United States v. Languerand

CourtDistrict Court, District of Columbia
DecidedAugust 19, 2021
DocketCriminal No. 2021-0353
StatusPublished

This text of United States v. Languerand (United States v. Languerand) is published on Counsel Stack Legal Research, covering District Court, District of Columbia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Languerand, (D.D.C. 2021).

Opinion

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

UNITED STATES OF AMERICA

v. Case No. 21-cr-353 (JDB)

NICHOLAS LANGUERAND, Defendant.

MEMORANDUM OPINION

Defendant Nicholas Languerand faces a seven-count federal indictment arising from his

participation in the events at the United States Capitol on January 6, 2021. Shortly after his arrest

in April 2021, a magistrate judge in the District of South Carolina ordered his detention pending

trial. Before the Court is Mr. Languerand’s motion to revoke that detention order and release him

subject to conditions. See Def.’s Mot. for Revocation of Det. Order (“Def.’s Mot.”) [ECF No. 18].

The government opposes this request, proffering video, photographic, and documentary evidence

in support of its argument that Mr. Languerand “is both [a] risk of flight and a danger to the

community.” See Gov’t’s Mem. in Opp’n to Def.’s Mot. to Revoke Det. Order (“Gov’t Opp’n”)

[ECF No. 22] at 1. 1 The Court agrees with the government. For the reasons set forth below, the

Court will deny Mr. Languerand’s motion.

1 The government’s opposition, as well as the eleven exhibits attached to it, were filed under seal. See Min. Order (Aug. 4, 2021). Some of these materials are referenced in this opinion. The Court has consulted with the parties, however, and neither the United States nor Mr. Languerand object to the public release of this opinion.

1 Factual Background 2

On January 6, 2021, defendant Nicholas Languerand actively participated in a riot at the

U.S. Capitol while the U.S. Congress met inside to certify the vote count of the Electoral College

in the 2020 presidential election. Statement of Facts at 2–3. Several photographs and videos show

Mr. Languerand near the front of a cluster of approximately a dozen individuals fighting with

police at the Capitol’s Lower West Terrace archway around 5:00 P.M. on the evening of the 6th. 3

Id. at 3.

During the scrum, Mr. Languerand threw multiple objects at the officers trying to hold the

archway. First, Mr. Languerand picked up and hurled a red traffic bollard made of what appears

to be semi-hard plastic toward the archway. See id. at 4; Ex. 1A to Gov’t Opp’n at 0:05–0:09. 4

The bollard ricocheted off the riot shield of an officer on the front line before colliding with

multiple officers positioned further inside the archway. Ex. 1A to Gov’t Opp’n at 0:05–0:09; Ex.

1B to Gov’t Opp’n at 0:09–0:12. At another point, Mr. Languerand bent over, picked up what

looks like a small canister, and threw it in the direction of the officers in the archway. 5 Ex. 1A to

2 The following factual summary relies on the Statement of Facts submitted alongside the initial criminal complaint filed against Mr. Languerand, see Statement of Facts [ECF No. 1-1], as well as the evidence proffered by the government in its opposition to defendant’s motion, see Gov’t Opp’n at 4–11. The parties do not contest this evidence or descriptions at this stage, see Rough Tr. of Hr’g (Aug. 5, 2021) at 5 (“Hr’g Tr.”), only the inferences to be drawn from them. Thus, unless otherwise noted, the Court will take the proffered descriptions as true for the purposes of this motion. Additionally, citations to the transcript of the August 5 hearing on this motion are to a rough draft of the transcript. When finalized, the transcript will be posted to the docket. Discrepancies between the rough transcript and the final version may exist. 3 Mr. Languerand is identifiable in these videos by his clothing: a black sweatshirt over top of a plaid shirt, blue jeans, a black face mask, and, most importantly, a distinctive red and black knit hat. See Statement of Facts at 2; Gov’t Opp’n at 4–6. Defendant’s subsequent social media posts depict him wearing these clothes, see Statement of Facts at 2, and when federal agents searched his residence, they found items matching those in the videos. See Gov’t Opp’n at 6. 4 Exhibits 1A and 1B of the government’s opposition are videos and are thus unable to be filed using the ECF system. Accordingly, counsel for the government provided these videos to the Court and opposing counsel by secure means and filed a “Notice of Filing of Items Incompatible with CM/ECF Filing” [ECF No. 21] on August 3, 2021. 5 The government describes this as a “cannister [sic] of what appears to be pepper spray,” Gov’t Opp’n at 5, but after reviewing the video evidence proffered by the government, the Court declines to adopt this characterization

2 Gov’t Opp’n at 0:19–0:23. The videos then capture Mr. Languerand retrieving a stick-like object

from the ground and throwing it at the officers, striking the officer on the left flank of the police

formation. 6 E.g., id. at 0:44–0:48.

In the ensuing weeks, Mr. Languerand made several social media posts advertising his

presence at the Capitol on the 6th and seeking out other participants. On January 19, Mr.

Languerand, under the username “blessthisimmunity_17,” posted to Instagram a picture of himself

at the Capitol on January 6th with the caption “‘Remember this day forever.’ I love you guys.”

Statement of Facts at 2. Using a very similar username, he posted the same picture on Reddit,

asking “How many other wonderful Vermont Patriots were at the legendary and historical DC

Storm?” 7 Gov’t Opp’n at 4.

On the basis of these social media posts, the FBI was able to identify Mr. Languerand in

videos taken at the Capitol on January 6th. Federal agents filed a criminal complaint against him

on April 12, 2021, see Criminal Complaint [ECF No. 1], and three days later, he was arrested at

his grandparents’ home in South Carolina. Gov’t Opp’n at 6. At that time, federal agents also

searched Mr. Languerand’s room, where they found the clothes visible in his social media posts

for present purposes. The exact nature of this object, however, need not be determined at the present time and is, of course, subject to additional evidentiary development. Elsewhere in the video, Mr. Languerand appears to throw a drink bottle at the officers holding the archway. Ex. 1A to Gov’t Opp’n at 0:29–0:36. This conduct is not referenced in the Statement of Facts, nor does it appear to form the basis of, at least, Counts Two through Five of the Indictment against Mr. Languerand. See Indictment as to Nicholas Languerand (“Indictment”) [ECF No. 6]. 6 At another point in the riot, Mr. Languerand came into possession of a riot shield, hit it against the ground, and then brandished it between himself and a police officer. See Statement of Facts at 4–5. In the initial criminal complaint filed against Mr. Languerand, he was charged with converting property of the United States to his own use, in violation of 18 U.S.C. § 641, based on this action. Id. at 5. That charge is not, however, reflected in the Indictment, see Indictment, and the relationship between this incident and the charges actually pending against Mr. Languerand is unclear. 7 A different Reddit post by “blessthisimmunity17” identifies the author as Nicholas Languerand. Statement of Facts at 3. On the basis of this self-identification as well as the other reasons set out in the Statement of Facts, see id. at 2–3, the Court does not doubt the government’s assertion that these posts were made by Mr. Languerand, nor does defendant appear to contest his authorship of these posts, see Hr’g Tr. at 5.

3 and in the videos from the Capitol. Id. Also in defendant’s room was an AR-15 semi-automatic

rifle, two shotguns, ammunition for these weapons, a pistol case, a tactical vest, and brass knuckles,

id.

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