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STATE OF SOUTH DAKOTA IN CIRCUIT COURT ss SECOND JUDICIAL CIRCUIT COUNTY OF MINNEHAHA MAGISTRATE DIVISION ‘STATE OF SOUTH DAKOTA, PD 18-036290 Praintitt vs. COMPLAINT JULIA J ALZOUBAIDI, “MK Defendant. ® \\S — aN COUNT 1: — ATT. MURDER (FIRST DEGREE) - PREMEDITATED - CLASS 2 FEL COUNT 2: ABUSE/CRUELTY TO A MINOR (VIC UNDER 7 YRS) ~ CLASS 3 FEL ‘The undersigned being first duly sworn on oath complains and charges: COUNT ‘That the Defendant, JULIA J ALZOUBADDI, in Minnehaha County, State of South Dakota, on or about of October, 20/8, then and there did ATTEMPT TO kil ahuran being ll DOB: ‘without authority of law and with a premeditated design to effect the death of the person oF oF ery cther human being, thereby commiting the offense of Murder in the First Degree, in violation of SDCL 22-16-4(1) and SDCL 2-4-1, contrary tothe form ofthe statute in such case made tnd provided and against the peace and dignity of the State of South Dakota. COUNT 2 ‘Thaf the Defendant, JULIA J ALZOUBAIDI, in Minnehaha County, State of South Dakota, on or about the 16th day of October, 2018, did commit the public offense of Abuse of or Cruelty toa Mi L (D0B a at he Defendant did abuse, expose, torture, torment, or cruelly punish a minor, na mannes which does not constitute eggravated assault, and the minor was less than seven years of age, contrary to the form ofthe statute In such case made and provided and against the peace and dignity of the State of South Dakota. ote ‘(Dapuly) States Aviorney ‘South Subscribed and swom to before me this 16th day of October, 2018. fy cofnmission expires: 08/22/2024 KARI GACKLE NOTARY PUBLIC SOUTH DAKOTA Paget ot? a...) Acdress: UNKNOWN Arresting Officer: CARDA LIL JE: [ oct 16 28 )) “Said ‘REQUEST FOR ARREST WARRANT ‘THE UNDERSIGNED ATTORNEY HEREBY REQUEST AN ARREST WARRANT BE ISSUED BASED ON ‘THE ABOVE COMPLANT or eg Page 202 STATE OF SOUTH DAKOTA )} IN CIRCUIT COURT SS SECOND JUDICIAL CIRCUIT COUNTY OF MINNEHAHA) STATE OF SOUTH DAKOTA * * AFFIDAVIT IN SUPPORT vs. * OF ARREST WARRANT Alzout Jacquelyn DOB: ii . Oe) Defendant. * Jonathan Carda, being first duly swom on oath, deposes and states that he is a Detective of the Sioux Falls Police Department and states that he is one of the officers ln charge of the investigation of the above-styled matter. That your Affiant makes this Affidavit in support of the State's Attomey’s request for a warrant for the arrest of the above-named Defendant(s), and in compliance with SDCL 234-22, and states as follows: 1. On 10/16/18 at 03:34 hours, Troopers from the Highway Patrol were dispatched to Minnesota Ave and |-229 in reference to a vehicle crash. Troopers soon discovered the crash was likely not the result of an accident and requested the assistance of the Sioux Falls Police Department. Based on this call for service, case number 2018-36290 was generated. 2. Responding officers were advised a white SUV was in the ditch and it appeared that it rolled during the crash. 3. South Dakota Highway Troopers Lord and Knutson were first on scene, As they made their way to the SUY, they heard splashing and moaning near the river, Trooper Lord located the Defendant face down in the water under a bridge that crossed a culvert, and pullad her to shore. The Defendant was unresponsive; however, she was breathing and shivering. The temperature was 37 degrees with a wind chill of 32 degrees. (WWsers\PDJOCIDesktopUui Aves Aiaritdoe