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413), for the phone numbers of 702-533-6316, may help to establish a motive for this heinous act, a8 well as help fo determine if Stephen Paddock conspired with other as yet unknown individuals in the planning end execution of this crime, Your afiant Is a member of a multi-agency criminal investigation that includes law enforcement members from the Federal Bureau of Investigation (FBI) and Bureau of Alcohol, ‘Tobacco and Firearms (ATF). Itis the intent of Your Affiant, task force peace officers, and peace officers working on the multi-agency investigation team executing the warrants to possibly turn over all evidence seized to a designated sworn law enforcement officer from the FBI and/or ATF for use in its prosecution/investigation. | have been assured by the designated swom ‘law enforcement officers from the FBI and ATF that the property turned over will be protected and subject to the jurisdiction of the Federal District Court in and for Nevada and will not be disposed of except as pursuant to law of the Federal District Court in and for Nevada, The suspect herein will be accortied due process in such disposition. | have also been assured by the designated sworn law enforcement officer that I a final judgmentYorder is entered by a Nevada court declaring the warrant is invalid pursuant to NRS 179.085, the property will be returned to the aggrieved party as indicated in the judgmentorder. Thus, in signing this affidavit | respectfully request the permission of the Magistrate to authorize such removal of seized property fo the FBI and ATF in accordance with the terms herein. Your affiant requests the warrant be sealed due to the fact that the current investigation is ongoing in order to determine motive and the possiblity exists of outstanding co-conspirators in this mass casualty event, A seal is requested in order to preserve the integrity of the Investigations, and the maintenance of specialized investigative techniques. Cellular telephone / wireless communications providers historically retain electronic records of their customer's usage, and of the locations (sites) of the towers the device is transmitting to and from during each completed transmission. An analysis of this information should further the ongoing investigation and provide crucial evidence. Ain pray te cout granthe requestor, 1 Detective Scott Baker, AFFIANT Subscribed and sworn to before me this //) Fay of Obfa b~ so47, SW17-987 SwW-17- 987... 3 IN RE: Court Order for ORDER SEALING... 5, 3, AFROAWITA CS! 13 © RS 702-482-6360, 310-227-7094, 310-227-7642 Br (bia RN OF THE COURT Upon the ex parte application of Scott Baker, @ commissioned officer with the Las Veges Metropolitan Palice Department and Aint, to seat the afdavit in support ofthe eltached court ord, and for good cause appearing therefore, ITISHEREBY ORDERED that the affidavit in supportofthe attached court ordor be ordered sealed pencing further order of this Court excopt that copies may be provided to the ofee ofthe Clark Couniy Distt Attorey and the District Attorney may provide copies to a Defendant ina criminal proceeding as part of the criminal discovery process, and TIS FURTHER ORDERED a copy of this order sealing the affidavit be left atthe premises long with the court order in feu of the affidavit in support of the order, oareomns JO sayer Yea bm ay ‘AFFIANT ‘e080 08} -srOMATED ERD 2018 EIGHTH JUDICIAL DISTRICT COURT OF NEVADA fs COURT ORDER Mi 13 PS STATE OF NEVADA) SOW: (es “Sh 4. ) ss: AT&T COUNTY OF CLARK) Proof of probable cause by Affidavit having been made before me by Detective Scott Baker of the Las Vegas Metropolitan Police Department (LVMPD), and being satisfied that there is specific and artioulable facts sufficient to form a reasonable belief that the information sought is relevant ‘and material to an ongoing criminal investigation, pursuant to the authority of NRS 179.530, 18 U.S.C. § 2703, et. al, 18 U.S.C. § 3121 et seq,, Smith v. Maryland, 442 U.S. 853 (1979), and United States v. New York Telephone Company, 434 U.S. 159 (1977), and that certain electronically stored information/data, narnely: ‘SUBSCRIBER INFORMATION; RECORDS FOR INCOMING AND OUTGOING CALLS; RECORDS FOR INCOMING AND OUTGOING SMS/MMS MESSAGES; RECORDS FOR ALL DATA SESSION: PER CALL MEASUREMENT DATA FOR ALL ACTIVITY TO AND FROM THE ACCOUNT (TO INCLUDE RTT REPORTS); and CELLULAR TELEPHONE / WIRELESS COMMUNICATIONS TOWER SITE LOCATIONS AND SECTORS FOR ALL ACCOUNT ACTIVITY DESCRIBED ABOVE; 7. CELL SITE INFORMATION INCLUDING INCOMING/ OUTGOING VOICE CALLS INCLUDING TOWER INFORMATION 8. INCOMING/ OUTGOING SMS INFORMATION INCLUDING TOWER INFORMATION 9, INCOMING/ OUTGOING DATA INFORMATION INCLUDING TOWER INFORMATION 10. NELOS AND/ OR HISTORICAL GPS INFORMATION 11. FOR CELLULAR TELEPHONE NUMBERs (702) 482-6360, 310-227-7094, and 310- 227-7642 12. FOR THE PERIOD OF SATURDAY, 10/01/2016, 0000 PACIFIC TIME ZONETHROUGH MONDAY, 10/02/2017,2300 PACIFIC TIME ZONE. waAwES is presently available through AT&T. It is hereby ordered that officers and investigators with the Las Vegas Metropolitan Police Department and law enforcement members of the muti-agency investigative team are authorized {o transfer property seized In accordance with this search warrant to the Federal Bureau of ‘nvestigation (FBI) and or the Bureau of Alcohol Tobacco and Firearms (ATF). NOW THEREFORE, AT&T is hereby commanded to provide the information / data detailed above to Detective Scott Baker of the LVMPD within ten days. as Aue Dated this JQ) dayot Leda ba 2017. Judge: & frends L Bae eh CU U | | LAS VEGAS METROPOLITAN POLICE DEPARTHENT APPLICATION AND AFFIDAVIT FOR COURT ORDER: ) ss: AT&T COUNTY OF CLARK) STATEOF NEVADA) Sw AOR STR So Scott Baker, being first duly swom, deposes and says that he is the Affiant herein, and is a detective with the Les Vegas Metropolitan Police Department (LVMPD). Affiant has been ‘employed with the LVMPD for the past 20 years, and assigned to the Southern Nevada Counter Terrorism Center Section for the past 1 year. Affiant submits there is probable cause to believe that certain electronically stored information/dta, hereinafter described, is available at or through the following cellular telephone/wireless communications provider, to-wit: AT&T ‘The information / data referred to and sought to be provided consists of the following: 4. SUBSCRIBER INFORMATION; 2, RECORDS FOR INCOMING AND OUTGOING CALLS; 3. RECORDS FOR INCOMING AND OUTGOING SMS/MMS MESSAGES; 4, RECORDS FOR ALL DATA SESSIONS; 5. PER CALL MEASUREMENT DATA FOR ALL ACTIVITY TO AND FROM THE ACCOUNT (TO INCLUDE RTT REPORTS); and 6. CELLULAR TELEPHONE / WIRELESS COMMUNICATIONS TOWER SITE LOCATIONS AND SECTORS FOR ALL ACCOUNT ACTIVITY DESCRIBED A&O\ CELL SITE INFORMATION INCLUDING INCOMING/ OUTGOING VOICE CALLS INCLUDING TOWER INFORMATION 8. INCOMING/ OUTGOING SMS INFORMATION INCLUDING TOWER INFORMATION 9. INCOMING/ OUTGOING DATA INFORMATION INCLUDING TOWER INFORMATION 40. NELOS AND/ OR HISTORICAL GPS INFORMATION 11. FOR CELLULAR TELEPHONE NUMBERs (702) 482-6360, 310-227-7094, and 340- 227-7642 12, FOR THE PERIOD OF SATURDAY, 10/01/2016, 0000 PACIFIC TIME ZONE THROUGH MONDAY, 10/02/2017,2300 PACIFIC TIME ZONE, tuntroaar gon 020) er 2010 The Information / data hereinbefore described is in furtherance of Affiant’s Investigation inio the crime(s) of Murder with @ Deadly Weapon (multiple counts), NRS 200.020, by the LVMPD (Event Number 171001-3519) and, subsequent o analysis, may assist in identifying the person(s) involved in the orime and provide evidence oftheir proximity to the crime scene. |n support of Affiant’s assertion to constitute the existence of probable cause, the following facts are offered; On October 1, 2017, at approximately 2208 hours, the Las Vegas Metropolitan Police Department (LVMPD) began receiving calls from multiple reporting parties indicating there was an active shooter in the area of the Mandalay Bay, 3950 S. Las Vegas Blvd, and the MGM Village Lot, 3801 Las Vegas Blvd. Multiple LVMPD Police Officers were present and working the Route 91 Harvest Festival, a 3-day outdoor country music venue, held at the open air MGM Village Lot AS Police Officers responded to the gunfire, they determined the suspect was shooting from an elevated and concealed position inside a hotel room at the Mandalay Bay. The gunfire continued for several minutes and the suspect targeted innocent civilians and responding police officers. Initial reports were that over 100 victims had been shot, including at least two responding police officers, and another 20 victims had succumbed to their injuries. Police Officers and SWAT Operators responded to the Mandalay Bay where they isolated @ suspect inside of Room 32-135. Upon breaching the door, officers entered and located a deceased mele suspect with a self-inflicted gunshot wound to the head. Multiple high powered rifles and high capacity magazines along with a large amount of ammunition and a large number of spent casings were strewn throughout the hotel room. Officers observed two windows that were broken from the Inside and appeared to hava been used as gun ports as they overlooked the MGM Village Lot. Despite this suspect being neutralized, several other callers at various locations along The Strip continued to report active shooters inside of hotels and sightings of people with firearms, Dus to the mass casualty event that was still very dynamic and multiple other callers reporting other ongoing incidents, it appeared there may be several other suspects involved. Due to the exigency to stop further loss of life, LVMPD officers gathered cellular phones and documents from within Mandalay Bay, Room 32-135, in an effort to gather inteligence and identify possible co conspirators, ‘Three cellular phones were identified and appeared to be connected to the following phone numbers: (310) 227-7094, (702) 833-5108, and (310) 367-3357. Of the three numbers, (810) 227-7094 and (310) 367-3967 were determined to be valid, working phone numbers, The phone history of (310) 357-3357 showed a contact, "Marilou," (310) 502-2591, had been called numerous times, Other items that may provide investigative leads were located, to include a Mandalay Bay Mle Platinum player's card to Marilou Deny, aaa, Sn. 20: 2 Nevada Driver License and United States Passport to the deceased male, Stephen Paddock. The above described items, along with other investigative techniques, lead officers to believe an intimate relationship existed between Stephen Paddock and Meriiou Danley. An Instagram account, stephenpaddock6431, was located for ‘Stephen Paddock. A Facebook account, https://www.facebook.com/marilou.danley, was located {or Marilou Danley. Until the investigation can rule otherwise, Marilou Danley QUINN have become persons of interest who may have conspired with Stephen Paddock to commit Murder with a Deadly Weapon. Based on the above facts and circumstances, Sergeant Brad Cupp, Pit 8104, deciared an emergency due to the ongoing threat of immediate danger of death or serious bodily Injury to citizens and responding police officers. Emeigency Pen Registers were provisioned for phone numbers (310) 227-7094, (310) 357-3357, and (310) 502-2591, Instagram account stephenpaddock5431, and Facebook account httpsv/www facebook com/marilou.daniey in an effort to further the investigation and locate other possible suspects. ‘AS a result of the information provided from these pen registers, Det. Baker learned that 340-227-7094, 310-367-3357, and 310-502-2591 were all subscribed to by Stephen Paddock. On the 5° of October, 2017, search warrants for the Google accounts linked to the aforementioned phone numbers, were reviewed and authorized by the Honorable Clark County District Court judge Richard Scott On the 4" of October, 2017, your affiant submitted an administrative subpoena to AT&T Tequesting subscriber information for all AT&T accounts subscribed to by Stephen Paddock utlizing his social security number. AT&T responded to this subpoena on the 4 of October 2017. AT8Ts response indicate that Stephan Paddock had other accounts previously unknown to Investigators. AT&T identified the phone numbers 702-482-6360 and 310-227-7642 as being subscribed to by Stephen Paddock. (On the 6th of October, 2017, 8 court order for subscriber information; records for incoming land outgoing calls; records for incoming and outgoing sms/mms messages; records for all data sessions; per call measurement data for all activity to and from the account (to include rit reports); and cellular telephone / wireless communications tower site locations and sectors for all account sctivity described above, for 702-482-6360 from ATBT, was reviewed and authorized by the honorable Clark County District Court Judge Susan Johnson This order was served on AT&T on the 6" of October, 2017 by the LVMPD Technical and Surveillance Section (TASS). AT&T provided some of the data listed on this order, but was unable to provide any historical GPS or SMS tower information due to inadequate legal descriptions of the data sought to be provided in the original order. AT&T has since provided the appropriate legal description of the data sought to be provided (items 1-12), which has been included in this order. As of the 9th of October, 2017, officers and investigators with the LVMPD, as well as Numerous local, stato, and federal agencies, continue to investigate the motive and execution ‘elated to the acts of homicide believed to have been committed by Stephen Paddock on the ‘st of October, 2017, The LVMPD has identified 58 individuals who were killed during this incident, ‘as well as over 300 individuals injured, Given the. magnitude of the incident, it is reasonable to believe multiple suspects and or months of planning were involved in this premeditated massacre, Your affiant believes that the information requested to be provided by AT&T in the information! data sought section (items 1- 12), for the phone numbers of 340-227-7094, 340-227-7642, and 702-482-6360, may help to establish a motive for this heinous act, as well as help to determine if Stephen Paddock conspired with other as yet unknown individuals in the planning and execution of this erime. Your affiant Is a member of a multi-agency criminal investigation that includes law enforcement members from the Federal Bureau of Investigation (FBI) and Bureau of Alcohol, Tobacco and Firearms (ATF). Its the intent of Your Affiant, task force peace officers, and peace officers working on the multi-agency investigation team executing the warrants to possibly turn over all evidence seized to a designated sworn law enforcement officer from the FBI and/or ATF for use in its prosecution/investigation, | have been assured by the designated sworn law enforcement officers from the FBI and ATF that the property turned over will be protected and subject to the jurisdiction of the Federal District Court in and for Nevada and will not be disposed of except as pursuant to law of the Federal District Court in and for Nevada. The suspect herein will be accorded due process in such disposition. | have also been assured by the designated ‘sworn law enforcement officer that if final judgmentlorder is entered by a Nevada court declaring the warrant js invalid pursuant to NRS 179.085, the property will be returned to the aggrieved party as indicated in the judgment/order. Thus, in signing this affidavit | respectfully request the permission of the Magistrate to authorize such removal of seized property to the FBI and ATF in accordance with the terms herein. ‘Your atflant requests the warrant be sealed due to the fact that the current investigation is ongoing in order to determine motive and the possibilty exists of outstanding co-conspirators in this mass casually event. A seal is requested. in order to preserve the integrity of the investigations, and the maintenance of specialized investigative techniques. Cellular telephone / wireless communications providers historically retain electronic records of their customer's usage, and of the locations (sites) of the towers the device is transmitting to and from during each completed transmission. An analysis of this information should further the ongoing investigation and provide crucial evidence. Affiant prays the court grant the requested order. CE Detective scott Baker , AFFIANT e eae Subscribed and sworn to before me thie _/2 day of “pevgber_ 2017. ne ne £ Brgeak: ce U SW17-988 GM VBHLEORETS AG2 $b 136 jAEOSS as a SW ll 988 IN RE: SEARCH WARRANT for ~ iad ORDER SRALING i 3° AFFIDAVIT 340-367-3357 Upon the ex parte application of Ann Hardman, a commissioned officer with the Las Vegas Metropolitan Police Department and Affiant, to seal the Affidavit in support of the attached Search Warrant, and for good cause appearing therefore, IT IS HEREBY ORDERED that the Affidavit in support of the atlached Search Warrant be ordered sealed pending further order of this Court except that copies may be provided to the office of the Clark County District Attomey and the District Attorney may provide copies to a Defendant in a criminal proceeding as part of the criminal discovery process, and IT IS FURTHER ORDERED a copy of this order sealing the Affidavit be left at the premises along with the Search Warrant in lieu of the Affidavit in support of the Warrant, DATED thi a day of Dotolv~ pee 201% AFFIAN 20 few sna wonn 0 DW FI 188 SEARCH WARRANT “ aD STATE OF NEVADA ) ‘Stephen Paddock ) ss: COUNTY OF CLARK ) DOB: 04/09/1953 SSH: 563-86-6197 The State of Nevada, to any Peace Officer in the County of Clark. Proof by Affidavit having been made before me by Ann Hardman, Pi# 13640, said Affidavit attached hereto and incorporated herein by reference, that there is probable cause to believe that certain property, namely; 4. Subserlber information for phone number 310-357-3387 to Include name and address. 2. All SMS/Text Message Content with the date, time, originating number, terminating number, cell tower location and/or RTT location for phone number 340-357-3357 from 09/01/2017 to 10/02/2017. 3. Ail MMS/Picture Content with the date, time, originating number, terminating nuraber, cell tower location and/or RTT location for phone number 340-357- 3367 from 09/01/2017 to 10/02/2017. Presently located at Verizon Wireless INC., 1 Verizon Way, Basking Ridge, New Jersey 07920, reference telecommunications device with a phone number 310-357- 3357, with a subscriber name of Stephen Paddock, with a subscriber address of 4372 Babbling Brook Court, Mesquite, NV, 89034. tyrone tas eRD 10 SEARCH WARRANT (Continuation) Page2 And-as | am satisfied that there is probable cause to believe that said property is located as set forth above and that based upon the affidavit attached hereto there are sufficient grounds for the issuance of the Search Warrant. tis HEREBY ORDERED that officers and investigators with the Las Vegas Metropolitan Police Department and law enforcement members of the multi-agency investigative team are authorized to transfer property seized in accordance with this search warrant to the Federal Bureau of Investigation (FBI) and/ or the Bureau of Alcohol Tobacco and Firearms (ATF), You are hereby commanded to search forthwith said premises for said property, serving this warrant between the hours of 7:00 AM. & 7:00 P.M,, and if the property is there to seize it, prepare a written inventory of the property seized, and make a return for me within ten days. Dated this IW tt” tbh LAS VEGAS METROPOLITAN POLICE DEPARTHENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT: Event #: 17100° STATE OF NEVADA ) Stephen Paddock ) ss ae COUNTY OF ) DOB: 04/09/4953 Sit: 663-86-6197 CLARK Ann Hardman, Pi# 13640, being first duly sworn, deposes and says that she is tho affiant herein and is a Detective with the Las Vegas Metropolitan Police Department (LVMPD) presently assigned to the Southern Nevada Counter Terrorism Center. That she has been employed with the LVMPD for the past 9 years and has been assigned to the Southern Nevada Counter Terrorism Center for the past 4 week. Thete is probable cause to believe that certain property hereinafter described will be found at the following described premises, to-wit: Verizon Wireless INC., 1 Verizon Way, Basking Ridge, New Jersey 07920, reference telecommunications device with a phone number 310-357-3357, with a subscriber name of Stephen Paddock, with a subecriber address of 1372 Babbling Brook Court, Mesquite, NV, 89034, ‘The property referred to and sought to be seized consists of the following: 4. Subscriber information for phone number 310-387-3357 to include name and address. 2, All SMS/Text Message Content with the date, time, originating number, terminating number, cell tower location andlor RTT location for phone number 310-357-3387 from 09/01/2017 to 10/02/2017. ura area 15) oR 10 LAS VEGAS METROPOLITAN POLICE DEPARTIENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event#: 17001-3519 tt 3. All MMS/Picture Content with the dato, time, originating number, terminating umber, cell tower location and/or RTT focation for phone number 340-357~ 3357 from 09/01/2017 to 10/02/2017. The property hereinbefore described constitutes evidence which tends to demonstrate that the criminal offense of Murder with a Deadly Weapon has been committed In support of your affiant’s assertion to constitute the existence of probable cause, the following facts are offered: In support of your affiant’s assertion to constitute the existence of probable cause, the following facts are offered: On October 1, 2017, at approximately 2208 hours, the Las Vegas Metropolitan Police Department (LVMPD) began recsiving calls from multiple reporting parties indicating there was an active shooter in the area of the Mandalay Bay, 3050 S. Las Vegas Bivd., and the MGM Village Lot, 3001 Las Vegas Blvd, Multiple LVMPD Police Officers were present and working the Route 91 Harvest Festival, a 3-day outdoor country music venue, held at the open air MGM Village Lot. ‘As Police Officers responded to the gunfire, they determined the suspect was shooting from an elevated and concealed position inside a hotel room at the Mandalay Bay. The gunfire continued for several minutes and the suspect targeted innocent civilians and responding police officers. Initial reports were that over 100 victims had been shot, including at least two responding police officers, and another 20 viotims had succumbed to their injuries. Police Officers and SWAT Operators responded to the Mandalay Bay where they isolated a suspect inside of Room 32-135. Upon breaching the door, officers entered and located Page 2 LAS VEGAS METROPOLITAN POLICE DEAK nim APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 174001-3519 a deceased male suspect with a self-inflicted gunshot wound to the head. Multiple high powered rifles and high capacity magazines along with a large amount of ammunition and a large number of spent casings were strewn throughout the hotel room. Officers observed two windows that were broken from the inside and appeared to have been used as gun ports as they overlooked the MGM Village Lot. Despite this suspect being neutralized, several other callers at various locations along The Strip continued to report active shooters inside of hotels and sightings of people with firearms. Due to the mass casualty event that was still very dynamic and multiple other callers reporting other ongoing incidents, it appeared there may be several other suspects involved, Due to the exigency to stop further loss of life, LVMPD officers gathered cellular phones and documents from within Mandalay Bay, Room 32-135, in an effort to gather intelligence and identify possible co-conspirators. Three cellular phones were identified and appeared to be connected to the following phone numbers: (310) 227-7094, (702) 539-5108, and (310) 357-3357. Of the three numbers, (310) 227-7094 and (310) 357- 3357 were determined to be valid, working phone numbers. The phone history of (310) 367-3357 showed a contact, "Marilou," (310) 502-2591, had been called numerous times. Other items that may provide investigative leads were located, to include a Mandalay Bay ind a Nevada Driver License and United States Passport to Mlfe Platinum player's card to Marilou Danie the deceased male, Stephen Paddock. Page S LAS VEGAS HE ROPOLILAR POLICE DEMArIMES APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event#: 17101-3519 The above described items, along with other investigative techniques, lead officers to believe an intimate relationship existed between Stephen Paddock and Marilou Daniey. ‘An Instagram account, stephenpaddock5431, was located for Stephen Paddock. A Facebook account, hitpsv/ww facebook.com/marilou.danley, was located for Marilou Danley. Unt the investigation can rule otherwise, Mariou Danley AMIE have become persons of interest who may have conspired with Stephen Paddock fo commit Murder with a Deadly Weapon. Based on the above facts and circumstances, Sergeant Brad Cupp, P# 8104, declared an amergency due to the ongoing threat of immediate danger of death or serious bodily injury to citizens and responding police officers, Emergency Pen Registers were provisioned for phone numbers (310) 227-7094, (310) 367-3357, and (310) 502-2601, Instagram acount stephenpaddock6431, and Facebook account https:/www.facebook.com/marilou.dantey in an effort to further the investigation and locate other possible suspects. ‘Asa result of these pen registers, Verizon wireless returned subscriber information for the telecommunications device number (310) 357-3367. Verizon wireless listed the subscriber as Stephen Paddock, with a subscriber address of 1372 Babbling Brook Cour, Mesquite, Nevada, 89034, Further, Detective G, Basilotta with the Las Vegas Metropolitan Police Department's Technical and Surveillance Section (TASS) was advised by Verizon that ‘SMS/Text messaging content does exist and was preserved during the night of the Page 4 APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event # 171001-3519 declared emergency. As of the Sth of October, 2017, officers and investigators with the LVMPD, as well as numerous local, state, and federal agencies, continue to investigate the motive and execution related to the acts of homicide believed to have been committed by Stephen Paddock on the ‘st of October, 2017, The LVMPD has identified 58 individuals who were killed during this incident, as well as over 300 individuals injured. Given the magnitude of the incident, it is reasonable to believe multiple suspects and months of planning were involved in this premeditated massacre. Your affiant believes that the information requested to be provided by Verizon In the items to be seized section {items 4-3), may help to establish a motive for this heinous act, as well as help to determine if Stephen Paddock conspired with other as yet unknown individuals in the planning and execution of this crime. Your affiant is a member of @ multi-agency criminal investigation that includes law enforcement members from the Federal Bureau of Investigation (FBI) and Bureau of ‘Aicohol, Tobacco and Firearms (ATF). It is the intent of Your Affiant, task force peace officers, and peace officers working on the multi-agency investigation team executing the warrants to possibly turn over all evidence seized to a designated sworn law enforcement officer from the FBI and/or ATF for use in its prosecution/investigation. | have been assured by the designated sworn law enforcement officers from the FBI and ATF that the property turned over wll be protected and subject to the jurisdiction of the Federal District Court in and for Nevada and will not be disposed of except as pursuant to law of the Pages LAS VEGAS METROPOLITAN POLICE DEPARTINENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 17 1001-2619 Federal District Courtin and for Nevada. The suspect herein vill be accorded due process in such disposition. | have also been assured by the designated sworn law enforcement officer that if a final judgmentiorder is entered by a Nevada court declaring the warrant is. invalid pursuant to NRS 179,086, the property will be returned to the aggrieved party as indicated in the judgment/order. Thus, in signing this affidavit | respectfully request the permission of the Magistrate to authorize such removal of selzed property to the FBI and ATF in accordance with the terms herein, Your affiant requests the warrant be sealed due to the fact that the current investigation is ongoing in order to determine motive and the possibility exists of outstanding co- conspirators in this mass casualty event. A seal is requested in order to preserve the integrity of the investigations, and the maintenance of specialized investigative techniques, Pages LAS VEGAS METROPOLITAN POLICE DEPARTINENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171001-3519 WHEREFORE, affiant requests that a Search Warrant be issued directing @ search for and seizure of the aforementioned items at the location set forth herein between the hours of 7:00 A.M. & 7:00 P.M, ‘Ann AFRIANT i Subscribed and sworn to before me this jo day of Dehn » 2017 DDA M, Dickerson ‘Approved by Page 7 RETURN ~ (Must Be Made Within 10 Days of Issuance of Warrant) * MAO 13 P 3 Q5 The Search and Seizure Warrant authorizing a search and seizure at the following described location(s) was executed on the 10th day of October, 2017: Verizon *r 310-602-2591, CLE OF i A copy of this inventory was left with Verizon Wireless. The following is an inventory of property taken pursuant to the warrant: Phone Contentto include SMSC, Message Arrival, Final Disposition, Message Final Status, Message 1D, Originating MDNIMIN, Terminating MDNIMIN, Message Content, Historical HLR Attempts, Historical HSS Attempts, Historical CSCF Attempts, between the dates of 9/28/2017 to 10/2/2017. This inventory was made by: Detective Eugenio Basilotta, P#8447, and Sgt Brad Cupp P #8104, oRAZISy aro re ee LTNRTED WORD 2018 Page 1 Giicer's Trials SW17-989 SNC FLORIO AOE £4 196 1 IN RE: SEARCH WARRANT for | Oe Mie F387 , Telecommunications device with an IMEI of ) ORDER SEAUING: 9900026226074300, or 990002622697430, or AFFIDAVIT 990002622697439 ) ) Upon the ex parte application of Scott Baker, a commissioned officer with the Las Vegas Metropolitan Police Department and Affiant, to seal the Affidavit in support of the attached Search Warrant, and for good cause appearing therefore, IT IS HEREBY ORDERED that the Affidavit in support of the attached Search Warrant be ordered sealed pending further order of this Court except that copies may be Provided to the office of the Clark County District Attorney and the District Attorney may ‘provide copies to a Defendant in a criminal proceeding as part of the criminal discovery process, and IT IS FURTHER ORDERED a copy of this order sealing the Affidavit be left at the premises along with the Search Warrant in lieu of the Affidavit in support of the Warrant. DATED this Loe day of Qf lb— » 2017 JUDGE aa AFFIANT 3 5 rosea er 9 WeRD 20:0 Z & 5 Sw '72-F 89 SEARCH WARRANT x STATE OFNEVADA ) Stephen Paddock ds COUNTY OF CLARK ) DOB: 04/09/1953 SS#: 663-86-6197 The State of Nevada, to any Peace Officer in the County of Clark. Proof by Affidavit having been made before me by Scott Baker, Pi#5571, said Affidavit attached hereto and incorporated herein by reference, that there is probable cause to believe that certain property, namely; 4, All device identifiers associated the Google Gmail account associated with telecommunications device with an IMEI of 9900026226974300, or 990002622697430, or 990002622697439. 2. All emalis associated with telecommuniestions device with an IME! of 9900026226974300, or 990002622697430, or 990002622897439, for the date ranges of 10/01/2046 thru 10/03/2047. 3. All related location information for any/ail devices associated with the Gmail account with telecommunications device with an IMEI of 9990026226974300, or 990002622697430, or 990002622697439, for the date ranges of 10/01/2016 thru 10/03/2017. 4, Any and ail subscriber information associated with telecommunications device with an IMEI of 9900026226974300, or 990002622697430, or 9000262697439, 5. Any and all voice to text conversion information associated with "{ fplecommunications device with an IMEI of 9900026226974300, or o 5 wen aeo ew sn2)WORO 206 PLANO WATT (Continuation) Page 2 990002622697430, or 990002622697439, for the date ranges of 10/01/2046 thru 10/03/2017. 6. Ail intemet search history associated with telecommunications device with an IME! of 9800026226974300, or 990002622697430, or 990002622697439, for the date ranges of 09/04/2047 thru 10/03/2017. 7. All application history, to include name and type of application and date application was loaded onto telecommunications device with an IMEI of 9900026226974300, or 990002622697430, or 990002622697439, for the date ranges of 10/01/2016 thru 10/03/2017, Presently located at Google INC., 1600 Amphitheatre Parkway Mountain View, CA, 94043, reference telecommunications device with an IMEI of 9900028226974300, or 990002622697430, or 990002622697439, all being variations of the IMEt for the telecommunications device assigned the phone number of 310-367-3358, with a subscriber name of Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada. 89034... And as | am satisfied that there, is probable cause {0 believe that said property is located as set forth above and that based upon the affidavit attached hereto there are sufficient grounds for the issuance of the Search Warrant. It Is HEREBY ORDERED that officers and investigators with the Las Vegas Metropolitan Police Department and law enforcement members of the multi-agency investigative team are authorized to transfer property seized in accordance with this SEARCH WARRANT (Continuation) Page 3 search warrant to the Federal Bureau of Investigation (FBI) and/ or the Bureau of Alcohol Tobacco and Firearms (ATF). You are hereby commanded to search forthwith said premises for said property, serving this warrant between the hours of 7:00 A.M. & 7:00 P.M., and if the property is there to seize it, prepare a written inventory of the property seized, and make a return for me within ten days. Fe Datedthie fv day of [eto po, 2017 LAS VEGAS METROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRAN Event #: __171001-3519 STATE OF NEVADA ) Stephen Paddock ) ss: : COUNTY OF ) DOB: 04/09/1953 — SS#: 663-86-6197 CLARK IMEI 9900026226974300, 990002622697430, and 990002622687439 Scott Baker, P# 5571, being first duly swom, deposes and says that he is the affiant herein and is a Detective with the Las Vegas Metropolitan Police Department (LVMPD) presently assigned to the Southern Nevada Counter Terrorism Center. That he has been ‘employed with the LVMPD for the past 20 years and has been assigned to the Southern Nevada Counter Terrorism Center for the past 1 years, There is probable cause to believe that certain property hereinafter described will be found at the following described premises, to-wit: Google INC., 1600 Amphitheatre Parkway Mountain View, CA, 94043, reference telecommunications device with an IMEI of 9900026226974300, or 990002622697430, or 990002622607439, all being variations of the IMEI for the telecommunications device assigned the phone AMOS FHL HORSES 30 dee 4 10 a i number of 310-357-3358, with a subscriber name of Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada. 89034, The property referred to and sought to be seized consists of the following: 4, All device identifiers associated with the Google Gmail account associated with telecommunications device with an IMEI of 9900026226974300, or '990002622697430, or 990002622697439. LAS VEGAS METROPOLITAN POLICE DEPARTIENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event # 171001-3519 2. All emails associated with telecommunications device with an (MEI of 9900026226974300, or 990002622697430, or 990002622697439, for the date ranges of 10/01/2016 thru 10/03/2017. 3. All related location information for any/all devices associated with the Gmail account with telecommunications device with an IME! of 9900026226974300, or 990002622697430, or 990002622697439, for the date ranges of 10/01/2046 thru 0103/2017. 4, Any and all subscriber information associated with telecommunications device with an IME! of 9900026226974300, or 990002622697430, or 990002622697439. 5. Any and all voice to text conversion information associated with felecommunications device with an IMEI of 9900026226974300, or 990002622697430, or 990002622697439, for the date ranges of 10/04/2016 thru 40/03/2017. 6. All internet search history associated with telecommunications device with an IME! of 9900026226974300, or 990002622697430, or 990002622697439, for the date ranges of 09/01/2017 thru 10/03/2017. 7. All application history, to include name and type of application and date application was loaded onto telecommunications device with an IMEI of LAS VEGAS METROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event # 171001-3519, 9900026226974300, or 30002622697430, or 990002622697438, for the date ranges of 10/01/2016 thru 10/03/2017. ‘The property hereinbefore described constitutes evidence which tends to demonstrate that the criminal offense of Murder with a deadly weapon has been committed, {In support of your affiant’s assertion to constitute the existence of probable cause, the following facts are offered: On October 1, 2017, at approximately 2208 hours, the Las Vegas Metropolitan: Police Department (LVMPD) began receiving calls from multiple reporting parties indicating there was an active shooter in the area of the Mandalay Bay, 3950 S. Las Vegas Blvd., and the MGM Village Lot, 3901 Las 8 Blvd. Multiple LVMPD Police Officers were present and working the Route 91 Harvest Festival, a 3-day outdoor country music venue, held at the open air MGM Village Lot. ‘As Police Officers responded to the gunfire, they determined the suspect was shooting from an elevated and concealed position inside a hotel room at the Mandalay Bay. The gunfire continued for several minutes and the suspect targeted innocent civilians and responding police officers. Initial reports were that over 100 victims had been shot, including at least two responding police officers, and another 20 victims had succumbed to their injuries, Police Officers and SWAT Operators responded to the Mandalay Bay where they isolated a suspect inside of Room 32-135. Upon breaching the door, officers entered and located a deceased male suspect with a self-inflicted gunshot wound to the head. Muitiple high powered rifles and high capacity magazines along with a large amount of ammunition and uno Veta MEI ROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171001-3519 2 large number of spent casings were strewn throughout the hotel room. Officers observed two windows that were broken from the inside and appeared to have been used ‘as gun ports as they overlooked the MGM Village Lot. Despite this suspect being neutralized, several other callers at various locations along The Strip continued to report active shooters inside of hotels and sightings of people with firearms. Due to the mass casualty event that was stil very dynamic and multiple other callers reporting other ongoing incidents, it appeared there may be several other suspects involved. Due to the exigency to stop further loss of life, LVMPD officers gathered cellular Bhones and documents from within Mandalay Bay, Room 32-135, in an effort to gather intelligence and identity possible co-conspirators. Three cellular phones were identified and appeared to be connected to the following phone numbers: (310) 227-7094, (702) 533-5108, and (310) 357-3357. Of the three numbers, (310) 227-7094 and (310) 357- 3357 were determined to be valid, working phone numbers, The phone history of (310) 387-3367 showed a contact, “Marilou,” (310) 502-2591, had been called numerous times. Other items that may provide investigative leads were located, to include a Mandalay Bay Mlife Platinum player's card to Marilou Danley, Rea eRtiiernanna coe SR, 211: 2 Nevacia Driver License and United States Passport to the deceased male, Stephen Paddock. ‘The above described items, along with other investigative techniques, lead officers to believe an intimate relationship existed between Stephen Paddock and Marilou Danley. Pages {0 vetan> EI KUPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171001-3519 ‘An Instagram account, stephenpaddock5431, was located for Stephen Paddock. A, Facebook account, hitps:/www.facsbook.com/matilou.danley, was located for Marilou Danley. Until the investigation can rule otherwise, Marilou Danley SIRI have become persons of interest who may have conspired with Stephen Paddock to commit Murder with a Deadly Weapon. Based on the above facts and circumstances, Sergeant Brad Cupp, Pit 8104, declared an emergency dus to the ongoing threat of immediate danger of death or serious bodily injury to citizens and responding police officers. Emergency Pen Registers were provisioned for phone numbers (310) 227-7094, (310) 357-3357, and (310) 502-2591, Instagram account stephenpaddock5431, and Facebook account https:/www facebook,com/marilou.danley in an effort to further the investigation and locate other possible suspects. As a result of the information provided from these pen registers, Det, Baker leamed that 310-227-7094, 310-357-3357, and 310-602-2501 were all subscribed to by Stephen Paddock. On the Sth of October, 2017, search warrants for the Google accounts linked to the aforementioned phone numbers, were reviewed and authorized by the Honorable Clark County District Court judge Richard Scotti While reviewing the information provided by Verizon wireless under the original emergency pen register for 310-357-3367, it was discovered that 310-367-3358 was listed as a subscriber contact number associated with this account. As Paddock is the known Pages APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171001-3519 subseriber for 310-357-3357, investigators believe that 310-357-3358 is most likely a contact number for Paddock. It was later determined through consultation with Verizon by Det. G. Basilotta of the LVMPD, that the IMEI for this device had several variations, to include 9900026226974300, 990002622697430, and 990002622697439. ‘On the 6th of October, 2017, a court order for subscriber information; records for incoming and outgoing calls; records for incoming and outgoing sms/mms messages; records for all data sessions; per call measurement data for alll activity to and from the account (to include rit reports); and cellular telephone / wireless communications tower site locations and sectors for all account activity described above, for 310-357-3358 from Verizon, was reviewed and authorized by the honorable Clark County District Court Judge Susan Johnson. As of the 9th of October, 2017, officers and investigators with the LVMPD, as well as numerous local, state, and federal agencies, continue to investigate the motive and execution related to the acts of homicide believed to have been committed by Stephen Paddock on the 1st of October, 2017. The LVMPD has identified 58 individuals who were killed during this incident, as well as over 300 individuals injured. Given the magnitude of the incident, it is reasonable to believe multiple suspects and months of planning were involved in this premeditated massacre. Your affiant believes that the information requested to be provided by Google in the items to be seized section (items 4-7), may help to establish a motive for this heinous act, as well as help to determine if Stephen Paddock conspired with other as yet unknown individuals in the planning and Page 6 R SEARCH WARRANT (Continuation) APPLICATION Event #: 171001-3519 ‘execution of this crime. Your affiant is a member of a multi-agency criminal investigation that includes law enforcement members from the Federal Bureau of Investigation (FBI) and Bureau of Alcohol, Tobacco and Firearms (ATF), It is the intent of Your Affiant, task force peace officers, and peace officers working on the multi-agency investigation team executing the warrants to possibly tum over all evidence seized to a designated sworn law enforcement officer from the FBI and/or ATF for use in its prosecution/investigation. | have been assured by the designated sworn law enforcement officers from the FBI and ATF that the property turned over will be protected and subject to the jurisdiction of the Federal District Court in and for Nevada and will not be disposed of except as pursuant to law of the Federal District Court in and for Nevada. The suspect herein will be accorded due process in such disposition. | have also been assured by the designated sworn law enforcement officer that if a final judgment/order is entered by a Nevada court declaring the warrant is invalid pursuant to NRS 179.085, the property will be retuned to the aggrieved party as indicated in the judgmentiorder. Thus, in signing this affidavit | respectfully request the permission of the Magistrate to authorize such removal of seized property to the FBI and ATF in accordance with the terms herein. Your affiant requests the warrant be sealed due to the fact that the current investigation is ongoing in order to determine motive and the possibility exists of outstanding co- Page 7 APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171007-3519 conspirators in this mass casualty event. A seal is requested in order to preserve the integrity of the investigations, and the maintenance of specialized investigative techniques. WHEREFORE, affiant requests that a Search Warrant be issued directing a search for and seizure of the aforementioned items at the location set forth herein between the hours of 7:00 A.M. & 7:00 P.M. (a ‘Scott Baker, AFFIANT DDA M. Dickerson Approved by: RETURN (Must Be Made Within 10 Days of Issuance of Warrant) BGS P 305 The Search and Seizure Warrant authorizing @ search and seizure at the following described location(s) was executed on the 11th day of October, 2017: for Device”iMEI 990002622697430, 2900026226974300, 990002622697439. reson oad A copy of this inventory was left with Google, Inc... ‘The following is an inventory of property taken pursuant to the warrant: No Data has yet been seized since Google has not yet responded to the request. This inventory was made by: Detective Eugenio Basilotta, P#8447, and Sgt Brad Cupp P8104. SH? @Q_ B_ Po 718 Rr 0504 - AUTOMATED WORD 2010 Page 1 ‘Officer's Initials SW17-990 ww IN RE: SEARCH WARRANT for LLU Telecommunications device with an IMEI of ) ) are fc } ORDER SEAMING’ (3 © 369356061452630 ) AFFIDAVIT ) Upon the ex parte application of Scott Baker, a commissioned officer with the Las Vegas Metropolitan Police Department and Affiant, to seal the Affidavit in support of the attached Search Warrant, and for good cause appearing therefore, IT IS HEREBY ORDERED that the Affidavit in support of the attached Search Warrant be ordered sealed pending further order ofthis Court except that copies may be Provided to the office of the Clark County District Attomey and the District Attornay may provide copies to @ Defendant in a criminal proceeding as part of the criminal discovery process, and IT IS FURTHER ORDERED a copy of this order sealing the Affidavit be left at the premises along with the Search Warrant in lieu of the Affidavit in support of the Warrant, DATED this 5B day of Oe bodec ne20it JUDGE’ AFFIANT, Bt C4 196 agazoms aye 7 SHL go RENO twueosen te wea WORD Sw-1- 990 SEARCH WARRANT riLeD STATE OF NEVADA ) Stephen Paddock MiGs POS ) se: COUNTY OF CLARK ) DOB: 04/09/1953 SS#: 563-86-6197 IMEI 369356061452630 ‘The State of Nevada, to any Peace Officer in the County of Clark. Proof by Affidavit having been made before me by Scott Baker, P#5571, said Affidavit attached hereto and incorporated herein by reference, that there is probable cause to believe that certain property, namely, 1. All device identifiers associated the Google Gmail account associated with tolocommunications device with an IMEI of 369366061452630. 2. All emails associated with telecommunications device with an IMEI of 369356061452630, for the date ranges of 10/01/2016 thru 10/03/2017. 3. All related location information for any/all devices associated with the Gmail account with telecommunications device with an IMEI of 369356061452630, for the date ranges of 10/04/2016 thru 10/03/2017. 4, Any and all eubscriber information associated with telecommunications device with an IMEI of 369356061452630. 5. Any and all voice to text conversion information associated with telecommunications device with an IMEI of 359356061452630, for the date ranges Zpf 10/01/2046 thru 10/03/2017. &B. All internet search history associated with telecommunications device with an a o amo 0 tO SEARCH WARRANT (Continuation) Page 2 IMEI of 369356061482630, for the date ranges of 09/01/2017 thru 10/03/2017. 7, All application history, to inclucle name and type of application and dato application was loaded onto telecommunications devico with an IMEI of 36936606 1452620, for the date ranges of 10/01/2046 thru 10/03/2017. Presently located at Google INC., 1600 Amphitheatre Parkway Mountain View, CA, 94043, reference telecommunications device with an IMEI of 359356061452630, with a subscriber name of Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada. 89034.. And as | am satisfied that there is probable cause to believe that said property is located as set forth above and that based upon the affidavit attached hereto there are sufficient grounds for the issuance of the Search Warrant. It is hereby ordered that officers and investigators with the Las Vegas Metropolitan Police Department and law enforcement members of the multi-agency investigative team are authorized to transfer property seized in accordance with this search warrant to the Federal Bureau of Investigation (FBI) and/ or the Bureau of Alcohol Tobacco and Firearms (ATF). SEARCH WARRANT (Continuation) Page 3 You are hereby commanded to search forthwith said premises for said property, serving this warrant between the hours of 7:00 A.M. & 7:00 P.M., and if the property is there to seize it, prepare a written inventory of the property seized, and make a return for me within ten days. Dated this 5B day of » 2017 JUDGE it bee EF 190 SW 17-990 LAS VEGAS HETROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT! uv Event #: 519 13 P 305 STATE OF NEVADA ) Stephen Paddock ) ss: THE COURT COUNTY OF ) DOB: 04/09/1953 SS#: 63-86-6197 CLARK IME 359356061452630 Scott Baker, Pi# 5574, being first duly sworn, deposes and says that he is the affiant herein and is a Detective with the Las Vegas Metropolitan Police Department (LVMPD) presently assigned to the Southem Nevada Counter Terrorism Center. That he has been employed with the LVMPD for the past 20 years and has been assigned to the Southern Nevada Counter Terrorism Center for the past 1 years. "There is probable cause to believe that certain property hereinafter described will be found at the following described premises, to-wit: Google INC., 1600 Amphitheatre Parkway Mountain View, CA, 94043, reference telecommunications device with an IMEI of 359356061452630, with a subscriber name of Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada. 89034, The property referred to and sought to be seized consists of the following: 1. All device identifiers associated with the Google Gmail account associated with telecommunications device with an IMEI of 359356061452630 2, All emails associated with telecommunications device with an IMEI of i 359356061452630, for the date ranges of 10/01/2046 thru 10/03/2017. asazosy rm Or WORD010 LAS VEGAS METROPOLITAN POLICE DEPARTIIENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT. (Continuation) Event # 171001-3519 3. All related location information for any/all devices associated with the Gmail account with telecommunications device with an IMEI of 369356061452630, for the date ranges of 10/01/2046 thru 10/03/2017, 4, Any and all subscriber information associated with telecommunications device with an IMEI of 359356061452630. 5. Any and all voice to text conversion information associated with telecommunications device with an IMEI of 359356061452630, for the date ranges of 10/01/2046 thru 10/03/2047. 6, All intemet search history associated with telecommunications device with an IMEI of 359366061452630, for the date ranges of 09/04/2017 thru 10/03/2017, 7. All application history, to include name and type of application and date application was loaded onto telecommunications device with an IMEI of 359368061452630, for the date ranges of 10/01/2046 thru 10/03/2047. The property hereinbefore described constitutes evidence which tends to demonstrate that the criminal offense of Murder with a deadly weapon has been committed. In support of your affiant’s assertion to constitute the existence of probable cause, the following facts are offered: On October 1, 2017, at approximately 2208 hours, the Las Vegas Metropolitan Police Department (LVMPD) began receiving calls from muttiple reporting parties indicating there was an active shooter in the area of the Mandalay Bay, LAS VEGAS METROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 17101-3519 eee 3960 S. Las Vegas Bivd., and the MGM Village Lot, 3901 Las Vegas Bivd. Multiple LVMPD Police Officers were present and working the Roule 91 Harvest Festival, a 3-day outdoor country music venue, held at the open air MGM Village Lot. As Police Officers responded to the gunfire, they determined the suspect was shooting from an elevated and concealed position inside a hotel room at the Mandalay Bay. The gunfire continued for several minutes and the suspect targeted innocent civilians and responding police officers. initial reports were that over 100 victims had been shot, including at least two responding police officers, and another 20 victims had succumbed to their injuries. Police Officers and SWAT Operators responded to the Mandalay Bay where they isolated a suspect Inside of Room 32-135. Upon breaching the door, officers entered and located a deceased male suspect with a self-infiloted gunshot wound to the head. Multiple high Powered rifles and high capacity magazines along with a large amount of ammunition and a large number of spent casings were strewn throughout the hotel room. Officers observed two windows that were broken from the inside and appeared to have been used as gun ports as they overlooked the MGM Village Lot. Despite this suspect being neutralized, several other callers at various locations along The Strip continued to report active shooters inside of hotels and sightings of people with firearms. Due to the mass casualty event that was still very dynamic and multiple other callers reporting other ongoing incidents, it appeared there may be several other suspects LASS VEGAS INETROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 17101-3519 involved. Due to the exigency to stop further loss of life, LVMPD officers gathered cellular phones and documents from within Mandalay Bay, Room 32-135, in an effort to gather intelligence and identify possible co-conspirators. Three cellular phones were icientified and appeared to be connected to the following phone numbers: (310) 227-7094, (702) 583-5108, and (310) 357-3367. Of the three numbers, (310) 227-7094 and (310) 367- 3867 were determined to be valid, working phone numbers. ‘The phone history of (310) 367-3357 showed a contact, “Marilou,” (310) 502-2501, had been called numerous times. Other items that may provide investigative leads were located, fo include a Mandalay Bay Mlife Platinum player’s card to Marilou Dany, Aa aaa, (SEI 2: 2 Nevada Driver License and United States Passport to thé deceased male, Stephen Paddock. The above described items, along with other investigative techniques, lead officers to believe an intimate relationship existed between Stephen Paddock and Marilou Danley. An Instagram account, stephenpaddockS431, was located for Stephen Paddock. A Facebook account, https:/mww.facebook.com/marilou.daniey, was located for Marilou Danley. Until the investigation can rule otherwise, Marilou Caney TD have become Persons of interest who may have conspired with Stephen Paddock to commit Murder with a Deadly Weapon Based on the above facts and circumstances, Sergeant Brad Cupp, P#t 8104, declared an ‘emergency due to the ongoing threat of immediate danger of death or serious bodlly injury [LAS VEGAS METROPOLITAN POLICE DEPARTENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT. (Continuation) Event #: 171001-3519 to citizens and responding police officers. Emergency Pen Registers were provisioned for phone numbers (310) 227-7004, (310) 367-3357, and (310) 502-2581, Instagram account stephenpaddock5431, and Facebook account hitps:/iwwwfacebook.com/marilou.danley in an effort to further the investigation and locate other possible suspects. As a result of these pen registers, AT&T retumed subscriber information for the ‘elecommunications device number (310) 227-7004, with an IMEI of 359356061462630. ATAq listed the subscriber as Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada. 89034, AS of the 4th of October, 2017, officers and investigators with the LVMPD, as well as numerous local, state, and federal agencies, continue to investigate the motive and execution related to the acts of homicide believed to have been committed by Stephen Padidock on the ‘st of October, 2017. The LVMPD has identified 59 individuals who were killed during this incident, as well as over 500 individuals injured. Given the magnitude of the incident, it is reasonable to believe multiple suspects and months of planning were involved in this premeditated massacre. Your affiant believes that the information requested to be provided by Google in the items to be seized section (items 1-7), may help to establish a motive for this heinous act, as well as help to determine if Stephen Paddock conspired with other as yet unknown individuals in the planning and execution of this crime. LAS VEGAS METROPOLITAN POLICE DEPARTWENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event # 171001-3519 See aN EEEEIEEEEEEnneeeeeeeeee Your affiant is a member of a multi-agency criminal investigation that includes law enforcement members from the Federal Bureau of Investigation (FBI) and Bureau of Alcohol, Tobacco and Firearms (ATF). It is the intent of Your Affiant, task force peace officers, and peace officers working on the multi-agency investigation team executing the warrants to possibly tum over all evidence seized to a designated sworn law enforcement officer from the FBI and/or ATF for use in its prosecution/investigation. | have been assured by the designated swom law enforcement officers from the FBI and ATF that the property tumed over will be protected and subject to the jurisdiction of the Federal District Court in and for Nevada and will not be disposed of except as pursuant to law of the Federal District Court in and for Nevada. The suspect herein willbe accorded due process in such disposition. | have also been assured by the designated swom law enforcement officer that if a final judgmentiorder is entered by a Nevada court dectaring the warrant is invalid pursuant to NRS 179.085, the property will be returned to the aggrieved party as Indicated in the judgmentforder. Thus, in signing this affidavit | respectfully request the permission of the Magistrate to authorize such removal of seized property to the FBI and ATF in accordance with the terms herein. Your affiant requests the warrant be sealed due to the fact that the current investigation is ongoing in order to determine motive and the possibility exists of outstanding co- conspirators in this mass casualty event. A seal is requested in order to preserve the integrity of the investigations, and the maintenance of specialized investigative techniques. LAS VEGAS METROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171001-3519 WHEREFORE, affiant requests that a Search Warrant be issued directing a search for and seizure of the aforementioned items at the location set forth herein between the hours of 7:00 A.M. & 7:00 P.M, ‘Approved by: Page? “5909 BHL JOMTIO Sw !9- 995 RETURN (Wust Be Made Within 10 Days of issuance of Warrant)! ! bE beni mN OCF 13 P 305 The Search and Ssizure Warrant authorizing a search and seizure atthe following described location(s) was executed on the 6th day of October, 2017: Google ng: é ee ¢ STERK OF HE A copy of this inventory was left digital copy Google Inc. The following is an inventory of property taken pursuant to the warrant: Android Device Information, App Download information, Gmail account Information S41 This inventory was made by: Detective Matthew Cisneros, Detective Gino Basilotta, and Sergeant Brad Cupp. 2 A 8 < 5 4, @ MPD 798 Re. 05101)» AUTTORATED WORD 2010 Page 1 | SW17-991 dynos Ldomeno AO? €4 190 FYI shy gry IN RE: SEARCH WARRANT for .Sw-tt- FQ Dd ) ) ORDER SEAMING.T 13 P 3 OU Telecommunications device with an IMEI of ‘AFFIDAVIT 9900045117879900 ) ) Upon the ex parte application of Scott Baker, a commissioned officer with the Las Vegas Metropolitan Police Department and Affiant, to seal the Affidavit in support of the attached Search Warrant, and for good cause appearing therefore, IT IS HEREBY ORDERED that the Affidavit in support of the attached Search Warrant be ordered sealed pending further order of this Court except that copies may be provided to the office of the Clark County District Attorney and the District Attorney may provide copies to a Defendant in a criminal proceeding as part of the criminal discovery process, and IT IS FURTHER ORDERED a copy of this order sealing the Affidavit be left at the premises along with the Search Warrant in lieu of the Affidavit in support of the Warrant, DATED this_6 ~ day of Ahder: Gp Pikes « DGE. AFFIANT a § j foscoger wig ORO 20 ZRINOO SHL JO WESTON Bb, 64 198 OW hee esl SEARCH WARRANT ee Be STATE OF NEVADA ) Stephen Paddock BLATIZ P Ou ) ss: : COUNTY OF CLARK ) DOB: 04/09/1953 SS#: 563-86-6197;, IMIEt $900045117879900 The State of Nevada, to any Peace Officer in the County of Clark. Proof by Affidavit having been made before me by Scott Baker, Pi 5571, said Affidavit attached hereto and incorporated herein by reference, that there is probable cause to believe that certain property, namely; 1. All device identifiers associated the Google Gmail account associated with telecommunications device with an IMEI of 9900045117879900, 2. All emails associated with telecommunications device with an IMEI of 9900045 117879900, for the date ranges of 10/01/2016 thru 10/03/2017. 3. All related location information for any/all devices associated with the Gmail account with telecommunications device with an IMEI of 9900045117879900, for the date ranges of 10/04/2016 thru 10/03/2017. 4, Any and all subscriber information associated with telecommunications device with an IMEI of 9900045117879900. 6. Any and all voice to text conversion information associated with telecommunications device with an IMEI of 89000451 17879900, for the date ranges of 10/01/2016 thru 10/03/2017. 6. All internet search history associated with telecommunications device with an GzAmosH Lr 2 er 9 HRD 290 SEARCH WARRANT (Continuation) Page 2 IMEI of 9900045117879900, for the date ranges of 09/01/2017 thru 10/03/2047, 7. All application history, to include name and type of application and date application was loaded onto telecommunications device with an IMEI of 99000451 17879900, for the date ranges of 10/01/2016 thru 10/03/2017. Presently located at Google INC., 1600 Amphitheatre Parkway Mountain View, CA, 94043, reference telecommunications device with an IMEI of 9900045117879900, with @ subscriber name of Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada, 89034.. ‘And as | am satisfied that there is probable cause to believe that said property is located as set forth above and that based upon the affidavit attached hereto there are sufficient grounds for the issuance of the Search Warrant. It ls HEREBY ORDERED that officers and investigators with the Las Vegas Metropolitan Police Department and law enforcement members of the multi-agency investigative team are authorized to transfer property seized in accordance with this search warrant to the Federal Bureau of Investigation (FBI) and/ or the Bureau of Alcohol Tobacco and Firearms (ATF). SEARCH WARRANT (Continuation) - Page 3 You are hereby commanded to search forthwith said premises for said property, serving this warrant between the hours of 7:00 A.M. & 7:00 P.M., and if the property is there to seize it, prepare a writen inventory of the property seized, and make a return for me within ten days. Dated this 5h day ot ipa —, 2017 JUDGE Sw 11-49] LAs hs erRoPoLTAN roUCE DEPARTEENT ‘APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT. Event: 171001-3519 i3 STATE OF NEVADA ) Stephen Paddock ) ss: sais iboay— COUNTY OF ) DOB: 04/09/1953 ‘SS#: 663-86-6197 CLARK IMEI 9900045117879900 Scott Baker, P# 5571, being first duly sworn, deposes and says that he is the affiant herein and is a Detective with the Las Vegas Metropolitan Police Department (LVMPD) presently assigned to the Southern Nevada Counter Terrorism Center. That he has been employed with the LVMPD for the past 20 years and has been assigned to the Southern Nevada Counter Terrorism Center for the past 1 year. There is probable cause to believe that certain property hereinafter described will be found at the following described premises, to-wit: Google INC., 1600 Amphitheatre Parkway Mountain View, CA, 94043, reference telecommunications device with an IMEI of 9900045117879900, with a subscriber name of Stephen Paddock, with a subscriber address of 1372 Babbling Brook Court, Mesquite, Nevada, 89034, ‘The property referred to and sought to be seized consists of the following: 4, All device identifiers associated with the Google Gmail account associated with telecommunications device with an IMEI of 9900045117879900. 2. All emails associated with telecommunications device with an IMEI of ere }900045117879900, for the date ranges of 10/01/2016 thru 10/03/2047. aud 4 190 aaneg: LAS VEGAS METROPOLITAN POLICE DEPARTMENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 17101-3519 eh en 3. All related location information fer any/all devices associated with the Gmail account with telecommunications device with an IMEI of 9900045117879900, for the date ranges of 10/01/2016 thru 10/03/2017. 4, Any and all subscriber information associated with telecommunications device with an IMEI of 9900045117879900, 6. Any and all voice to text conversion information associated with felecommunications device with an IMEI of 9800045117879900, for the date ranges of 10/01/2016 thru 10/03/2017. 6. All internet search history associated with telecommunications device with an IME! of 9900045117879900, for the date ranges of 09/01/2017 thru 10/03/2017, 7. All application history, to include name and type of application and date application was loaded onto telecommunications device with an IMEI of 99000481 17879900, for the date ranges of 10/01/2046 thru 10/03/2017. The property hereinbefore described constitutes evidence which tends to demonstrate that the criminal offense of Murder with a deadly weapon has been committed, In support of your affiant's assertion to constitute the existence of probable cause, the following facts are offered: On October 1, 2017, at approximately 2208 hours, the Las Vegas Metropolitan Police Department (LVMPD) began receiving calls from muttiple reporting parties indicating there was an active shooter in the area of the Mandalay Bay, LAS VEGAS INETROPOLITAN POLICE DEPARTWENT APPLICATION AND AFFIDAVIT FOR SEARCH WARRANT (Continuation) Event #: 171001-3519 3950 S. Las Vegas Bivd., and the MGM Village Lot, 3901 Las Vegas Blvd. Multiple LVMPD Police Officers were present and working the Route 91 Harvest Festival, a 3-day outdoor country music venue, held at the open air MGM Village Lot. As Police Officers responded to the gunfire, they determined the suspect was shooting from an elevated and concealed position inside a hotel room at the Mandalay Bay, The gunfire continued for several minutes and the suspect targeted innocent civilians and responding police officers. Initial reports were that over 100 victims had been shot, including at least two responding police officers, and another 20 viclims had succumbed to their injuries. Police Officers and SWAT Operators responded to the Mandalay Bay where they isolated @ suspect inside of Room 32-135. Upon breaching the door, officers entered and located a deceased male suspect with a self-inflicted gunshot wound to the head, Multiple high powered rifles and high capacity magazines along with a large amount of ammunition and a large number of spent casings were strewn throughout the hotel room. Officers observed two windows that were broken from the inside and appeared to have been used as gun ports as they overlooked the MGM Village Lot. Despite this suspect being neutralized, several other callers at various locations along The Strip continued to report active shooters inside of hotels and sightings of people with firearms, Due to the mass casualty event that was still very dynamic and multiple other callers reporting other ongoing incidents, it appeared there may be several other suspects

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