Thomas Duroso

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    646737 4/3/13

    PROBABLE CAUSE STATEMENT

    DATE: April 3, 2013

    I, Person's name, a law enforcement officer for the City of St. Louis, State of Missouri, knowing that false statements on thisform are punishable by law, state that the facts contained herein are true.

    1. I have probable cause to believe that Thomas Michael Duroso, a W M, Age: 32 DOB: XX/XX/80, committed one or morecriminal offense(s).

    Count 1: Harassment (Class A MISDEMEANOR) RSMo 565.090 FROM 11/01/2012 TO 04/02/2013Place: 1000 MARKET ST (SCC 34059)

    Count 2: Harassment (Class A MISDEMEANOR) RSMo 565.090 FROM 11/01/2012 TO 04/02/2013Place: 1000 MARKET ST (SCC 34059)

    Count 3: Harassment (Class A MISDEMEANOR) RSMo 565.090 FROM 11/01/2012 TO 04/02/2013Place: 1000 MARKET ST (SCC 34059)

    Count 4: Harassment (Class A MISDEMEANOR) RSMo 565.090 FROM 4/2/2013 at 4:00 AM TO 4/2/2013 at7:00 AM Place: 1000 MARKET ST (SCC 34059)

    Count 5: Harassment (Class A MISDEMEANOR) RSMo 565.090 FROM 11/01/2012 TO 04/02/2013Place: 1000 MARKET ST (SCC 34059)

    Count 6: Harassment (Class A MISDEMEANOR) RSMo 565.090 FROM 11/01/2012 TO 04/02/2013

    Place: 1000 MARKET ST (SCC 34059)

    2. The facts supporting this belief are as follows:

    Beginning in November 2012, the defendant began contacting many KSDK employees. The defendant would oftensend Facebook messages to the employees, however the defendant has also called KSDK employees and showed up on theKSDK premises. In these phone calls, voicemails and Facebook messages, the defendant used vulgar and threateninganguage and obscenities. He would also threaten harm against the employees.

    For example, on November 20, 2012, the defendant sent a Facebook message to P.M., calling him an obscenename and threatening him using vulgar language. On November 27, 2012, the defendant posted a message on H.GsFacebook page directed at H.G. In the Facebook post the defendant threatened H.G. to enjoy the last remaining momentsof life. On December 20, 2012, the defendant sent a Facebook message to B.S. threatening harm to her and otherndividuals. On January 15, 2013, the defendant sent a Facebook message to J.B., threatening her with obscene language.

    The defendant also sent repeated messages to S.D., threatening her and other individuals.On April 2, 2013, the defendant called KSDK repeatedly and threatened that something bad will happen to the KSDK

    family. He spoke with D.K. and threatened to come down to the KSDK station and cause him physical harm. He also toldD.K. he wasnt playing anymore. He left a voicemail for P.M., using threatening language and obscenities. Later thatmorning, the defendant appeared on the KSDK premises, asking to meet with several KSDK employees.

    The defendants repeated threatening contact with the KSDK employees has caused them to be frightened and tofear for their lives. The defendants behavior has caused KSDK to take extra security measures to ensure the safety of theiremployees.

    3. I believe that the defendant poses a danger to a crime victim, the community, or any other person because of the victimsn this case fear for their safety. Given the defendants threatening behavior and the nature of the charges, a warrant isrequested in this case.

    Person's name _____Original Signed_________________________PRINT NAME SIGNATURE