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 AFFIDAVIT AND APPLICATION
 SEARCH AND SEIZURE WARRANT
                                                                         STATE OF CON            TICUT 1'\
                                                                         SUPERIOR                URT
 JD-CR-61 Rev. 3-10
                                                                              Wltlw.jud.ct.gov
 C.G.S. §§ 54-33a. 54-33c. 54-33j
                                                            Form JD-CR-52 must also be completed
 Instructions To Applicant                                                            Instructions To G.A. Clerk
 File the application for the warrant and all affidavits upon which                   Upon execution and return of the warrant, affidavits which are
 the warrant is based with the clerk of the court for the geographical               the subject of an order dispensing with the requirement of giving
 area within which any person who may be arrested in connection                      a copy to the owner, occupant or person within forty-eight hours
 with or subsequent to the execution of the search warrant would                     shall remain in the custody of the clerk's office in a secure
 be presented, together with the return of the warrant.                              location apart from the remainder of the court file.

 Police Case number            11-2.1928
                              --='-------------
 TO: A Judge of the Superior Court or a Judge Trial Referee
 The undersigned, being duly sworn, complains on oath that the undersigned has probable cause to believe that certain
 property, to wit:
 Any computer system (as defined by C.G.S. 53a-250(7)) that may have been used to "access" (as defined by C.G.S. 53a-250(1)) "data" (as defined by C.
 G.S. 53a-250(8)) relating to the production of facebook documents; computer related documentation whether in written or data form; other items related to
 the storage of book draft writing documents; records and data for the creation, sales of book type naming "Carl Pavano"; book publication contracts, any
 passwords used to restrict access to the computer system or data and any other items related to the production of book documents. In addition, any book
 records and receipts that can show personal benefit to the suspect including, but not limited to paper documents such as notes, letters, receipts,
 memoranda, practice documents and examples of publication documents. The items seized will be submitted to the Southington Police Department IT
 Division, or another law enforcement agency with a similar laboratory setting and expertise for performing physical and investigative/forensic examinations.
 The physical and investigative/forensic examination will include making true copies of the data and examining the contents of files.




 o committing thecontrolled,offense of: or intended for use or which is or has been or may be used as the means of
   is possessed,
                  criminal
                              designed


 o was stolen or embezzled from:
 ~ constitutes evidence of the following offense or that a particular person participated in the commission of the offense of:

      Harassment 2nd Degree, CGS. 53a-183, Criminal Attempt to commit Larceny 1st Degree, 53a-48/53a-183
o is in the possession, custody or control of a journalist or news organization, to wit:
    o and such person or organization has committed or is committing the following offense which is related to such
      property:


    o and such property constitutes contraband or an instrumentality of the criminal offense of:
And is within or upon a certain person, place, or thing, to wit:
Bedard residence at 43 Hunting Hills Drive Southington, Connecticut is described as being a single residence on Hunting
Hills Drive, located on the north side of the roadway, Yellow in color with white trim, and numbered 43 on stone pillar
with            where the roadway meets the driveway to the residence.




(This is page 1 of a 10 page Affidavit and Application.)
                            CitylTown                                        Date


                                                                          3 IY      11-
  And the facts establishing the grounds for issuing a Search and Seizure Warrant are the following:

     1...The AFFIANT, Detective Mark Beal, being duly sworn, does depose and state that he is a member of the Southington
   Police Department, currently assigned to the Patrol Division, and has been a police officer for approximately Twenty-one
   (21) years prior to this date. At all times mentioned herein I was acting as a member of said department. The following
   facts and circumstances are stated from personal knowledge and observations as well as information received from other
   police officers acting in their official capacity and from official police reports and statements made by prudent and
   credible witnesses.

  2...The AFFIANT, Officer Triano, being duly sworn, does depose and state that he is a member of the Southington Police
  Department, currently assigned to the Patrol Division, and has been a police officer for approximately Thirty-five (35)
  years prior to this date. At all times mentioned herein I was acting as a member of said department. The following facts
  and circumstances are stated from personal knowledge and observations as well as information received from other
  police officers acting in their official capacity and from official police reports and statements made by prudent and
  credible witnesses.

  3... 0n December 30, 2011 this Affiant received a complaint from Michelle Degennaro, the Sister of a professional baseball
  player, Carl Pavano. DeGennaro reported that someone using a Facebook account/profile with the name Christian Bedard
  has been posting harassing statements on the wall page of her account/profile on the Social Networking website www.
  facebook.com for the company Facebook, Inc. (herein referred to a Facebook). According to DeGennaro, messages posted
  by Bedard have also demanded that Pavano pay a substantial amount of money to Bedard or he will reveal personal
  information about Pavano to the Mass Media.

  4...That on December 30, 2011 DeGennaro stated that on December 18, 2011 she was at a local gym and was advised
  about Facebook messages being made by a Christian Bedard, and how the messages suggest inappropriate and false
  accusations about her brother Carl Pavano. She said after learning of the messages she searched her Facebook.com
  (account/profile) and located entries from Bedard. DeGennaro looked at the photo on the Facebook account/profile of
  Christian Bedard and recognized the male in the photo as Christian Bedard, a childhood friend of her brother.

 5... DeGennaro provided printouts from her Facebook account/profile. The printouts contained a string of Facebook
 messages posted to her Facebook wall page from the profile of Christian Bedard. The postings began on December 18,
 2011. DeGennaro said after viewing the messages posted by Bedard she responded to the messages. DeGennaro wrote
 messages telling Bedard to stop writing false accusations about her family. Bedard responded where he refused to stop
 posting messages because he wanted closure. Bedard said if he does not get closure from Pavano, he will get closure by
 writing a book. In summary Bedards states Pavano is Gay, and they had a relationship when they were growing up. Bedard
 said he has a book deal in place worth 1.2 million dollars and that it can all go away if Pavano buys him a navy Range
 Rover with Tan leather. The post from Bedard to DeGennaro after she asked him to stop his actions reads:




                                                                                                                         a
 (This is page 2 of a 10 page Affidavit and Application.)
                      Cityrrown


                         J
Jurat

JD-CR-61 Rev. 3-10
  5a ... "You people are in such deniaL.when we were 17 we came to a party at your house in new britain you called your
  mom who called my mom....who said we had too much so ya he stopped talking to me when I was 14 the truth is the
  truth ....can't sue me for that... going to come up with another lie to cover the one you just told???? this book was written
  for me to find closure in my Iife 1 apologise for calling you fat.. .. 1 know you always had an issue with your weight.. ..and
  for me to say that was yust rude 1just want closure in my life and that's only going to come from your brother....you can
  all dance around it....maybe I was the only guy?...whatever...... I don't care about money.... not rich ...not poor... I have two
  beautiful nieces who keep me in check... especially about every princess dress ever made, because uncle christian has
  bought them all. ...whats rough is he was my first love... and it was a three yr relationship...obviously underground....
  people have told me let it go...things can happen in your life that affect you for the rest of it.... 1 wish this had happened
  with joe the plumber...some no name...I'm not gaining at all. ..ya I have serious juicy book offers...to the point that the
  only way your brother is getting out of this...is with a heart felt apology and a navy range rover with tan leather...if I'm
  going to drop a 1.2 million dollar book deal I want something... "

  5b ... "That is my best offer an apology and a land rover and I'll kill the project.... best deal in the world because the art is
  coming back for "left Out in left field" next week.... and it's a go.... 1 can gain alot more by publishing...would rather not.... "

  5c... "1 recind that offer...I'm up to 5 depositions of friends who I trusted with the secret of carl and I's relationship ....then I
  called my attorney....the book is the best deal....plus it migh lead to something else ....so hate me all you want.... it was just
  a relationship...it's your own homophobia that is killing you ...peace.. "

  5d ..."lol...the funny part is I expected your nasty messages... 1 wouldn't expect anything less from a group of racist
  homophobes...you brother can deny it to then end ... that's exactly what I expected, I have more than enough witnesses
  and prooL.and in the end he's just going to look like a complete liar when the book comes out in late spring...and in the
  meantime your all going to be thrown under the bus for being exactly what you people are, racist homophobes....no
  wonder he wound never come clean about it..like a jew living with a bunch of nazi's...it's the 21 century...the general
  public doesn't take nice to your type... "

 5e ... "if your brother is having memory loss...remind him how I would sneaking in the window of what is now your
 grandmothers apartment every weekend ...or better yet the time when I think we were sixteen and went to Atlantic city
 the day after Christmas because your uncle was painting the condo there...and how we were laughing and psyched when
 your father told us we can take the bed ... ask him what "Big Wheeling and "Sp ing" means...that might jog his memory... "

 Sf... "Ever since I talked to you my phone has been ringing off the hook....seems you have a pyrimad scheme.... I have had
 people calling me in tears with how much money they lost....well you fuked wrong person ... my mom is personal friends
 with the governor and he calls atleat twice a month....to ask about the political weather in Southington...even better is my
 mom is really close friends with George Jepsen...and when I call him tomorrow... I'll be providing lots of info...what's even
 better is my mom's the police commissioner... and their is an open file on you already....do not talk to me about ethics...
 you rob helpless women of all their money... and dare to say shit to me?... you were always trash... but seriously this was a
 shock..."




                                                                                                                                    a
 (This is page 3 of a 10 page Affidavit and Application.)
                         Cityrrown


              ~      J


Jurat

JD·CR·61 Rev. 3-10
   6... DeGennaro, her family, as well as Carl Pavano are concerned and believe that Bedard is attempting to extort monetary
   funds for his fabricated false information and believes he can hold them "hostage" with information concerning Carl
   Pavano, believing Pavano fears the release of the information. DeGennaro states the information is clearly false and
   Bedard is attempting to extort her family. DeGennaro states she is greatly concerned about Bedard and in fear for her and
   her family's safety. She said Bedard is a local resident in Southington Connecticut along with other family members.
             j
   7oo.By viewing the Facebook page of Christian Bedard this Affiant was able to locate the Facebook ID for Bedard. The
   Facebook ID was found in the string "id" in the URL {Uniform Resource Listing} or Web address listing. The Facebook ID for
   Christian Bedard was listed as ..www.facebook.com/christian.bedardl..

  8oo.lt was therefore requested that Facebook, Inc. provide all Internet Records for Facebook user Id christian.bedardl,
  including but not limited to Basic Subscriber Information {as described on Page 1}, all User Contact information including
  but not limited to, names, dates of birth, contact e-mail addresses, physical address, city, state, zip codes, phone
  numbers, screen names, and websites, and ailiP Logs of user Id christian.bedardl from December 18, 2011 to the Present.

  9...That on January 3,2012 an Ex-Parte order was signed Judge Brunetti of the Bristol Superior Court requesting Facebook
  information as stated above.

  10...That on January 19, 2012 Facebook Inc. provided the requested information showing www.facebook.com/christian.
  bedardl as having an IP address of                 This IP address was checked through http://whatismyipaddress.com
  which revealed the owner of the IP belonging to Cox Communications, type Broadband, Dynamic IP, with a Geolocation
  from Southington, CT

  l1...That your Affiants know through training and experience that Cox Communications maintains records of IP accounts
  for billing. These records include User Contact Information such as names, dates of birth, contact e-mail addresses,
  physical address, city, state, zip codes, phone numbers, and websites. Your affiants also know that Cox Communications
  maintains information which will provide the physical address where IP                   is located physically and who the
  billing person is for that service.

 12... lt was therefore requested that Cox Communications provide all Records for IP                     used by christian.
 bedardl, including but not limited to Basic Subscriber Information, all User Contact information including but not limited
 to, names, dates, of birth, contact e-mail addresses, physical address, city, state, zip codes, phone numbers, and billing
 information.

 B ... That on January 23, 2012 an Ex-Parte order was signed Judge Brunetti of the Bristol Superior Court requesting
 information from COX Communications regarding IP              as stated above.

 14...That on January 24, 2012 Cox Communications provided the requested information showing their IP address of
 {              belonging to Rita S. Clark of 832 Glacier Way Southington, CT. According to the Facebook Inc. records of
 the IP and Cox Communications 832 Glacier Way is the physical address of the electronic instrument needed to generate
 the Facebook entries made by Christian.bedard1.




 (This is page 4 of a 10 page Affidavit and Application.)
                      CitylTown




Jurat

JD·CR·61 Rev. 3·10
   15...That based upon the foregoing, as well as our training and experience, the affiants had probable cause to believe that
   a person or persons residing or visiting 832 Glacier Way Southingon, Connecticut were currently using, or had used a
   computer system (as defined by e.G.S. §53a-250(7)) to commit the crimes of Harassment in The Second Degree, CGS.
   53a-183 and Criminal Attempt to commit Larceny in the First Degree, CGS 53a-48.53a-122, and it was believed that
   evidence of the violations, and/or records of and/or documentation of these criminal activities will be found on the
   computer systems (as defined by e.G.S. §53a-250(7)) and all electronic storage media as described herein, located within
   832 Glacier Way Southington, Connecticut.

   16...0n March 5, 2012 at about 1400 hours affiant Seal and others went to 832 Glacier Way Southington Connecticut. Rita
   Clark, a 92 year old female, was at the residence. She advised us that she lives there with her two sons, Timothy Clark and
  Scott Clark who were currently working. Rita said she has a desk top computer that has internet capabilities through Cox
  Communications but she never uses it. Rita said her two sons use the computer occasionally. Rita told the affiants that
  she doesn't know anyone by the name of Christian Bedard or anyone with the last name of Bedard. Rita called her son
  Timothy at work. Affiant Seal spoke with Timothy who stated he did not know anyone named Christian Bedard. Timothy
  said he has a facebook account in his name but rarely goes on facebook. Timothy said the internet at the residences is set
  up with a new wireless router that is password protected. He said it was set up about six months ago but wasn't sure on
  the date. He said before installing the new router it was unsecured and allowed access to the internet from anyone within
  range without password protection. Timothy said the name of his network is                         and provided us with his
  current password,              .

  16a...The affiants checked the exterior surroundings of 832 Glacier Way for internet access areas. No exterior access areas
  was located. It was also noted that Timothy Clark is 57 years old and Scott s 60 years old. The suspect, Christian Bedard is
  currently age 37. Timothy and Scott are not married and don't have younger children. He said that at no time was anyone
  in his residence named Christian Bedard. A nexus other than information obtained from Cox Communications could not
  be established between Bedard and 832 Glacier Way. The search warrant was not served and no items were seized.

  17...That on March 9, 2012 Affiant Beal contacted Cox Communications regarding the information they provided in the
  ExParte regarding the IP                 and its address being 832 Glacier Way Southington Connecticut. Further inquiry into
 the IP                 revealed that the IP is a Dynamic IP and not a Static IP. This means this particular IP can change. A
 Static IP is an IP address that is distinct to a specific physical address. The date that COX Communications provided for the
 IP address on 832 Glacier Way was the date they received the ExParte being 1/18/2012 through 1/19/12 and not the
 dates of the Facebook entries being 12/18/2011 to 12/20/2011. The entry dates of 12/18/2011 to 12/20/2011 revealed a
 different result and clearly shows that when the facebook entries were made on those dates by Christianbedardl, they
 were made from 43 Hunting Hills Drive Southington Connecticut. This physical address belongs to Elaine Bedard who is
 the mother of the suspect Christian Bedard who also according to police documents resides at 43 Hunting Hills Drive. In
 addition, DMV records show Christian Bedard, Date of Birth 10/30/75 having a listed address of 43 Hunting Hills Dr.
 Southington, Connecticut. This clearly creates a nexus between the Facebook entries and 43 Hunting Hills Drive.

 18...That the residence of number 43 Hunting Hills Drive Southington, Connecticut is described as being a single residence
 on Hunting Hills Drive, located on the north side of the roadway, Yellow in color with white trim, and numbered 43 on
 stone pillar with light post where the roadway meets the driveway to the residence.




 (This is page 5 of a 10 page Affidavit and Application.)
                      CitylTown




Jurat

JD-CR-61 Rev. 3-10
   19...The items seized will be submitted to the Southington Police Department, or another law enforcement agency with a
   similar laboratory setting and expertise for performing physical and investigative/forensic examinations. The physical and
   investigative/forensic examination will include making true copies of the data and examining the contents of files.

    20...Therefore, based on the preceding information, your affiants believe there is sufficient probable cause for a search
   and seizure warrant for any computer system (as defined by e.G.S. 53a-250(7)} that may have been used to "access" (as
   defined by e.G.s. 53a-250(1)} "data" (as defined by e.G.S. 53a-250(8)} relating to the production of facebook documents;
   computer related documentation whether in written or data form; other items related to the storage of book draft writing
   documents; records and data for the creation, sales of book type naming "Carl Pavano"; book publication contracts, any
   passwords used to restrict access to the computer system or data and any other items related to the production of book
   documents. In addition, any book records and receipts that can show personal benefit to the suspect including, but not
   limited to paper documents such as notes, letters, receipts, memoranda, practice documents and examples of publication
   documents at 43 Hunting Hills Drive Southington, CT. Therefore, your affiants are requesting a search and seizure warrant
   searching 43 Hunting Hills Drive Southington, CT and its curtilage.




 (This is page 6 of a 10 page Affidavit and Application.)
                      CityfTown




Jurat

JD-CR-61 Rev. 3-10
  The undersigned ("X" one)
                                  D   has not presented this application in any other court or to any other judge or
                                      jUdge trial referee.
                                  D   has presented this application in another court or to another judge or
                                      judge trial referee (specify):




 Wherefore the undersigned requests that a warrant may issue commanding a proper officer to search said person
 or to enter into or upon said place or thing, search the same, and take into custody all such property.

 IE] And to submit the property described in the foregoing affidavit and application to laboratory analysis and examination:
  To the Southington Police Department IT Division, or other law enforcement agency with similar laboratory setting and
  expertise for performing physical and investigative forensic examinations, to include making true copies of data.




                                                                                 I


 (This is page 7 of a 10 page Affidavit and Application.)
                      Cityrfown                                 Date




Jurat

JD-CR-61 Rev. 3-10
                                         AFFIDAVIT REQUESTING DISPENSATION WITH
                                                  REQUIREMENT OF DELIVERY
                                        pursuant to § 54-33c, Connecticut General Statutes
  TO: A Judge of the Superior Court or a Judge Trial Referee
  For the reasons set forth below, the undersigned, being duly sworn, requests that the judge / jUdge trial referee dispense
  with the requirement of C.G.S. § 54-33c that a copy of the application for the warrant and a copy of any affidavit(s) in
  support of the warrant be given to the owner, occupant or person named therein with forty-eight hours of the search:
  o The personal safety of a confidential informant would be jeopardized by the giving of a copy of the affidavits at such
    time;
  o The search is part of a continuing investigation which would be adversely affected by the giving of a copy of the
        affidavits at such time;

  o The giving of such affidavits at such time would require disclosure of information or material prohibited from being
        disclosed by chapter 959a of the general statutes;




 o In addition, it is requested that the requirement of advance service of this warrant upon the customer whose financial
        records are being sought, be waived pursuant to C.G.S. § 36a-43 (a);

 and the specific details with regard to such reasons are as follows:




The undersigned further requests that this affidavit also be included in such nondelivery.

 (This is page 8 of a 10 page Affidavit and Application.)
                         Cityrrown                             Date




Jurat

JD-CR-61 Rev. 3-10
  SEARCH AND SEIZURE WARRANT                                   STATE OF CONNECTICUT                            SEARCH AND SEIZURE WARRANT
                                                                  SUPERIOR COURT
  The foregoing Affidavit and Application for Search and Seizure Warrant having been presented to and been considered by the under-
  signed, a Judge of the Superior Court or a Judge Trial Referee, and the foregoing Affidavit having been subscribed and sworn to by the
  affiant(s) before me at the time it was presented, the undersigned (a) is satisfied therefrom that grounds exist for said application, and
  (b) finds that said affidavit established grounds and probable cause for the undersigned to issue this Search and Seizure Warrant. such
  probable cause being the following: From said affidavit, the undersigned finds that there is probable cause for the undersigned to believe
  that the property described in the foregoing affidavit and application is within or upon the person, if any. named or described in the
  foregoing affidavit and application, or the place or thing, if any. described in the foregoing affidavit and application, under the conditions
  and circumstances set forth in the foregoing affidavit and application. and that, therefore, a Search and Seizure warrant should issue for
  said property.
                                               I
   NOW THEREFORE, by Authority of the State of Connecticut, I hereby command any Police Officer of a regularly organized police
   department, any State Police Officer, any inspector in the Division of Criminal Justice. or any conservation officer, special conservation
   officer or patrol officer acting pursuant to C.G.S. § 26-6 to whom these presents shall come within ten days after the date of this warrant
   to enter into or upon and search the place or thing described in the foregoing affidavit and application, or search the person described
   in the foregoing affidavit and application or both. to wit:
  Bedard residence at 43 Hunting Hills Drive Southington, Connecticut is described as being a single residence on Hunting
  Hills Drive, located on the north side of the roadway, Yellow in color with white trim, and numbered 43 on stone pillar
  with light post where the roadway meets the driveway to the residence.




 for the property described in the foregoing affidavit and application, to wit:
  Any computer system (as defined by C.G.S. 53a-250(7)) that may have been used to "access" (as defined by C.G.S. 53a-250(1)) "data" (as defined by C.
  G.S. 53a-250(8)) relating to the production of facebook documents; computer related documentation whether in written or data form; other items related to
  the storage of book draft writing documents; records and data for the creation. sales of book type naming "Carl Pavano"; book publication contracts. any
  passwords used to restrict access to the computer system or data and any other items related to the production of book documents. In addition. any book
  records and receipts that can show personal benefit to the suspect including, but not limited to paper documents such as notes. letters. receipts.
  memoranda, practice documents and examples of publication documents. The items seized will be submitted to the Southington Police Department IT
  Division. or another law enforcement agency with a similar laboratory setting and expertise for performing physical and investigative/forensic examinations.
 The physical and investigative/forensic examination will include making true copies of the data and examining the contents of files.




  [RI    submit the property described in the foregoing affidavit and application to laboratory analysis and examination:
         To the Southington Police Department IT Division, or other law enforcement agency with similar laboratory setting and
         expertise for performing physical and investigative forensic examinations, to include making true copies of data.



and upon finding said property to seize the same, take and keep it in custody until the further order of the court, and
with reasonable promptness make due return of this warrant accompanied by a written inventory of all property seized.


  o The foregoing requestsuch request also judge of the warrant nondelivery thehereby: occupantC.G.S. § 54-33c that a copy of the the
    affidavit in support of
                            that the judge or
    warrant application and affidavit(s) in support
                                                    trial referee dispense with the requirement of

                                              be included in such
                                                                    be given to
                                                                                is
                                                                                   owner,          or person named therein and that

                                           NOT TO EXCEED 2 WEEKS BEYOND DATE WARRANT IS EXECUTED
  o GRANTED for a period of
        This order. or any extension thereof, dispensing with said requirement shall not limit disclosure of such application and affidavits to
        the attorney for a person arrested in connection with or subsequent to the execution of the search warrant unless. upon motion of
        the prosecuting authoritY\"Iithin t\"Io'l-lseks ofsuch arraignmentthe···cQurtfindsthatthestate'sinterestin···continuing···nondisc!osure
        substantially outweighs the defendant's right to disclosure.
 o      DENIED.
 o§     Service of this Search Warrant upon the customer whose financial records are being sought is hereby waived, pursuant to e.G.s.
         36a-43 (a).
(NOTE: AFFIANT'S OATH MUST BE TAKEN PRIOR TO JUDGE I JUDGE TRIAL REFEREE SIGNING BELOW)

 (This is page 9 of a 10 page Affidavit and Application.)
                                                                                                                                a.m.
                                                                                                                                p.m.




JD-CR-61 Rev. 3-10
  RETURN FOR AND INVENTORY
  PROPERTY SEIZED ON SEARCH AND SEIZURE WARRANT                                                    I Inventory control number

                                 I~;
   Judicial District of                  At (Address of Court)                                       Date of seizure
   BRISTOL                               131 North Main Street Bristol Connecticut                   3/21/2012
   Docket number                         Uniform arrest number             I Police case number      Companion case number
  CR-                                                                           11-21928
  Then and there by virtue of and pursuant to the authority of the foregoing warrant, I searched the person, place or thing
  named therein, to wit:
  Bedard residence at 43 Hunting Hills Drive Southington, Connecticut is described as being a single residence on Hunting
  Hills Drive, located on the north side of the roadway, Yellow in color with white trim, and numbered 43 on stone pillar
  with light post where the roadway meets the driveway to the residence.




 and found thereon or therein, seized, and now hold in custody, the following property:

        ~ Total Cash Seized:      0.00
                                 -=.;:;...::.---------- , consisting of


  Item # 1: One (1) Dell Laptop Computer with power cord, SN # 00144-359-685714
  Item # 2: One (1) notebook containing handwritten journal from Christian Bedard




and I gave a copy of such warrant to        Elaine Bedard                                         , the owner or occupant of
                                       ----------------------
the dwelling, structure, motor vehicle or place designated therein, or to
                                                                          -------------------
the person named therein, on (Date) 3/21/2012
                                      ------------
 (This is page 10 of a 10 page Affidavit and      . ation.)
Date                              Sig   d (0 'cere signal    and dep. rtm nl)



                          NOTE: Form JD-CR-61, pages 1 - 10 must be supplemented
JD·CR·61 Rev. 3·10

				
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