EXHIBIT 14 Case Filed 07/31/15 Page 1 of 2 Document 4-14 STATE OF WISCONSIN CIRCUIT COURT MILWAUKEE COUNTY IN THE MATTER OF A JOHN DOE PROCEEDING Case No m. EIGHTH PETITION TO ENLARGE SCOPE OF JOHN 9n? WHEREAS, Bruce J. Landgraf, Assistant District Attorney and U: of Milwaukee filed a Petition for the Commencement of a John Doe Proceedingdate? May 5, 2010; WHEREAS, the State of Wisconsin has filed subsequent Petitions to enlarge the of this proceeding as warranted by the evidence produced in the course of this investigation; WHEREAS the John Doe judge has granted the Petition to Commence this proceeding and has also granted all subsequent Petitions to enlarge the scope of these proceedings; WHEREAS, as set forth in the Affidavit of Chief Investigator David E. Budde dated December 17, 2011, I have discovered apparent additional law violations involving Sections 946.12, 11.36 and 11.61 of the Wisconsin Statutes relating to Archer; WHEREAS, have reason to believe violations of said section have been committed within the jurisdiction of this court; NOW, THEREFORE, based upon the information contained in the Affidavit of Chief Investigator David E. Budde showing evidence that criminal violations of Sections 946.12, 11.36 and 11.61 of the Wisconsin Statutes may have been committed in Milwaukee County, I hereby request that the scope of the John Doe proceeding referenced above be enlarged to include these suspected violations and that, pursuant to ?968.26 of the Wisconsin Statutes, witnesses be subpoenaed and questioned on oath relating thereto. I further request that the Scope Order be signed nunc pro tunc tthe date of the Budde Affidavit. Ian" PW Dated this I LI day ofJanuary 2011. (T P.O. Address Safety Building Room 405 821 West State Street Bruce J. liandgraf Milwaukee, Wisconsin 53233 Assistant District Attorney (414) 278?4645 - Voice State Bar Number 1009407 (414) 223?1929 Fax bruce.landgraf@da.wi.gov Case Filed 07/31/15 Page 2 of 2 Document 4-14