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FILED

10 DEC 08 PM 3:03

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Defendant.

KING COUNTY SUPERIOR COURT CLERK E-FILED CASE NUMBER: 10-1-09711-9 KNT

SUPERIOR COURT OF WASHINGTON FOR KING COUNTY THE STATE OF WASHINGTON, Plaintiff, v. SHACON FONTANE BARBEE, ) ) ) ) ) ) ) ) )

No.

10-1-09711-9 KNT

INFORMATION

I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and by the authority of the State of Washington, do accuse SHACON FONTANE BARBEE of the crime of Promoting Commercial Sexual Abuse of A Minor, committed as follows: That the defendant SHACON FONTANE BARBEE in King County, Washington, on or about December 3, 2010, did knowingly advance commercial sexual abuse of a minor, to-wit: S.E. (DOB 04/25/93); Contrary to RCW 9.68A.101(1), and against the peace and dignity of the State of Washington. DANIEL T. SATTERBERG Prosecuting Attorney

By: Charles K. Sergis, WSBA #29364 Senior Deputy Prosecuting Attorney

Daniel T. Satterberg, Prosecuting Attorney

INFORMATION - 1

Norm Maleng Regional Justice Center 401 Fourth Avenue North Kent, Washington 98032-4429

1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Prosecuting Attorney Case Summary and Request for Bail and/or Conditions of Release - 2 Charles K. Sergis, WSBA #29364 CAUSE NO. 10-1-09711-9 KNT PROSECUTING ATTORNEY CASE SUMMARY AND REQUEST FOR BAIL AND/OR CONDITIONS OF RELEASE The State incorporates the Certification for Determination of Probable Cause prepared by Detective Eric Steffes of the Kent Police Department under case number 10-13481.

REQUEST FOR BAIL The State requests bail of $150,000 and an order prohibiting contact with S.E. Bail was set at $5,000 at first appearance. The State is requesting an increase in bail pursuant to CrR 2.2(b)(i)(ii), and (iii), based on the likelihood that the defendant will fail to appear in response to a summons, commit a violent offense or will interfere with the administration of justice. The State became of aware of additional information on December 8, 2010, which was not available at first appearance. Specifically, the State has evidence, as described in the Certification, that the defendant was pimping S.E. as far back as March of this year. The defendant has prior juvenile convictions for Attempted Rape of a Child 2 (7/8/96), Taking a Motor Vehicle (1/23/96, 1/17/95, 12/7/95, 10/15/95 and 8/19/95) and Vehicle Prowling (8/6/95 and 7/20/95). He has prior adult convictions for Failing to Register as a Sex Offender (4/1/06 and 6/1/98), Unlawful Possession of a Firearm (12/18/99), Communicating With a Minor for Immoral Purposes (12/18/99), Possessing Stolen Property 2 (7/6/98) and Taking a Motor Vehicle (12/26/97). The defendant is facing a significant prison sentence (240-318 months) if convicted. This fact gives him a very strong incentive to flee if released. The defendant also poses a danger to attempt to harm or intimidate the victim in this case to keep her from testifying. He was already engaged in a pimp/prostitute relationship with S.E. which is typically marked by threats and violence, especially against a juvenile female like S.E.

Signed this _____ day of December, 2010.

Daniel T. Satterberg, Prosecuting Attorney


W554 King County Courthouse 516 Third Avenue Seattle, Washington 98104 (206) 296-9000, FAX (206) 296-0955

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