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PRO WONOTARY BIEJAN 22 RHWg: 25 Deparrsnt of State IGINAL common ORES ‘OF PENNSYLVANIA DEPARTMENT OF STATE BEFORE THE STATE BOARD OF MEDICINE Commonwealth of Pennsylvania, Bureau of Professional and 17-49-014207 Occupational Affairs ‘ Johnnie Wilson Barto, M.D. HDocketNo: OOQY 4918 Respondent RDER OF TEMPORARY SUSPENSK ND NOTICE OF HEARING AND NOW, this aw day or JON 2018, upon review of the Petition for Temporary Suspension of the license to practice as a medical physician and surgeon held by Johnnie Wilson Barto, M.D. (hereinafter “Respondent”), license number MD015619E, filed by the Prosecuting Attomey for the Commonwealth of Pennsylvania, the State Boerd of Medicine (hereinafter “Board”) makes the following findings and enters the following Order: SUSPENSION ORDER ‘The Board finds the Prosecuting Attomey has alleged facts in the Petition, which, if taken as true, establish at each and every count that the Respondent's continued practice as a medical physician and surgeon within the Commonwealth of Pennsylvania along with the exercise of any other licenses, registrations, certificates, approvals, authorizations, or permits (hereinafter referred to collectively as “authorizations to practice the profession”) issued by the Board, makes Respondent an immediate and clear danger to the public health and safety. Therefore in accordance with Section 40(a) of the Medical Practice Act, Act of December 20, 1985, P-L. 457, No. 112, ("Act"), 63P.S. § 422.40(a), the Board ORDERS that the license to practice as a medical physician and surgeon issued to the Respondent, license number MDO15619E, along with any other authorizations to practice the profession issued by the Board to Respondent, are TEMPORARILY SUSPENDED upon the service of this Order. Respondent shall surrender his wall certificate(s), biennial renewal certificate(s) and wallet card(s) (or notarized affidavit of their loss or destruction) to representatives of the Bureau of Enforcement and Investigation or the Bureau of Professional and Occupational Affairs, immediately upon service of this Order in accordance with Section 44 of the Act, 63 P.S. § 422.44, PRELIMINARY HEARING A preliminary hearing shall be scheduled and conducted by the Board or Office of Hearing Examiners to be convened within thirty (30) days from the date of issuance of this Order. The preliminary hearing shall be limited to evidence on the issue of whether there is a prima facie case to support the temporary suspension of the Respondent’s license and other authorizations to practice the profession issued by the Board. The preliminary hearing will be held at a location designated by the Board ora heating examiner for the Board, ‘The Respondent is entitled to be present at the preliminary hearing and may be represented by an attomcy, cross-examine witnesses, inspect physical evidence, call witnesses, offer evidence and testimony and make a record of the proceedings. If the Board or hearing examiner finds a prima facie case is not established, Respondent's license and other authorizations to practice the profession issued by the Board will be immediately restored. If a prima facie case is established, the temporary suspension shall remain in effect until vacated by the Board, but in no event longer than 180 days, unless otherwise ordered or agreed to by the participants. ADDITIONAL FORMAL ACTION In addition to this temporary suspension proceeding, the prosecuting attomey will commence a separate action to suspend, revoke or otherwise restrict Respondent's license and other authorizations to practice the profession issued by the Board through the filing of a charging document, an Order to Show Cause, The Order to Show Cause may inchude, but not be limited to, the facts which were alleged in the Petition for Immediate Temporary Suspension. Any Order to ‘Show Cause filed by the prosecuting attorney will be served upon the Respondent and the Order will direct Respondent to reply to the charges in a written answer within twenty (20) days of the issuance of the Order to Show Cause. A formal hearing on that Order to Show Cause will then be scheduled and conducted by the Board or the Hearing Examiner for the Board. PROCEDURES Continuances will be granted for good cause only. A request for a continuance must be filed with the Prothonotary, in writing, at least one (1) week prior to the date of the hearing. The requirement of the one (1) week advance filing of @ request for continuance will be waived only upon a showing of good cause. The failure to have an attorney present and a request for continuance to retain an attorney will not be considered a valid reason for the granting of a continuance on the day of the hearing. A request by the Respondent for an extension of time or a continuance which will delay the preliminary hearing or the formal hearing must be accompanied by the agreement of the Respondent that the 180-day temporary suspension will continue during whatever additional time is necessary to conclude the proceedings. All proceedings are conducted in accordance with the Administrative Agency Law, 2 PaCS. §§ 501-508, 701-704; 63 P.S. §§ 2201-2207; and the General Rules of Administrative Practice and Procedure, 1 Pa, Code §§ 31.1-35.251. A record of the hearing will be stenographically prepared by an official reporting service. A copy of the transcript may be secured by personally making arrangements with the reporting service at the time of the hearing. Any document submitted in this matter must be filed with: Prothonotary Department of State 2601 North Third Street P.O. Box 2649 Harrisburg, PA 17105 717-172-2686 Also, you must send a separate copy of any documents submitted in this matter to the prosecuting attorney named below at: Mark R. Zogby Prosecuting Attomey Commonwealth of Pennsylvania Department of State P.O. Box 69521 Harrisburg, PA 17106-9521 Keith E. Loiselle ‘Committee Member ‘Charles A. Castle, BY ORDER: BEFORE THE STATE BOARD OF MEDICINE PROBABLE CAUSE SCREENING PANEL MD. a ee Committee Member APPROVE eeotue romper John M. Mitchell, LP, CCP. ‘Committee Member APPROVE town Tego Board Counsel: For the Commonwealth: Respondent: File No.; Date of Issuance: DENT me impor RECS roe Sip ft on Boe DENT went pay “RECUSE rain cccion ‘Wesley J. Rish (A-L) or Peter D. Kovach (M-Z) Mark R. Zogby Prosecuting Attomey Commonwealth of Pennsylvania Bureau of Professional and Occupational A firs P.O. Box 69521 Harrisburg, PA 17106-9521 Johnnie Wilson Barto, MD. 201 Delta Drive Johnstown, PA 15904 17-49-014207 January caso Bs ORDER: BEFORE Vii: STATE BOARD OF MEDICOM PROBABLE CAUSE: SCREENING PANEL Weith F. feleete wa Uadid. eth: Responders: File Nos Abe B297 WOW, BA, BoB Diste of fesuan Keith E. Loiselie ‘Committee Member Charles A. Castle, MD. Committee Member Jokn M, Mitcheli, LP, CCP, Committee Member rr Board Counsel: For the Commonwealth: Respondent: File No.: Date of Issuance: oor 3 eto BWiew te REUSE: BY ORDER: BEFORE THE STATE BOARD OF MEDICINE PROBABLE CAUSE SCREENING PANEL Wesley J. Rish (A-L) or Peter D, Kovach (M-Z) Matk R. Zogby Prosecuting Attorney Commonwealth of Pennsylvania Bureau of Professional and Occupational Affairs P.O, Box 69521 Harrisburg, PA. 17106-9524 Johnnie Wilson Barto, M.D. 201 Delta Drive Johnstown, PA 15904 17-49-014207 Qoruany 52,308 ORIGINAL COMMONWEALTH OF PENNSYLVANIA My DEPARTMENT OF STATE BEFORE THE STATE BOARD OF MEDICINE On, Commonwealth of Pennsylvania, | Bureau of Professional and | Bile No.: 17-49-014207 Occupational Affairs | v. Johnnie Wilson Barto, M.D. [DocketNo: — ())4 YU 49.18 Respondent i 1 PETITION FOR IMMEDIATE TEMPORARY SUSPENSION AND NOW, the Commonwealth of Pennsylvania, Bureau of Professional and Occupational Affairs, by and through its Prosecuting Attomey, Mark R. Zogby, petitions the State Board of Medicine (hereinafter “Board”) for the immediate temporary suspension of the license to practice as a medical physician and surgeon issued to Johnnie Wilson Barto, M.D. (hereinafter “Respondent”), along with any other licenses, registrations, certificates, approvals, authorizations, or permits (hereinafter referred to collectively as “authorizations to practice the profession”) issued by the Board to Respondent at the time this Petition is Granted, pursuant to Section 40(a) of the Medical Practice Act, Act of December 20, 1985, P.L. 457, No. 112, ("Act") as amended, (hereinafter “Act”), 63 P.S. § 422.40(a), and in support thereof alleges as follows: 1. Petitioner is the Bureau of Professional and Occupational Affairs, a departmental administrative agency within the Pennsylvania Department of State. 2. Respondent holds a license to practice as a medical physician and surgeon in the Commonwealth of Pennsylvania, license no. MD015619E. 3, Respondent's license wes originally issued on August 7, 1974, is current through December 31, 2018, and, absent further Board action, may be renewed, reactivated or reinstated thereafter upon the fing of the appropriate documentation and payment of the necessary fees. 4, Atall times pertinent to the Factual Allegations, Respondent held a license to practice as a medical physician and surgeon in the Commonwealth of Pennsylvania. 5. Respondent's last known address, as on file with the Board, is Laurel Pediatric Assocociates, Ine. 323 Budficld Street, Johnstown, PA 15904, 6. The Commonwealth has reason to believe that Respondent currently resides at 201 Delta Drive, Johnstown, PA 15904, 7. On or about January 18, 2018, a Criminal Complaint was filed against the ‘Respondent in Magisterial District Court No, 47-1-02 at docket no, MJ-47102-CR-0000013- 2018 (hereinafter “Criminal Complaint”), 8. ‘The Criminal Complaint charged the Respondent with the following: a. 18Pa.C.$.A. §3126(a)(7) (I count) — Indecent Assault Person Less than 13 Years of Age (First Degree Misdemeanor); b, 18PaC.S.A. §3126(a\7(b)(3)Gii) Less than 13 Years of Age (Third Degree Felony); ©. 18 PaC.S.A, §6301(a)(1)(i) (2 counts) — Corruption of Minors (First Degree Misdemeanor); and d. 18 PaC.S.A, §4304(a)(1) (2 counts) ~ Endangering the Welfare of Children (First Degree Misdemeanor). (J count) ~ Indecent Assault Person 9. The Affidavit of Probable Cause supporting the Criminal Complaint set forth the following facts: a. Onor about December 21, 2017, H.P., a 12 year old child, who was a regular patient, had a medical appointment with the Respondent, a pediatrician. Near the end of the appointment, H.P, was seated on the Respondent’s lap, when the Respondent rubbed his hands on her vagina under her pants and over her underpants. - .. Immediately following the December 21, 2017 appointment, H.P. reported this incident to her mother. H.P,’s mother contacted the Respondent to speak to him regarding H.P.’s allegations. During this phone call the Respondent told H.P.’s mother that H.P. was not lying about the incident, H.P.’s mother immediately reported the incident to the Richland Township Police Department. ¢. On or about December 21, 2017, the Respondent voluntarily appeared at the Richland Township Police Department. During an interview, the Respondent admitted to having inappropriate contact with H.P, The Respondent explained that he was holding H.P. tightly on his lap while working at the computer, and his hand was directly over H.P.’s vaginal area. The Respondent further described holding HP. tightly in the crotch area and sometimes on her waist. 4. On or about December 28, 2017, H.P, underwent a forensic examination at the Child Advocacy Center in Richland Township. During the examination, H.P. stated that the Respondent placed his hand down her pants (jeans) onto the outside of her underpants and began to rub his hand on her vaginal area. H.P, stated that she related this incident to her mother on the way home from the doctor’s office. During the examination, H.P. also revealed that, during a prior medical visit, while she was lying on the examination table, the Respondent rested his elbow on her crotch area while he was talking. (A true and comect copy of the Criminal Complaint with the Affidavit of Probable Cause is attached hereto as Exhibit “A.”) 10. Following his arrest, Respondent’s bail was set at $10,000.00, cash (10 percent). 11. The Respondent posted $1,000,00 cash bail and is presently free to resume his pediatric medical practice. 12, Based upon the foregoing factual allegations, the Respondent’s continued practice as a ‘medical physician and surgeon within the Commonwealth of Pennsylvania, along with the exercise of any other authorizations to practice the profession issued by the Board, makes Respondent an immediate and clear danger to the public health and safety. WHEREFORE, the Petitioner respectfully requests that the Board issue an Order immediately suspending all of Respondent's authorizations to practice the profession issued by the Board, and in particular, the license to practice as a medical physician and surgeon, license number MDO1S619E, pursuant to the authority granted to it pursuant to Section 40(a) of the Medical Practice Act, Act of December 20, 1985, P.L. 457, No. 112, ("Act"), 63 P.S. § 422.40(a). Respectfully submitted, ‘Mark R. Zoghy Dewey try Commonwealth of Pennsylvania Department of State P.O. Box 69521 Harrisburg, PA 17106-9521 (717) 783-7200 pare, JRO, 30, ads O1~18-"18 18:83 FRON- RICHLAND PD 8142864736 7-848 P0001 /0012 F-565 WEALTH OF PENNSYLVANIA, Arrest Warrant COUNTY OF CAMBRIA oes ‘Commenweatth of Pennsylvania v Johnnie W Barto ‘Johnnie W Barta Dockt Ne: ‘MJ-47102-CR-0000013-2018 NoIc OFF; : yeseees 00: Reason ForWarrant Felony WARRANTID: —DIS70722a842 Offense Date: tazie017 Warrant Control Nar 47102-AW0000012-2018 Lead Offense: 18 § 3128 $8 A7 Indecent Assautt Person Less than 13 Years of Age ‘TO THE OFFICER: Thomas E. Kein In the name of the Commonwealth of Pennsyivania, you are commanded to take the defendant, Johnnie W Bart, into custody. When the defendant is taken into custody, bring the defendant before me.at the Court address shown above {0 answer the complaint charging the defendant withthe oftense(s) set forth above end further tobe dealt wih eecording aw. ‘Witness the hand and official peal of the issuing authorty on this 48th day of January, 2018, emy aon ___Yuanan fr Bindi ‘agaral Diatit Judge Gndtesperer ge w-47102-CR-0000013-2018 AT s02~AW-0000012-2018 sebnie W Barto ew em a eee OF-18-" 18 13:88 FROM- RICHLAND PD 8142664796 T-243 P0002/0012 F-565 ~ *Gommonweath of Panneytvania Warrant Control No: 47102-AW-0000012-201i oa Docket No: MJ-47102-CR-0000013-2018 Sofinnie W Baro OTN U 6454363, RETURN WHERE DEFENDANT FOUND : By authority ofthis warrant; on A ‘Nook into custody the within named. [& betore you for disposition. Dine tga, RETURN WHERE DEFENDANT IS NOT FOUND. Cy Ater careful search, | cannot find the within namad defendant. (Signature of Police Officer - Nama ‘Service Costs: Additonal: : ‘Statutorily Authorized Service Costs: Miles @ —_ Commitments ae Mies @ eo -_ hee ConveyiTransport —— eee Niles @ == TL ____ sO Tal — a 7 ORES 4, Se. O1-18-" 18 13:98 FROW- RICHLAND PD 8142664796 7-848. P000S/OM12 F565 “ Commonwealth of Pennsylvania Warrant Comttrol No: 47402-AW-0000012-2018 ¥ Docket No: MJ-47402-CR-0000013-2018 Johnnie W Barto OTN U 5454363 DEFENDANT IDENTIFICATION INFORMATION MDse7 Printed: 01/182018 1125-12 O1-18-"18 18:88 FROY- RICHLAND PD 8142864796 T-343 PO004/0012 F565 * Commonweath of Pennsylvania Warrant Control No: 47402-AW.-0000012-2018 “ Docket No: MJ-47102-CR-0000013-2018 sohnnle W Barto OTN U 5454363 185 312688 47 (Leaq) Indecent Assault Person Less then 13 Years of Age 2eounts 1185 630168 411 Compton of Minors 2eounts 186 430495 At Endangering Wolter of Children. Parent/Guaidian/Other Cornmits Offense. cunts eave iosa7 4 Prone 01/8/2018 1220:18AM O1-18-"18 13:33 FROM- RICHLAND PD 8142684736 ‘T-343 P0005 /0012 F-565 COMMONWEALTH OF é : . POLICE CRIMINAL COMPLAINT -PENNSYLVANIA COUNTY OF: Cambria " | nagieteral Ostet Number: 47-1-02 COMMONWEALTH OF PENNSYLVANIA NOJ:Hen. Susan Gindlesperger DEFENDANT: Eom. | Teepone(e14) 266-1066 Sehnaown Pa 18604 Ei a] Dit Felony Fat ‘OD a-Fetany No Ex. ‘CB Misdemeanor Lined ‘Eaisdemesnor Pereing Cierny, Cs reloy Pend CcamcanearerSurcuneg Sates Qoinanes, Felony Surounig Sales ClAWsdereanor AC) O-lasemaanar Ne Extrdtion Wi —Tiaier Tras — Liaise ‘Han COLO Biarvican Creopmaasn) — Deoviewan Cates AE Gupe| CaO fiamy Qerxiens) Cloncionae) wines) Croxanaseay Darna Cen pin, Devvctnge/svetary, EYECoLOR Dexa Ba ein oem Dari (eens Treavitan Buzoun _ Cmannunoy Cerne) Coven ators) C2 omears ‘rer Ueeres [ore PA ‘eense Naber WaGHT(D Bia, Gives NOT pwatocaion 175, FE) Naber [WeG Number | FHT i ‘Defendant Frgersinied [VES CUNO Fingerpiat Gassttontan: Tana om) a Sm | Regan Comal ol ae a eC vi Yarra Moar Office of te attorney for tha Commonwealth Ci Approved ( Disapproved because: Dae Gaerne a TSS TORT RTT BAO ESTE ARN ——$—~ STREET 1,__ Detective Thomes E. Keir #6 Tine ee a RE RATS ET Baa of___ Richland Two. Police Deparment PAQ110500 ‘Wt Sapna oF Keay Waponeried ans Poticl GUSahIan| {PST Rgeray OAT NORE ‘do hereby state: (chock appropriate bex) 1. Hd laccuse the above named defendant who lives atthe address set forth above ‘1 leccuse the defendant whose name i¢ unknown to me but who is described as (accuse the defendant whose name and popular designabon or nickname are unknown fa ma and whom | have ‘therefore designated as John Doe or Jane Doe ith he laws of the Commonwealth of Pennsyivania at 222 323 Budfeld Street in wi a penal, syivania. in Cambria county ‘on or about 12-21-2017 approx 1645 hrs (aay Ga AOPCAIZK ~ Rew, 07/10 _ Page Lor. 1-18-18 18:38 FROM RICHLAND PD 8142864738 1-843. 0006/0012. F565 285 POLICE CRIMINAL COMPLAINT lat Namba’ —]— oa rat NaS Nba Copa Kane i ma Wie F DefondantName | Johnnio [eM Berto ‘The acts commited by the accused are described below wth exch Act of Assembly or statute violated, f appropriae, When nere is more than ona offense, each fess sheuid be numbered chronologt —e o1 =, 0 4 say a stent a was We tenn oe nan tage con on at) vite, wut fora le not tent Ink summa) ae jou ust ce the speci seen and tsar alte oarule ee seo er oeeek he EEL STISIn Retin ef he oiooe way bance noun nso, oti arent nbn te fered erases SR ee te te gnity ean acest mst be extahed ony ts at targa Soe Pakade SP Tnchoate [ET Ananpt Seheiaon Ti cepepia Otierse 18905 A 18 508A yine 0 [ane (X2)_[otte PaGrmen Good 1 wat 1108 70 Grapotoanie) | heater 7 ‘Statute Description (include the name of statute or: ordinance): INDEG ASSAULT VICT(A)13 cn Adis of the acoused associated with this Offense: PACC 3126(8)(7) Indecent Assault M1 IN THAT, on or about sald date, THE DEFENDANT did have Indecent . contact with the complainant and/or did Gause the complainant to have Indecart contact wih the person, endior intentionally caused the complainant, to.come inte eentect with seminal fui, urine er feces forthe purpose of arousing sexual desi. inthe | — aa Ca ae oy Bronce [OM — ae _ o ofthe Po me Lea a ore | Aer sae CO wea |__t app State Deserton include ihe name of statis or ordnance): | ‘Acts ofthe accused associated with this Offense: +t Berson er the complainant, namely, H.P. Age 12, being less than 13 years of age, in violation of Section '3126(a)(7) of the PA Crimes Code, (18 PS. 3126(a)(7) Tae TOR Tea e Snore | aso Cae had? ad 7 fa} 326 aire su otme Pa Crimes Coie 1] F3 | 1100 ue ted Ta Sea — Te — oe | ee ey Zane Ch Werczone Wtspplicabley | simber | ‘Statute Description (inciuoe the name of statute or ordinancs): INDEC ASSAULT VICTC)13 ‘ats ofthe accused associated with tne Offense: PACE 3126(a(7)(0)3it Indecent Assault F-3 IN THAT, on or about said date, THE DEFENDANT did have Indecent contact with the complainant andlor did ‘cause the complainant Indecent contact with the person, and/or intentionally caused the complainant Page _ of ROME ALZA = Rew, O7/20 1-18-18 13:84 FROM RICHLAND PD 8142664796 1-848 PO007/0012 F-665 #8 POLICE CRIMINAL COMPLAINT ine ame? . aan? a Se ee = an {The 2688 commited bythe accused are dascabed below wih each Act of Assembly or saute Volated, Mf aog‘oprate. Wron ABerals maz than one oer, each flere sau be numbered chara Hy ‘ 3 sume of ho fs sents aoe enuf soto etry, A aon othe sat tote, abou SELB ease tin afta bans ty bide ttre, ncn rast stad Parte ess ne ae Shs bets i iat ofan account mustbe eciohes ft ony in mat eu eign St Pace STE net Tagen) TT Aor jan Cay ase [~ an tare g | o cite 2 sg — Ea (epoicane) | Noni ieee 2on8 DiWiateZane ‘SialuteDesespton (include the rame alstaae or orlnancay ‘Rats of the accused associated wih ils Offence: ~ Berson or the complainant, namely, H.P. Age 12, being less than 13 years of aga, in violation of Section 9126(a)(7) ofthe Bacuings ‘Code. (18 Pes Grading under 3126. son Felony -3. rakaais TCT aaa z Tay Saree [Oars ian [rae a 3 6301 1)@) [ofthe PA Crimes: 2 M. A199 canine) [ote (eee ba asa De ee ‘Statue Description (inolude the mare of statute or | ordinance): * RUPTION OF Mt 1 we Acts of the accused associated with this Offense: PACE 6301 (a)(1)(f) Corruption of Minors (2 counts) IN THAT, on or about said dates THE DEFENDANT, being 18 years of age and upwarde, did corrupt or tend to corrupt he morals of he vn, Female Juvenle Vici HP age 12.4 minor under tne age of 18 yeors, by us el a or [gitres [ants aa Ca x — 5 ] ott | 2 a aa zx (evpteaney | eae samy Zone (D Woa Zone i ‘Statute Description (include the name of statue or ordinance) | ‘ets of he abused associated wih tie Oviense: abetted. enticed or encouraged a minor in the commission of a crime or knowingly assisted or encoureged such ‘nor in violating hisMer parole or court order, n violation of Secton 6301(a)7}() et the PA Grimes i L | OPE 4124 How. OF/L Page _ot O1-18-'18 18:34 FRON- RICHLAND PD 8162684796 T-943. Po00e/0012 F-586 22 POLICE CRIMINAL COMPLAINT [ Toekar Nanibars ‘ate Fled I “OTNILIveBean Number rmpiatnne RCI7177 rencarename | Shane Te [bao Tracts commited by the accused ere described below wih each Act of Assembly or statute volte I appropiate. When {ere is more than one ottanse, each offense should be numbered chronological ine ated eles wan acest mune encanto ony nes age Seba TEN ee Trehoat CO Reem Ti sotataten ‘Conaprany once | 1060" ieamea rr ioe PAC = = ei ‘AGé ol the accused associated with his Offer “| PACC 4304(a) Endangering Welfare of Children IN THAT, on or about sald date, 8 person supervising the Wola ofa hl ther han & uorisn om, . ‘Greet [oR ae leak a Tete CW Zane ‘sar [_ttappicany | Manear Sia Desoron (netude the name ol sane ov chance) ‘Acts of he accused associated wih this Offense: education, treining or control of a child Juvenile child H.P. age 12, @ child under the age of 18 years of age, THE DEFENDANT commited an offense ‘gamely, by using his a Sar aibow did touch andi rub on the vaginal area of the child, in violation of ij —Sestch 420s.) ofthe PA Crimes Cove, WE AS 4S04/alN@IG)-mlag.iet cn "VOOR OF KE: Ti Soletation Ti Conseiraay ir) west -sppficabte) ‘Statute Desesipton (include the nama of staite or erainance): ‘cis of the accused associaied wih thie Offense: | l AUPE S120 ~ Rov, 07/20 Poge_ of O'-18- 18 18:34 FROM- RICHLAND PD 8142064796 ‘T-S48 POO0G/0012 F-5E5 . #88 POLICE CRIMINAL COMPLAINT - Naber, —Date Fas | OTH NGBGan Nomar Tail dent Number RCLTA77 . Far Tae? Tas Detendantneme | Mdehnnia Ww. Beno 4 This complaint consisis ofthe preceding page(s) numbered though _. ye Becused, as sted and hereafter, were against he peace and dignity ofthe Commnwealth n ofthe statutes tad, ‘The acts committed by sma |Penneytvanta and were contrary tothe Act() ofthe Assembly, or in volaton ahaha ot pobaicaise mut be see ewer oBtore be {Betore a warrant of arrest can be issued, Fssuing authority, and attached.) Tnidely (8 2019! (Carey rane ‘AND NOW ee dat | cory tte comps hs bean propery exploded, ‘an aa robb cause mst be ela baae «waa can based RODE 14h = Rew, O7/0 ‘O1-18-"18 18:84 FROM- RICHLAND PD 8142864736 ‘T-843 POOTO/OOI2 F-585 (gs roth lovegiomaton tr esh codon, ae Co-Defendant Data Sheet E 7 c RF Renin tend Fs aaa c ee tia Bao RCL7477, odelercarct 51 Waar “Trae Sanat aa iy, Sa CAP CaaS Taare ——— CoDelendant 4 Wanay CH, Sais CUP Caaay “Team AOC ALA eon, 07/40 Page__ot, 1-18-18 18:34 FROM- RICHLAND PD 8142664796, 7-343 POOT1/0012 F-565 248 POLICE CRIMINAL COMPLAINT «+ | Teche Namba ~~ Date Hier ‘DTNLveSEan Nimbar [Senet ante RCb71; Fat Wee? E PetencantNene: | “Johnnie wW. ‘| Barto AFFIDAVIT of PROBABLE CAUSE. On this data this detective did complete an investigation into a reported indecent assault and corruption of minor complaint fied by the mother of @ 12 year old child nemed H.P. ner daughter. ‘The chilé reported to her mother on 12-21-17 that she was assaulted by the DEFENDANT while in his office for a scheduled visit. At or near the end of the visit the child was seated on the lep of the DEFENDANT and the chid disclosed to her mother shortly after the visit that the DEFENOANT. ‘lbbed his hand on her vagina inside her pants egainst her underpants, When tha child revealed these events to thie mother she contacted Laurel Pediatrics by phone to speak {0 the DEFENDANT regarding the childs allegations. During that phone call the mother reported that the DEFENDANT stated to her that her daughter H,P, was not lying about what she fold her mother. This Detective did meet with the DEFENDANT on 12-21-17, who came to Richland PD voluntarily. The DEFENDANT was advised that because this is criminal matter he would be given his canctitutional rights and he indicated he understood. The DEFENDANT signed and agreed to speak to this detective ‘waiving his right to an attomey, uring the interview of the DEFENDANT, he made admissions to having inappropriate contact with the Chid H.P. The DEFENDANT explained that he was holding the child tighty on his lap and he was doing work on his computer over @ prescription. When this detective asked the DEFENDANT to show this, detective how he was holding the child the DEFENDANT showed this detective a position that he hed holding the child with hls hand directly over the vaginal area of the female child, When ssked about holding the child in that location the DEFENDANT deserited holeing her tight in her crotch area and also sometimes on her waist. The juvenile child H.P. did attend and uriderwent a forensic examination at the Child Advocacy Center in Richland Township on 12-26-17. The child revealed in the interview that the DEFENDANT did pleco his hand down her pants Geans) onto the cutside of her underpants and began to rub his hard on her 4, Detective Thomas E. Keirn BEING DULY SWORN ACCORDING To THE LAW, DEPOSE AND SAY THAT THE FACTS SET FORTH IN THE FOI “FIDAVIT ARE TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION (Sige of tar ‘Sworn to me and subscribed before me this eayof , aak I fie Date 2 Magisterial Distt suoge ‘My commission expires first Monday of January, 27) tf OPE AAC Ra, aA Page t of __ 7-948 PO012/0012 F-565 01-18-18 13:34 FROM- RICHLAND PD 8142064766 1 2 POLICE CRIMINAL COMPLAINT v AFFIDAVIT CONTINUATION PAGE. ‘Docket Number: Filed: “OTNLiveSean Number — eee eset hinbar ~~ First ‘Middle: Last dentine: | Sania [ee ane AFFIDAVIT of PROBABLE CAUSE CONTINUATION wouinal area. The child stated that she revealed ard dlociosed what had happened whe the doctors office to her mother on the way home. Pir peite fevealed during the interview that on 8 prior appointment with the DEFENDANT, while ying ‘onthe exam table the DEFENDANT would rest his efbow an her crotch area wile he was talking get out of 4s 2 result ofthe admissions made by the DEFENDANT in the Interview with this detective and the Framination ofthe cits by @ forensic examiner the above charges are fled ao a reell ofa poice investigation. AONE AELC~ Rew. 07/20 Page__of__ COMMONWEALTH OF PENNSYLVANIA, DEPARTMENT OF STATE BEFORE THE STATE BOARD OF MEDICINE ‘Commonwealth of Pennsylvania, | Bureau of Professional and | File No.: 17-49-014207 Occupational Affairs v. Johnnie Wilson Barto, M.D. Docket No: (49-18 Respondent | CERTIFICATE OF SERVICE I, Mark R, Zogby, hereby certify that I have is, of JN, 2018 caused a true and correct copy of the foregoing Petition and Order of Immediate Tem Suspension to be served upon all parties of record in this proceeding in accordance with the requirements of Section 33.31 of the General Rules of Administrative Practice and Procedure, 1 Pa. Code § 33.31 (relating to service by the agency). PERSONAL SERVICE AND CERTIFIED ELECTRONIC RETURN RECEIPT: Johnnie Wilson Barto, MD. 201 Delta Drive Johnstown, PA 15904 9174 9690 0935 0131 3741 76 “Mark R. Zogby Prosecuting Attomey Commonwealth of Pennsylvania Department of State P.O. Box 69521 Harrisburg, PA 17106-9521 (717) 783-7200

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