RiSll??lis 31001 THE STATE or TEXAS 02354326 D.A. LOG vs. C118 TRACKING No: ALEXANDRIA M. VERA SPN: BY: DB DA NO: 002197379 DOB: WF 8-22-91 ISD PD DATE PREPARED: 5/27/2016 NO: 160297 ARREST I Chris Daniel NCIC CODE: 1199 03 RELATED CASES: DIStfiCt Clerk FELONY CHARGE: Continuous Sexual Abuse ofa Child 2 7 CAUSE NO: BAIL: $100,000-nma, 3? HARRIS COUNTY DISTRICT COURT NO: PRIOR CAUSE NO: Harrl FIRST SETTING DATE: 209 By ?My. Texas U0 IN THE NAME AND BY AUTHORITY OF THE STATE OF TEXAS: Before me, the undersigned Assistant District Attorney of Harris County, Texas, this day appeared the undersigned af?ant, who under oath says that he has good reason to believe and does believe that in Harris County, Texas, ALEXANDRIA M. VERA hereafter styled the Defendant, heretofore on or about SEPTEMBER 30, 2015 CONTINUING THROUGH JANUARY 30, 2016, did then and there unlawfully during a period of time of thirty or more days in duration, commit at least two acts of sexual abuse against a child younger than fourteen years of age, including an act constituting the offense of aggravated sexual assault of a child committed against J. T. on or about SEPTEMBER 30, 2015, and an act constituting the offense of aggravated sexual assault of a child, committed against J. T. on or about JANUARY 30, 2016, and the Defendant was at least seventeen years of age at the time of the commission of each of those acts. PROBABLE CAUSE I, J. Gonzales, am a certi?ed peace of?cer employed with Aldine Independent School District Police Department. I have reason to believe and do believe that Alexandria Vera committed the felony offense of Continuous Sexual Abuse of a Child on or about September 30, 2015 through January 30, 2016 in Harris County, Texas. 1 base my belief on the following: In April of 2016, I was assigned to conduct a followup investigation concerning an improper relationship between a teacher and a student at Stovall Middle School, I met with Elsa Wright who is the principal at Stovall Middle School. Elsa Wright explained that she had received a tip that Alexandria Vera was having an inapprOpriate relationship with a student. Elsa Wright stated that she knows Alexandria Vera, hereafter Defendant, by name and by sight as an English teacher at Stovall Middle School. Elsa Wright stated that after she got the tip, she questioned the Defendant, and the Defendant admitted to having a sexual relationship since September of 2015 with a known student, .T., hereafter Complainant. Elsa Wright stated that the Complainant was in the teacher's 8th grade English class and provided me with some school records showing him to be under the age of 14 during the time period that the Defendant started the sexual relationship. I met with Defendant who agreed to discuss the case with me. She stated that she ?rst met the Complainant during the summer school session in 2015. She said that at ?rst he was rude to her but then later he started asking her for her Instagram name. She said that she refused to provide her Instagram name at that time, however after summer school ended he found her on Instagram anyway because she got a request from his Instagram account and she rejected the request. She stated that when the regular school stated, she saw that the Complainant was assigned to one of her English classes. She stated that the Complainant would ?irt with her and say inappropriate things to her. She stated that she would tell him to stop, but he would continue to ?irt with her. She stated that in September, she noticed that he was not in class and became worried about him. She said she sent him a message on Instagram to check on him and remind him of an assignment due. She said that he replied and this led to him asking for her phone number. She said that the Complainant asked if they could hang out and she said yes. She said she drove to his house and picked him up. They drove around for a little while and she said that they kissed in the car. She explained that the next day, she went over to his house again because his parents weren't home. She said this was the ?rst time they had sex. She stated that she thinks the ?rst time they had sex was at the end of September of 2015. Defendant said that in October the school had an open house and this was when she met Complainant's parents. Defendant stated that after the open house, she went over to Complainant's home, and was introduced as his girl?iend to the Complainant's parents. The Defendant stated that the parents were accepting of their relationship and she was even invited to family gatherings after that point. The Defendant stated that her relationship with the Complainant grew and they continued to have sex and spend time together. The Defendant stated that the Complainant would sleep with her at her house and then she?d drive him back home in the morning so that he could catch the bus to school. She stated that she and the Complainant had sex on almost a daily basis at her home and that they love each other. The Defendant stated that in January she got pregnant with the Complainant's baby. She stated that his family was told of the pregnancy, and they were very supportive and excited about the baby. She said that she ended up having an abortion, after she got nervous when CPS unexpectedly showed up at school in February of 2016 to question her and Complainant about their relationship. She said that she denied the pregnancy and the relationship at that time to CPS. She provided her cell phone and consented to a digital search of her phone. She also provided her home address which I con?rmed was located within Harris County, Texas. I also con?rmed the Complainant?s address as being within Harris County, Texas too. I had her phone forensically analyzed and found many messages between the Defendant and Complainant that were consistent with what she had disclosed. I watched a forensic interview of the Complainant where the Complainant disclosed a sexual relationship with the Defendant. The Complainant was able to identify the parts of his body and de?ned sex as putting his penis inside the Defendant's vagina. His forensic interview was consistent with what the Defendant had told me. Based on the Complainant's date of birth, 1 con?rmed that he was under the age of 14 during this time frame from September of 2015 until the end of January 2016. I also con?rmed from the school administration that the date of the open house (when the Defendant met the Complainant's family) was October 8, 2015. AGAINST THE PEACE AND DIGNITY OF THE STATE. Sworn to and subscribed before me on May 27, 2016 AT ASSIS ANT DISTRICT ATTORNEY BAR NO. OF mints CW7, TEXAS. COMPLAINT