The State of Texas vs. BRENDA DELGADO CDC3 DOB: 6/18/1982 Sex: Female Race: White SID No. GJ Witness: Eric Barnes - DPD AIS No. Offense LD Statute Agency TRN TRS NCIC Code - - FX PC 09990022 CAPITAL MURDER BY TERROR FELONY NO.: F1576401 IN THE NAME AND BY THE AUTHORITY OF THE STATE OF TEXAS: The Grand Jury of Dallas COunty, State of Texas, duly organized at the July Term, AD, 2015 of the Criminal District Court No. 5 for said County, upon its oath do present in and to said Court at said term, That BRENDA DELGADO, hereinafter called Defendant, on or about 2nd day of September, 2015 in the County of Dallas, State of Texas, did then and there intentionally and knowingly cause the death of Kendra Hatcher, an individual, hereinafter called deceased, by employing Kristopher Love to murder deceased for remuneration and the promise of remuneration, to wit: drugs and United States currency, from defendant and a drug cartel, and pursuant to said agreement, the said Kristopher Love did then and there intentionally and knowingly cause the death of the said deceased by shooting deceased with a firearm, a deadly weapon, And did further unlawfully then and there intentionally cause the death of KENDRA HATCHER, an individual, hereinafter called deceased, by SHOOTING DECEASED WITH A FIREARM, A DEADLY WEAPON, and the defendant was then and there in the course of committing and attempting to commit the offense of ROBBERY of said deceased523:3: C1 c: -. [TAgainst the peace and dignity of the State. Susan Hawk WW Criminal District Attorney Foreman of the Grand Jury- Dallas County, Texas Page 1 of 1 STATE OF TEXAS AFFIDAVIT FOR ARREST WARRANT COUNTY OF DALLAS BEFORE ME. the undersigned authority, on this day personally appeared the undersigned affiant who, a?er being duly sworn by me, on oath stated: My name is Erie Barnes #8854 and I am a peace of?cer of the City of Dallas. Dallas County, Texas. I. the af?ant, have good reason and do believe that on or about the 2E2 day of September, 20 one (name of suspect)_Brenda Delgado did then and there in the City of Dallas, DallasCounty, Texas commit the offense ofggpigal Murder, a violation of Section 19.Af?ant?s belief is based upon the following facts and information Which Af?ant received from: Af?ant?s personal investigation of this alleged offense. . a fellow peace of?cer of the City of Dallas, Dallas County, Texas, who personally participated in the investigation of this alleged Offense, providing this information to Af?ant, and whose information A?iant believes to be credible. . On Wednesday September 2, 20l5, at approximately 7:45 pm, Dallas Police responded to a shooting call at I700 Cedar Springs Road, Dallas, Dallas County, Texas. When they arrived they found the complainant Kendra Hateher (WIF 02/03/80) deceased in a parking garage from an apparent gunshot wound. On September 4, 2015 witness Jose Ortiz contacted a Dallas Police Of?cer to inform the of?cer that he had information regarding the complainant?s death. Witness Ortiz said that he loaned his 1996 Jeep Cherokee to suSpeet Brenda Delgado. Witness Ortiz said he observed still photos of his vehicle on the news related to the complainant's death. During the interview with witness Ortiz detectives learned that suspect Delgado let her friend use the vehicle. Detectives contacted suspect Delgado who agreed to come to speak with detectives. On September 4, 2015 suspect Delgado arrived at Dallas Police Headquarters and told detectives that she allowed accomplice Cortes 02/04/92) to use the 1996 Jeep Cherokee. Accompliee Cortes also voluntarily came to the Dallas Police l-leadquarters and admitted that she conspired with suspect Delgado to rob the complainant for remuneration which resulted in her death. Accomplice Cortes was arrested for this o?'ense. After further investigation detectives were able to determine that suspect Delgado employed accomplice Kristopher Love 03/23l84) to commit the murder for the promise of remuneration. A witness who will remain anonymous for their safety was able to con?rm that accomplice Cortes, accomplice Love, and suspect Delgado acted in concert to commit this offense against the complainant. Accomplice Love admitted to his role in the robbery which resulted in the complainant's death. ..- .. w. C., rant? ?saw . .., . ?i . . . 1., \r STATE OF TEXAS AFFIDAVIT FOR ARREST WARRANT COUNTY OF DALLAS ?g #335 WHEREFORE. Af?tml requests that an arrest warrant be issued 0 for the above accused individual in accordance with the law. AFFIANT . SUB BED, AND SWORN BEFORE ME on the /dayof QJC 20 I or JUDGES DETERMINATION OF PROBABLE CAUSE On this the f] day or (lbw 20 I here by acknowledge that I have exa?n?t?ined the foregoing af?davit and have determined that probable cause exists for the issuance of an arrest warrant for the individual accused therein. . Magistrate-or Judge, iri and for DdllasCount Texas 50:: Magistrate or Judge In 6nd fo{Dailas County, Texas Continuation: Brenda Dcigado.