d'vontaveous hoston charges

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 INFORMATION - 1 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Daniel T. Satterberg, Prosecuting Attorney Norm Maleng Regional Justice Center 401 Fourth Avenue North Kent, Washington 98032-4429 Phone 206-205-7401 Fax 206-205-7475  SUPERIOR COURT OF WASHINGTON FOR KING COUNTY THE STATE OF WASHINGTON, Plaintiff, v. DVONTAVEOUS NAAUN HOSTON, Defendant. ) ) ) ) ) ) ) ) ) No. 12-1-06448-9 KNT INFORMATION COUNT I I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and by the authority of the State of Washington, do accuse DVONTAVEOUS NAAUN HOSTON of the crime of Unlawful Possession of a Firearm in the First Degree, committed as follows: That the defendant DVONTAVEOUS NAAUN HOSTON in King County, Washington, during a period of time intervening between October 15, 2012 through October 16, 2012, previously having been convicted in King County, Washington, of the crime of Violation of the Uniform Controlled Substances Act - Delivery of Cocaine, a serious offense as defined in RCW 9.41.010, and previously having been convicted in King County, Washington of Malicious Mischief in the Third Degree, a serious offense as defined in RCW 9.41.010, knowingly did own, have in his possession, or have in his control, a .380 caliber pistol, a firearm as defined in RCW 9.41.010; Contrary to RCW 9.41.040(1), and against the peace and dignity of the State of Washington. COUNT II And I, Daniel T. Satterberg, Prosecuting Attorney aforesaid further do accuse DVONTAVEOUS NAAUN HOSTON of the crime of Reckless Endangerment , a crime of the same or similar character and based on the same conduct as another crime charged herein, which FILED 12 OCT 29 AM 11:27 KING COUNTY SUPERIOR COURT CLERK E-FILED CASE NUMBER: 12-1-06448-9 KNT

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Page 1: D'Vontaveous Hoston Charges

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INFORMATION - 1

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Daniel T. Satterberg, Prosecuting AttorneyNorm Maleng Regional Justice Center401 Fourth Avenue North

Kent, Washington 98032-4429Phone 206-205-7401 Fax 206-205-7475 

SUPERIOR COURT OF WASHINGTON FOR KING COUNTY

THE STATE OF WASHINGTON,Plaintiff,

v.

DVONTAVEOUS NAAUN HOSTON,

Defendant.

))))

)))))

No. 12-1-06448-9 KNT

INFORMATION

COUNT I

I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and by theauthority of the State of Washington, do accuse DVONTAVEOUS NAAUN HOSTON of thecrime of Unlawful Possession of a Firearm in the First Degree, committed as follows:

That the defendant DVONTAVEOUS NAAUN HOSTON in King County, Washington,during a period of time intervening between October 15, 2012 through October 16, 2012,previously having been convicted in King County, Washington, of the crime of Violation of theUniform Controlled Substances Act - Delivery of Cocaine, a serious offense as defined in RCW9.41.010, and previously having been convicted in King County, Washington of MaliciousMischief in the Third Degree, a serious offense as defined in RCW 9.41.010, knowingly didown, have in his possession, or have in his control, a .380 caliber pistol, a firearm as defined inRCW 9.41.010;

Contrary to RCW 9.41.040(1), and against the peace and dignity of the State of 

Washington.

COUNT II

And I, Daniel T. Satterberg, Prosecuting Attorney aforesaid further do accuseDVONTAVEOUS NAAUN HOSTON of the crime of Reckless Endangerment, a crime of thesame or similar character and based on the same conduct as another crime charged herein, which

FILED12 OCT 29 AM 11:27

KING COUNTY

SUPERIOR COURT CLERK

E-FILED

CASE NUMBER: 12-1-06448-9 KNT

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INFORMATION - 2

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Daniel T. Satterberg, Prosecuting AttorneyNorm Maleng Regional Justice Center401 Fourth Avenue North

Kent, Washington 98032-4429Phone 206-205-7401 Fax 206-205-7475 

crimes were part of a common scheme or plan and which crimes were so closely connected inrespect to time, place and occasion that it would be difficult to separate proof of one charge fromproof of the other, committed as follows:

That the defendant DVONTAVEOUS NAAUN HOSTON in King County, Washington,

during a period of time intervening between October 15, 2012 through October 16, 2012, didrecklessly engage in conduct which did create a substantial risk of death and serious physicalinjury to another person by discharging a weapon in proximity to children;

Contrary to RCW 9A.36.050, and against the peace and dignity of the State of Washington.

DANIEL T. SATTERBERGProsecuting Attorney

By:Kelsey Schirman, WSBA #41684Deputy Prosecuting Attorney

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Prosecuting Attorney CaseSummary and Request for Bailand/or Conditions of Release - 3

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Daniel T. Satterberg, Prosecuting AttorneyNorm Maleng Regional Justice Center401 Fourth Avenue North

Kent, Washington 98032-4429Phone 206-205-7401 Fax 206-205-7475 

CAUSE NO. 12-1-06448-9 KNT

PROSECUTING ATTORNEY CASE SUMMARY AND REQUEST FOR BAIL AND/ORCONDITIONS OF RELEASE

The State incorporates by reference the Certification for Determination of ProbableCause written by Detective M. Leitgeb of the Seattle Police Department regarding incidentnumber #12-12921.

REQUEST FOR BAIL

Pursuant to CrR 2.2(b)(2)(i), the State requests a warrant in the amount of $50,000,because the defendant is likely to commit a violent offense.

The present allegations involve the defendant being in possession of and discharging afirearm in an apartment where three children were present. Two children were one years old andone child was only six months old. The bullet went through the wall past one of the child’sheads. The nature of these facts coupled with the defendant’s recent criminal history, mentionedbelow, raises significant community safety concerns.

The defendant's criminal history includes convictions for UPFA in the First Degree (2011), Malicious Mischief Third Degree (2011), and juvenile adjudications for VUCSA-

Delivery of Cocaine (2010) and Resisting Arrest (2010).

Signed this _____ day of October, 2012.

Kelsey Schirman, WSBA #41684

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