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. ,!A+ YXdJ lh,~t+ I yn cq rpF - IN AND FOR THE PASCUA YAQUl TRIBAL COURT " . - I IN AND FOR THE PASCUA YAQUl INDIAN Pascua Yaqui Tribe, : Case No. CR-09 Plaintiff, : CRIMINAL COMPLAINT ~ Vs. 1 Noriega, Samuel Christopher I Defendant. The PASCUA YAQUl TRIBE, hereby complains and alleges, upon information and belief, that the above named defendant, an Indian, which is within the exterior boundaries of the Pascua Yaqui Reservation did commit the following offense(s): I Count 1: Domestic Vlolence Disorderly Conduct 4 PYTC 5 3-10(F), 1-305 / On or about July 25, 2009 at approximately 3:00 P.M., at or near the area of 7600 S. Osay 60-oh, Samuel Christopher Noriega, disturbed the peace or quiet aF his family members by engaging in a violent disruptive behavior. I Count 2: Domestic Violence Kidnapping 4 PYTC § 3-10(F), 1-220 I On or about July 25, 2009 at approximately 3:00 P.M., at or near 7600 S. Osay Bo-oh, Samuel Christopher Noriega knowingly restrained his girlfriend Heather Little in an aggressive manner preventing her to leave to seek help. I Count 3: Domestic Violence Malicious Mischief 4 PYTC Q 3-10 (F), 1-410 I On or about July 25,2009 at approximately 3:00 P.M., at or near 7600 S. Osay Bo- oh, Samuel Christopher Noriega, maliciously destroyed personal property belonging to Heather Little. I Count 4: Domestic Violence, Assault 4 PYTC 5 3-10(F), 1-150 I On or about July 25, 2009 at approximately 3:00 P.M., at or near 7600 S. Osay Bo-oh, Samuel Christopher Noriega knowingly caused his girlfriend Heather Little I physical injury by applying tight pressure on her so she was unable to breathe. I And such violations, upon conviction, are punishable under the Pascua Yaqui Tribal Codes. ?

~ Plaintiff, - pycourts.org · I DATED this & of JI&, 2009. The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit

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Page 1: ~ Plaintiff, - pycourts.org · I DATED this & of JI&, 2009. The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit

. ,!A+ YXdJ lh,~t+ I yn cq rpF -

IN AND FOR THE PASCUA YAQUl TRIBAL COURT ".- I IN AND FOR THE PASCUA YAQUl INDIAN

Pascua Yaqui Tribe, : Case No. CR-09

Plaintiff, : CRIMINAL COMPLAINT

~ Vs.

1 Noriega, Samuel Christopher I

Defendant.

The PASCUA YAQUl TRIBE, hereby complains and alleges, upon information and belief, that the above named defendant, an Indian, which is within the exterior boundaries of the Pascua Yaqui Reservation did commit the following offense(s):

I Count 1: Domestic Vlolence Disorderly Conduct 4 PYTC 5 3-10(F), 1-305 / On or about July 25, 2009 at approximately 3:00 P.M., at or near the area of 7600 S. Osay 60-oh, Samuel Christopher Noriega, disturbed the peace or quiet aF his family members by engaging in a violent disruptive behavior.

I Count 2: Domestic Violence Kidnapping 4 PYTC § 3-10(F), 1-220 I On or about July 25, 2009 at approximately 3:00 P.M., at or near 7600 S. Osay Bo-oh, Samuel Christopher Noriega knowingly restrained his girlfriend Heather Little in an aggressive manner preventing her to leave to seek help.

I Count 3: Domestic Violence Malicious Mischief 4 PYTC Q 3-10 (F), 1-410 I On or about July 25,2009 at approximately 3:00 P.M., at or near 7600 S. Osay Bo-oh, Samuel Christopher Noriega, maliciously destroyed personal property belonging to Heather Little.

I Count 4: Domestic Violence, Assault 4 PYTC 5 3-10(F), 1-1 50 I On or about July 25, 2009 at approximately 3:00 P.M., at or near 7600 S. Osay Bo-oh, Samuel Christopher Noriega knowingly caused his girlfriend Heather Little

I physical injury by applying tight pressure on her so she was unable to breathe. I

And such violations, upon conviction, are punishable under the Pascua Yaqui Tribal Codes.

?

Page 2: ~ Plaintiff, - pycourts.org · I DATED this & of JI&, 2009. The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit

I DATED this & of JI&, 2009.

The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit and Verification.

DEFENDANT: Samuel Christopher Noriega ADDRESS: 7600 Osay Bo-oh, Tucson, Arizona 85757 DOB: 10128173 SSN: - ORIGIN: Pascua Yaqui Enrollment #: 26941100982

1 GENDER: Male HT: 6'00" WT: 280 EYES: Brown HAIR: Brown

Note: Accusedpersons may obtain disclosure information about their case ten days g& arraignment by contacting the Prosecutor's Oflce at 4725 W. Tetakusim Bldg C, Tucson AZ 85757. (3PYTC R.Crim. P. Rule 381

Page 3: ~ Plaintiff, - pycourts.org · I DATED this & of JI&, 2009. The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit

IN THE PASCUA YAQUl TRIBAL COURT yk>\Ji -,h:t>!. '

i : r , we- t t

IN AND FOR THE PASCUA YAQUl INDIAN RESERVATION . \ I U 26 9:55 I

PASCUA YAQUl TRIBE, Plaintiff

SAMUEL CHRISTOPHER NORIEGA, *' i);hndant COURT USE ONLY

Caae Number: 090725-3228

I PROBABLE CAUSE AFFIDAVIT 1 AFFIDAVIT

1, I, Dale Pascual, being a duly authorized law enforcement officer of the Pascua Yaqui Indian Tribe and for the Pascua Yaqui Indian Reservation, do hereby swear OR affirm as follows:

A. I am the arresting officer in this case; OR I am a law enforcement officer and make this statement on information and belief.

2. SUSPECTED PARTY (Defendant)

Name: SAMUEL CHRISTOPHER NORIEGA Driver's license number: 627490483 Tribal enrollment number: 2684UOOB82 Date of birth: 1012811 973

is an enrolled member of the Pascua Yaqui Tribe. is not an enrolled member of the Pascua Yaqui Tribe.

3. The defendant was arrested cited long formed without a warrant on 0712510Q at 3:00 A.M. P.M.

PROBABLE CAUSE AFFIDAVIT SAMUEL CHRISTOPHER NORIEGA 0907255228 pagelot3

Paswa Yaqui Law Enforcwnent Fonn Revised 02i17107

Page 4: ~ Plaintiff, - pycourts.org · I DATED this & of JI&, 2009. The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit

, I

4. 1 have probable cause to believe that the defendant committed the following offense(s) at or near 7600 8. OSAY BO-OH (address) which is within the exterior boundaries of the Pascua Yaqui Indian Reservation:

PYTC 1 ARS , Title , Chapter 4, Section 1-30513 10F, Disorderly Conduc t lDo~t l c Violence (3 Counts)

(XJ PYTC I D ARS , Title , Chapter 4, Section 1-220/3.1OF, Kidnapping/Domeutic Violence

PYTC 1 ARS , Title , Chapter 4, Section 141013.10F, Malicious MlschleflDomestic Vlolence (4 Counk)

PYTC 1 ARS , Title , Chapter 4, Section 1-15013.10F, AssaultlDomestic Vlolence

PYTC 10 ARS , Title , Chapter , Section ,

PYTC I ARS , Title , Chapter , Section

PYTC 1 ARS , Title , Chapter , Section

PYTC I ARS , Title , Chapter , Section

5. I believe that the defendant committed the above-listed offense(s) because: (Summarize facts to support probable cause claim)

At the above-stated date and time and at the above-referenced location within the exterior boundaries of the Pascua Yaqui Indian Reservation I did witness the following:

Samuel C. Norlega committed the above offenses when he was argulng with hls glrlfdend, Heather LWe, whlle they were at thelr residence. Two of the couple's chlldmn were prcnent durlng thk violent argument.

Samuel C. Norlega grabbed Heather Lble from behlnd, pulled her into thelr bedroom and with both arms squeezed her so tight that she was unable to breath and wouldn't let her h v e the room or call the pollce. After the couple's fourteen year old son (Orlon Norlega) yelled at Samuel Norlega to release Ms. Little, Samuel C. N o m a let her go but then refused to let her exlt the residence so she could call the police like she had requested to do several tlmeu. Samuel C. Nodega slammed the front door of the residence right In front of her; he proceeded to hold the door cloued with h b hand and wouldn't let her out of the residence. It should be noted that wveral tlmes durlng thelr argument Samuel referred to Heather as a "Whom".

It should further be noted that on as a result of thls uame argument Mr. Norlega also destroyed Ms. Little's' makeup klt, three pieces of Jewelry were broken, and he cut one of her bras' In half. Mr. Norlega told Ms. Llffle "That's what you get whore", when she asked hlm why he damaged her property.

PROBABLE CAUSE AFFIDAVIT SAMUEL CHRISTOPHER NORIEGA 0907253228 Page 2 of 3

Paswa Yaqui Law Enforcamen! Form Rewed 0211 7107

Page 5: ~ Plaintiff, - pycourts.org · I DATED this & of JI&, 2009. The undersigned hereby swears and affirms that this complaint is based upon information and belief, and the attamAffidavit

The information contained herein is true and accurate to the best of my knowledge and belief.

-.,I---.-- -_I__

OFFICIAL SEAL

CrlAISTOPh'ES LEE T H O l P S O n NOTARY PUBLIC-ARIZONA

PIMA COUNTY c 04 Date Y Comm. Exp Nov. 11, 2012

SUBSCRIBED AND SWORN BEFORE ME ON 0 7 2 ( 0 ? --

PROBABLE CAUSE AFFIDAVIT SAMUEL CHRISTOPHER NORIEGA 0967253228 Page 3 of 3

Pasura Yaqul Law E n k r m n t Form Revised 02/17/07