United States v. Ochs

CourtDistrict Court, District of Columbia
DecidedSeptember 4, 2024
DocketCriminal No. 2021-0073
StatusPublished

This text of United States v. Ochs (United States v. Ochs) 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. Ochs, (D.D.C. 2024).

Opinion

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

UNITED STATES OF AMERICA Criminal Action No. 21-00073 v.

NICHOLAS DECARLO and Judge Beryl A. Howell NICHOLAS OCHS,

Defendants.

MEMORANDUM OPINION

Defendants Nicholas DeCarlo and Nicholas Ochs both entered guilty pleas, pursuant to

agreements with the government, on September 9, 2022, to one felony obstruction offense, under

18 U.S.C. §§ 1512(c)(2) and 2, stemming from their egregious conduct at the U.S. Capitol on

January 6, 2021. As part of their executed plea agreements and confirmed during their sworn

colloquies with the Court, defendants agreed to waive their rights to challenge their convictions or

sentences on direct appeal or via collateral attack, with only minor exceptions, none of which

appear to be applicable nor is invoked here. See generally Defs.’ Mot. Post-Conviction Relief,

ECF No. 112. 1 On December 9, 2022, defendants were sentenced to 48 months’ imprisonment on

their convictions and allowed to self-surrender to the custody of the U.S. Bureau of Prisons (BOP)

to begin serving their sentences. They filed no direct appeal.

1 Specifically, defendants’ appeal waivers allowed them to appeal or attack collaterally their convictions or sentences if based on newly discovered evidence, a claim of ineffective assistance of counsel, or relief sought under 18 U.S.C. § 3582(c)(2). Plea Agreement Nicholas DeCarlo (“DeCarlo Plea Agreement”) ¶¶ 10(C), (D), ECF No. 77; Plea Agreement Nicholas Ochs (“Ochs Plea Agreement”) ¶¶ 10(C), (D), ECF No. 81; see also Gov’t’s Opp’n Defs.’ Request Release Pending Adjudication Mot. Under 28 U.S.C. § 2255 (“Gov’t’s Opp’n Release”) at 7, ECF No. 117.

1 Nineteen months to the day after defendants’ sentences were imposed, defendants moved

for post-conviction relief under 28 U.S.C. § 2255, seeking vacatur of their convictions and

accompanying sentences, and for immediate release pending resolution of their § 2255 motion.

Defs.’ Mot. Post-Conviction Relief, ECF No. 112. Separate briefing schedules were set on the

two requests contained in defendants’ motion, directing the government to first respond to

defendants’ request to be “released from custody while [their] motion is pending,” Min. Order,

July 25, 2024, and separately to defendants’ request to vacate their convictions under § 2255, see

id.

Now fully briefed and pending before the Court is defendants’ motion for release pending

resolution of their § 2255 motion, which the government opposes. See Gov’t’s Opp’n Defs.’

Request Release Pending Adjudication Mot. under 28 U.S.C. § 2255 (“Gov’t’s Opp’n Release”),

ECF No. 117. For the reasons stated below, defendants’ motion for release pending resolution of

their pending § 2255 motion is DENIED. 2

I. BACKGROUND

Defendants pled guilty to one felony count of obstruction, in violation of 18 U.S.C. §§

1512(c)(2) and 2, on September 9, 2022. See Min. Entry, Sept. 9, 2022; Plea Agreement Nicholas

DeCarlo (“DeCarlo Plea Agreement”), ECF No. 77; Plea Agreement Nicholas Ochs (“Ochs Plea

Agreement”), ECF No. 81. The factual basis for their guilty pleas was set out in Statements of

Offense, executed by counsel to the government and defendants, as well as defendants themselves,

see Statement Offense Nicholas DeCarlo (“DeCarlo SOF”), ECF No. 79; Statement Offense

Nicholas Ochs (“Ochs SOF”), ECF No. 82, and confirmed under oath by each defendant in

2 Defendants’ motion to vacate their convictions is not yet ripe for consideration. See Min. Order, July 25, 2024 (directing that briefing be completed by September 16, 2024).

2 response to the Court’s inquiries, see Plea Colloquy Tr. at 18:17–19:16, 27:11–27:24, Sept. 9,

2022, ECF No. 116. Defendants’ SOFs in support of their guilty pleas were supplemented by

submission by the government of thirty exhibits of photographs and videos captured on

defendants’ electronic devices, as well as U.S. Capitol Police closed circuit video. See U.S. Rep.

Regarding Video Evidence Described in Statement of Offense (“SOF Video Evid.”), ECF No. 74.

These facts are briefly summarized as follows.

DeCarlo traveled from Fort Worth, Texas, and Ochs from Honolulu, Hawaii, to arrive in

Washington, D.C., on January 5, 2021. DeCarlo SOF ¶ 8; Ochs SOF ¶ 9. Ochs is the founder of

the Hawaii chapter of the Proud Boys. Ochs SOF ¶ 8. They expressed their reasons for traveling

to D.C. in terms that anticipated violence, with DeCarlo saying that he wanted to “expose those

‘tolerant’ leftists for their lies and teach them a lesson they’ll NEVER forget: The MAGA TRAIN

will KEEP ON ROLLIN’! TRUMP 2020 BABAAAY!” DeCarlo SOF ¶ 8. For his part, Ochs

said that he came to D.C. because “the president asked and said it was gonna be wild and that

people should wear body cameras.” Ochs SOF ¶ 9. Both men attended former President Trump’s

“Stop the Steal” rally on January 6, 2021, and then joined the crowd marching to the Capitol.

DeCarlo SOF ¶ 9; Ochs SOF ¶ 10.

As they approached the Capitol building, DeCarlo, filming on a GoPro, said, “this is where

they are going to steal it. And they called on us. They called on us to stop it. We are putting an

end to it. They said calling all patriots . . . . We’re going to put the kai-bosh on this.” DeCarlo

SOF ¶ 10; SOF Video Evid., Ex. 8. Ochs said, “the steal is in fact right here and we are going to

stop it.” Ochs SOF ¶ 11; SOF Video Evid., Ex. 8. After passing through restricted grounds and

reaching the west side of the U.S. Capitol Building, where preparations were underway for the

upcoming presidential inauguration, Ochs told DeCarlo, still filming on his GoPro, “we’re not

3 supposed to be here, this is beyond the fence,” and DeCarlo responded, “we’re all felons, yeah!”

DeCarlo SOF ¶ 11; Ochs SOF ¶ 12; SOF Video Evid., Ex. 8. As police tried to keep the crowd

away from the Capitol building, both defendants threw smoke bombs at the police line. DeCarlo

SOF ¶ 12; Ochs SOF ¶ 13; SOF Video Evid., Ex. 12.

Both defendants entered the Capitol building through the Senate Wing doors at

approximately 2:23 pm. DeCarlo SOF ¶ 13; Ochs SOF ¶ 14. A video obtained from a flash drive

owned by DeCarlo shows Decarlo, once inside the building, yelling out asking about the location

of then-Speaker of the House Nancy Pelosi, DeCarlo SOF ¶ 14; SOF Video Evid., Ex. 18, and as

Capitol police officers sought to cut off access to parts of the Capitol by closing crash doors, both

defendants “encouraged and recorded” the efforts of other rioters to block the doors, DeCarlo SOF

¶ 15; Ochs SOF ¶ 16; see also SOF Video Evid., Exs. 20, 21. Both defendants continued to travel

throughout the building, meeting up with other rioters, including Proud Boys Ethan Nordean, Paul

Rae, and at least one other person, along the way, DeCarlo SOF ¶ 16; Ochs SOF ¶ 17, and pointing

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