MISSOURI CIRCUIT COURT - TWENTY-SECOND JUDICIAL CIRCUIT (ST. LOUIS CITY) STATE OF MISSOURI VS MYERS, VONDERRIT DEONDRAY DIV #: CA#: 510661857 CAUSE#: DESTINATION: GRAND JURY D E F E N D A N T I N F O R M A T I O N ADDRESS: 42XX CASTLEMAN AVE Saint Louis, MO 63110 PEDIGREE: RACE: B DOB: XX/XX/1996 HGT: 5'09" SEX: M AGE: 18 WGT: 130 ID #s: COMPLAINT#: 140028384 LID: ARREST#: 3140013652 DIST: SLMPD OCN: ALIASES:
SSNs: XXX-XX-XXXX
Co-Deft(s) 661858: JOSE CARLO RAMOS 661854: DOMINIQUE D SMITH
STATE OF MISSOURI ) COMPLAINT CITY OF ST. LOUIS ) SS
The Circuit Attorney of the City of St. Louis, State of Missouri, upon information and belief, charges that
Count 5: Unlawful Use Of A Weapon (subsection 1 - 4) (Class D FELONY) RSMo 571.030 FROM 6/27/2014 at 12:01 AM TO 6/27/2014 at 12:10 AM Place: 11XX S GRAND BLVD (SCC 31020)
The defendant, in violation of Section 571.030.1(1), RSMo, committed the class D felony of unlawful use of a weapon, punishable upon conviction under Sections 558.011 and 560.011, RSMo, in that on or about June 27, 2014, in the City of St. Louis, State of Missouri, the defendant knowingly carried concealed upon or about his person a Hi-Point 380 semi-automatic pistol, a firearm, which weapon was readily capable of lethal use.
Count 6: Resisting Or Interfering With Arrest/Detention/Stop (Class A MISDEMEANOR) RSMo 575.150 FROM 6/27/2014 at 12:01 AM TO 6/27/2014 at 12:10 AM Place: 11XX S GRAND BLVD (SCC 27040)
The defendant, in violation of Section 575.150, RSMo, committed the class A misdemeanor of resisting a lawful detention, punishable upon conviction under Sections 558.011 and 560.016, RSMo, in that on or about June 27, 2014, in the City of St. Louis, State of Missouri, Matthew Karnowski, a law enforcement officer, was attempting to make a lawful detention of defendant, and the defendant knew or reasonably should have known that the officer was making a lawful detention, and, for the purpose of preventing the officer from effecting the detention, resisted the detention of defendant by fleeing from the officer.
The facts that form the basis for this information and belief are contained in the attached statement(s) of facts, made a part hereof and submitted as a basis upon which this court may find the existence of probable cause.
Wherefore, the Circuit Attorney prays that an arrest warrant be issued as provided by law.
Jennifer M. Joyce Circuit Attorney of the City of St. Louis, State of Missouri By (Original Signed)________________ Assistant Circuit Attorney
PROBABLE CAUSE STATEMENT
DATE: June 27, 2014
I, Matthew Karnowski, knowing that false statements on this form are punishable by law, state that the facts contained herein are true.
1. I have probable cause to believe that Vonderrit Deondray Myers, a Black Male DOB: XX/XX/96 Age: 18, committed one or more criminal offense(s). Count 5: Unlawful Use Of Weapon (Class D FELONY) RSMo 571.030 FROM 6/27/2014 at 12:01 AM TO 6/27/2014 at 12:10 AM Place: 11XX S GRAND BLVD (SCC 31020) Count 6: Resisting Or Interfering With Arrest/Detention/Stop (Class A MISDEMEANOR) RSMo 575.150 FROM 6/27/2014 at 12:01 AM TO 6/27/2014 at 12:10 AM Place: 11XX S GRAND BLVD (SCC 27040)
2. The facts supporting this belief are as follows:
The defendant was a passenger in a vehicle involved in a high speed chase. After it crashed, the defendant exited the vehicle. I commanded that he stop but he took off running. During the pursuit, the defendant retrieved a previously concealed firearm and discarded it in a sewage drain. He was eventually apprehended nearby. The gun was retrieved and it was a loaded Hi-Point 380 caliber semi-automatic pistol.
Matthew Karnowski (Original Signed) PRINT NAME SIGNATURE
Death of Michael Brown - The Fatal Shot Which Lit Up the Nationwide Riots & Protests: Complete Investigations of the Shooting and the Ferguson Policing Practices: Constitutional Violations, Racial Discrimination, Forensic Evidence, Witness Accounts and Legal Analysis of the Case