
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Kendrick and on other occasions by Steve Schneider. They would have him
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wait while they telephoned the Mt. Carmel Center to tell them that UPS
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was coming with a COD package. He would be instructed to take the
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package(s) to the Mt. Carmel Center. Upon arriving at the Mt. Carmel
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Center he was usually met by Perry Jones or on occasion by Steve
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Schneider who would pay the COD charges in cash and would accept
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delivery of the shipments.
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On this same date, June 8, 1992, I interviewed Glen Deruiter, manager,
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Sarco Inc., Stirling, New Jersey, and learned from him that in May of
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1992 their company shipped one M-16 parts set kit with a sling and
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magazine to the "Mag-Bag" in the name of David Koresh. The total value
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of these items was $284.95.
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Also on June 8, 1992, I interviewed Cynthia Aleo, Owner/manager Nesard
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Gun Parts Co., Barrington, Illinois, and learned from her that in May of
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1992 her company shipped to the "Mag-Bag" 2 M-16 machine gun CAR kits
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and 2 M-16 machine gun EZ kits. These kits contain all the parts of an
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M-16 machine gun except for the lower receiver unit which is the
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"firearm" by lawful definition. Ms. Aleo stated that the total amount
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of sales to the "Mag-Bag" was $1227.00. Within the past month I have
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spoken with Curtis Bartlett, firearms technician with BATF and have
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learned that Nesard Co. has been under investigation in the past by BATF
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for engaging in a scheme to supply parts which would enable individuals
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to construct illegal weapons from various component parts.
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*THE NEXT THREE PARAGRAPHS DESCRIBE THE AGENT'S RECORD SEARCH TO
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DETERMINE IF ANY OF THE PRINCIPALS OF THE COMMUNE ARE REGISTERED AS
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MACHINE GUN OWNERS OR FIREARMS MANUFACTURERS. HE DESCRIBES THE RESULT
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AS NEGATIVE*
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On June 23, 1992, I spoke with ATF compliance inspector Robert Souza,
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Seattle, Washington, who inquired about the "Mag-Bag" corporation, Route
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7, Box 555, Waco, Texas. He had received some invoices reflecting a
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large quantity of upper receivers and AR-15 parts being shipped to
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"Mag-Bag", Waco, Texas, from Olympic Arms Inc., 624 Old Pacific Highway,
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SE, Olympia, Washington. Inspector Souza faxed me copies of invoices
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reflecting purchases of twenty AR-15 upper receiver units with barrels
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by the "Mag-Bag" on March 26 and 30, 1992. These items are in addition
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to the items referred to above.
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As a result of my investigation of shipments to Howell/Koresh and Mike
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Schroeder at the "Mag-Bag" Corporation, Waco, Texas, through UPS and the
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inspection of the firearms records of Henry McMahon, dba Hewitt
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Handguns, Hewitt, Texas, I have learned that they acquired during 1992
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the following firearms and related explosive paraphernalia:
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104 AR-15/M-16 upper receiver groups with barrels
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8,100 rounds of 9MM and .223 caliber ammunition for AR-15/M-16
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20 100 round capacity drum magazines for AK-47 rifles
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260 M-16/AR-15 magazines
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30 M-14 magazines
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2 M-16 EZ kits
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2 M-16 CAR kits
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1 M-76 grenade launcher (not a typo, this is what it says)
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200 M-31 practice rifle grenades
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4 M-16 parts set kits "A"
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2 flare launchers
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2 cases (approximately 50) inert practice hand grenades
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40-50 pounds of black gunpowder
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30 pounds of potassium nitrate
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5 pounds of magnesium metal powder
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1 pound of igniter cord (a Class C explosive)
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91 AR-15 lower receiver units
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26 various calibers and brands of handguns and long guns
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90 pounds of aluminum metal powder
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30-40 cardboard tubes
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The amount of expenditure for the above listed firearm paraphernalia,
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excluding the 91 AR-15 lower receiver units and the 26 complete
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firearms, was in excess of $44,300.00.
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From my investigation I have learned that a number of shipments to the
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"Mag-Bag" have been from vendors with questionable trade practices. One
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is presently under investigation by the ATF for violations of the
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National Firearms Act which prohibits unlawful possession of machine
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guns, silencers, destructive devices, and machine gun conversion kits.
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Because of the sensitivity of this investigation these vendors have not
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been contacted by me for copies of invoices indicating the exact items
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shipped to the "Mag-Bag."
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On November 13, 1992, I interviewed Lt. Coy Jones, McClennan County
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Sheriff's Department, Waco, Texas, and learned from him that he had
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spoken with an employee of UPS, Waco, Texas, who wished to remain
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anonymous. This person told Jones that Marshal Keith Butler, a relative
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of the person who wishes to remain anonymous, is a machinist by trade
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and is associated with Vernon Howell.
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The records of the Texas Department of Public Safety reflect that Butler
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has been arrested on 7 occasions since 1984 for unlawful possession of
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drugs. Two of the arrests resulted in convictions for possession of a
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controlled substance. Butler's latest arrest and conviction was in
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January 1992. Butler received a sentence of three years in the Texas
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Department of Corrections. In April 1992 Butler was paroled to
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McClennan County, Texas.
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On November 13, 1992, I interviewed Terry Fuller, a deputy sheriff for
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the McClennan County Sheriff's Department, Waco, Texas, and learned from
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him that on November 6, 1992, at approximately 1:25 pm while on route
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patrol in the area of the Mt. Carmel Center, the property controlled by
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Vernon Howell, he heard a loud explosion in the area of the north part
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of the Mt. Carmel property. As he drove toward the area where he
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thought the explosion had occurred, he observed a large cloud of grey
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smoke dissipating from ground level on the north end of the Mt. Carmel
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property.
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On December 7, 1992, I spoke with Special Agent Carlos Torres, BATF,
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Houston, Texas, who had been assisting me in a portion of this
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investigation. He related to me the results of his interview on
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December 4, 1992, with Joyce Sparks, Texas Department of Human Services,
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Waco, Texas. Special Agent Torres told me that Ms. Sparks received a
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complaint from outside the State of Texas that David Koresh was
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operating a commune-type compound and that he was sexually abusing young
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girls. Ms. Sparks stated that on February 27, 1992, she, along with two
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other employees of the Texas Dept. of Human Services, and two McClennan
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County Sheriff's deputies responded to the complaint. They went to the
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Mt. Carmel Center compound, located east of Waco in McClennan County.
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When they arrived at the compound they were met by a lady who identified
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herself as Rachel Koresh, the wife of David Koresh.
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Mrs. Koresh was reluctant to talk with Ms. Sparks because David Koresh
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was not there. She had strict orders from him not to talk with anyone
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unless he was present. Ms. Sparks finally was able to convince Mrs.
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Koresh to allow her to talk with some of the children who were present.
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She talked to a young boy about 7 or 8 years old. The child said that
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he could not wait to grow up and be a man. When Ms. Sparks asked him
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why he was in such a hurry to grow up he replied that when he grew up he
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would get a "long gun" just like all the other men there. When Ms.
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Sparks pursued the subject the boy told her that all the adults had guns
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and that they were always practicing with them.
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Ms. Sparks also told Special Agent Torres that she was escorted through
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part of the building where she noted a lot of construction being
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performed. She also said that she could not determine how many people
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were in the group but estimated about 60-70 people there including men,
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women and children. She stated that she saw about 15-20 adult males
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there.
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Ms. Sparks also said that on April 6, 1992, she visited the compound again.
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On this occasion she talked with David Koresh. She asked Koresh about
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the firearms which she had been told by the small child. Koresh
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admitted that there were a few firearms there, but said that most of the
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adults did not know of them, and there were too few to be of any
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significance. Ms. Sparks said that when she pressed Koresh about the
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firearms and their location at the compound, he offered to show her
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around. He requested that she wait about 30 minutes until he could get
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the other residents out of the building so they would not see where he
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had the firearms stored. After a period of time, Ms. Sparks was
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escorted through part of the building by Koresh. She noted that there
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was more construction activity and that the inside of the structure
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looked quite different from her previous visit. Each time Ms. Sparks
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asked Koresh about the location of the firearms, he would tell her that
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they were in a safe place where the children could not get to them. He
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would then change the subject.
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Ms. Sparks said that she noticed a trap door in the floor at one end of
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the building. When she inquired about it, Koresh allowed her to look
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into the trap door. She could see a ladder leading down into a buried
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school bus from which all the seats had been removed. At one end of the
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bus she could see a very large refrigerator with numerous bullet holes.
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She also saw three long guns lying on the floor of the bus, however, she
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did not know the make or caliber of them. She stated that there was no
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electricity in the bus. Everything she saw was with the aid of a pen
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light. When questioned by Ms. Sparks, Koresh said that the bus was
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where he practiced his target shooting in order not to disturb his
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neighbors.
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Ms. Sparks felt the entire walk through the compound was staged for her
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by Koresh. When she asked to speak with some of the children and other
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residents, Koresh refused, stating they were not available. She said
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that during her conversation with Koresh, he told her that he was the
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"Messenger" from God, that the world was coming to an end, and that when
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he "reveals" himself the riots in Los Angeles would pale in comparison
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to what was going to happen in Waco, Texas. Koresh stated that it would
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be a "military type operation" and that all the "non-believers" would
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have to suffer.
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|
|
|||
|
On December 11, 1992, I interviewed Robyn Bunds in LaVerne, California.
|
|||
|
Robyn Bunds is a former member and resident of Vernon Howell's commune
|
|||
|
in Waco, Texas. She told me that in 1988 at the age of 19, she gave
|
|||
|
birth to a son who was fathered by Vernon Howell. Her departure from
|
|||
|
the commune in 1990 was a result of Howell becoming progressively more
|
|||
|
violent and abusive.
|
|||
|
|
|||
|
While she was there she and other residents were subjected to watching
|
|||
|
extremely violent movies of the Viet Nam war which Howell would refer to
|
|||
|
as training films. Howell forced members to stand guard of the commune
|
|||
|
24 hours a day with loaded weapons. Howell always was in possession of
|
|||
|
firearms and kept one under his bed while sleeping. Robyn stated that
|
|||
|
her present residence in California belonged to her parents. For a
|
|||
|
period of several years, Howell had exclusive control of the residence
|
|||
|
and used it for other members of his cult when they were in California.
|
|||
|
It was later relinquished by Howell to Robyn's mother. In June 1992,
|
|||
|
while she was cleaning one of the bedrooms of the residence, she found a
|
|||
|
plastic bag containing gun parts. She showed them to her brother, David
|
|||
|
Bunds, who has some knowledge of firearms. He told her it was a machine
|
|||
|
gun conversion kit. She stored the gun parts in her garage because she
|
|||
|
felt certain that Howell would send some of his followers to pick them
|
|||
|
up. Subsequent to her discovery of the conversion kit, Paul Fatta,
|
|||
|
Jimmy Riddle, and Neal Vaega, all members of Howell's cult, and
|
|||
|
residents of the commune in Waco, came from Waco, Texas, to California,
|
|||
|
and picked up the conversion kit.
|
|||
|
|
|||
|
On December 12, 1992, I interviewed Jeannine Bunds, the mother of Robyn
|
|||
|
and David Bunds. She told me that she was a former member of Howell's
|
|||
|
group in Waco, Texas, having left there in September, 1991. She is a
|
|||
|
registered nurse and was working in that capacity at the Good Samaritan
|
|||
|
Hospital, Los Angeles, California. While at Howell's commune in Waco,
|
|||
|
she participated in live fire shooting exercises conducted by Howell.
|
|||
|
She saw several long guns there, some of which she described as AK-47
|
|||
|
rifles. Mrs. Bunds described the weapon to me and was able to identify
|
|||
|
an AK-47 from among a number of photographs of firearms shown to her by
|
|||
|
me. I believe that she is well able to identify an AK-47. In July of
|
|||
|
1991 she saw Howell shooting a machine gun on the back portion of the
|
|||
|
commune property. She knew it was a machine gun because it functioned
|
|||
|
with a very rapid fire and would tear up the ground when Howell shot it.
|
|||
|
Mrs. Bunds also told me that Howell had fathered at least fifteen
|
|||
|
children from various women and young girls at the compound. Some of
|
|||
|
the girls who had babies fathered by Howell were as young as 12 years
|
|||
|
old. She had personally delivered 7 of these children.
|
|||
|
|
|||
|
According to Ms. Bunds, Howell annuls all marriages of couples who join
|
|||
|
his cult. He then has exclusive sexual access to the women. He also,
|
|||
|
according to Mrs. Bunds, has regular sexual relations with young girls
|
|||
|
there. The girls ages are from 11 years old to adulthood.
|
|||
|
|
|||
|
On January 6, 1993, I interviewed Jeannine Bunds again, in Los Angeles,
|
|||
|
California. I showed her several photographs of firearms and explosive
|
|||
|
devices. She identified an AR-15 rifle, and a pineapple type hand
|
|||
|
grenade as being items which she had seen at the Mt. Carmel Center while
|
|||
|
she was there. She stated that she saw several of the AR-15 rifles and
|
|||
|
at least one of the hand grenades.
|
|||
|
|
|||
|
On January 7, 1993, I interviewed Deborah Sue Bunds in Los Angeles,
|
|||
|
California. She was the wife of David Bunds, and she had been a member
|
|||
|
of the "Branch Davidians" since birth. She stated she first met Vernon
|
|||
|
Wayne Howell in July, 1980. When Howell assumed leadership of the
|
|||
|
"Branch" in Waco, Texas, in 1987, he began to change the context of
|
|||
|
their doctrine. While she was at the Mt. Carmel compound in Waco,
|
|||
|
Texas, she was assigned under Howell's direction to guard duty with a
|
|||
|
loaded weapon. About February, 1989, she observed Howell shooting a
|
|||
|
machine gun behind the main structure of the compound. She is sure the
|
|||
|
firearm was a machine gun because of the rapid rate of fire and the rate
|
|||
|
of fire was much different from that which was usually conducted during
|
|||
|
practice exercises on the compound. After describing the firing of this
|
|||
|
weapon to me, I believe that Ms. Bunds was describing the firing of an
|
|||
|
automatic weapon.
|
|||
|
|
|||
|
Mrs. Deborah Bunds also told me that during an evening meal a short time
|
|||
|
after having seen Howell shoot the machine gun, she overheard Howell and
|
|||
|
his closest associates discussing machine guns. Howell was very excited
|
|||
|
about having a machine gun. He voiced a desire to acquire additional
|
|||
|
machine guns specifically AK-47 type macine guns.
|
|||
|
|
|||
|
During this investigation I made inquiries of a number of law
|
|||
|
enforcement data bases for information about those commune residents who
|
|||
|
I have been able to identify. Through TECS I learned that some 40
|
|||
|
foreign nationals from Jamaica, United Kingdom, Israel, Australia, and
|
|||
|
New Zealand have entered the United States at various times in the past
|
|||
|
and have used the address of the Mt. Carmel Center, Waco, Texas, as
|
|||
|
their point of contact while here. According to INS records, most of
|
|||
|
these foreign nationals have overstayed their entry permits or visas and
|
|||
|
are therefore illegally in the United States. I know that it is a
|
|||
|
violation of Title 18, U.S.C. Section 922, for an illegal alien to
|
|||
|
receive a firearm.
|
|||
|
|
|||
|
On January 1 and January 3, 1993, Mrs. Poia Vaega, of Mangere, Auckland,
|
|||
|
New Zealand, was interviewed telephonically by Resident Agent in Charge
|
|||
|
Bill Buford, BATF, Little Rock Arkansas, who also is assisting me in
|
|||
|
this investigation. The results of Special Agent Buford's interview on
|
|||
|
January 1, 1993, was reduced to writing and furnished to me. Special
|
|||
|
Agent Buford's interview on January 3, 1993, was tape recorded with the
|
|||
|
permission of Poia Vaega and has since been transcribed and typewritten.
|
|||
|
Both the tape recording and the transcription was furnished to me by
|
|||
|
Special Agent Buford. Both interviews with Poia Vaega revealed a false
|
|||
|
imprisonment for a term of three and a half months which began in June
|
|||
|
of 1991 and physical and sexual abuse of one of Mrs. Vaega's sisters,
|
|||
|
Doreen Saipaia. This was while she was a member of the Branch Davidian
|
|||
|
at the Mt. Carmel Center, Waco, Texas. The physical and sexual abuse
|
|||
|
was done by Vernon Wayne Howell and Stanley Sylvia, a close follower of
|
|||
|
Howell, on several occasions.
|
|||
|
|
|||
|
It was learned From Mrs. Vaega that she and her husband Leslie were also
|
|||
|
members of Howell's group in Waco for a short period of time in March,
|
|||
|
1990. Upon their arrival at Mt. Carmel Center, she and her husband were
|
|||
|
separated and not allowed to sleep together or have any sexual contact.
|
|||
|
|
|||
|
According to Mrs. Vaega, all the girls and women at the compound were
|
|||
|
exclusively reserved for Howell. She stated that Howell would preach
|
|||
|
his philosophy, which did not always coincide with the bible, for hours
|
|||
|
at a time. She and her husband left the compound after ten days because
|
|||
|
her husband did not agree with Howell's doctrine but that her two
|
|||
|
sisters stayed behind.
|
|||
|
|
|||
|
Mrs. Vaega also related that she was present at one of the study periods
|
|||
|
held by Howell when Howell passed his personal AK-47 machine gun around
|
|||
|
for the group to handle and look over.
|
|||
|
|
|||
|
On January 6, 1993, I received the results of an examination conducted
|
|||
|
by Jerry A. Taylor, explosives enforcement officer, BATF, Walnut Creek,
|
|||
|
California, in response to a request from me to render an opinion on
|
|||
|
device design, construction, functioning, effects and classification of
|
|||
|
explosives materials which have been accumulated by Howell and his
|
|||
|
followers. Mr. Taylor has received extensive training in explosives
|
|||
|
classification, identification and rendering safe of explosive devices
|
|||
|
and has been recognized on numerous occasions as an expert witness in
|
|||
|
Federal Court. Mr. Taylor stated that the chemicals Potassium Nitrate,
|
|||
|
Aluminum and Magnesium, when mixed in the proper proportions do
|
|||
|
constitute an explosive as defined by federal law. He further stated
|
|||
|
that igniter cord is an explosive. Also Mr. Taylor stated that the
|
|||
|
inert practice rifle grenades and hand grenades would, if modified as
|
|||
|
weapons, with the parts available to Howell, become explosive devices as
|
|||
|
defined by federal law. Finally, he stated that black powder is
|
|||
|
routinely used as the main charge when manufacturing improvised
|
|||
|
explosive weapons, such as grenades and pipe bombs. I know that Title
|
|||
|
26, U.S.C. Section 5845, makes it unlawful for a person to possess any
|
|||
|
combination of parts designed or intended for use in converting any
|
|||
|
device into a destructive device. The definition of "firearm" includes
|
|||
|
any combination of parts either designed or intended for use in
|
|||
|
converting any device into a destructive device, such as a grenade, and
|
|||
|
from which a destructive device may be readily assembled. See United
|
|||
|
States vs Price, 877 F.2d 334 (5th Cir. 1989). So long as an individual
|
|||
|
possesses all the component parts item constitutes a destructive device,
|
|||
|
even though it is not assembled, so long as it can be readily assembled.
|
|||
|
United States vs Russell, 468 F.SUPP. 322 (D.C. Tex. 1979).
|
|||
|
|
|||
|
On January 8, 1993, I interviewed Marc Breault in Los Angeles,
|
|||
|
California. He is an American citizen who lives in Australia with his
|
|||
|
wife Elizabeth. He was once a member of the Branch Davidian in Waco,
|
|||
|
Texas. He lived at the Mt. Carmel Center from early 1988 until
|
|||
|
September 1989. While there he participated in physical training and
|
|||
|
firearms shooting exercises conducted by Howell. He stood guard armed
|
|||
|
with a loaded weapon. Guard duty was maintained 24 hours a day, 7 days
|
|||
|
a week. Those who stood guard duty were instructed by Howell to "shoot
|
|||
|
to kill" anyone who attempted to come through the entrance gate of the
|
|||
|
Mt. Carmel property. On one occasion, Howell told him that he wanted to
|
|||
|
obtain and/or manufacture machine guns, grenades and explosive devices.
|
|||
|
Howell stated he thought that the gun control laws were ludicrous
|
|||
|
because an individual could easily acquire a firearm and the necessary
|
|||
|
parts to convert it to a machine gun, but if a person had the gun and
|
|||
|
the parts together they would be in violation of the law. On another
|
|||
|
occasion Howell told him that he was interested in acquiring the
|
|||
|
"Anarchist's Cookbook" which I know is a publication outlining
|
|||
|
clandestine operations to include instructions and formulas for
|
|||
|
manufacturing improvised explosive devices.
|
|||
|
|
|||
|
On January 12, 1993, I spoke with Special Agent Earl Dunagan, BATF,
|
|||
|
Austin, Texas, who is assisting me in this investigation. He related
|
|||
|
the results of his inquiry to the ATF firearms technology branch,
|
|||
|
Washington, DC, for an opinion concerning the firearms parts which have
|
|||
|
been accumulated by Howell and his group. Special Agent Dunagan stated
|
|||
|
that he had spoken with Curtis Bartlett, firearms enforcement officer,
|
|||
|
Washington, DC, and was told by Officer Bartlett that the firearms parts
|
|||
|
which Howell has received and the method by which he has received them
|
|||
|
is consistent with activities in other ATF investigations in various
|
|||
|
parts of the US which have resulted in the discovery and seizure of
|
|||
|
machine guns. Mr. Bartlett stated that the firearms parts received by
|
|||
|
Howell could be used to assemble both semi-automatic firearms and
|
|||
|
machine guns. He has examined many firearms which had been assembled as
|
|||
|
machine guns which include these type parts.
|
|||
|
|
|||
|
Mr. Bartlett also told Special Agent Dunagan that one of the vendors of
|
|||
|
supplies to Howell has been the subject of several ATF investigations in
|
|||
|
the past. ATF executed a search warrant at this company and had seized
|
|||
|
a number of illegal machine guns and silencers.
|
|||
|
|
|||
|
Special Agent Dunagan told me that on January 12, 1993, he spoke to
|
|||
|
Special Agent Mark Mutz, ATF, Washington, DC, who was the case agent on
|
|||
|
the above ongoing investigation dealing with the illicit supplier who
|
|||
|
has provided gun parts to Howell. Special Agent Mutz stated that during
|
|||
|
the execution of the federal search warrant at the company's office in
|
|||
|
South Carolina he saw large quantities of M-16 machine gun and AK-47
|
|||
|
machine gun parts. The company maintained their inventory of these
|
|||
|
parts as "replacement parts" so they fell easily within a loophole in
|
|||
|
the federal law which prohibited ATF from seizing the parts. Special
|
|||
|
Agent Mutz stated that the company had all the necessary parts to
|
|||
|
convert AR-15 rifles and semi-automatic AK-47 rifles into machine guns
|
|||
|
if their customers had the upper and lower receivers for those firearms.
|
|||
|
Based on my investigation as stated above in the description of gun
|
|||
|
parts shipped to Howell I know that Howell possesses the upper and lower
|
|||
|
receivers for the firearms which he apparently trying to convert to
|
|||
|
fully automatic.
|
|||
|
|
|||
|
Mr. Bartlett told me that another one of the vendors of supplies to
|
|||
|
Howell, Nesard Gun Parts Co., 27 West 990 Industrial Road, Barrington,
|
|||
|
Illinois, has also been the subject of an ATF investigation. Officer of
|
|||
|
that company, Gerald Grayson, Cynthia Aleo, and Anthony Aleo all plead
|
|||
|
guilty to ATF charges. The Nesard Company which owned Sendra
|
|||
|
Corporation was shipping AR-15 receivers through the Sendra Corporation,
|
|||
|
along with part kits from the Nesard Company. When these parts are
|
|||
|
assembled it resulted in the manufacture of a short barreled rifle.
|
|||
|
Even though the above subjects are convicted felons they continue to
|
|||
|
conduct business because the Nesard Gun Parts Co. distributes gun parts
|
|||
|
and not firearms.
|
|||
|
|
|||
|
On January 25, 1993, I interviewed David Block in Los Angeles,
|
|||
|
California. He stated that he was a member of Howell's cult at the Mt.
|
|||
|
Carmel Center, Waco, Texas, from March 1992 until June 13, 1992. During
|
|||
|
the time he was there he attended two gun shows with Vernon Howell, Mike
|
|||
|
Schroeder, Paul Fatta, and Henry McMahon, who is a federally licensed
|
|||
|
firearms dealer. The gun shows were in Houston and San Antonio, Texas.
|
|||
|
|
|||
|
While at the Mt. Carmel Center, he saw a metal lathe and a metal milling
|
|||
|
machine which were normally operated by Donald Bunds and Jeff Little.
|
|||
|
Donald Bunds, a mechanical engineer, has the capability to fabricate
|
|||
|
firearm parts according to Block. On one occasion, at the Mt. Carmel
|
|||
|
Center, he observed Bunds designing what Bunds described as a "grease
|
|||
|
gun/sten gun" on an Auto Cad computer located at the residence building
|
|||
|
at the compound. The computer has the capability of displaying a three
|
|||
|
dimensional rendering of objects on a computer monitor screen. The
|
|||
|
object appeared to be a cylindrical tube with a slot cut into the side
|
|||
|
of it for a bolt cocking lever. Bunds told him that Howell wanted Bunds
|
|||
|
to design a "grease gun" which they could manufacture. Mr. Block told
|
|||
|
me that on another occasion at the Mt. Carmel Center, he saw Donald
|
|||
|
Bunds designing a template which Bunds explained was to fit around the
|
|||
|
"grease gun" tubes indicating where the bolt lever slots were to be
|
|||
|
milled out. This was another step in manufacturing "grease guns" which
|
|||
|
had been requested by Howell. I know that a "grease gun" is a machine
|
|||
|
gun following after the design of a WWII era military weapon.
|
|||
|
|
|||
|
During his time at the Mt. Carmel Center, Mr. Block was present on
|
|||
|
several occasions when Howell would ask if anyone had any knowledge
|
|||
|
about making hand grenades or converting semi-automatic rifles to
|
|||
|
machine guns. At one point he also heard discussion about a shipment of
|
|||
|
inert hand grenades and Howell's intent to reactivate them. Mr. Block
|
|||
|
stated that he observed at the compound published magazines such as "The
|
|||
|
Shotgun News" and other related clandestine magazines. He heard
|
|||
|
extensive talk of the existence of the "Anarchist's Cookbook."
|
|||
|
|
|||
|
Mr. Block told me that he observed a .50 caliber rifle mounted on a
|
|||
|
bipod along with .50 caliber ammunition. However, what Mr. Block
|
|||
|
described to ATF agents was a British Boys .52 caliber anti-tank rifle
|
|||
|
(a destructive device.) Mr. Block further stated that he also heard
|
|||
|
talk of the existence of two additional .50 caliber rifles on the
|
|||
|
compound. There was also extensive talk about converting the .50
|
|||
|
caliber rifles and other rifles to machine guns.
|
|||
|
|
|||
|
Mr. Block also told me that he met James Paul Jones from Redding,
|
|||
|
Claifornia, who was visiting the Mt. Carmel Center in April or May of
|
|||
|
1992. According to Howell, Jones was a firearms and explosives expert.
|
|||
|
|
|||
|
On February 22, 1993, ATF Special Agent Robert Rodriguez told me that on
|
|||
|
February 21, 1993, while acting in an undercover capacity, he was
|
|||
|
contacted by David Koresh and was invited to the Mt. Carmel compound.
|
|||
|
Special Agent Rodriguez accepted the invitation and met with David
|
|||
|
Koresh inside the compound. Vernon Howell, aka David Koresh, played
|
|||
|
music on a guitar for 30 minutes and then began to read the bible to
|
|||
|
Special Agent Rodriguez. During this session, Special Agent Rodriguez
|
|||
|
was asked numerous questions about his life. After answering all the
|
|||
|
questions, Special Agent Rodriguez was asked to attend a two week bible
|
|||
|
session with David Koresh. This was for Special Agent Rodriguez to
|
|||
|
learn the seven seals and become a member of the group. Special Agent
|
|||
|
Rodriguez was told that by becoming a member he (Rodriguez) was going to
|
|||
|
be watched and disliked. David Koresh stated that Special Agent
|
|||
|
Rodriguez would be disliked because the government did not consider the
|
|||
|
group religious, and that he (Korseh) did not pay taxes, or local taxes
|
|||
|
because he felt he did not have to. David Koresh told Special Agent
|
|||
|
Rodriguez that he believed in the right to bear arms but that the US
|
|||
|
government was going to take away that right. David Koresh asked
|
|||
|
Special Agent Rodriguez if he knew that if he (Rodriguez) purchased a
|
|||
|
drop-in sear for an AR-15 rifle it would not be illegal. But if he had
|
|||
|
an AR-15 rifle with the sear that it would be against the law. David
|
|||
|
Koresh stated that the sear could be purchased legally. David Koresh
|
|||
|
stated that the bible gave him the right to bear arms. David Koresh
|
|||
|
then advised Special Agent Rodriguez that he had something he wanted
|
|||
|
Special Agent Rodriguez to see. At that point he showed Special Agent
|
|||
|
Rodriguez a video tape on ATF which was made by the Gun Owner's
|
|||
|
Association (GOA). This film portrayed ATF as an agency who violated
|
|||
|
the rights of gun owners by threats and lies.
|
|||
|
|
|||
|
I believe that Vernon Howell, aka David Koresh and/or his followers who
|
|||
|
reside at the compound known locally as the Mt. Carmel Center are
|
|||
|
unlawfully manufacturing and possessing machine guns and explosive
|
|||
|
devices.
|
|||
|
|
|||
|
It has been my experience over the five years that I have been a special
|
|||
|
agent for BATF and that of other special agents of the BATF, some of
|
|||
|
whom have the experience of twenty years or more, who have assisted in
|
|||
|
this investigation, that it is a common practice for persons engaged in
|
|||
|
the unlawful manufacture and possession of machine guns and explosive
|
|||
|
devices to employ surreptitious methods and means to acquire the
|
|||
|
products necessary to produce such items, and the production, use, and
|
|||
|
storage of those items are usually in a protected or secret environment.
|
|||
|
It is also my experience that persons who acquire firearms, firearms
|
|||
|
parts, and explosive materials maintain records of receipt and ownership
|
|||
|
of such items and instruction manuals or other documents explaining the
|
|||
|
methods of construction of such unlawful weaponry.
|
|||
|
|
|||
|
Davy Aguilera, Special Agent
|
|||
|
Bureau of ATF
|
|||
|
|
|||
|
Subscribed and sworn to before me this 25th day of February 1993
|
|||
|
Dennis G. Green
|
|||
|
United States Magistrate Judge
|
|||
|
Western District of Texas - Waco
|
|||
|
|
|||
|
***********************************************************************
|
|||
|
|
|||
|
|
|||
|
|