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Cuyahoga County Court of Common Pleas

Criminal Court Division

State of Ohio,
Plaintiff
VS.

A True Bill Indictment For


Aggravated Murder - UF 2903.01(A) 292 Additional Count(s)
Case Number

Elias Acevedo, Defendant


Dates of Offense (on or about) The Term Of

10/24/1994 to 06/30/2001

September of 2013

579148-13-CR

The State of Ohio,


Cuyahoga County Count 1 Defendants Date of Offense

SS.

Aggravated Murder - UF 2903.01(A) Elias Acevedo On or about October 24, 1994

The Jurors of the Grand Jury of the State of Ohio, within and for the body of the County aforesaid, on their oaths, IN THE NAME AND BY THE AUTHORITY OF THE STATE OF OHIO, do find and present, that the above named Defendant(s), on or about the date of the offense set forth above, in the County of Cuyahoga, unlawfully

did purposely, and with prior calculation and design, cause the death of Pamela Pemberton.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

Count 2 Defendants Date of Offense

Aggravated Murder - UF 2903.01(B) Elias Acevedo On or about October 24, 1994

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did purposely cause the death of, Pamela Pemberton while committing, or attempting to commit, or while fleeing immediately after committing or attempting to commit the offense of rape.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 1 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 3 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 24, 1994

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Pamela Pemberton from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Pamela Pemberton against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 4 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(3) Elias Acevedo On or about October 24, 1994

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Pamela Pemberton from the place where she was found or restrain the liberty of her for the purpose of terrorizing or inflicting serious physical harm upon Pamela Pemberton.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 2 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 5 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about October 24, 1994

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Pamela Pemberton by purposely compelling her to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 6 Defendants Date of Offense

Aggravated Murder - UF 2903.01(A) Elias Acevedo On or about January 10, 1995

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did purposely, and with prior calculation and design, cause the death of Decedent Jane Doe.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 7 Defendants Date of Offense

Aggravated Murder - UF 2903.01(B) Elias Acevedo On or about January 10, 1995

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did purposely cause the death of, Decedent Jane Doe while committing, or attempting to commit, or while fleeing immediately after committing or attempting to commit the offense of Rape.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 3 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 8 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 10, 1995

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Decedent Jane Doe from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Decedent Jane Doe against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 9 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(3) Elias Acevedo On or about January 10, 1995

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Decedent Jane Doe from the place where she was found or restrain the liberty of her for the purpose of terrorizing or inflicting serious physical harm upon Decedent Jane Doe.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 4 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 10 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about January 10, 1995

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Decedent Jane Doe by purposely compelling her to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 11 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1995 to September 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was the spouse of the offender but was living separate and apart from the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 5 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 12 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1995 to September 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987, from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 13 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1995 to September 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was the spouse of the offender but was living separate and apart from the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 6 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 14 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1995 to September 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was the spouse of the offender but was living separate and apart from the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 15 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1995 to September 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987, from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will. FURTHERMORE, the victim of the offense was less than thirteen years of age and defendant committed the offense of kidnapping with a sexual motivation.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 7 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 16 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1996 to October 31, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 17 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1996 to October 31, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 8 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 18 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1996 to October 31, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 19 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1996 to November 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 9 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 20 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1996 to November 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 21 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1996 to November 30, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 10 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 22 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1996 to December 31, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 23 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1996 to December 31, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 11 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 24 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1996 to December 31, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 25 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1997 to January 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 12 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 26 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1997 to January 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 27 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 1997 to January 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 13 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 28 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1997 to February 28, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 29 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1997 to February 28, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 14 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 30 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 1997 to February 28, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 31 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1997 to March 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 15 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 32 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1997 to March 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 33 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 1997 to March 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 16 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 34 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1997 to April 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 35 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1997 to April 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 17 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 36 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 1997 to April 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 37 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1997 to May 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 18 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 38 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1997 to May 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 39 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 1997 to May 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 19 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 40 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1997 to June 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 41 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1997 to June 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 20 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 42 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 1997 to June 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 43 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1997 to July 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 21 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 44 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1997 to July 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 45 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 1997 to July 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 22 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 46 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1997 to August 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 47 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1997 to August 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 23 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 48 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1997 to August 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 49 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 24 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 50 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 51 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 25 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 52 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1997 to October 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 53 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1997 to October 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 26 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 54 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1997 to October 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 55 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1997 to November 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 27 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 56 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1997 to November 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 57 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1997 to November 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 28 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 58 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1997 to December 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 59 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1997 to December 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 29 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 60 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1997 to December 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 61 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1998 to January 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 30 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 62 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1998 to January 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 63 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 1998 to January 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 31 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 64 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1998 to February 28, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 65 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1998 to February 28, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 32 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 66 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 1998 to February 28, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 67 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1998 to March 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 33 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 68 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1998 to March 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 69 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 1998 to March 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 34 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 70 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1998 to April 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 71 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1998 to April 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 35 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 72 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 1998 to April 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 73 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1998 to May 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 36 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 74 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1998 to May 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 75 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 1998 to May 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 37 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 76 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1998 to June 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 77 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1998 to June 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 38 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 78 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 1998 to June 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 79 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1998 to July 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 39 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 80 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1998 to July 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 81 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 1998 to July 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 40 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 82 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 11, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: fellatio, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 83 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 11, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 41 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 84 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1998 to August 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 85 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1998 to August 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 42 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 86 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1998 to August 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 87 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1998 to September 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 43 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 88 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1998 to September 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 89 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1998 to September 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 44 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 90 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1998 to October 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 91 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1998 to October 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 45 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 92 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1998 to October 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 93 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1998 to November 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 46 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 94 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1998 to November 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 95 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1998 to November 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 47 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 96 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1998 to December 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 97 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was the spouse of the offender but was living separate and apart from the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 48 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 98 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1998 to December 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 99 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1999 to January 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 49 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 100 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1999 to January 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 101 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 1999 to January 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 50 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 102 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1999 to February 28, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 103 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1999 to February 28, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 51 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 104 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 1999 to February 28, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 105 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1999 to March 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 52 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 106 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1999 to March 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 107 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 1999 to March 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 53 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 108 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1999 to April 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 109 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1999 to April 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 54 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 110 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 1999 to April 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 111 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1999 to May 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 55 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 112 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1999 to May 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 113 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 1999 to May 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 56 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 114 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1999 to June 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 115 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1999 to June 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 57 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 116 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 1999 to June 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 117 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1999 to July 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 58 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 118 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1999 to July 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 119 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 1999 to July 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 59 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 120 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1999 to August 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 121 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1999 to August 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 60 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 122 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1999 to August 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 123 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1999 to September 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 61 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 124 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1999 to September 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 125 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1999 to September 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 62 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 126 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1999 to October 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 127 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1999 to October 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 63 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 128 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1999 to October 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 129 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1999 to November 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 64 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 130 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1999 to November 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 131 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1999 to November 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 65 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 132 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1999 to December 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 133 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1999 to December 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 66 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 134 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1999 to December 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 135 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 2000 to January 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 67 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 136 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 2000 to January 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 137 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 2000 to January 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 68 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 138 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 2000 to February 28, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 139 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 2000 to February 28, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 69 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 140 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 2000 to February 28, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 141 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 2000 to March 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 70 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 142 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 2000 to March 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 143 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 2000 to March 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 71 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 144 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 2000 to April 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 145 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 2000 to April 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 72 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 146 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 2000 to April 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 147 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 2000 to May 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 73 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 148 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 2000 to May 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 149 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 2000 to May 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 74 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 150 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 2000 to June 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 151 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 2000 to June 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 7/11/1987, whether or not the offender knew the age of Jane Doe I. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 75 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 152 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 2000 to June 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe I, a child under the age of thirteen, to wit: 7/11/1987 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 153 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about July 1, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 76 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 154 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about July 1, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 155 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 77 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 156 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about July 11, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 157 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 11, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 78 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 158 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about July 1, 2000 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: fellatio, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 159 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about July 1, 2000 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 79 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 160 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about August 1, 2000 to August 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 161 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about August 1, 2000 to August 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 80 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 162 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 2000 to August 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 163 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about September 1, 2000 to September 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 81 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 164 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about September 1, 2000 to September 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 165 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 2000 to September 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 82 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 166 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about October 1, 2000 to October 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 167 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about October 1, 2000 to October 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 83 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 168 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 2000 to October 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 169 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 84 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 170 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 171 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 85 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 172 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about December 1, 2000 to December 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 173 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about December 1, 2000 to December 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 86 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 174 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 2000 to December 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 175 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about January 1, 2001 to January 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 87 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 176 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about January 1, 2001 to January 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 177 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 2001 to January 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 88 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 178 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about February 1, 2001 to February 28, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 179 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about February 1, 2001 to February 28, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 89 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 180 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 2001 to February 28, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 181 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about March 1, 2001 to March 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 90 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 182 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about March 1, 2001 to March 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 183 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 2001 to March 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 91 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 184 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about April 1, 2001 to April 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 185 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about April 1, 2001 to April 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 92 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 186 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 2001 to April 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 187 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about May 1, 2001 to May 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 93 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 188 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about May 1, 2001 to May 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 189 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 2001 to May 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 94 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 190 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about June 1, 2001 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 191 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about June 1, 2001 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: anal penetration, with Jane Doe I by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 95 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 192 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 2001 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe I from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe I against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 193 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: digital penetration of vagina, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 96 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 194 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 195 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 97 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 196 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1997 to September 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 197 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1997 to October 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 98 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 198 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1997 to October 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 199 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1997 to November 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 99 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 200 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1997 to November 30, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 201 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 100 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 202 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1997 to December 31, 1997

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 203 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1998 to January 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 101 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 204 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 1998 to January 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 205 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1998 to February 28, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 102 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 206 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 1998 to February 28, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 207 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1998 to March 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 103 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 208 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 1998 to March 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 209 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1998 to April 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 104 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 210 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 1998 to April 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 211 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1998 to May 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 105 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 212 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 1998 to May 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 213 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1998 to June 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 106 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 214 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 1998 to June 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 215 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1998 to July 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 107 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 216 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 1998 to July 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 217 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about August 1, 1998 to August 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 108 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 218 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1998 to August 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 219 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about September 1, 1998 to September 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 109 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 220 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1998 to September 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 221 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about October 1, 1998 to October 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 110 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 222 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1998 to October 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 223 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1998 to November 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 111 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 224 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about December 1, 1998 to December 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 225 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1998 to December 31, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 112 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 226 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about January 1, 1999 to January 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 227 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 1999 to January 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 113 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 228 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about February 1, 1999 to February 28, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 229 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 1999 to February 28, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 114 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 230 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about March 1, 1999 to March 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 231 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 1999 to March 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 115 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 232 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about April 1, 1999 to April 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 233 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 1999 to April 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 116 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 234 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about May 1, 1999 to May 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 235 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 1999 to May 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 117 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 236 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about June 1, 1999 to June 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 237 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 1999 to June 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 118 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 238 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about July 1, 1999 to July 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 239 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 1999 to July 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by any means, purposely remove Jane Doe II, a child under the age of thirteen, to wit: 8/16/1986 from the place where she was found or restrained her liberty for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 119 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 240 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about August 1, 1999 to August 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 241 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1999 to August 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 120 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 242 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about September 1, 1999 to September 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 243 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 1999 to September 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 121 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 244 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about October 1, 1999 to October 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 245 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 1999 to October 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 122 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 246 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about November 1, 1999 to November 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 247 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 1999 to November 30, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 123 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 248 Defendants Date of Offense

Rape - F1 2907.02(A)(1)(b) Elias Acevedo On or about November 1, 1998 to November 30, 1998

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II who was not the spouse of the offender, whose age at the time of the said sexual conduct was less than thirteen years of age, to wit: 8/16/1986, whether or not the offender knew the age of Jane Doe II. FURTHERMORE, FURTHERMORE, the defendant purposely compelled the victim to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 249 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about December 1, 1999 to December 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 124 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 250 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 1999 to December 31, 1999

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 251 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about January 1, 2000 to January 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 125 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 252 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 2000 to January 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 253 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about February 1, 2000 to February 28, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 126 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 254 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 2000 to February 28, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 255 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about March 1, 2000 to March 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 127 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 256 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 2000 to March 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 257 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about April 1, 2000 to April 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 128 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 258 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 2000 to April 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 259 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about May 1, 2000 to May 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 129 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 260 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 2000 to May 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 261 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about June 1, 2000 to June 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 130 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 262 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 2000 to June 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 263 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about July 1, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 131 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 264 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about July 1, 2000 to July 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 265 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about August 1, 2000 to August 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 132 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 266 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 2000 to August 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 267 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 133 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 268 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 269 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about September 1, 2000 to September 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 134 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 270 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about September 1, 2000 to September 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 271 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about October 1, 2000 to October 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 135 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 272 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about October 1, 2000 to October 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 273 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 136 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 274 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about November 1, 2000 to November 30, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 275 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about December 1, 2000 to December 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 137 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 276 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about December 1, 2000 to December 31, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 277 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about January 1, 2001 to January 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 138 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 278 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about January 1, 2001 to January 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 279 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about February 1, 2001 to February 28, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 139 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 280 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about February 1, 2001 to February 28, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 281 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about March 1, 2001 to March 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 140 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 282 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about March 1, 2001 to March 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 283 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about April 1, 2001 to April 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 141 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 284 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about April 1, 2001 to April 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 285 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about May 1, 2001 to May 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 142 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 286 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about May 1, 2001 to May 31, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 287 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about June 1, 2001 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 143 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 288 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 1, 2001 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 289 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about August 1, 1995 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 144 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 290 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about August 1, 1995 to June 30, 2001

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 291 Defendants Date of Offense

Rape - F1 2907.02(A)(2) Elias Acevedo On or about June 24, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did engage in sexual conduct, to wit: vaginal intercourse, with Jane Doe II by purposely compelling her to submit by force or threat of force.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 145 of 146

Cuyahoga County Court of Common Pleas

A True Bill Indictment

Count 292 Defendants Date of Offense

Kidnapping - F1 2905.01(A)(4) Elias Acevedo On or about June 24, 2000

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did, by force, threat, or deception, purposely remove Jane Doe II from the place where she was found or restrain the liberty of her for the purpose of engaging in sexual activity, as defined in Section 2907.01 of the Revised Code, with Jane Doe II against her will.
Sexual Motivation Specification - 2941.147(A)
The Grand Jurors further find and specify that

the offender committed the offense with a sexual motivation.


Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio. Count 293 Defendants Date of Offense

Gross Sexual Imposition - F3 2907.05(A)(4) Elias Acevedo On or about November 3, 1995 to November 2, 1996

The grand jurors, on their oaths, further find that the Defendant(s) unlawfully

did have sexual contact, to wit: touched errogenous zone of victim, with Jane Doe III, not his spouse, and the age of the Jane Doe III or one of the other persons was less than thirteen years of age, whether or not Elias Acevedo knew the age of that person.
Sexually Violent Predator Specification - 2941.148(A)
The Grand Jurors further find and specify that

the offender is a sexually violent predator.


The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of Ohio.

<GRANDJURORSIGNATURE>
Foreperson of the Grand Jury

<PROSECUTORSIGNATURE>
Prosecuting Attorney

Page 146 of 146

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