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m, Cy 7 IN THE Da «TON MUNICIPAL COURT OF DAY . ON, OHIO Criminal Division CASE NO, 190R06154 STATE OF OHIO * PLAINTIFF VS- COMPLAINT ‘Amanda Lee Hinze W/FI28 1 COUNT ENDANGERING CHILDREN (parent-serious harm) 1934 Kensington Drive Dayton, OHIO 45406 DOB: 03/23/1991 SSN: 8641 DIBRS #: 1912130040 + 2919.22(A)-2 FS DEFENDANT . ‘NOTICE: DEFENDANT has multiple complaints (4) listed on 4 separate ages. Detective Melissa A. Schloss, being first sworn according to law, deposes and says that on or about the 13TH day of December, A.D. 2019, in the County of Montgomery and State of Ohio, in the City of Dayton, the defendant, Amanda Lee Hinze, who is the parent, guardian, custodian, person having custody or control, or person in loco parentis of a child under eighteen years of age or a mentally or physically handicapped child under twenty-one years of age, to-wit: Takoda Coline, being 10 years of age, did recklessly create a substantial risk tothe health or safety ofthe child, by violating a duty of care, protection, or support, which resulted in serious physical harm to the child; contrary to the form of the statute (in violation of Section 2919.22(A) of the Ohio Revised Code) in such case made and provided, and against the peace and dignity ofthe ‘State of Ohio. 26 I9DEC2i PH 2: Detective Melissa A. Schloss ‘Sworn to and subscribed before me by said Detective Melissa A. Schloss on this 21ST day of December, 2019. MARK E. OWENS Clerk of The Dayton Municipal Court By: Beil 2 This Complaint is based upon the Statement of Facts which is incorporated by reference herin. OC a IN THE Dx TON MUNICIPAL COURT OF DA\ . ON, OHIO Criminal Division CASE NO. 19CRos151 COMPLAINT 1 COUNT ENDANGERING CHILDREN(serious physical STATE OF OHIO PLAINTIFF -vs- ‘Amanda Lee Hinze W/F/28 1934 Kensington Drive Dayton,OHIO 45406 DoB: 03/23/1991 SSN 8641 DIBRS #: 1912130040 2919,22(8)(1)-4 F2 DEFENDANT NOTICE: DEFENDANT has multiple complaints (4) listed on 4 separate ages. Detective Melissa A. Schioss, being first sworn according to law, deposes and says that on or about the 13TH day of December, A.D. 2019, in the County of Montgomery and State of Ohio, in the City of Dayton, the defendant, Amanda Lee Hinze, did recklessly abuse a child under eighteen years of age or a mentally or physically handicapped child under twenty- fone years of age, to wit: Takoda Collins, being 10 years of age, which resulted in serious physical harm tothe child; contrary {o the form of the statue (in violation of Section 2919.22(B)(1) of the Ohio Revised Code) in such case made and provided, and against the peace and dignity of the State of Ohio. o NS « x = 5 a 3 & = a i amar = Detective Melissa A. Schloss ‘Sworn to and subscribed before me by said Detective Melissa A. Schloss on this 21ST day of December, 2019, MARK E. OWENS Clerk of The Dayton Municipal Court wy. Leff 2 — DEPUTY This Complaint is based upon the Statement of Facts which is incorporated by reference herin. « ‘ wr a IN THE D../TON MUNICIPAL COURT OF DA. .ON, OHIO Criminal Division CASE NO. 19CR06151 STATE OF OHIO PLAINTIFF VS- COMPLAINT ‘Amanda Lee Hinze WIF/28 1 COUNT ENDANGERING CHILDREN (torture-serious 1934 Kensington Drive Dayton, OHIO 45406 ‘DOB: 03/23/1991 SS 8641 DIBRS #: 1912130040 2919.22(BY(2)-2 Fa DEFENDANT NOTICE: DEFENDANT has multiple complains (4) listod on 4 separate Detective Melissa A. Schloss, being first sworn according to law, deposes and says that on or about the 13TH day of December, A.D. 2019, in the County of Montgomery and State of Ohio, in the City of Dayton, the defendant, Amanda Lee Hinze, did recklessly torture or cruelly abuse a child under eighteen years of age or a mentally or physically hancicapped child under twenty-one years of age, to-wit: Takoda Collins, being 10 years of age, which resulted in serious physical harm to the child; contrary to the form of the statute (in violation of Section 2919,22(B)(2) of the Ohio Revised Code) in such case made and provided, and against the peace and dignity of the State of Ohio. Aant Wo dere Sh Detective Melissa A. Schloss ISDEC2i py 2: 26 ‘Swen to and subscribed before me by seid Detective Melissa A. Schloss on this 21ST day of December, 2019 MARK E. OWENS Clerk of The Dayton Municipal Court By: Lf. Z= DEPUTY This Complaint is based upon the Statement of Facts which is incorporated by reference herin, oa ‘ . \. gy " IN THE Dn. TON MUNICIPAL COURT OF DA\ .ON, OHIO Criminal Division STATE OF OHIO * CASE NO. 19CR06151_ PLAINTIFF = ws. {COMPLAIN Amanda Lee Hinze W/F/28 * 1 COUNT ENDANG. CHILDREN (corp.punish.-serious harm) 1934 Kensington Drive ii Dayton, OHIO 45406 ‘ DOB: 03/23/1991 SSK 8641 sai DIBRS #: 1912130040 a + 2019.22(8\(3)2 F2 DEFENDANT - * NOTICE: DEFENDANT has multiple complaints (sted on 4 separate ages. Detective Melissa A. Schloss, being first sworn according to law, deposes and says that on or about the 13TH day of December, A.D. 2019, in the County of Montgomery and State of Ohio, in the City of Dayton, the defendant, Amanda Lee Hinze, did recklesslyadminister corporal punishment or other disciplinary measure to, or physically restrain in a cruel manner OF for a prolonged period. a child under eighteen (18) years of age or a mentally or physically handicapped child under twenty- one years of age, to-wit: Takoda Collins, being 10 years of age, which punishment, discipline, or restraint was excessive under the circumstances and created a substantial risk of serious physical harm to the child, and resulted in serious physical harm to the child; contrary tothe form of the statue (in violation of Section 2919.22(B)3) ofthe Ohio Revised Code) in such case made and provided, and against the peace and dignity of the State of Ohio. 2 x & x= = x 73 Aan ae es Detective Melissa A. Schloss ‘Sworn to and subscribed before me by said Detective Melissa A. Schloss on this 21ST day of December, 2019. MARK E. OWENS Clerk of The Dayton Municipal Court ‘ » LY s~— DEPUTY This Compiaint is based upon the Statement of Facts which is incorporated by reference herin.

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