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10 u 13 4 16 v 18 19 21 22 23 4 FILED 2019 JAN 03 02:35 PM KING COUNTY ‘SUPERIOR COURT CLERK E-FILED CASE #: 19 1 01213 3 SEA SUPERIOR COURT OF WASHINGTON FOR KING COUNTY THE STATE OF WASHINGTON, ) Plaintiff) v. ) No. 19-1-UA2T3-5 SEA ) JAY DEE TARP, Il, ) INFORKIATION ) Defendant.) y ) 1, Daniel T. Satterberg, Prosecuting Atlomey for King County in the name and by the authority of the State of Washington, do acstise JAY DEE ILARP, Ill of the following crime[s}, which are of the same or similar character, and Which are based on the same conduct or a series of acts connected together or constituting parts of a common scheme or plan: Assault In The Second Degree, Maticions Harassment eemmitted as tollows Count 1 Apsault In The Second Degree ‘That the defendant JAYDEF. HARP III in King County, Washington, on or about Hecember Ui, 501 alae asenlt another se theretyreecly it cntantal hodily hem vp Couttary to RCW 9A.36.021(1)(a), and against the peace and di Washington. wf the State uf Count Z_Malicious Harassment ‘That the defendant JAY DEE HARP I in King County, Wasisington, on or about December 30, 2018. maliciously and intentionally and because of his perception of the sexual orientation a did (a) cause physical injury to land (b) cause physical damage to or destruction of the group of persons. to-wit or Jand place that person or members of thal group of persons in reasonable fear of harm to person and/or property; Daniel T. Satterberg, Prosecuting Attomey ESI King County Courts B16 Thad vane Seale, WA 9EIOL-259S £206) 296-5000 FAX 206 2960955 57367450 10 i 2 13 14 16 7 18 19 2 2 14 Contrary to RCW 9A.36,080(1)(a)(b) or (c), and against the peace and dignity of the State of Washington. DANIEL T. SATTERBERG Prosecuting Attorney By: Rhyan C. Anderson, WSDA #46974 Deputy Proseéuting Attorney Daniel T, Satterberg, Prosecuting Attomey (CRIMINAL DIVISION E24 King County Courthouse INFORMATION - 2 Ste Tubuavenue Seale, Wa 98104-2585 (206 296-3000 FAX 200) 296-0955 10 u 13 4 16 v 18 19 21 22 23 4 CAUSE NO, 19101213 3 SEA PROSECLTIN HORNEY CASE SUMMARY AND REQUEST FOR BALL ANDIOR CONDITIONS OF RELEASE ‘The State incorporates by reference the Certification for Determination of Probable Cause prepared hy Detective Michael A Glasgow of the KOSO/Rnrien Police Department fir case number 18055784. Pursuant to CrR 2.2(b), the State requests bail set in the arttount of $100,000. Although bail was set af first appearance m the amount of $25,000, the requested bail amount more appropriately takes into account dhe violent nature of tH defendant's attack and dhe danger the defendant poses to the community if released from confinement. Here, the defendant spent the majority the Seahawks v. Cardinals game harassing and making crude, vulgar comments to the yiétim Lesbian couple sitting nearby. The defendant asked them repeatedly to “suck his dick” dnd eallet the viotim a “fucking dike.” When the defendant |] returned from purchasing a heer, the defendant grabbed the vietim’s wife, unzipped her jacket, and grabbed her breastWliem several bys ners intervened (o stop the defendant's unacceptable and crude behavior, the defendant fought them off and punched the other female victim in the face, causing a nose bleed, significant pain, and breaking her front tooth in half. I tovk snultiple uffivers to detain the defendant and he continued to aggressively Fight and assault the arresting officers, punching one of them in the stomach. The defendant continued his engaged screaming throughout his arrest and subsequent detention by the police. The defendant had to be tased in order for the several officers to finally gain control of the defendant’s violent behavior. Prosecuting Attomey Case Dania. Sateen Prosecting Atorney Summary and Request for Bail ADIN and/or Conditions of Release = 1 Sib ind Avene

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