ls, MARION COUNTY CIRCUIT COURT ASSIGNMENT I 1 Case Numbeff State of Oregon v. THIS CASE HAS BEEN ASSIGNED TO: EJUDGE LYNN E. JUDGE CLAUDIA M. BURTON JUDGE DON A. DICKEY (503) 588-5492 (503) 584-7713 (503) 373-4445 JUDGE DENNIS J. GRAVES JUDGE JOSEPH C. GUIMOND JUDGE TOM M. HAR (503) 585-4939 (503) 588-5160 (503) 584-7749 ij JUDGE MARY M. JAMES lj JUDGE lj JUDGE TRACY A. PRALL (503)373-4303 (503) 588-5030 (503) 588-5026 JUDGE JAMESE L. RHOADES lj JUDGE SUSAN M. TRIPP (503) 5857950 (503) 373-4361 A status conference date has been set in this case with the assigned Judge On the (2 flday of 2061, at (R) pm at: Marion County Courthouse 100 High sr NE Salem, OR 97301 Both parties, including the Defendant, must appear at the status conference date as scheduled. appear may result in a Warrant of Arrest being issued- Dated this day of 200_. Signature of Defendant 1 1 Defendant custodial status. out of custody MQ1 custod ER JUDGE ASSIGNMENT COPIES: Canary=DA; Pink=Defendant; Golden Revised (10/08) Failure to 5' qv 5? ms Eur#-THE CIRCUIT COURT OF THE STATE OF OREGON FOR THE COUNTY or MARION THE STATE OF OREGON No. 08C539l3 Plmtifn i MOTION FOR DISMISSAL or INFORMATION vs. AND ORDER BRUCE ALDON TURNIDGE, 3 Defendant Comes now, Walter M. Beglau, District Attomey for Marion County, and respectfully moves the COUI1 for an order dismissing the above-entitled infomiation for the reason and upon the grounds that: The case was submitted to the Marion County Grand Jury and an indictment was retumed and tiled in the above-entitled matter. Further investigation reveals it would be in the interest of justice that said information be dismissed, Dated at Salem, Oregon, this 23" day of December, 2008. WALTER M. BEGLAU, District Attomey OSB #90040 5 By: 6/1 Deputy District Attorney ORDER Based upon th regoing motion and upon the grounds set forth therein; IT IS BY ORDERED that the State's Motion for Dismissal is hereby: ALLOWED DENIED nil? 7 Dated at Salem, OregonPage 1 MOTION AND ORDER 12/23/08 COPIES: lzcourt; l=mcso; lfdefendant; tile 08-12870 (Q .I TE GO EN ED Marion County Circuit Couns /DE{jf2_4 2008 I 2 3 ZUU IN THE CIRCUIT COURT OF THE STATE OF OREGON I In A7 I FOR THE COUNTY OF MARION THE STATE OF OREGON No 08053913 Plaintifti 3 INDICTMENT BRUCE ALDON TURNIDGE, Defendant. The Defendant, jointly charged with Joshua Abraham Turuidge, is accused by the Grand Jury of the County of Marion and the State of Oregon, by this indictment ofthe criminal offenses of: Count 01: ORS 163.095 AGGRAVATED Felony) . Count 02: ORS 163.095 AGGRAVATED Felony) Count 03 Count 04: Count 05 Count 06: Count 07: Count O8 Count 09: Count 10: ORS 163.095 AGGRAVATED Felony) ORS 163.095 AGGRAVATED Felony) ORS 163.095 AGGRAVATED Felony) ORS 163.095 AGGRAVATED Felony) ORS 163.095 AGGRAVATED Felony) ORS 163.095 AGGRAVATED Felony) ORS 163 .095 AGGRAVATED Felony) ORS 163.095 AGGRAVATED Felony) Count ll: ORS 161.405/163.095 AGGRAVATED Felony) Count 161.405/163.095 ATTEMPTED AGGRAVATED Felony) Count 13: ORS 161.405/163.095 ATTEMPTED AGGRAVATED Felony) Count 14: ORS 163.185 ASSAULT IN THE FIRST Felony) Count 15: ORS 163.175 ASSAULT IN THE SECOND Felony) Count 16: Count 1 7 Count 1 8 ORS 166.384 UNLAWFUL MANUFACTURE OF A DESTRUCT IVE Felony) ORS 166.382 UNLAWFUL POSSESSION OF DESTRUCT IVE Felony) ORS 161.450/163.095 CONSPIRACY TO COMMIT AGGRAVATED Felony) committed as follows: COUNT 01 The defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally cause the death Of Thomas Tennant, another human being, defendant having unlawfully and intentionally caused the death of William Hakim, an additional human being, in the course ofthe same criminal episode. Page l~ INDICTMENT No. (t -v COUNT 02 As part of the sa.rne act or transaction as alleged in Count 1 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally cause the death of William Hakim, another human being, defendant having unlawfully and intentionally caused the death of Thomas Tennant, an additional human being, in the course ofthe same criminal episode. COUNT 03 As part ofthe same act or transaction as alleged in Count and Count 2 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally cause the death of Thomas Termant, another human being who was a police officer, the death being related to the performance of Thomas Tennant's official duties in the justice system. COUNT 04 As part of the same act or transaction as alleged in Count 1, Count 2 and Count 3 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally cause the death of William Hakim, another human being who was a police officer, the death being related to the performance of William Hakim's official duties in the justice system. COUNT 05 As part ofthe same act or transaction as alleged in Count 1, Cotmt 2, Count 3 and 4 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally, by means of an explosive, cause the death of Thomas Tennant, another human being. COUNT O6 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4 and Count 5 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally, by means of an explosive, cause the death of William Hakim, another human being. COUNT 07 As pan ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5 and Count 6 above the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally commit the crime of Criminal Mischief in the Degree by means of an explosive, to wit: unlawfully and with intent to damage property, damage by means of an explosive, the building located at 2540 Newberg Hwy, the property of West Coast Bank, the defendant having no right to do so nor reasonable ground to believe that defendant had such right and in the course of and in the furtherance ofthe crime that defendant was committing, defendant personally and intentionally caused the death of William Hakim, a human being who was not a Page 2- INDICTMENT D.A. No. 08-12870 (mr participantiin the crime. COUNT 08 As part ofthe same act or transaction as alleged in Count l, Count 2, Count 3, Count 4, Count 5, Count 6 and Count 7 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally commit the crime of Criminal Mischief in the Degree by means of an explosive, to wit: unlawfully and with intent to damage property, damage by means of an explosive, the building located at 2540 Newberg Hwy, the property of West Coast Bank, the defendant having no right to do so nor reasonable ground to believe that defendant had such right and in the course of and in the furtherance of the crime that defendant was committing, defendant personally and intentionally caused the death of Thomas Tennant, a human being who was not a participant in the crime. COUNT 09 As part of the same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7 and Count 8 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally commit the crime of Robbery in thelst Degree, to wit: unlawfully and knowingly while in the course of attempting to commit theft, and with the intent of compelling a person to deliver the property, use and threaten the immediate use of physical force upon another person, and use a dangerous weapon, and in the course of and in furtherance of the crime that defendant was committing, defendant personally and intentionally caused the death of William Hakim, a human being who was not a participant in the crime. COUNT 10 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7, Count 8 and Count 9 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally commit the crime of Robbery in thelst Degree, to wit: unlawfully and knowingly while in the course of attempting to commit thett, and with the intent of compelling a person to deliver the property, use and tlueaten the immediate use of physical force upon another person, and use a dangerous weapon, and in the course of and in furtherance of the crime that defendant was committing, defendant personally and intentionally caused the death of Thomas Tennant, a human being who was not a participant in the crime. COUNT ll As part of the same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count- 7, Count 8, Count 9 and Count 10 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally, by means of an explosive, attempt to cause the death of Scott Page 3- INDICTMENT D.A. No. 08-12870 Q, -f Russell, another human being. COUNT 12 As part ofthe same act or transaction as alleged in Count l, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10 and Count 11 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally attempt to cause the death of Scott Russell, another human being who was a police officer, the death being related to the performance of Scott Russell's official duties in the justice system, COUNT 13 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10, Count lland Count 12 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally, by means of an explosive, attempt to cause the death another human being. COUNT 14 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Cotmt 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10, Count 11, Count 12 and Count 13 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally cause serious physical injury to Scott Russell by means of a deadly or dangerous weapon, to wit: an explosive device. The state further alleges that the above-named victim did not substantially contribute to the commission of the above-described offense by precipitating the attack. COUNT 15 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10, Count 11, Count 12, Count 13 and Count 14 above the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and intentionally cause physical injury to by means of a deadly and dangerous weapon, to wit: an explosive device, COUNT 16 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10, Count 11, Count 12, Count 13, Count 14 and Count 15 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and knowingly manufacmre a destructive device, to wit: a bomb. Page 4- INDICTMENT No, 08-12870 7 ii, COUNT 1.7 As part ofthe same act or transaction as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10, Count 11, Count 12, Count 13, Count 14, Count 15 and Count 16 above, the defendant, on or about December 12, 2008, in Marion County, Oregon, did unlawfully and knowingly possess a destructive device, to-wit: a bomb, said device having an explosive device component. COUNT 18 As part ofthe same act or transaction as alleged in Count 1, Count 2, Coxmt 3, Count 4, Count 5, Count 6, Count 7, Count 8, Count 9, Count 10, Count ll, Count 12, Count 13, Count 14, Count 15, Count 16 and Count 17 above, the defendant, on or about December 12, 2008, ill Marion County, Oregon, did unlawfully, with the intent that conduct constituting the crime of Aggravated Murder, punishable as a felony, be perfomied, agree with each other and others to engage in and cause the performance ofthe following conduct: unlawfully and intentionally, by means of an explosive, cause the death of another hum WITNESSES: All Witnesses appeared in person unless otherwise noted. af" #97517 :sdm IT IS ORDERED that a wanant be issued for the arrest ofthe defendant, bail being set in the amount of Date Judge Arresting Agency Name: SMS Case #1 08-24798 IDENTIFIERS: Ht: 507 Wt: 185 Hair: GRY Ey INST: MARJ 76138506 Page 5- INDICTMENT D.A. No. 08-12870 an being. A TRUE Grand For erson WALTER M. BEGLAU Marion County District Attomey DATE: December 22, 2 CERTIFICATE I hereby certify this copy to be a true, full and correct copy ofthe original now on record in my office. Clerk of the Circuit Court By Deputy es: BRO DOB: 07/27/1951 SID: 17717689