MISSOURI CIRCUIT COURT JUDICIAL (5T. LDUIS CITY) STATE or Mlsaoual .. . ya SLEDGE, RICKIE oleco 0'one; 515554555 5,977 DESTINATION: GRAND JURY DEFENDANT INFORMATION ADDRESS: 5221 East Saint Louis, IL 52203 PEDIGREE: RACE: 6 DOS: 06!13f1666 HGT: 5'06" SEX: AGE: 1? WGT: 135 ID 130054446 LID: 4130026416 DIST: CCN: ALIASES: SSNs: Co-Deft(6) 654548: WILDUEDA MARIE LILLARD 354549: TERRY JORDAN 054554: LAKAI RASHDN STATE or: Missouel I CITY or: St. more we The Circuit Attorney of the City of St. Louis, State of Missouri, upon information and belief. charges that Count 1: Robbery 1st Degree (Class A FELCNY) 566.020 ON 10/261201?) Time: Place: 621 2nd Street (500 12010) The defendant, in violation of Section 569.020, committed the class A felony of robbery in the first degree, punishable upon conviction under Section 556.011, in that on or about Cctober 26. 2016, in the City of St. Louis, State of Missouri, the defendant, acting with another, forcibly stole a cell phone owned by James Sense, and in the course thereof the defendant displayed what appeared to be a deadly weapon. Count2: Armed Criminal Action (FELDNY) 571.015 DN 10/28l2013 Time: Place: 621 2nd Street (SCC 31010) The defendant, in violation of Section 571.015, committed the felony of armed criminal action, punishable upon conviction under Section 571.015.1, in that on or about October 26, 2016, in the City of St. Louis, State of Missouri, the defendant, acting with another committed the felony of Robbery in the First Degree charged in Count 1, all allegations of which are incorporated herein by 554555 Page 1 15552515 reference. and the defendant, acting with another, committed the foregoing felony of Robbery in the First Degree by, with and through, the knowing use, assistance and aid of a deadly weapon. CountS: Attempted Robbery 1st Degree (Class FELDNY) 569.020 DH 10f26/2013 Time: Place: 621 2nd Street (SCC 12010) The defendant, in violation of The defendant in violation of Section 564.011. committed the class 6 felony of attempted Robbery in the First Degree punishable upon conviction under Sections 564.011, and 556.011, and 560.011 in that on or about October 26, 2013 in the City of St. Louis, State of Missouri, the defendant, acting with another, pointed a gun at Casandra Cole and demanded her property and such conduct was a substantial step toward the commission of the crime of Robbery in the First Degree of Casandra Cole, and was done for the purpose of committing such Robbery in the First Degree. Countd: Armed lCriminal Action (FELCINY) 571.015 IDN 10f26f2013 Time: Place: 621 2nd Street (soc 31010} The defendant, in violation of Section 571.015, committed the felony of armed criminal action, punishable upon conviction under Section 571.015.1. in that on or about October 26, 2013, in the City of St. Louis, State of Missouri, the defendant, acting with another committed the felony of Attempted Robbery in the First Degree charged in Count 6, all allegations of which are incorporated herein by reference, and the defendant, acting with another, committed the foregoing felony of Attempted Robbery in the First Degree by, with and through, the knowing use, assistance and aid of a deadly weapon. Count5: Robbery 1st Degree {ClassA FELDNY) 569.020 DN Time: 10:3? PM Place: 17TH CHESTNUT ST (scc 1201s) The defendant, in violation of Section 566.020, committed the class A felony of robbery in the ?rst degree, punishable upon conviction under Section 556.011, in that on or about October 26, 2016 at 10:67 PM, in the City of St. Louis, State of Missouri, the defendant, acting with another forcibly stole US Currency in the possession of Jerry Miller and in the course thereof the defendant displayed and threatened the use of what appeared to be a deadly weapon. 654552 Page 2 1016562013 'CountS: Armed Criminal Action - (FELDNY) 5?1.015 DN 1012312013 Time: 10:37 PM Place: 17TH CHESTNUT ST (SOC 31010) The defendant. in violation of Section 571.015, committed the felony of armed criminal action, punishable upon conviction under Section 5?1.015.1, in that on or about October 28, 2013. in the City of St. Louis, State of Missouri, the defendant, acting with another committed the felony of Robbery in the First Degree charged in Count 1, all allegations of which are Incorporated herein by reference, and the defendant, acting with another, committed the foregoing felony of Robbery in the First Degree by, with and through, the knowing use, assistance and aid of a deadly weapon. Counth Robbery let Degree (Class A FELCNY) 560.020 ON 10128.0013 Time: Place: 1501 Cole street (SOC 12010) The defendant, in violation of Section 560.020, committed the class A felony of robbery in the first degree, punishable upon conviction under Section 558.011, in that on or about October 20, 2013, In the City of St. Louis, State of Missouri, the defendant, acting with another, forcibly stole a cell phone and US Currency in the possession of Stuart East, and in the course thereof the defendant displayed and threatened the use of what appeared to be a deadly weapon. CountS: Armed Criminal Action (FELDNY) 571.015 DN 1012812013 Time: Place: 1501 Cole street (SCC 31010) The defendant, in violation of Section 571.015, committed the felony of armed criminal action, punishable upon conviction under Section 571.015.1, in that on or about October 25, 2013, in the City of St. Louis. State of Missouri, the defendant, acting with another committed the felony of Robbery in the First Degree charged in Count 7, all allegations of which are incorporated herein by reference, and the defendant, acting with another, committed the foregoing felony of Robbery in the First Degree by, with and through, the knowing use, assistance and aid of a deadly weapon. Count'a: Robbery 1st Degree I (Class A FELDNY) 509.020 0N 10128r2013 Time: Place: 1501 Cole street (SOC 12010) I modem 3 554552 Page 3 The defendant, in violation of Section 550.020, committed the class A felony of robbery in the first degree. punishable upon conviction under Section 555.011, in that on or about October 25, 2015, in the City of St. Louie, State of Missouri, the defendant, acting with another, forcibly stole a cell phone and US Currency in the possession of Theodore Smith. and in the course thereof the defendant displayed and threatened the use of what appeared to be a deadly weapon. Count10: Armed Criminal Action (FELONY) 521015 ON 10f2512013 Time: Place: 1501 Cole street (SCC 31010) The defendant. in violation of Section 571.015, committed the felony of armed criminal action, punishable upon conviction under Section 571.015.1, in that on or about October 28. 2013, in the City of St. Louis, State of Missouri, the defendant, acting with another committed the felony of Robbery in the First Degree chared in Count 5, all allegations of which are incorporated herein by reference, and the defendant, acting with another, committed the foregoing felony of Robbery in the First Degree by, with and through, the knowing use, assistance and aid of a deadly weapon. Count11: Robbery 1st Degree (Class A FELONY) 550.020 ON 1012572013 Time: Place: 1501 CARR ST (SCC 12010) The defendant, in violation of Section 559.020, committed the class A felony of robbery in the first degree, punishable upon conviction under Section 555.011, in that on or about October 25, 2013, in the City of St. Louis, State of Missouri, the defendant, acting with another, forcibly stole an phone and US Currency owned by Brandon Paveiich, and in the course thereof the defendant displayed and threatened the use of what appeared to be a deadly weapon. Count12: Armed Criminal Action (FELONY) 571.015 ON 10i25i2013 Time: Place: 1501 CARR ST (SCC 31010) The defendant, in violation of Section 571.015, committed the felony of armed criminal action, punishable upon conviction under Section 571.015.1, in that on or about October 25, 2015, in the City of St. Louis, State of Missouri, the defendant, acting with another committed the felony of Robbery in the First Degree charged in Count 11, all allegations of which are incorporated herein by reference, and the defendant, acting with another, committed the foregoing felony of Robbery in the First Degree by, with and through. the knowing use, assistance and aid of a deadly weapon. 554552 Page 4 10130f2013 Count13: Robbery 1st Degree (ClassA FELCNY) 560,020 0N 10120112013 Time: Place: 1501 CARR ST (SOC 12010) The defendant, in violation of Section 569.020, committed the class A felony of robbery in the first degree, punishable upon conviction under Section 558.011, in that on or about October 28, 2013, in the City of St. Louis, State of Missouri, the defendant, acting with another, forcibly stole an phone and US Currency owned by Julia Fischer, and in the course thereof the defendant displayed and threatened the use of what appeared to be a deadly weapon. Count14: Armed Criminal Action (FELONY) 571.015 Time: Place: 1501 CARR ST (SCC 31010) The defendant, in violation of Section 571,015, committed the felony of armed criminal action, punishable upon conviction under Section 571.015.1, in that on or about October 28, 2013, in the City of St. Louis, State of Missouri, the defendant, acting with another committed the felony of Robbery in the First Degree charged in Count 13, all allegations of which are incorporated herein by reference, and the defendant, acting with another, committed the foregoing felony of Robbery in the First Degree by, with and through, the knowing use, assistance and aid of a deadly weapon. The facts that form the basis for this information and belief are contained in the attached statement?s) of facts, made a part hereof and submitted as a basis upon which this court may ?nd the existence of probebie cause. Wherefore, the Circuit Attorney prays that an arrest warrant be issued as provided by law. Jennifer M. Joyce Circuit Attorney of the City of St. Louis, State of Missouri By Assistant Circuit Attorney Page 5 roraoraots PROBABLE CAUSE STATEMENT DATE: October 30. 2013 I. John Anderson, knowing that false statements on this form are punishable by law, state that the facts contained herein are true. 1. have probable cause to believe that Rickie Diego Sledge, a Black Male DDS: 8713705 Age: 17, committed one or more criminal offense(s). Count1: Robbery In The First Degree (Class A FELDNY) 550.020 CM 10!20t2013 Time: Place: SE1 2nd Street CountZ: Armed Criminal Action (FELCNY) 571.015 0N 1012sr201a Time: Place: 021 2nd Street Counta: Robbery In The First Degree (Class 500.020 0N 1012072013 Time: Place: 821 2nd Street Countd: Armed Criminal Action (FELDNY) 571.015 CN 101252013 Time: Place: 321 2nd Street Count?: Robbery in The First Degree (Class A FELCNY) 560.020 DN 10(2572013 Time: 10:37 PM Place: 17TH CHESTNUT ST CountS: Armed Criminal Action (FELCNY) 571.015 ON 10/25/2013 Time: 10:37 PM Place: 17TH CHESTNUT ST Count7: Robbery in The First Degree {Class A FELDNY) 559.020 0111101230013 Time: Place: 1501 Cole street CountEl: Armed Criminal Action (FELCNY) 571.015 0N 10728I2013 Time: Place: 1501 Cole street CountQ: Robbery In The First Degree (Class A FELCNY) 509.020 ON 1012872013 Time: Place: 1501 Cole street Count10: Armed CriminalAction (FELDNY) 571.015 0N 1012572013 Time: Place: 1501 Cole street Count11: Robbery In The First Degree (Class A FELCHY) 560.020 0N10f2012013 Time: Place: 1501 CARR ST Count12: Armed Criminal Action (FELDNY) 571.015 DN 10(251'2013 Time: Place: 1501 CARR ST Count13: Robbery In The First Degree (Class A FELCNY) 509.020 Time: Place: 1501 CARR ST Count14: Armed Criminal Action (FELCNY) 571.015 CN10I2072013 Time: F'Iace:1501 CARR ST 2. The facts supporting this belief are as follows: (soc 120101 (500 31010) (300 12010) {500 31010) (scc 12010) (s00 31010) (scc 12010) {soc 01010) (scc 12010) (soc 31010) (soc 12010) (scc 31010) (soc 12010) (scc 01010) On October 28, 2013 at approximately 9:30 pm. Terry Jordan and Richie Sledge approached James Sense and Casandra Cole. Laltai Scott acted as look out. They pointed guns at both Sense and Cole and demanded their property. They took a phone. They then escaped by contacting defendant Wilqueda Lillard to pick them up. 554552 Page 1 10130113 Latenthat evening at approximately 10:37 pm. Wilgueda Lillard dropped off Lat-:ai Scott, Jordan and Sledge near 17?? street and Chestnut to commit another robbery. Lakai Scott acted as a look out while Terry Jordan and Rickie Sledge approached Jerry Miller and demanded his property. They pointed guns at him and threatened to shoot him unless he gave them his property. They took US Currency. All three suspects then escaped by contacting defendant Wilgueda Lillard to pick them up Later that evening at approximately 11:10 pm, Wilgueda Lillard dropped off Scott, Jordan and Sledge near Loretta Hall Park. Terry Jordan and Fticltie Sledge approached the vehicle that Stuart East and Theodore Smith were entering. They pointed guns at Stuart East and Theodore Smith and demanded their property and threatened to kill them. They took cell phones and US Currency from East and Smith. After this incident, Sledge and Jordan ran across the park and approached Victims Brandon Pavelich and Julia Fischer. They pointed guns at them and demanded their property. One of them hit Payelich in the face with a pistol. They were able to take the victims? lrphonea and Pavelich's US Currency. All three suspects then escaped by contacting Wilqueda Lillard to pick them up. Defendant admitted to police that he participated in all the robberies and was armed for all the robberies. John Anderson "Star-n 13 PRINT NAME 13 654552 Page 2 10(30! STATE OF I SS CITY or ST. LOUIS I IN THE CIRCUIT COURT CITY 0F ST. LOUIS STATE OF MISSOURI IN THE MATTER OF THE APPLICATION 3 CE TEE CIRCUIT COURT CITY OF I ST. LOUIS AND THE STATE OF MISSOURI I FOR AN ORDER AUTHORIZING INSTALLATION AND MONITORINC 3 OF A PEN REGISTER TRAP AND 3 . TRACE DEVICE CALLER ID AND) SEE THE PRODUCTION or . TELECOMMUNICATIONS RECORDS APPLICATIUN I, (hereinafter ?Applicant?), EEINO DULY SWURN, hereby apply to this Court for an order pursuant to 18116.6. 27D3(c)(3), 3122, 3123 and 3124, authorizing the installation and monitoring of a pen register andfor trap and trace device andfor caller identi?cation and directing?and any other telecommunications providers to provide to agents of the Metropolitan Police Department City or St Louis _(hereina?er "Agencies?m 1113011 Oral or written request by such agents, the following telecommunications records and assistance pertaining to ceilnlarhNiI-eless phone nmnber?and anyr other phone numbers associated with this account for the period of 30 days prior to and extending sixty (60) days past the date of such Drder: Page] oi? ill 1. Cell site activations; 2. Numbers dialed; 3. Incoming numbers if identi?ed; 4. Subscriber; ESN (Electronic serial number); andior MEID, landior MSID, andfor IMSI, and/or and billing information for the speci?ed cellular/wireless telephone; 5. Call durations; ti. Subscriber, andfor andior audior andfor and billing information for any other cellularfwireless telephones on this account or that may be identi?ed item these records; 7. The physical addressa?location of all cellular towers in the speci?ed market; ll. Call detail records in an electronic format speci?ed by any agent of the aforementioned Agencies; and 9. TWenty-four hour a day assistance to include switch based solutions including precision location pursuant to probable cause based information queries and all reasonable assistance to permit the aforementioned Agencies to triangulate target location; including but not limited to terminating interfering service on the target telephone. It is further requested pursuant to Title 13; United States Code, Section 2703M), that _andior an}r other telecommunications providers provide the aforementioned Agencies with. subscriber information including names; addresses, credit and billing information of the subscribers; both published and non-published, for the telephone numbers dialing or being dialed from the cellularfwireless phone number; for Page ii of it) the period of 30 days prior to ?to the present and extending (60) days past the date of this Order. It is further requested that this Court?s Order direct -an.d its resellers not to terminate or restrict service to any cellularfwireless telephone covered by this Order for the duration of the Order; (13) cover and be applied to any cellulanlwireless Mobile identification number (MIN) or electronic serial number (BEN) that the subscribers of the phones covered by this Order may change service to for the duration of this Order; direct- and its resellers to furnish the aforementioned Agencies with all information, facilities and technical assistance necessary to accomplish the installation and use of a pen register and or a trap and trace device without geographical limitations unobtrusively and with a minimum of interference with the services of the person andfor party with respect to whom the installation and use is to take place. In support of this application, Applicant deposes and states as follows: I, currently assigned to the St. Louis Metropolitan Police Department received information that victim?had. his cellular phone stolen during a Murder 1st at? Dn-at approximately -AM, District I officers received an assignment for a shooting at The Officers responded to the vacant house at- and located victim - He directed the Of?cers to the second floor of the residence where victims and _were discovered. Both victims were conscious and suffering Page 3 of 30 from puncture wounds to the chest and neck. Neither victim could provide a statement as to whet transpired. EMS responded and conveyed victim -to? Hospital. Victim _was pronounced deceased by Dr. - -st?sm- EMS responded and conveyed victim -to Hospital. The victim evidenced a gunshot wound to the He was new in seriousf-stable condition by Dr. An interview of victim -discovered that the victims had responded to the with the purpose of selling narcotics to the suspects. One suspect displayed an aluminum hall hat and struck victims ?in the lower extremities. ?fcll to the ground and overheard the suspects announce a robbery. During this a suspect pulled a long barreled ?rearm and began firing shots at the victims.-was able to flee the residence through a second ?oor window and later discovered the other victims had been shot. During this incident victim?disclosed his cellular phone had been stolen. Page 4 of IO The stolen cell phone has service provided through ?and the active numbers? It is critical that the above mentioned agencies he ahle to monitor the movements of the ?Target Cellular Telephone? thereby assisting in locating the suspends) involved in this incident. Your al'l'iaut believes that requested authorisation would he a valuable asset in achieving the overall goals in this investigation. The details of this incident are documented per St. Louis Metropolitan Police Department complaint numbers Applicant is a ?State investigative or law enforcement officer? as used in Title 13, United States Code, Section 3122,, and may apply for disclosure of telecommunications records. Applicant certi?es that the information sought is relevant and material to an investigation, to wit: The target cellular phone service is still active and and by using the phone it is believed that the requested telecommunications records will assist the aforementioned Agencies in the location and apprehension of said offenders. Applicant requests that this Application and Order he sealed by the Court and that -and an}r other telecommunications related carrier and its agents and employees be directed not to disclose the existence of this Order or of this investigation to the subscriber or to any other person unless otherwise directed by the Court as such disclosure would seriously jeopardise this investigation. Pelch of 10 it is respectfully requested that this Court enter its order (1) authorizing the installation and monitoring of a pen register andfor trap and trace device and/or caller identi?cation and for the production of telecommunications records; and (2) sealing this application and the Court's Order. Applicant Puget?: ol? ID