DA Unituc In the Circuit Court of the State of Oregon For Multnomah County Caurt DA 2343964-1 STATE OF OREGON Crime Report PP 16118154 ELIQIBLE Plaintiff, Indictment for Violation or v. a ORS ,2 MICHAEL AARON STRICKLAND ORS 163.190 (2,4,6,8,10,12,14,16,l8,20 EL DOB: -- ORS 166.025 (21) [.155 2 35 Defendmm Circuit Courts County, Gregor The ahavenamed defendantts) are accused by the Grand Jury of Multnomah County, State of Oregon, hy this indictment of of COUNT 1,3,5,7,9,ll,13.1s,l7.19 UNLAWFUL USE OF A WEAPON WITH A FIREARM, COUNT MENACING, COUNT 21 -- DISORDERLY CONDUCT lN THE SECOND DEGREE, committed as follows: COUNT UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendantts), MICHAEL AARON on or ahont July 07, mo, in the County oiMultnornah, State of Oregon. did unlawfulIy attempt to use, carry with intent to use and possess with intent to use unlawrully against another person, to wit: a balding male wearing a black shin and dark pants. a firearm, a dangerous and deadly weapon, contrary to the statures in such cases made and provided and against the peace and dignity otthe State of Oregon. The state fimher alleges that during the commission otthis felony, the detendantts) used and threatened the use of a firearm. This count is a pan of the same set or transaction as the oonducl alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in rhe other counts Of this charging instrument. COUNT MENACING The said MICHAEL AARON STRICKLAND, on or aboul July 07, 2016, in the County of Mulmomah, Slam or Oregon, did unlawfully and intentionally attempt to place another person, to . hulding male wearing a hlach shirt and dark pants, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity otthe State oTOregon, This count is a part of the same actor transaction as the conduct alleged in rhe orher counts of this charging instrument. This mum is of the same and similar character as the conduct alleged in the other counts of rhis charging instrummt. COUNT 3 UNLAWFUL USE OF A WEAPON WITH A FIREARM IN 6mm ll INDICTMENT ntst; Court -- Cnpiu: tier. Anni-m. m, nit. Entry Veri?ed Correct Copy of Original 8/4/2016.? Page 2 Defendant: Michael Aaron Strickland Court The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a male wearing a black hooded top and dark pants with a blue backpack, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 4 MENACIN The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a male wearing a black hooded top and dark pants with a blue backpack, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 5 UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a male with dark hair, black shirt, and tan pants wearing a scarf around his neck, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 6 MENACIN The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a male with dark hair, black shirt, and tan pants wearing a scarf around his neck, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 7 UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a male with a large video camera and backpack with the words LiveU on the back, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cascs made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 8 MENACING INDICTMENT Dist: Original: Court Copies: Defendant, Def. Attorney, DA, Data Entry Veri?ed Correct Copy of Original 8/4/2016.? Page 3 Defendant: Michael Aaron Strickland Court The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a male with a large video camera and backpack with the words LiveU on the back, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 9 UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a female with a black top, black skin, and black cloth over her mouth, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 10 MENACING The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a female with a black top, black skirt, and black cloth over her mouth, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT ll UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a male with a green top, dark backpack, and white mask on his face, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. MENACING The said Defendant(s), MICHAEL AARON ST RICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a male with a green t0p, dark backpack, and white mask on his face, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. UNLAWFUL USE OF A WEAPON WITH A FIREARM INDICTMENT Dist: Original: Court Copies: Defendant, Def. Attorney, DA, Data Entry Veri?ed Correct Copy of Original 8/4/2016.? Defendant: Michael Aaron Strickland Court Page 4 The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a male wearing jeans, a dark top, a backpack, a green cloth on his face, and a multicolor mask on top of his head, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state ?irther alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 14 MENACING The said Defendant(s), MICHAEL AARON STRICKLAN D, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a male wearing jeans, a dark top, a backpack, a green cloth on his face, and a multicolor mask on top of his head, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 15 UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a male wearing tan pants, a blue jacket, and a red shirt, holding an orange bottle, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 16 MENACING The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to Wit: a male wearing tan pants, a blue jacket, and a red shirt, holding an orange bottle, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 17 UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlawfully against another person, to wit: a female with dark hair, blacktop, and black pants, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 18 MENACING INDICTMENT Dist: Original: Court Copies: Defendant, Def. Attorney, DA, Data Entry Veri?ed Correct Copy of Original 8/4/2016.? Page 5 Defendant: Michael Aaron Strickland Court The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a female with dark hair, black top, and black pants, in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 19 UNLAWFUL USE OF A WEAPON WITH A FIREARM The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully attempt to use, carry with intent to use and possess with intent to use unlaw?illy against another person, to wit: a male wearing a blue hooded top, dark pants, and a black messenger bag, a ?rearm, a dangerous and deadly weapon, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, The state further alleges that during the commission of this felony, the defendant(s) used and threatened the use of a ?rearm. This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 20 MENACIN The said Defendant(s), MICHAEL AARON STRICKLAND, on or about July 07, 2016, in the County of Multnomah, State of Oregon, did unlawfully and intentionally attempt to place another person, to wit: a male wearing a blue hooded top, dark pants, and a black messenger bag in fear of imminent serious physical injury, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is a part of the same act or transaction as the conduct alleged in the other counts of this charging instrument. This count is of the same and similar character as the conduct alleged in the other counts of this charging instrument. COUNT 21 DISORDERLY CONDUCT IN THE SECOND DEGREE INDICTMENT Dist: Original: Court? Copies: Defendant, Def. Attorney, DA, Data Entry Page 6 Michael Aaron Strickland Calm 16CR41718 The said MICHAEL AARON (in or sham July 2016, in the County ufMulDIomah. State nmregun, did unlawfully and recklessly create a risk of public inconvenlence. annoyance and ulunn, by engaging in fighting and Violeni, tumultuous and threatening behavioL contrary l0 statutes in such cases made and provided and uguinu ilie peace and dignity oldie sme oiOregon, This mum is a part in me mm: act in transaction as the cunduci alleged in th: other counts of an: charging Ins|rumenL This count is or the same and similar charmer as the conduct alleged in due mum: of mu charging Dated at Ponlund, Oregon, in me county aforesaid, on AUGUST 03, 20 I6. A TRUE BILL s: lien Ken! Forepersoxl orilie Grand Jury ROD UNDERHILL ("3246) District Anomey Multnm'nah County. Oregon Deputy Security Anioum (Def - STRICKLAND) Bail incresscd to $250,000 by Judge Bottomly nn July 08, 2016. i NF rim ARATVON in: mine. 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