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Jesse Paul Speer Fugitive Complaint

Jesse Paul Speer Fugitive Complaint

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Published by Michael_Lee_Roberts

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Categories:Types, Legal forms
Published by: Michael_Lee_Roberts on Oct 16, 2012
Copyright:Attribution Non-commercial

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05/21/2015

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Todd
S.
Whipple, Chief Deputy County
Attorney
CALLAT/N
GO(JN"
V
Gallatin County
Attorney
1
s
Office
OF
OlSTRJC'""
r^
Judge
Guenther
Memorial
Center
j=
"
"
1709W.
College
St.,
Suite
200
Bozeman,
Montana 59715
ZGIZ
OCT 1
Phone:
582-3745
MONTANA
EIGHTEENTH
JUDICIAL DISTRICT COURT,
GALLATIN
OFP!
'
Tv
THE STATE OF
MONTANA,
Plaintiff,
No.
DC-12-
jfr3
A
v.
FUGITIVE
COMPLAINT
JESSE
PAUL SPEER,
Defendant.
COMESNOW
Toda
S.
Whipple, Chief Deputy
Gallatin
County
Attorney, heing
first duly sworn and pursuant to Section 46-30-227
and
Section
46-30-301,
MCA, alleges
that the
defendant
is
accusedwith
Kidnapping,-
Aggravated
Assault;
and Use of a
Firearm,
inviolation
of the
laws
of the State of
Wyoming,
and
that
the
defendant
has
fled from
justice.
The
defendant
was
arrested
on October
13
,
2012,
uponreasonable information that
the
defendant stands charged
as
statedabove.Attached heretois acopyof the
Warrant,
which provided
the
grounds
for the
defendant's arrest.
Wherefore affiant requests
the
court
to
issue
a
fugitivewarrant committing
the
defendant
to the
county jail
fora
periodnot exceeding 30
days.
 
*.*
DATED this
/r,
day
of
and SWORN
,
2012.
Jae
hioskins
Notary
Public
.
fo
r the State of
Montana
I
Residing
at:
'
Bozeman,
Montana
My
Commission
Expires:
March
27, 2014..
2012.
Todd
ST.
Whipple
Chief
Deputy
Coun
to
before
me
this
Attorney
day of
NOTARYPUB
Residin
at:
STATEOFMONTANAMontana
;
sson
expres:
 
lfl?13/2B1219:57
307S27870
PARK
CQ
SHERIFF
IX
IN
THE
CIRCUIT
COURT,FIFTHJUDICIAL
DISTRICTPARKCOUNTY,WYOMING
(CODY)
STATEOF
WYOMING,JESSJEFAULSPEER,
Criminal
Docket
No.
Tmlia
UOCKCl
«0-_
HMk
F
1
L
E
D
13
2012
WARRANT
TO ANY
SHERIFF
IN
THE
STATE
OF WYOMING,
GREETINGS:
*
WHEREAS,
Affidavit
having
been
made
before-
me, on
oath,
that the
above-
named
Defector.
Count
I:
On or about October 8,
2012,
m
Pwck
County,
Wyoming,
did
unlawfully
remove another
from the
vicinity
where
she
w«
at the
time
of the
removal,with
the
intent
to
facilitate
the
conwnissioti
of a
felony,
and did not
voluntarily
release
the
victim
substantially
unharmed
in
a.
safe
place
prior
to
trial,
in
violation
of
Wyoming
Statute
§6-2-20
Ka)(ii)(d)»
&
felony
punishable
by
imprisonment
for
not
less
&aa
twenty(20) years
or
life,
a fine of not
more than
$
10,000,00,
or
both,
AKD/
Q&
did
removeanother
from
the vicinity where
she was
>t
the
timt
of the
removal,
withintent to inflict
bodily
injury
on
or
to
terrorize
the victim or
another,
and did not

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