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State of Minnesota County of Wright

District Court 10th Judicial District


Prosecutor File No. Court File No. 12-51593 86-CR-12-1848

State of Minnesota, Plaintiff, vs. EDDIE MATTHEW MOSLEY DOB: 10/21/1977 1411 Blackstone Avenue St. Louis, MO 63112 Defendant.

COMPLAINT Summons

The Complainant submits this complaint to the Court and states that there is probable cause to believe Defendant committed the following offense(s): COUNT I Charge: Criminal Sexual Conduct-1st Degree-Penet or Contact Under 13-Victim Under 16Signif Relationship Minnesota Statute: 609.342.1(g), with reference to: 609.342.2(a) Maximum Sentence: 30 years, $40,000 or both Offense Level: Felony Offense Date (on or about): 10/22/2011 to 10/23/2011 Control #(ICR#): 11033957 Charge Description: EDDIE MATTHEW MOSLEY did unlawfully engage in sexual penetration with another person and the actor has a significant relationship to the victim and the victim was under 16 years of age at the time of the penetration, to-wit: LRNG.

STATEMENT OF PROBABLE CAUSE The Complainant states that the following facts establish probable cause:

The complainant and signing officer are licensed police officers with the State of Minnesota. The complainant and signing officer are familiar with the law enforcement officers submitting reports in this matter and believe those persons to be reliable and their reports to be true and accurate. The complainant and signing officer attest that, based on those reports, the following facts establish probable cause: On November 3, 2011, Wright County Deputy Jorgenson responded to the residence at 6363 Marshal Avenue NE in Otsego, Wright County, Minnesota on a report of a criminal sexual conduct complaint. Deputy Jorgenson met with Walidah Harris who reported her daughter LRNG, DOB 12/29/96, had been sexually assaulted by Eddie Matthew Mosley, DOB 10/21/77, hereinafter defendant. Ms. Harris said the defendant is her brother and the uncle of LRNG. Ms. Harris said she noticed things didn't seem to be right with her daughter. Ms. Harris said when she talked to LRNG, her daughter disclosed that the defendant had touched her. LRNG went on to describe the defendant had sexual intercourse with her penetrating her vagina with his penis. During the course of LRNG disclosing the sexual abuse, she said "Uncle Eddie" did this to her. LRNG stated the defendant abused her at the home located at the above-described address. LRNG said the incident of sexual abuse happened in October when the defendant was in town. Ms. Harris said the defendant was in her home on October 22, 2011 through October 23, 2011. LRNG told Ms. Harris that the defendant also had sexual intercourse with her at Wisconsin Dells in July 2011. Ms. Harris indicated the defendant lives in St. Louis, Missouri. Detective Eaton was assigned to investigate the case and interviewed LRNG on November 4, 2011. LRNG told Detective Eaton the defendant was visiting from St. Louis, Missouri on October 22, 2011 through October 23, 2011, at which time the defendant grabbed her and pulled her close to him. LRNG said the defendant put his hands on her buttocks and touched her vagina underneath her clothing. LRNG said the defendant had LRNG lay down on the couch. LRNG said the defendant removed her shorts and underwear and then took his own pants off. LRNG stated the defendant placed his penis inside of her vagina. LRNG said some time later, the defendant put her clothes back on, told her he loved her and went upstairs. LRNG described an earlier incident that happened in July 2011 at Wisconsin Dells when the defendant was staying in a hotel room with LRNG and her family. LRNG said she fell asleep and woke up when the defendant was touching her buttocks. LRNG stated the defendant pulled her pajama pants down and put his penis inside of her vagina. LRNG said she was so shocked she didn't know what to say. LRNG said the sexual abuse made her mad and sad. As the victim's uncle, the defendant had a significant relationship with LRNG.

SIGNATURES AND APPROVALS Complainant requests that Defendant, subject to bail or conditions of release, be: (1) arrested or that other lawful steps be taken to obtain Defendant's appearance in court; or (2) detained, if already in custody, pending further proceedings; and that said Defendant otherwise be dealt with according to law. Complainant Todd Korbel Sgt deputy sheriff 3800 Braddock Avenue NE Buffalo, MN 55313 Badge: 229 Electronically Signed: 3/30/2012

Subscribed and sworn to before the undersigned. Notary Public or Judicial Official Scott R Albrecht, Peace Officer License Number: 18311, Wright County, Minnesota. My license expires: 07/01/2013 Deputy Sheriff 3800 Braddock Avenue NE Buffalo, MN 55313 Electronically Signed: 4/2/2012

Being authorized to prosecute the offenses charged, I approve this complaint. Prosecuting Attorney Brian Anthony Lutes assistant county attorney 10 Second Street NW Room 400 Buffalo, MN 55313 (763) 682-7340 Electronically Signed: 3/30/2012

FINDING OF PROBABLE CAUSE


From the above sworn facts, and any supporting affidavits or supplemental sworn testimony, I, the Issuing Officer, have determined that probable cause exists to support, subject to bail or conditions of release where applicable, Defendants arrest or other lawful steps be taken to obtain Defendants appearance in court, or Defendants detention, if already in custody, pending further proceedings. Defendant is therefore charged with the above-stated offense(s).

SUMMONS

THEREFORE YOU, THE DEFENDANT, ARE SUMMONED to appear on April 18, 2012 at 1:00 PM before the above-named court at 10 Second Street NW Room C201, Buffalo, MN 55313 to answer this complaint. IF YOU FAIL TO APPEAR in response to this SUMMONS, a WARRANT FOR YOUR ARREST shall be issued.

WARRANT
To the Sheriff of the above-named county; or other person authorized to execute this warrant: I order, in the name of the State of Minnesota, that the Defendant be apprehended and arrested without delay and brought promptly before the court (if in session), and if not, before a Judge or Judicial Officer of such court without unnecessary delay, and in any event not later than 36 hours after the arrest or as soon as such Judge or Judicial Officer is available to be dealt with according to law. Execute in MN Only Execute Nationwide Execute in Border States

ORDER OF DETENTION
Since the Defendant is already in custody, I order, subject to bail or conditions of release, that the Defendant continue to be detained pending further proceedings. Bail: $ Conditions of Release: This complaint is issued by the undersigned Judge as of the following date: April 2, 2012. Judicial Officer Jonathan Jasper District Court Judge Electronically Signed: 4/2/2012

Sworn testimony has been given before the Judicial Officer by the following witnesses:

COUNTY OF WRIGHT STATE OF MINNESOTA

Clerk's Signature or File Stamp:

State of Minnesota
Plaintiff vs. RETURN OF SERVICE
I hereby Certify and Return that I have served a copy of this Summons upon the Defendant herein named.

EDDIE MATTHEW MOSLEY


Defendant

Signature of Authorized Service Agent:

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