State of Minnesota District Court County of Hennepin Fourth Judicial District CCT LIST CHARGE STATUTE ONLY MOC GOC CTY ATTY CONTROLLING 1 609.342 L1A43 N FILE NO. AGENCY CONTROL NO 2 609.342 L1A43 N 10-5360 MN0272900 10004416 3 609.342 L1A33 N 4 609.342 L1A33 N COURT CASE NO. DATE FILED 5 609.344 L3A33 N Amended Tab Charge Previously Filed if more than 6 counts (see attached) if Domestic Assault as defined by MS 518B01, sub2a,b SERIOUS FELONY SUMMONS State of Minnesota, FELONY WARRANT PLAINTIFF, GROSS MISDM DWI ORDER OF DETENTION VS. GROSS MISDM EXTRADITION NAME: first, middle, last OSWALD REID Date of Birth MNCIS #: 27-CR-10-23545 10/14/72 LE#: 10-17402 DEFENDANT, SILS ID: 679539 2717 58TH AVE N TRACK ID: 2412590 BROOKLYN PARK, MN 55344 AMENDED COMPLAINT The Complainant, being duly sworn, makes complaint to the above-named Court and states that there is probable cause to believe that the Defendant committed the following offense(s). The complainant states that the following facts establish PROBABLE CAUSE: The offense portion has been amended to add Counts 2-5. The probable cause portion has been amended as follows: Complainant, Paul Fieldseth, of the Champlin Police Department, has investigated the facts and circumstances of this offense by reading and reviewing the reports of other officers and believes the following establishes probable cause: In February 2007, Victim 2, a known adult female, reported to Champlin police and school officials that in October 2006, when she was 15 years old, the defendant, OSWALD REID, sexually assaulted her. At the time, the defendant, whose birth date is 10/14/1972, was approximately 34 years old. Specifically, she stated that one night after a party at the defendant’s house, the defendant supplied her and her then teenaged cousin, Victim 3, with alcohol, promising to pay for them to get their nails done if they drank the alcohol. The two girls went to bed, extremely intoxicated. Victim 2 woke up to find the defendant on top of her penetrating her vagina with his penis. Investigators interviewed Victim 3 at the time, who agreed that the defendant provided her and Victim 2 with alcohol but stated that she was not aware of any sexual activity. On May 19, 2010, Victim 3, now a known adult female, approached officers and told them that she had more information regarding a 2007 case that she had been interviewed about. Victim 3 reported the additional information to the officers. As part of this report, officers learned that Victim 1, another known adult female, also may have something to report to officers involving the same suspect. Victim 3 told officers that she had not told the officers the whole truth in 2007 because she was afraid of the defendant, who is her step-father. She stated that in 2006, the defendant gave her and Victim 2 alcohol to the point FORM-J REV. 12/95 Page 2 that they were extremely intoxicated. The defendant followed the girls to Victim 3’s bedroom. Victim 3 passed out, but woke up several times. She recalled movement in the bed. At one point, the defendant told Victim 3 that Victim 2 had urinated on herself and needed new pants. Victim 3 provided the defendant new pants for Victim 2 and the defendant changed Victim 2’s pants. Victim 3 stated that Victim 2 had not urinated on the bed. Victim 3 stated that she and Victim 2 are not close and have not spoken during the last few years. Victim 3 also told police that beginning in approximately 2002, when she was 11 years old, through recently the defendant sexually assaulted her on a regular basis. Victim 3 stated that between 2002 and 2005, the defendant touched her intimate parts and engaged in sexual intercourse with her on a regular basis. As a result, Victim 3 became pregnant in 9th grade. After the pregnancy, the defendant refrained from penile/vaginal penetration, but continued giving Victim 3 oral sex, forcing her to give him oral sex, and touching her intimate parts including digital penetration of her vagina. This continued until Victim 3 was able to move out of the house last year. Between 2002 and 2005, Victim 3 and the defendant lived in Champlin, Hennepin County, Minnesota. After moving out of state briefly, the family returned to Champlin in 2006 and then moved to Brooklyn Park, Hennepin County, Minnesota in 2007. Victim 3 stated that the abuse took place at home. Victim 3 also stated that her cousin Victim 1, a known adult female, had related information. Officers made contact with Victim 1 who agreed to speak with them. Victim 1 acknowledged that OSWALD REID, the defendant herein, is her step uncle and that she was molested by the defendant three times since being in the sixth grade. Victim 1 reported that she was at her grandmother’s home located at 658 Fuller St. in St. Paul when the defendant called her into a bedroom and pulled down her pants as well as his own. Victim 1 reported that the defendant had his penis out and was rubbing it on Victim 1’s underwear. Victim 1 reported that the defendant lay on top of her during this incident. Victim 1 reported that a second incident occurred when she was 14 or 15 years old while at 11819 W. River Road in Champlin, Hennepin County, Minnesota. Victim 1 reported that the defendant supplied her with alcohol mixed with “Juicy Juice” and encouraged her to drink it. Victim 1 reported that the defendant came into the basement bedroom where Victim 1 was staying, took Victim 1’s pants off, and made her play with his penis. Victim 1 reported that the defendant then “played” with her genital area and inserted his fingers into her vagina. The defendant threatened to hurt Victim 1’s aunt, VR, if she ever told anyone about his assaults. Victim 1 turned 14 in November 2003. Victim 1 reported a third incident at the same location that occurred when Victim 1 was 15 years old. Victim 1 reported that she was again sleeping in a basement bedroom when the defendant entered the room, rubbed her breasts and vagina and then inserted his fingers into her vagina. The defendant told Victim 1 to shut up and wake up like nothing ever happened. During this incident, the defendant made Victim 1 give him oral sex and rub his penis until he ejaculated. Page 3 OFFENSE COUNT 1: CRIMINAL SEXUAL CONDUCT IN THE FIRST DEGREE (FELONY) MINN. STAT. § 609.342, SUBD. 1(g), SUBD. 2; § 609.101, SUBD. 2; § 609.3455 PENALTY: 0-30 YEARS AND/OR $12,000-$40,000 PLUS CONDITIONAL RELEASE That on or between January 1, 2003 and January 1, 2006, in Hennepin County, Minnesota, OSWALD REID, born 10/14/1972, engaged in sexual penetration with Victim 1, a person under sixteen (16) years of age at the time of the penetration, and OSWALD REID is the victim’s step uncle. COUNT 2: CRIMINAL SEXUAL CONDUCT IN THE FIRST DEGREE (FELONY) MINN. STAT. § 609.342, SUBD. 1(b), SUBD. 2; § 609.101, SUBD. 2; § 609.3455 PENALTY: 0-30 YEARS AND/OR $12,000-$40,000 PLUS CONDITIONAL RELEASE That on or between October 1, 2006 and October 30, 2006, in Hennepin County, Minnesota, OSWALD REID, born 10/14/1972 who was in a position of authority over Victim 2, engaged in sexual penetration with Victim 2, a person between the ages of thirteen and sixteen years at the time, and OSWALD REID is more than forty-eight months older than the Victim 2. COUNT 3: CRIMINAL SEXUAL CONDUCT IN THE FIRST DEGREE (FELONY) MINN. STAT. § 609.342, SUBD. 1(a), SUBD. 2; § 609.101, SUBD. 2; § 609.3455 PENALTY: 0-30 YEARS AND/OR $12,000-$40,000 PLUS CONDITIONAL RELEASE That on or between July 28, 2002 and July 27, 2004, in Hennepin County, Minnesota, OSWALD REID, born 10/14/1972, engaged in sexual penetration with Victim 3, a person under the age of thirteen years, and more than thirty-six months younger than OSWALD REID. COUNT 4: CRIMINAL SEXUAL CONDUCT IN THE FIRST DEGREE (FELONY) MINN. STAT. § 609.342, SUBD. 1(g), SUBD. 2; § 609.101, SUBD. 2; § 609.3455 PENALTY: 0-30 YEARS AND/OR $12,000-$40,000 PLUS CONDITIONAL RELEASE That on or between July 28, 2004 and July 27, 2006, in Hennepin County, Minnesota, OSWALD REID, born 10/14/1972, engaged in sexual penetration with Victim 3, a person under sixteen (16) years of age at the time of the penetration, and OSWALD REID is the victim’s step-father. Offense portion continued on next page. Page 4 COMPLAINT SUPPLEMENT CCT SECTION/Subdivision M.O.C. GOC COUNT 5: CRIMINAL SEXUAL CONDUCT IN THE THIRD DEGREE (FELONY) MINN. STAT. § 609.344, SUBD. 1(g)(iii), SUBD. 2; § 609.101, SUBD. 2; § 609.3455 PENALTY: 0-15 YEARS AND/OR $9,000-$30,000 That on or between July 28, 2006 and July 27, 2008, in Hennepin County, Minnesota, OSWALD REID, born 10/14/1972, engaged in sexual penetration with Victim 3, a person at least sixteen (16) but under eighteen (18) years of age at the time of the penetration, and OSWALD REID is the victim 's step-father, and the sexual abuse involved multiple acts committed over an extended period of time. NOTICE: You must appear for every court hearing on this charge. A failure to appear for court on this charge is a criminal offense and may be punished as provided in Minn. Stat. § 609.49. THEREFORE, Complainant requests that said Defendant, subject to bail or conditions of release be: (1) arrested or that other lawful steps be taken to obtain defendant’s appearance in court; or (2) detained, if already in custody, pending further proceedings; and that said Defendant otherwise be dealt with according to law. COMPLAINANT’S NAME: COMPLAINANT’S SIGNATURE: Paul Fieldseth Being duly authorized to prosecute the offense(s) charged, I hereby approve this Complaint. DATE: PROSECUTING ATTORNEY’S SIGNATURE: July 6, 2010 hlg/red PROSECUTING ATTORNEY: NAME/TITLE: ADDRESS/TELEPHONE: ELIZABETH R. JOHNSTON (344722) C2100 Government Center, Minneapolis, MN 55487 Assistant County Attorney Telephone: 612-348-8095 FORM I-2 Rev. 3/94 Page 5 Court Case # ________________________ This COMPLAINT was subscribed and sworn to before the undersigned this ____ day of __________________, 20___. NAME: SIGNATURE: TITLE: FINDING OF PROBABLE CAUSE From the above sworn facts, and any supporting affidavits or supplemental sworn testimony, I, the Issuing Officer, have determined that probable cause exists to support, subject to bail or conditions of release where applicable, Defendant(s) arrest or other lawful steps be taken to obtain Defendant(s) appearance in Court, or his detention, if already in custody, pending further proceedings. The Defendant(s) is/are thereof charged with the above-stated offense. SUMMONS THEREFORE YOU, THE ABOVE-NAMED DEFENDANT(S), ARE HEREBY SUMMONED to appear on the _______ day of ____________________, 20_____ at _______ AM/PM before the above-named court at _______________________________________ _________________________________________________ to answer this complaint. IF YOU FAIL TO APPEAR in response to this SUMMONS, a WARRANT FOR YOUR ARREST shall be issued. WARRANT EXECUTE IN MINNESOTA ONLY To the sheriff of the above-named county; or other person authorized to execute this WARRANT; I hereby order, in the name of the State of Minnesota, that the above-named Defendant(s) be apprehended and arrested without delay and brought promptly before the above- named Court (if in session, and if not, before a Judge or Judicial Officer of such Court without unnecessary delay, and in any event not later than 36 hours after the arrest or as soon thereafter as such Judge or Judicial Officer is available) to be dealt with according to law. ORDER OF DETENTION Since the above-named Defendant(s) is already in custody; I hereby order, subject to bail or conditions of release, that the above- named Defendant(s) continue to be detained pending further proceedings. Bail: Bail to remain as previously ordered. Conditions of Release: Conditions of release to remain as previously ordered. This COMPLAINT- ORDER OF DETENTION duly subscribed and sworn to, is issued by the undersigned Judicial Officer this ____ day of _____________________________, 20____. NAME: SIGNATURE TITLE: JUDGE OF DISTRICT COURT Sworn testimony has been given before the Judicial Officer by the following witnesses: STATE OF MINNESOTA COUNTY OF HENNEPIN Clerk's Signature or File Stamp: STATE OF MINNESOTA RETURN OF SERVICE Plaintiff I hereby Certify and Return that I have served a copy of this COMPLAINT – SUMMONS, WARRANT, ORDER OF vs. DETENTION upon Defendant(s) herein-named. Signature of Authorized Service Agent: OSWALD REID Defendant(s).