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AO 91 (Rev. 11/11) Criminal Complaint
UNITED STATES DISTRICT COURT
for the
Northern District
__________ DistrictofofIndiana
__________
United States of America )
v. )
DENARDO A. MCCORMACK
) Case No.
) 3:24-MJ-53 MGG
)
)
)
Defendant(s)
CRIMINAL COMPLAINT
I, the complainant in this case, state that the following is true to the best of my knowledge and belief.
On or about the date(s) of 7/2/2024 in the county of St. Joseph in the
Northern District of Indiana , the defendant(s) violated:
Code Section Offense Description
21 U.S.C § 841 (a)(1) Possession of a controlled substance with the intent to distribute.
This criminal complaint is based on these facts:
See Affidavit of Crisha Bishop, Special Agent, Drug Enforcemnt Administration (DEA)
✔ Continued on the attached sheet.
u
&ULVKD%LVKRS
Complainant’s signature
Crisha Bishop, SA, DEA
Printed name and title
Sworn to before me and signed in my presence.
Date: 07/02/2024 s/ Michael G. Gotsch, Sr.
Judge’s signature
City and state: South Bend, IN Hon. Michael G. Gotsch, Sr.
Printed name and title
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STATEMENT IN SUPPORT OF COMPLAINT
I, Crisha L. Bishop, being first duly sworn, hereby depose and state as
follows:
INTRODUCTION
1. I am a Special Agent (“SA”) of the Drug Enforcement
Administration (“DEA”). I have been a SA with DEA since December 2023. I
have received training from the DEA Special Agent Training Academy located
in Quantico, Virginia. While at the Special Agent Training Academy, I received
formal training in investigative techniques, drug identification, the federal
laws pertaining to drug investigations, instruction in financial investigations
and telephonic investigations. I have received on-the-job training from
supervisors, senior DEA Agents, and detectives regarding the manner in which
drugs are trafficked. I am currently assigned to the DEA Merrillville District
Office, South Bend, Indiana Group.
2. This Affidavit sometimes refers to federal and local law
enforcement officers as “Agents.” Unless otherwise indicated, all statements
herein are related in substance and in part and are not verbatim. This Affidavit
is intended to show merely that there is sufficient probable cause for the
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requested warrant and does not set forth all of my knowledge about this
matter.
3. Based on facts set forth in the Affidavit, there is probable cause to
believe that Denardo MCCORMACK violated Title 21, United States Code,
Section 841(a)(1), by unlawfully possessing with intent to distribute controlled
substances, including a mixture and substance containing a detectable amount
of N-phenyl-N-[1-(2-phenylethyl)-4-piperidinyl] propanamide (fentanyl), a
Schedule II controlled substance.
Probable Cause
4. On July 1, 2024, United States Magistrate Judge for the Northern
District of Indiana Michael G. Gotsch Sr. issued a warrant (3:24-MJ-51-MGG)
authorizing Agents to search the residence located at 738 S. Bendix Drive,
South Bend, Indiana (hereinafter the “Bendix Drive residence”).
5. On July 2, 2024, at approximately 6:05 a.m., members of the Drug
Enforcement Administration (DEA), Bureau of Alcohol, Tobacco, Firearms,
and Explosives (ATF), Indiana State Police, Mishawaka Police Department,
South Bend Police Department, and St. Joseph County Police department
hereinafter collectively referred to as “Agents,” executed the search warrant at
the Bendix Drive Residence. Agents approached the residence and knocked on
the door loudly several times. Agents verbally called out “DEA, Police, Search
Warrant!” several times prior to entry. After several moments of not receiving
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a response, Agents manually breached the front door of the residence. Upon
the entering the residence, Agents encountered a male subject (hereinafter,
“MCCORMACK”) in the bedroom believed to be MCCORMACK’s located on
the southeast corner of the residence. MCCORMACK was detained,
handcuffed, and searched without incident. There was no one else located
inside of the residence.
6. Once MCCORMACK was secure and the residence was deemed
secure, Agents began a systematic search of the premises. The paragraphs
below contain lists of the some of the evidence that was seized. This Affidavit
does not contain a complete list, as collection efforts remain ongoing. This
Affidavit contains a list sufficient for the purposes of establishing probable
cause that MCCORMACK has violated federal criminal law.
7. During a search of a bedroom located on the southeast side of the
residence (designated “Room E”), Agents located the following items:
Black duffle bag located under bed:
x Within the black duffle bag, Agents located one (1) tan Steyr Arms
Inc. 223 caliber rifle (bearing serial number: 9USA618) with one
magazine containing an unknown amount of .223 caliber
ammunition;
x One (1) brown wooden and black Century Arms .762 caliber rifle
(bearing serial number: RAS47063446);
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x One (1) Black M&P Smith and Wesson .22 caliber rifle (bearing
serial number: LAD2065);
x One (1) unknown make and model black .223 caliber rifle (bearing
serial number: 040125); and
x One brown (1) Ruger .22 caliber rifle (bearing serial number: 233-
08054).
Closet of bedroom E:
x Within the closet on a shelf, Agents located two additional
firearms:
o One Ruger 57 black 5.7 caliber handgun (bearing serial
number: 64222641); and
o One Ruger 57 black 5.7 caliber handgun (bearing serial
number: 64306204), reported Stolen through South Bend,
Indiana.
Based on my training and experience, I know that individuals involved in drug
trafficking often use firearms in furtherance of drug trafficking. By the very
nature of drug trafficking, these individuals are typically in possession of large
amounts of money or drugs at any given time. To protect their supply and
proceeds from being stolen or taken against their will, drug traffickers will
often carry and possess firearms to protect themselves. Those firearms are
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oftentimes kept in close proximity to their drug supply or proceeds to allow for
easy access.
8. During a search of the bedroom (designated “E”), Agents located a
black Amazon Basics safe sitting on the floor (along the south wall of the
bedroom). On top of the safe, Agents located two (2) bundles of an
undetermined amount of United States currency tied with a rubber band
around. Inside of the safe Agents located a large amount of U.S. currency
wrapped in bundles with a rubber band; and an Indiana Bureau of Motor
Vehicles title for a white BMW X6 SUV titled to MCCORMACK. Inside the
bedroom, Agents also recovered two plastic zip lock bags containing
approximately 480 grams and 470 grams respectively of a substance that field-
tested positive for marijuana.
Kitchen (designated as “B’) located on the northeast
x Agents located in the drawer next to the fridge (southeast corner) one (1)
loaded black Beretta APX 9mm handgun (bearing serial number:
A154062X) and one (1) magazine containing an unknown amount of
9mm live ammunition.
Black Duffle bag located in the northeast corner of Kitchen (designated as “B”)
x Inside Agents located one black Gold Standard Whey protein container
containing twenty-two (22) knotted plastic bags containing blue round
pills marked with a “female figure” on one side and nothing on the other
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side. The shape and color (shade of blue) of the pills can vary, however,
leading me to believe the pills were clandestinely manufactured to
resemble pharmaceutical oxycodone pills. From numerous prior
investigations, and based on lab testing done on other seized pills, I know
that these pills are consistent with fentanyl-laced pills that mimic the
appearance of oxycodone pills. Based on my training and experience, it
is common for drug distributors to distribute fake pills or pills laced with
fentanyl instead of true opioids because they are less expensive and
easier to access. Based on my training and experience, I believe these
bags contain several thousand pills, which I know to be an amount of
pills indicative of distribution. These pills were later weighed and
determined to have a gross weight of 819 grams;
x A digital scale, which in my experience can be used by drug traffickers
to weigh drugs and prepare drugs for distribution;
x Clear plastic sandwich bag containing a white powder which
presumptively tested positive for cocaine and later weighed and
determined to have a gross weight of 75.5 grams;
x One (1) clear plastic bag tied in a knot at the end with a white rock like
substance inside which presumptively tested positive for crack cocaine
and later weighed and determined to have a gross weight of 27.6 grams;
and
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x One “UPS” package labeled to MCCORMACK.
Bathroom (designated “C”):
x Agents located a crystal-like substance in the toilet which presumptively
tested positive for fentanyl and later weighed and determined to have a
gross weight of 170.9 grams; and
x One (1) large zip lock plastic bag behind the bathroom door with a white
residue in it.
Bedroom (designated “D”)
x Agents located a bill counter and one (1) mag pull drum magazine.
Basement (designated “H”)
x One (1) larger pill press and one (1) smaller pill press (unknown further
at this time). Near the pill press’s in the basement, Agents located:
o Four (4) vacuum sealed plastic bags containing an unknown
amount of light blue round pills stamped with a “female figure” on
one side and nothing on the other side (same resemblance and
stamping to the pills located in the kitchen) (unknown test);
o One clear plastic bag containing a white powdery substance
(unknown weight and test at this time); and
o One clear plastic bag containing a light blue powder like substance
(unknown weight and test at this time).
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9. All of the above described events occurred in the Northern District
of Indiana.
CONCLUSION
10. Based on the evidence recovered at the Bendix Drive address I
believe that the Bendix Drive address is MCCORMACK’s home and
specifically Bedroom E is where MCCORMACK stays. The evidence recovered,
including a large amount of suspected fentanyl-laced pills, currency, several
firearms, and UPS packages, BMV title, was likely engaged in the distribution
of controlled substances in violation of Title 21, United States Code, Section
841(a)(1). Therefore, I submit that there is probable cause to arrest
MCCORMACK for the above-described charges.
Further your affiant sayeth naught.
&ULVKD%LVKRS
Crisha Bishop
Special Agent
Drug Enforcement Administration
Subscribed and sworn to before me, July , 2024.
s/ Michael G. Gotsch, Sr.
Hon. Michael G. Gotsch, Sr.
United States Magistrate Judge
Northern District of Indiana