186335222 . Al?davlt Probable Cause 9334353 In the Circuit Court of the State of Oregon in Court DA 2382166-1 STATE or OREGON, Crime Report PP 18-173886 :3 PS "a Plaintiff, is 25. 0 v. . AFFIDAVIT OF PROBABLE CAUSE FILED TO SUPPORT Imitap i3; GREGORY PHILLIP PORTER or DEFE g?lgjibrib?m ?w?ibi?atz DOB: MAY 29 2038 GUNS DNDT '3 am i 9 2033 Defendapggcuw COURT I JUDGE 1, Melissa A. Marrow, swear that I am a Deputy District Attorney for Multnomah County and that I have reviewed the police reports and the affidavit in support of a search warrant, which have been ?led in this case by police of?cers; that the crimes charged against defendant(s) occurred in Multnomah County and that the probable cause for detention following the arrest of defendant(s) is as follows: Of?cer Close reported the following in his af?davit for a search warrant: That on May 25, 2018, he was paged to SW 6th Avenue and SW Hall Street as a member of the Portland Police Bureau's Major Crash Team. That when on route, Of?cer Close learned that a vehicle had run over several pedestrians on the sidewalk and ?ed the scene without stopping. Officer Close reports that when he arrived at the scene, the area was taped off and the victims had been transported to the hOSpItal. Of?cer Sorensen told Of?cer Close that victim Hannah Cline was in surgery with life?threatening injuries, that victim Sabrina .Vuscan had a lacerated liver and spleen and that hospital staff were trying to stabilize her enough to get her into surgery, and that victim Fadra Regis sustained a fractured leg, but was not critical. Of?cer Close spoke to witness Strong. Strong reported that he was stopped at the intersection just south of the scene when he heard a noise and looked to see where it was coming from. Strong reported observing an SUV run over a second group of girls. Strong reported that he assumed that the noise that caught his attention was from a person being hit before he observed the girls struck by the SUV. Strong reported that he took out his phone and took a burst of photos, and that he watched the vehicle rapidly accelerate. Strong stated that the vehicle sounded like someone with the gas pedal to the floor. Strong further stated that the vehicle was headed towards a group of males, but the MAX train on 6th made a turn and prevented the vehicle from hitting others. Strong reported that he provided the photos to law enforcement. Of?cer Close observed a photo that Strong took of the vehicle and observed the rear license plate to be 49111-111 Strong con?rmed that the blue Mazda Tribute pictured in the photo was the susPect vehicle. Of?cer Alexander Qumsland reported that he spoke with Witness Rob Otis. Otis reported that he observed the SUV drive up the sidewalk ramp and onto the Sidewalk. That he saw the car accelerate once it was on the sidewalk and continue driving on the sidewalk northbound. That he saw a student go ?ying into the air after being struck by the SUV and that he watched as the vehicle continued to drive on the sidewalk until it ?nally drove off of the sidewalk near the end of the block and turned left off of SW 6th Avenue. . Of?cer David TrOppe spoke With multiple Witnesses. Of?cer Troppe reported the following: Witness Rice stated that he did not hear the car apply brakes, but did hear the car hit people and then drive quickly north on SW 6th. Witness Healy did not see the car hit the victims, but stated that she saw the car shift off of the street in a "controlled sort of way". She heard impact sounds, but did not hear any brake sounds. Witness Lee observed the SUV driving on the sidewalk, going "so fast." . Of?cer Close spoke to Of?cer Smelzer, who spoke with witness Guo. 6110 reported that she saw the driver of the SUV headed southbound on Broadway after the crash and that the driver had stopped at a red light in front of her at SW Broadway. Guo described that man as a large bellied white male, with grey hair and a white sweatshirt. O?icer Close reported that Lt. Niiya informed him that of?cers had located the vehicle. Of?cer Sorensen responded to the location to determine whether the driver was impaired. Of?cer Sorensen reported that the driver, Gregory Porter, told him that the vehicle he was driving was his and that he was driving the SUV downtown on that day. Porter told O?icer Sorensen that he does not allow anyone else to operate the vehicle he was driving. I know from Viewing the booking photo of Porter that he is a larger white male with grey hair, which is consistent with the description provided by Guo. Of?cer Tequila Thurman reported that she responded to NE 16?11 Avenue on May 25, 2018 and was present when Porter was taken into custody. Of?cer Thurman reports that she spoke with witness Johnson, who reported that he was out walking his dog when he noticed the bright blue SUV with damage to the hood and the horn end. That the noticed a male sitting in the driver seat and no other people associated with the vehicle. That he went back insrde, and began scrolling 1 AFFPC Veri?ed Correct Copy of Original 5f29f 201 8. through the news. That he read an article regarding the initial inadent at Portland State University as learned the blue SUV was still outstanding. That he went outside, took a photo of the vehicle, and immediately called the police. Detective Kammerer told Officer Close that Porter?s vehtcle had damage on the front end. Of?cer Ryan Lewton con?rmed that the blue Mazda Tribute, with license number was registered to Porter. Ibelieve there is probable cause to believe the defendant, GREGORY PHILLIP PORTER, has committed the cnme(s) of: COUNT 1 - ATT AGG MURDER (MULTIPLE BOTH VICS), COUNT 2 ATT AGG MURDER (MULTIPLE BOTH VICS), COUNT 3 AGG MURDER (MULTIPLE BOTH VICS), COUNT 4 - ASSAULT I, COUNT 5 ASSAULT I, COUNT 6 ASSAULT II (USE OF WEAPON), COUNT 7 - AND (FAIL TO STOP) FEL, COUNT 8 HIT AND SERIOUS (FAIL TO STOP) FEL and COUNT 9 RUN - INJURY (FAIL TO STOP) 0 FELONY. Date 6/85? i; WK?Mah-em, DDA, 0313:: 123846 SUBSCRIBED AND TO BEFORE ME ON THE ABOVE DATE: 3 OFFICIAL SEAL E: DAWN A?naason otary Public For Oregon: NOTARY PUBLIC - OREGON My Commissiou Expires: I ?9 - I (i COMMISSION NO 944945 . Deputy Clerk of the centimeter: DECEMBER 1. 2019 Circuit Court Judge of the Circuit Court AFFIDAVIT OF PROBABLE CAUSE 2 AFFPC Veri?ed Correct Copy of Original 5! 292?2018. In the Circuit Court of the State of Oregon For Multnomah County Court Nb! DA 2382166-1 STATE OF OREGON Crime Report PP 18?173 886 PS Plaintiff, FILED V. 2 In Information of District Anni-MY 3 ?8 3 GREGORY PHILLIP PORTER DOB: 03/01/1957 ORS 163.095 CIRCUIT ORS 163.185 ORS 163.175 (6) ORS 811.705 Defendant(s). The above-named defendant(s) is accused by this information of the crime(s) of COUNT 1,2,3 ATTEMPTED AGGRAVATED MURDER, COUNT 4,5 - ASSAULT IN THE FIRST DEGREE, COUNT 6 ASSAULT IN THE SECOND DEGREE, COUNT 7,8 - FAILURE TO PERFORM DUTIES OF A DRIVER TO INJURED PERSONS (CLASS FELONY), COUNT 9 - FAILURE TO PERFORM DUTIES OF A DRIVER TO INJURED PERSONS (CLASS FELONY), committed as follows: ATTEMPTED AGGRAVATED MURDER The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Muitnomah, State of Oregon, did unlaw?illy and intentionally attempt to cause the death of Hannah Cline, another human being, defendant having tmlawfuily and intentionally attempted to cause the death of Sabrina Vuscan and Fadra Regis, an additional human being, in the course of the same criminal episode, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is connected together by two or more acts or transactions With the other counts of this charging instrument. This count constitutes part of a common. scheme or plan based on two or more acts or transactions with the other counts of this charging instrumnnt. COUNT 2 ATTEMPTED AGGRAVATED MURDER The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnomah, State of Oregon, did uniaw?lliy and intentionally attempt to cause the death of Sabrina Vuscan, another human being, defendant having unlaw?illy and intentionally attempted to cause the death of Fadra Regis and Hannah Cline, an additional human being, in the course of the same criminal episode, contrary to the statutes such cases made and provided and against the peace and dignity of the State of Oregon, This count is connected together by two or more acts or transactions with the other counts of this charging instrument This count constitutes part of a common scheme or plan based on two or more acts or transactions with the other counts of this charging instrument. COUNT 3 ATTEMPTED AGGRAVATED MURDER The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnomah, State of Oregon, did unlaw?illy and intentionally attempt to cause the death of Fadra Regis, another human being, defendant having uniaw?iily and intentionally attempted to cause the death of Hannah Cline and Sabrina Vuscan, an additional human being, in the course of the same criminal episode, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is connected together by two or more acts or transactions With the other counts of this charging instrument. This - count constitutes part of a common scheme or plan based on two or more acts or transactions With the other counts of this charging instrument. 186835222 I Intermellcn 9304855 INFORMATION OF DISTRICT ATTORNEY ii i i Veri?ed Correct Copy of Original 5129/0018. Page 2 Defendant: Gregory Phillip Porter Court 18-CR-35222 COUNT 4 ASSAULT IN THE FIRST DEGREE The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnornah, State of Oregon, did unlawfully and intentionally cause serious physical injtuy to Hannah Michelle Cline by means of a dangerous weapon to?wit: a motor vehicle, 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 the above-named victim did not substantially contribute to the commission of the above described offense by precipitating the attack. This count is connected together by two or more acts or transactions with the other counts of this charging instrument. This count constitutes part of a common scheme or plan based on two or more acts or transactions with the other counts of this charging instrument. COUNT 5 ASSAULT IN THE FIRST DEGREE The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnomab, State of Oregon, did unlawfully and intentionally cause serious injury to Sabrina Mariana Vuscan by means of a dangerous weapon to?w1t'. a motor vehicle, 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 the above?named victim did not substantially contribute to the commission of the above- descnbed offense by precipitating the attack. This count is Connected together by two or more acts or transactions with the other counts of this charging instrument. This count constitutes part of a common scheme or plan based on two or more acts or transactions With the other counts of this charging instrument. COUNT 6 ASSAULT IN THE SECOND DEGREE The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnomah, State of Oregon, did unlawfully and intentionally and cause physical injury to Fadra Regis, by means of a dangerous weapon, to?wit: a motor vehicle, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon. This count is connected together by two or more acts or transactions With the other counts of this charging instrument. This count constitutes part of a common scheme or plan based on two or more acts or transactions with the other counts of this charging instrument. COUNT 7 FAILURE TO PERFORM DUTIES OF A DRIVER TO INJURED PERSONS (CLASS FELONY) The said Dcfendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnornah, State of Oregon, being the driver of a vehicle being operated on premises open to the public, which vehicle was involved in an accident that resulted in serious physical injury to Hannah Michelle Cline, did unlawfully and fail to stop the vehicle at the scene of the accident or as close thereto as possible and remain at the scene contrary to the statutes in such cases made and provided and a gainst the peace and dignity of the State of Oregon, This count is connected together by two or more acts or transactions With the other counts of this charging instrument This count constitutes part of a common scheme or plan based on two or more acts or transactions with the other counts of this charging instrument. COUNT 8 FAILURE TO PERFORM DUTIES OF A DRIVER TO INJURED PERSONS (CLASS FELONY) The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnomah, State of Oregon, being the driver of a vehicle being operated on premises open to the public, which vehicle was involved in an accident that resulted in serious physical injury to Sabrina Mariana Vuscan, did unlawfully and knowingly fail to iimncdiately stop the vehicle at the scene of the accident or as close thereto as possible and remain at the scene contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is connected together by two or more acts or transactions with the other counts of this charging instrument. This count constitutes part of a common scheme or plan based on two or more acts or transactions with the other counts of this charging instrument. COUNT 9 FAILURE TO PERFORM DUTIES OF A DRIVER TO INJURED PERSONS (CLASS FELONY) The said Defendant(s), GREGORY PHILLIP PORTER, on or about May 25, 2018, in the County of Multnornah, State of Oregon, being the driver of a vehicle being operated on premises open to the public, which vehicle was involved in an Verified Correct Copy ot'Original 5f29f2018. Page 3 Defendant: Gregory Phillip Porter Court accident that resulted in physical injury to Fadra Regis, did unlawfully and knowingly fail to immediawa step the vehicle at the scene of the accident or as close thereto as possible and remain at the scene, contrary to the statutes in such cases made and provided and against the peace and dignity of the State of Oregon, This count is connected together by two or more acts or transactions with the other counts of this charging instrument. This count constitutes part of a common scheme or plan based on two or more acts or transactions with the other counts of this charging mstrument. Dated at Portland, Oregon, in the county aforesaid, on MAY 29, 2018. MARRERO 083 123846 ROI) UNDERHILL (883246) District Attorney Multnomah Con ty, Orfon By W. A Issunig he?p??ty, 0313 a Security Amount (Def - PORTER) $250,000 $250,000 $250,000 $250,000 $250,000 $250,000 $20,000 $20,000 $5,000 Uniform Complaint DECLARATION The Dlsl?t?lct Attorney hereby a?innanvely denial-es for the record, as required by ORS lol 566, upon the date scheduled for the ?rst appearance of the defendant, and before the court asks under ORS 135 020 how the defendant pleads to the Chamois}, the State's intention that any misdemeanor charged herein proceed as a misdemeanor Pursuant to 2005 Or Laws ch. 463 sections 1 to 7, 20(1) and 2} to 23, the State hereby provides written notice of the State?s intention to rely at sentencing on enhancement facts for any statutory ground for the imposition of consecutive sentences codi?ed under ORS 137. I 23 or: these counts or to any other sentence which has been previously imposed or is simultaneously imposed upon this defendant.