Zumberge, Jacob

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Error! Reference source not found. CA-2014-00670




STATE OF MINNESOTA DISTRICT COURT

COUNTY OF ANOKA TENTH JUDICIAL DISTRICT

COURT FILE NO. ______________________
COUNTY ATTORNEY FILE NO. CA-2014-00670


State of Minnesota,

Plaintiff,

v.

CRIMINAL COMPLAINT
JACOB HOWARD ZUMBERGE (DOB: 08/21/1990) [ ] Summons [ ] Warrant
[X] Order of Detention 2510 Knollwood Drive
New Brighton, MN 55112

[ ] Amended
Defendant. [ ] Tab Charge Previously Filed


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):

COUNT 1: TERRORISTIC THREATS
Minnesota Statutes §609.713, Subd. 1; 609.101
PENALTY: 0-5 Years and/or $3,000.00 - $10,000.00

On or about April 29, 2014, in the County of Anoka, Minnesota, JACOB HOWARD
ZUMBERGE, did threaten, directly or indirectly, to commit any crime of violence with
purpose to terrorize another or to cause evacuation of a building, place of assembly, vehicle or
facility of public transportation or otherwise to cause serious public inconvenience, or in a
reckless disregard of the risk of causing such terror or inconvenience.


COUNT 2: TERRORISTIC THREATS
Minnesota Statutes §609.713, Subd. 1; 609.101
PENALTY: 0-5 Years and/or $3,000.00 - $10,000.00

On or about April 29, 2014, in the County of Anoka, Minnesota, JACOB HOWARD
ZUMBERGE, did threaten, directly or indirectly, to commit any crime of violence with
purpose to terrorize another or to cause evacuation of a building, place of assembly, vehicle or
facility of public transportation or otherwise to cause serious public inconvenience, or in a
reckless disregard of the risk of causing such terror or inconvenience.

Error! Reference source not found. CA-2014-00670



COUNT 3: ASSAULT IN THE FIFTH DEGREE (BODILY HARM)
Minnesota Statutes §609.224, Subd. 1(2); 609.101
PENALTY: 0-90 Days and/or $300.00 - $1,000.00

On or about April 29, 2014, in the County of Anoka, Minnesota, JACOB HOWARD
ZUMBERGE, did intentionally inflict or attempt to inflict bodily harm upon another.
Error! Reference source not found. CA-2014-00670

Form Released July, 2005 (ITD_SP_0339b) Page 3


STATEMENT OF PROBABLE CAUSE

The Complainant states that the following facts establish probable cause:

Your complainant is Investigator Josh Antoine of the Spring Lake Park Police
Department. In that capacity, your complainant has reviewed written reports, conducted an
investigation of his own, and learned the facts stated herein.

On April 29, 2014, at approximately 8:29 p.m., the Spring Lake Park Police Department
received a terroristic threats report occurring at the VFW located at 8100 Pleasantview Drive
Northeast in the City of Spring Lake Park, County of Anoka, State of Minnesota. Law
enforcement made contact with an adult female identified by initials JDC. JDC reported that she
and her live-in boyfriend, an adult male with initials TGS, had been at the VFW playing bingo.
A male known to JDC and TGS as Jacob Howard Zumberge, (d.o.b. 8/21/1990), the defendant
herein, approached them at the bar. The defendant appeared to be under the influence of alcohol.
The defendant asked TGS to step outside the bar to continue a conversation. Once outside, the
defendant began to cry and yell, causing other bar patrons to ask him to leave. TGS went back
inside the bar and met up with JDC again. The defendant again approached TGS and JDC. The
defendant shoved TGS in the back shoulder area, almost causing TGS to fall off his bar stool.
The defendant then leaned in between TGS and JDC and told them that he was going to burn
down their house and kill them. The defendant knows where TGS and JDC live. JDC was afraid
of the defendant and concerned he would act on his threats.

In a post-Miranda statement, the defendant admitted to having a confrontation with TGS
and JDC at the VFW. The defendant stated that as he was leaving the bar, TGS made a
derogatory comment. The defendant put his hand on TGS but didn’t remember pushing TGS.
The defendant then made the comment “I might blow up here.”

Error! Reference source not found. CA-2014-00670

Form Released July, 2005 (ITD_SP_0339b) Page 4


Complaint requests that 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:
Investigator Josh Antoine,
Spring Lake Park Police Department

Subscribed and sworn to before the undersigned this _________ day of ____________, 2014.
NAME/TITLE: SIGNATURE:



Being authorized to prosecute the offenses charged, I approve this complaint.
Date:
PROSECUTING ATTORNEY'S
SIGNATURE:

Name: Jennifer L. Verdeja, #349288
Assistant Anoka County Attorney
Anoka County Government Center
2100 Third Avenue, STE 720
Anoka, MN 55303

Phone: (763) 323–5646
Fax: (763) 422–7524



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 Defendant’s detention,
if already in custody, pending further proceedings. Defendant is therefore charged with the above-stated offense.

[ ] SUMMONS
THEREFORE YOU, THE ABOVE-NAMED DEFENDANT, ARE HEREBY SUMMONED to appear on
___________, at _____ before the above-named court at the Anoka County Courthouse, Anoka, MN 55303 to answer
this complaint.

IF YOU FAIL TO APPEAR in response to this SUMMONS, a WARRANT FOR YOUR ARREST shall be issued.

[ ] WARRANT
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 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 as such Judge or
Judicial Officer is available to be dealt with according to law.

[ ] Execute in MN Only [ ] Execute Nationwide [ ] Execute in Border States]

[X] ORDER OF DETENTION
Since the above-named Defendant is already in custody, I hereby order, subject to bail or conditions of release, that
the above-named Defendant continue to be detained pending further proceedings.

Bail:
Conditions of Release:

This complaint, duly subscribed and sworn to, is issued by the undersigned Judicial Officer this _____ day of
________________________, 2014.

JUDICIAL OFFICER: SIGNATURE:
NAME:
TITLE:

Sworn testimony has been given before the Judicial Officer by the following witnesses:

COUNTY OF ANOKA
STATE OF MINNESOTA
Clerk’s Signature or File Stamp:

STATE OF MINNESOTA
RETURN OF SERVICE
I hereby Certify and Return that I have served a copy of
this COMPLAINT upon the Defendant herein named.
Plaintiff,
vs.
JACOB HOWARD ZUMBERGE
Defendant

Signature of Authorized Service Agent:




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