INFORMATION by jolinmilioncherie

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									                                                                                               FILED
                                                                                          10 DEC 15 PM 3:28

 1                                                                                      KING COUNTY
                                                                                    SUPERIOR COURT CLERK
                                                                                           E-FILED
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                                                                                 CASE NUMBER: 10-1-10230-9 SEA

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 6                  SUPERIOR COURT OF WASHINGTON FOR KING COUNTY

 7   THE STATE OF WASHINGTON,                                )
                                              Plaintiff,     )
 8                 v.                                        )   No.     10-C-10229-5 SEA
                                                             )           10-C-10230-9 SEA
 9   JAKE KEEGAN BAIJOT-CLARY,                               )           10-C-10231-7 SEA
     JASON REYNOLD LAMB, and                                 )
10   SIMON LEE THAYER                                        )   INFORMATION
     and each of them,                                       )
11                                                           )
                                           Defendants.       )
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             I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and by the
13   authority of the State of Washington, do accuse JAKE KEEGAN BAIJOT-CLARY, JASON
     REYNOLD LAMB and SIMON LEE THAYER, and each of them, of the crime of Assault in
14   the Third Degree, committed as follows:

15          That the defendants JAKE KEEGAN BAIJOT-CLARY, JASON REYNOLD LAMB and
     SIMON LEE THAYER, and each of them, together with another, in King County, Washington,
16   on or about December 12, 2010, did intentionally assault Seattle Police Officer Garth Haynes,
     and that he was a law enforcement officer or other employee of a law enforcement agency who
17   was performing official duties at the time of the assault;

18         Contrary to RCW 9A.36.031(1)(g), and against the peace and dignity of the State of
     Washington.
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                                                           DANIEL T. SATTERBERG
20                                                         Prosecuting Attorney
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                                                           By:
22                                                         Jim A. Ferrell, WSBA #24314
                                                           Senior Deputy Prosecuting Attorney
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                                                                    Daniel T. Satterberg, Prosecuting Attorney
                                                                    W554 King County Courthouse
                                                                    516 Third Avenue
     INFORMATION - 1                                                Seattle, Washington 98104
                                                                    (206) 296-9000, FAX (206) 296-0955
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                                      CAUSE NO. 10-C-10229-5 SEA
 2                                    CAUSE NO. 10-C-10230-9 SEA
                                      CAUSE NO. 10-C-10231-7 SEA
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       PROSECUTING ATTORNEY CASE SUMMARY AND REQUEST FOR BAIL AND/OR
 4                         CONDITIONS OF RELEASE

 5          The State incorporates herein by reference the Certification for Determination of
     Probable Cause prepared by Detective E. Jason Kasner of the Seattle Police Department under
 6   incident number 10-427085.

 7                                             REQUEST FOR BAIL

 8            With regard to defendant Baijot-Clary, pursuant to CrR 2.2 (b)(2)(ii), the State requests
     bail in the amount of $15,000, the amount set at first appearance, due to the nature of this
 9   offense, which was an unprovoked and sustained attack on an identified law enforcement officer
     who was attempting to call police for help in the theft of his property.
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             With regard to defendant Lamb, pursuant to CrR 2.2 (b)(2)(ii), the State requests bail in
11   the amount of $35,000, the amount set at first appearance, for his role in this prolonged and
     unnecessary attack against a law enforcement officer and his friend. The defendant has
12   convictions for DUI (2003); Possession of Marijuana (2007); and Minor in Possession and/or
     Consumption (2003). This defendant was also observed by the Seattle Police kicking the victim
13   in the head, in the presence of the officer, as the officer was attempting to separate the parties.

14           As to defendant Thayer, pursuant to CrR 2.2 (b)(2)(ii), the State requests bail in the
     amount of $35,000, the amount set at first appearance, for the same reasons set forth above and
15   because the defendant advanced on the officer who had already separated him from the victim
     and for his role in this crime.
16

17          Signed this _____ day of December, 2010.

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                                                       Jim A. Ferrell, WSBA #24314
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     Prosecuting Attorney Case                                       Daniel T. Satterberg, Prosecuting Attorney
     Summary and Request for Bail                                    W554 King County Courthouse
                                                                     516 Third Avenue
     and/or Conditions of Release - 2                                Seattle, Washington 98104
                                                                     (206) 296-9000, FAX (206) 296-0955

								
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