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OFFICE OF THE STATE'S ATTORNEY 157 North Main Street

MAD I SON CO U N TY, ILLI NO I S Suite 402


Edwardsville, Illinois 62025

Thomas D. Gibbons
State 's Attorney Voice: 618 692-6280
Facsimile: 618 656-7312

January 13, 2020

Mr. Steven D. Weinhoeft


United States Attorney
Southern District of Illinois
9 Executive Drive
Fairview Heights, IL 62208

Mr. Weinhoeft:

As you are most likely aware from our Offices' prior coordination on cases, the Citizens of Madison
County have long suffered from an invasion of criminals traveling to our county to commit crimes
against individuals, businesses, and the community at large.

More recently, these crimes have turned deadly. Since December 19th, we have endured three cases of
homicide - one including multiple victims - which were the result of perpetrators traveling across state
lines to commit their crimes; each time with deadly results. I have attached a list of these cases and
copies of the pending charges to this letter, for your reference. I will provide a complete copy of each
file, upon your request.

I am writing today to formally request your office review these cases for prosecution under the
Federal First Degree Murder Statute (18 USC §1111) and/or any other applicable statute(s) which
would allow for the application of the Federal Death Penalty as the sentence to be imposed upon
the individuals who committed these brutal, interstate murders.

Since 2011, I no longer have available to me the ultimate punishment for the most brutal and heinous
crimes. The United States Department of Justice, however, still has the power to seek a sentence of
death for such crimes. For that reason, and for the safety and security of the Citizens of Madison
County, I implore you to take up the charge and seek the ultimate justice which is so truly deserved by
the victims of these horrible crimes and by all the good people of Madison County.

I will await your affirmative reply.

Sincerely,

--;z., )>. $ft_


Thomas D. Gibbons
Madison County State' s Attorney
MADISON COUNTY, ILLINOIS - INTERSTATE HOMICIDE CASES
(December 19, 2019 - January 8, 2020)

December 19, 2019:

Victim(s):
1. Shari Yates
2. Andrew Brooks
3. John McMillian

Defendant(s): Current Charges Pending:


1. Brady Witcher First Degree Murder, Armed Robbery, Agg. Vehicular Hijacking, Unl.
Possession of Weapon by Felon
2. Brittany McMillan First Degree Murder, Armed Robbery, Agg. Vehicular Hijacking

Location: 300 Block, Mill St., Bethalto, Illinois

Basic Description of facts supporting federal jurisdiction: Defendants' multistate crime spree began
December 13th, in Birmingham, Alabama, with the kidnapping and murder of Kellie Ann Hughes. They
committed additional armed robberies, kidnappings and auto thefts in Birmingham and Clarksville,
Tennessee. On December 19th, they shot and killed the three victims in the Bethalto home and fled in
one victim's car to Hazelwood, Missouri.

January 4, 2020:

Victim(s):
1. Randy L. Gori
2. E.G. (minor)
3. G.G. (minor)

Defendant(s): Current Charges Pending:


1. Timothy Banowetz First Degree Murder, Armed Robbery, Auto Theft,
Agg. Unlawful Restraint

Location of Offense: Mooney Creek Rd. , unincorporated Madison County outside


Edwardsville, Illinois

Basic Description of facts supporting federal jurisdiction: the


Defendant travelled by automobile, from Missouri, to a secluded location near the home of the victim.
There, the Defendant
threatened them with a deadl

where he, ultimately, took Mr. Gori ' s life by


stabbing him to death. When the crime was interrupted by an individual who had arrived at the house,
January 8, 2020:

Victim(s):
1. Jason Thomas

Defendant( s): Current Charges Pending:


1. Kadeem Noland First Degree Murder, Unl. Possession of Weapon by Felon
2. Christine Mills First Degree Murder

Location: 2200 Block Benton St., Granite City, Illinois

Basic Description of facts supporting federal jurisdiction: Defendants were staying


of St. Louis around the time of the murder. Shortly before the murder, they travelled
in a vehicle and proceeded to the home on Benton.
When Mr. Thomas entered the home, he was shot to
de~ de the front door. The defendants then returned to their vehicle and immediately fled back
to - - the City of St. Louis.
l~IJ ~f=ja
IN THE cmcurr COURT OF THE THIRD JUDICIAL CIRCUI.,- ~ 101
MADISON COUNTY, ILLINOIS DEC 2 3 2019 ~
CU.ti( OF Cl"C
THE PEOPLE O F T HE STA TE O F ILL [NOi$ T>;i~o " un cou,,-,·
lUD4CJA. "Jt
M~OlsoN C I.. Cutcun
vs. No. J9CF L{O.S;;2.. OUNTY. 1t.L1No1s

BRITTANYN. MCMILLAN
F/W DOB I 1/19/1991
Defendant

INFORMATION
Thomas D. Gibbons, State 's Attorney in andfor the County ofMadison, State oflllinois, in the name and by the
authority of the People of the state of Illinois, charges that:

BRITTANY N. MCMILLAN

On December 19, 2019, at and in the County of Madison in the Slate oflllinois, committed the offense of

COUNT I: FIRST DEGREE MURDER {CLASS M}: in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while anned with a firearm, and with the intent to kill or do great bodily hann to Shari A. Yates, shot
Shari A. Yates in the head, thereby causing the death of Shari A. Yates, in violation of720 ILCS 5/9-l(a)(I), and against the peace
and dignity of the said People of the State of Illinois.

COUNT II: FIRST DEGREE MURDER {CLASS M): in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while anned with a fireann, and while knowing such act created a strong probability of death or great
bodily harm to Shari A. Yates, shot Shari A. Yates in the head, thereby causing the death of Shari A. Yates, in violation of720 ILCS
5/9-l(a)(2), and against the peace and dignity of the said People of the State of Illinois.

COUNT Ill: FIRST DEGREE MURDER {CLASS M}: in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while anned with a firearm, and while committing a forcible felony, being Anned Robbery (720 ILCS
5/l 8~2(a)(2)) and Aggravated Vehicular Hijacking (720 ILCS 5/18-4(a)(4)), shot Shari A. Yates in the head, thereby causing the death
of Shari A. Yates, in violation of720 ILCS 5/9-l(a)(J), and against the peace and dignity of the said People of the State of Illinois.

COUNT IV: FIRST DEGREE MURDER {CLASS Ml: in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while anned with a firearm, and with the intent to kill or do great bodily harm to Andrew J. Brooks, shot
Andrew J. Brooks in the head, thereby causing the death of Andrew J. Brooks, in violation of720 ILCS 5/9-l(a)(I), and against the
peace and dignity of the said People of the State of Illinois.

COUNT V: FIRST DEGREE MURDER {CLASS M}: in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while anned with a firearm, and while knowing such act created a strong probability of death or great
bodily harm to Andrew J. Brooks, shot Andrew J. Brooks in the head, thereby causing the death of Andrew J. Brooks, in violation of
720 ILCS 5/9-l(a)(2), and against the peace and dignity of the said People of the State of Illinois.

COUNT VI: FIRST DEGREE MURDER {CLASS M}: in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while armed with a fircann and while committing a forcible felony, being Anned Robbery (720 ILCS
S/I 8-2(a)(2)) and Aggravated Vehicular Hijacking (720 ILCS S/18-4(a)(4), shot Andrew J. Brooks in the head, thereby causing the
death of Andrew J . Brooks, in violation of720 ILCS 5/9-l(a)(J), and against the peace and dignity of the said People of the State of
Illinois.

COUNT VII: FIRST DEGREE MURDER (CLASS M}: in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while anned with a fireann, and with the intent to kill or do great bodily hann to John E. McMillian, shot
John E. McMillian in the head, thereby causing the death of John E. McMillian, in violation of720 ILCS 5/9-l(a)(I), and against the
peace and dignity of the said People of the State of Illinois.
COUNT VIII: FIRST DEGREE MURDER {CLASS M): in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while armed with a firearm, and while knowing such act created a strong probability of death or great
bodily harm to John E. McMillian, shot John E. McMillian in the head, thereby causing the death of John E. McMillian, in violation of
720 ILCS 5/9-l(a)(2), and against the peace and dignity of the said People of the State of Illinois.

COUNT IX: FIRST DEGREE MURDER (CLASS M): in that said defendant, or a person for whom she is legally accountable,
without lawful justification, while armed with a firearm, and while committing a forcible felony, being Anned Robbery (720 ILCS
S/l 8-2(a)(2)) and Aggravated Vehicular Hijacking (720 ILCS 5/18-4(aX4)), shot John E. McMillian in the head, thereby causing the
death of John E . McMillian, in violation of720 ILCS 5/9-l(aXJ), and against the peace and dignity of the said People of the State of
Illinois.

COUNT X: ARMED ROBBERY (CLASS X): in that said defendant or a person for whom she is legally accountable, knowingly
took property, being personal identification, wallet and car keys from the person or presence of Shari A. Yates, by the use of force and
while armed with a firearm, in violation of 720 ILCS 5/ I 8-2(a)(2), and against the peace and dignity of the said People of the State of
1
Illinois.

COUNT XI: AGGRAVATED VEHICULAR HIJACKING (CLASS X): in that said defendant or a person for whom she is legally
accountable, knowingly took a motor vehicle, being a 2011 Blue Ford Fusion (#3F AHPOKCI BRI 94522)(IL registration #8283127),
from the person or presence of Shari A. Yates by the use of force and while armed with a firearm, in violation of720 ILCS 5/18-
4(a)(4), and against the peace and dignity of the said People of the State of Illinois.

State's Attorney, Madison County, Illinois

The undersigned on oath, says that the facts set forth in the foregoing
lnforma · are true in substance and matter of fact
Bail is set at s NO IJorJt)
rtw:J~
~ JUOOE

SWORN to before me this 21st of December, 2019.


IN THE CIRCUIT COURT OF THE THIRD JUDICIAL CIRCUIT
MADISON COUNTY, ILLINOIS

THE PEOPLE OF THE STATE OF ILLINOIS

VS . No. 19CF4053

BRADY K. WITCHER
M/W DOB 11/24/1978
Defendant

INFORMATION
11
Thomas D. Gibbons, State 's Attorney in andfor the County ofMadison, State ofJ l / i n ~ ~ J = n
authority of the People of the state of Illinois, charges thaJ: MADISON COUNT"(, IWNOf.5

BRADY K. WITCHER
011 December 19, 2019, at and in the County of Madison in the State oflllinois, committed the offense of-

COUNT I: FIRST DEGREI! MURDER (CLASS M): in that said defendant. without lawful justification, and by means of
personally discharging a firearm, and with the intent to kill or do great bodily harm to Shari A. Yates, shot Shari A. Yates in the head,
thereby causing the death of Shari A. Yates, in violation of720 ILCS S/9-l(a)(I), and against the peace and dign ity of the said People
of the State of Illinois.

COUNT II: FIRST DEGREE MURDER (CLASS M): in that said defendant. without lawful justification, and by means of
personally discharging a firearm, knowing such act created a strong probability of death or great bodily harm to Shari A. Yates, shot
Shari A. Yates in the head, thereby causing the death of Shari A. Yates, in violation of720 ILCS S/9-l(a)(2), and against the peace
and dign ity of the said People of the State oflllinois.

COUNT III: FIRST DEGREE MURDl!R (CLASS M): in that said defendant, without lawful justification, and by means of
personally discharging a firearm, and while committing a forcible felony, being Armed Robbay (720 ILCS S/18-2(a)(4)) and
Aggravated Vehicular Hijacking (720 ILCS S/18-4(a)(6)), shot Shari A. Yates in the head, thereby causing the death of Shari A.
Yates, in violation of720 ILCS S/9-l(a)(J), and against the peace and dignity of the said People of the State of Illinois.

COUNT IV: FIRST Dl!:GREE MURDER <CLA~ M): in that said defendant. without lawful justification, and by means of
personally discharging a firearm, and with the intent to kill or do great bodily harm to Andrew J. Brooks, shot Andrew J. Brooks in the
head, thereby causing the death of Andrew J. Brooks, in violation of720 ILCS S/9-l(a)(I), and against the peace and dignity-of the
said People of the State of Illinois.

COUNT V: FIRST DEGREE MURDF.R (CLASS M): in that said defendant. without lawful justification, and by means of
personally discharging a firearm, knowing such act created a strong probability of death or great bodily harm to Andrew J. Brooks,
shot Andrew J. Brooks in the head, thireby causing the death of Andrew J. Brooks, in violation of720 ILCS S/9-l(a)(2), and against
the peace and dignity of the said People of the State of Illinois.

COUNT VI; FIRST DEGREE MURDER (CLASS M); in that said defendant, without lawful justification, and by means of
personally discha.-ging a firearm, and while committing a forcible felony, being Armed Robbay (720 ILCS S/18-2(a)(4)) and
Aggravated Vehicular Hijacking (720 ILCS S/I8-4(a)(6)), shot Andrew J. Brooks in the head, thereby causing the death of Andrew J.
Brooks, in violation of720 ILCS S/9-l(a)(J), and against the peace and dignity of the said People of the State of Illinois.

COUNT VII: FIRST DEGREE MURDER (CLASS M): in that said defendant, without lawful justification, and by means of
personally discharging a firearm, and with the intent to kill or do great bodily harm to John E. McMillian, shot John E. McMillian in
the head, thereby causing the death of John E. McMillian, in violation of720 ILCS S/9-l(a)(I), and against the peace and dignity of
the said People of the State of Illinois.

COUNT VIII : FIRST DEGREE MURDER (CLASS M): in that said defendant, without lawful justification, and by means of
personally discharging a firearm, knowing such act created a strong probability of death or great bodily harm to John E. McMillian,
shot John E. McMillian in the head, thereby causing the death of John E. McMillian, in violation of720 ILCS S/9- l(a)(2), and against
the peace and dignity of the said People of the State of Illinois.
COUNT IX: FIRST DEGREE MURDER (CLASS M}: in that said defendant, without lawful justification, and by means of
personally discharging a firearm, and while committing a forcible felony , being Armed Robbery (720 ILCS 5/ 18-2(a)(4)) and
Aggravated Veh icular Hijacking (720 ILCS 5/18-4(a)(6)), shot John E. McMillian in the head, thereby causing the death of John E.
McMillian, in violation of720 ILCS 5/9-t(aX3), and against the peace and dignity of the said People of the State of Illinois.

COUNT X: ARMED ROBBERY {CLASS X}: in that said defendant knowingly took property, being personal identification, wallet
and car keys from the person or presence of Shari A. Yates, by the use of force, and during the commission of this offense said
defendant personally discharged a firearm that proximately caused the death of Shari A. Yates, in violation of720 ILCS 5/I8-2(aX4),
and against the peace and dignity of the said People of the State of Illinois.

COUNT XI: AGGRAVATED VEHICULAR HIJACKING <CLASS X): in that said defendant knowingly took a motor vehicle,
being a 2011 Blue Ford Fusion (#3FAHPOKCI BRl94522)(1L registration #8283127), from the person or presence of Shari A. Yates,
by the use of force, and during the commission of this offense said defendant personally discharged a firearm that proximately caused
the death of Shari A. Yates, in violation of720 ILCS 5/ I 8-4(a)(6), and against the peace and dignity of the said People of the State of
Illinois.

COUNT XII: UNLAWFUL POSSESSION OF WEAPONS BY A FELON (CLASS 2) in that said defendant, a person who has
been convicted of Felon in Possession of a Firearm, a felony under the federal law of the United States of America, knowingly
possessed a firearm, being a 45 caliber Springfield Armory XO semiautomatic handgun, in violation of720 ILCS 5/24-1.1 (a), and
against the peace and dignity of the said People of the State of Illinois.

State's Attorney, Madison County, Illinois

The unde igned on oath, says that the facts set forth in the foregoing
Info n are true in substance and matter of fact.

SWORN to before me this 2lst of December, 2019.


IN THE CIRCUIT COURT OF THE THIRD JUDICIAL CIRCUIT
MADISON COUNTY, ILLINOIS

THE PEOPLE OF THE ST ATE OF ILLINOIS

VS. No. 2020 CF 000053

TIMOTHY M. BANOWETZ
M/W DOB 6/02/ 1991
Defendant
[rlllk~~
JAN 0 6 2020
INFORMATION CLERK Ot- CIRCUIT COURT #34
lHlRD JUD4CIAL CIRCUIT
. • · . .,..un.iSON COUNTY, ILLINOIS
Thomas D. Gibbons, State s Auorney m and for the County ofMadison, State ofllltftUlr, 1n Ifie name and by the
authority ofthe People of the state ofIllinois, charges that:

TIMOTHY M. BANOWETZ
on January 04, 2020, at and in the County of Madison in the State ofIllinois, commiued the offense of

COUNT I: FIRST DEGREE MURDER (CLASS M): in that said defendant, without lawful justification, and with the intent to kill
or do great bodily hann to Randy Gori, stabbed and cut Randy Gori about his body thereby causing the death of Randy Gori, in
violation of 720 ILCS 5/9- l(aXI ), and against the peace and dignity of the said People of the State of Illinois.

COUNT II: FIRST DEGREE MURDER (CLASS M): in that said defendant, without lawful justification, stabbed and cut Randy
Gori about his body, knowing such act created a strong probability of death or great bodily harm to Randy Gori, thereby causing the
death of Randy Gori, in violation of 720 ILCS 5/9-1 (aX2), and against the peace and dignity of the said People of the State of Illinois.

COUNT Ill: FIRST DEGREE MURDER (CLASS M}: in that said defendant, without lawful justification, while committing a
forcible fe lony, Armed Robbery in violation of720 ILCS 5/ l8-2(aXI), caused the death of Randy Gori in violation of720 ILCS 5/9-
l(a)(J), and against the peace and dignity of the said People of the State of Illinois.

COUNT IV: ARMED ROBBERY (CLASS X) in that said defendant, while anned with a dangerous weapon, a knife, took
property, being United States Currency, from the person or presence of Randy Gori, by the use of force, in violation of 720 ILCS
5/ l 8-2(aXI), and against the peace and dignity of the said People of the State of Illinois.

COUNT V: ARMED ROBBERY (CLASS Xl in that said defendant, while armed with a dangerous weapon, a knife, took property,
being a cellular telephone, from the person or presence of a minor child with initials E.G ., by the use of force, in violation of720 ILCS
5/ l 8-2(a)( I), and against the peace and dignity of the said People of the State of Illinois.

COUNT VI: ARMED ROBBERY {CLASS X) in that said defendant, while armed with a dangerous weapon, a knife, took
property, being a cellular telephone, from the person or presence of a minor child with initials G .G., by the use of force, in violation of
720 ILCS 5/ l 8-2(a)(l ), and against the peace and dignity of the said People of the State of Illinois.

COUNT VII: AGGRAVATED OFFENSES RELATING TO MOTOR VEHICLES {CLASS I} in that the defendant knowingly
possessed a motor vehicle, a 2020 Rolls-Royce Cullinan belonging to Randy Gori, knowing it to have been stolen, and said motor
vehicle is valued in excess of $25,000, in violation of 625 ILCS 5/4-I03(a)(3 .2), and against the peace and dignity of the said People
of the State of Illinois.

COUNT VIII: AGGRA V AT£D UNLAWFUL RESTRAINT (CLASS 3) in that said defendant knowingly and without authority
detained Randy Gori, while armed with a deadly weapon, a knife, in that said defendant ordered Randy Gori to the ground and bound
the hands of Randy Gori, in violation of 720 ILCS 5/10-3 . l(a), and against the peace and dignity of the said People of the State of
Illinois.

COUNT IX: AGGRAVATED UNLAWFUL RESTRAINT (CLASS 3) in that said defendant knowingly and without authority
detained a minor child with initials E.G., while armed with a deadly weapon, a knife, in that said defendant ordered E.G. to the ground
and bound the hands of E.G ., in violation of720 ILCS 5/ 10-3. l{a), and against the peace and dignity of the said People of the State of
lllinois.
COUNT X; AGGRAVATED UNLAWFUL RESTRAINT (CLASS 3) in that said defendant knowingly and without authority
detained a minor child with initials G.G., while armed with a deadly weapon, a knife, in that said defendant ordered G.G. to the
ground and bound the hands ofG.G., in violation of720 ILCS S/10-3.l(a), and against the peace and dignity of the said People of the
State of Illinois.

State's Attorney, Madison County, Illinois

The undersigned on oath, says that the facts set forth in the foregoing
Infonnation are true in substance and matter of fact.
Bail is set at $ _ _.LV~..Oc..--g.....,._O~n~d---

~
CU/ajr
MADISON COUNTY(SHERIFF)

"OFFICIAL SEAL"
ALISON J. RANDOLPH
NOT~.RY PUBLIC- STATE OF IUINOIS
rK'f COMMISSION EXPIRES MAY 24, 2021
IN THE CIRCUIT COURT OF THE THIRD JUDICIAL CIRCUIT
MADISON COUNTY, ILLINOIS

THE PEOPLE OF THE STATE OF ILLINOIS

VS. No. 2020 CF 000097

KADEEM L. NOLAND
M/B DOB 8/28/1992
Defendant lrllllaf&ij
INFORM AT-ION
JAN 09 2020

Thomas D. Gibbons, State 's Attorney in andfor the County of Madison, State ofIllinois,
authority of the People of the state ofIllinois, charges that:
i~~~~~:OIS
CURK OF CIROJ1T COURT t1t

KADEEM L. NOLAND
on January 09, 2020, al and in the County ofMadison in the State ofIllinois, committed the offense of

COUNT I: Fint Degree Murder {Class M): in that said defendant, without lawful justification and by means of
personally discharging a firearm, and with the intent to kill or do great bodily hann to Jason Thomas, shot Jason Thomas,
thereby causing the death of Jason Thomas, in violation of720 ILCS 5/9-l(a)(I), and against the peace and dignity of the
said People of the State of Illinois.

COUNT II: Fint Degree Murder {Class M): in that said defendant, without lawful justification and by means of
personally discharging a firearm, shot Jason Thomas, knowing such act created a strong probability of death or great
bodily harm to Jason Thomas, thereby causing the death of Jason Thomas, in violation of720 ILCS 5/9-l(a)(2), and
against the peace and dignity of the said People of the State of Illinois.

COUNT III: Unlawful Possession of Weapons by a Felon <Class 2): in that said defendant, a person who has been
convicted of a forcible felony, the offense of Robbery, a felony under the law of Illinois, on 11/12/2010, in the 22 nd
Judicial Circuit Court of St. Louis Missouri, Cause Number 1022CR028030l, knowingly possessed on or about his person
a firearm, in violation of720 ILCS 5/24-1 . l(a), and against the peace and dignity of the said People of the State of
Illinois .

State's Attorney, Madison County, Illinois

The undersigned on oath, says that the facts set forth in the foregoing
lnfonnation are true in substance and matter of fact.

I
"OFFICIAL SEAL"
PAULA Y. WALKER
I
l!i~~~ION
NOTARY PUBLIC - STATE OF IWNOIS ,
,;XPIRESAUG. 14, 2022,._J
IN THE CIRCUIT COURT OF THE THIRD JUDICIAL CIRCUIT
MADISON COUNTY, ILLINOIS

THE PEOPLE OF THE ST ATE OF ILLINOIS

vs.

KRISTINE N . MILLS
W /W DOB 2/04/1985
Defendant
No.

rrn~~~;
2020 CF 00~8 ~

JAN O9 2020
{'fil

CLERK m CIRCUIT COURT #34


INFORMATION THIRD JUDICIAL CIRCUIT
MADISON COUNTY, ILLINOIS

Thomas D. Gibbons, State 's Attorney in and for the County ofMadison, State of0/inois, in the name and by the
authority of the People ofthe state ofIllinois, charges that:

KRISTINE N. MILLS
on January 09, 2020, at and in the County of Madison in the State ofIllinois, committed the offense of

COUNT I: First Degree Murder {Class M): in that said defendant, without lawful justification and by means of
personally discharging a firearm, and with the intent to kill or do great bodily hann to Jason Thomas, shot Jason Thomas,
thereby causing the death of Jason Thomas, in violation of 720 ILCS S/9-l(aXI), and against the peace and dignity of the
said People of the State of Illinois.

COUNT Il: First Degree Murder (Class Mli in that said defendant, without lawful justification and by means of
personally discharging a firearm, shot Jason Thomas, knowing such act created a strong probability of death or great
bodily harm to Jason Thomas, thereby causing the death of Jason Thomas, in violation of720 ILCS 5/9-l(a)(2), and
against the peace and dignity of the said People of the State of Illinois.

State's Attorney, Madison Cotmty, Illinois

The undersigned on oath, says that the facts set forth in the foregoing
Information are true in substance and matter of fact.

SWORN to before me this 9th of January, 2020.

I
~
i
"OFFICIAL SEAL"
PAULA Y. WALKER
NOTARY PUBLIC - STATE OF ILLINOIS
MY COMMISSION EXPIRES AUG. 14. 2022
\ ~f-~
Notary Public
<

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