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Jud Mcmillin - Affidavit of Misconduct

Jud Mcmillin - Affidavit of Misconduct

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Published by Judfacts
Affidavit regarding misconduct by Prosecutor Jud Mcmillin
Affidavit regarding misconduct by Prosecutor Jud Mcmillin

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Published by: Judfacts on Oct 16, 2010
Copyright:Public Domain

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10/16/2010

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AFFIDAVIT
STATE
OF
OHIO,
COUNTY
OF
MONTGOMERY,
55:
Affiant, Crystal
G.
Stapleton, having first been duly sworn, deposes
and
says
as
follows:
1.
My
name is Crystal
G.
Stapleton, I
am
age 21, and I havepersonal knowledge
of
the facts contained
in
this Affidavit.
2.
I
am
giving this Affidavit to the attorneys for John
C.
Gonzalezvoluntarily,
and
I have
not
been promised anything
in
exchange for givingthis Affidavit by them
or
any member of the Gonzalez family. I
am
givingthis Affidavit, which contains facts
as
I recall them, and I have not beenthreatened or coerced anyone
to
give this Affidavit.
3. John
C Gonzalez .was charged with criminal offenses for eventswhich occurred
on
March 12, 2005 at
my
residence located
at
30
WesterfieldDrive, Centerville, Ohio. John
C.
Gonzalez
had
a key to the residence
as
didhis mother, MariaGonzillez. Before March 12, 2005, and even after March12, 2005,
he
did have
my
permission, from time to time,
to
come to myresidence. Maria Gonzalez was a co-tenant and guarantor
on
the lease.
4.
On
April 1, 2005, John
C.
Gonzalez did have permission to cometo my residence.
He
came to my residence
on
April 1, 2005, and
he was
allowed into the residence by a friend
of
mine. This occurred around 8:55
A.
M.
On
April
1,
2005, John
C.
Gonzalez did not force his way into theresidence,
and
he
had my permission to the residence
on
that
date.
5. Also
on
April 1, 2005, I
was
scheduled to testify
in
front
of
theMontgomery County Grand Jury regarding the events
of
March 12, 2005. Idid testify
at
the grand
jury
on April 1, 2005. I was
not
asked
to
give anytestimony to the grand
jury
regarding
John
C.
Gonzalez'S entry into myresidence
on
April 1, 2005. I
had been
previously interviewed by the police
on
April 1, 2005, regarding what happened
on
April
1,
2005, and I did nottell them that John
C.
Gonzalez forced his way into the residence
or
that
he
did
not
have permission to
be
at
my residence
on
April 1, 2005.6. That I have told the prosecutor initially assigned to my
case,
Judson McMillin, on many occaSions,
that
I did
not
want charges pursuedagainst John
C.
Gonzalez either for the March 12, 2005
in~ident
or for theApril 1, 2005 incident. I told Judson McMillin that
John
C.
Gonzalez did notforce his way into
my
residence
on
April
1,
2005, and I also told Judson
 
McMillin
that
John
C.
Gonzalez
had
permission to
be
at
my residence
on
April
I,
?Pl
'
I
first made these statements to Judson McMillin around
2..C
,
and
I
repeated them
on
several occasions thereafter to him.
7. I
met
the prosecutor assigned to my case, Judson McMillin, shortlyafter the events of March
12,
2005. I
thought it odd
that
he
kept calling medown to
be
Interviewed by him about the charges against John C.Gonzalez.I remember one
of
these meetings, Judson McMillin "winked at me" which
I
took to
be
flirting.
8.
In
the summer
of
2005,
Judson McMillin came to my apartmentlocated
at
30
Westerfield Drive, Centerville, Ohio.
He
told me
that
he
had
been
drinking,
that
he wanted to come over and
see
me.
He
did come overto
see
me, and he told me that
he
would hug
me
except
he
was worried that
an
investigator
might
be
watching
as
he came to my house. When he cameto my house,
he
also said
that
John
C.
Gonzalez would go to jail for a longtime.
9. I
moved to Toledo with John
C.
Gonzalez
in
late August
of
2005.
Around this time, I was again telling Judson McMillin
that
I
did not want toprosecute
for
either the March
12,
2005
Incident
or
the April
1,
2005
incident.
I
did
not
tell him at anytime in August
of
2005
that
I
was fearful
of
John
C.
Gonzalez or
that
I
wanted John
C.
Gonzalez's bond revoked becauseI
was
fearful
of
him.
10.
I moved back from Toledo,
OhiO,on
September
11,
2005.
Beforemoving back, arrangements
had
been made for
me
to meet with JudsonMcMillin and I did
so
either
on
September
11,
2005
or within daysthereafter.
We
went to John Bryant State Park, we rented a movie
and we
returned to his apartment where
we
had
sexual relations. For approximatelytwo
(2)
weeks
after
September
11,
2005,
I
was
with Judson McMillin almost
on
a daily
baSiS,
and we continued our sexual relationship during this periodof time.11. While I was with
Judson
McMillin during this period
of
time,
he
made statements about
us
being together when this was all over, meaningthe charges against John
C.
Gonzalez,
he
made me believe
that
perhaps
he
would adopt my children, that
we
would
be
together
as
a couple when this
was
all over, and he also
said
that
we
would grow
old
together.
He
mentioned marrying me and having children.
He
always said very nicethings to me, and I was also very happy when
he
called.
He
also took me tohis parents' house
in
Indiana around this time, and he introduced me to hisfriends.
He
was also calling my family members and friends to find outwhere I was when I moved to Toledo, Ohio. I also
met
the prosecutor at amall
in
Cincinnati.
2

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