STATE OF INDIANA . IN THE PERIORURT. SS: COUNTY OF TIPPECANOE Fat} 2 2 2017 STATE OF INDIANA was VS. Clerk at Tippecanoe County - - DONALD GRANT WARD CAUSE NO: 79kt 3? 1275 W. 3rd Street, #734 West Lafayette, IN 47906 I DOB: 11/22/1997 Count OLN: INFORMATION OF RAPE (level 3 Felony) The Prosecuting Attorney for the Twenty-third Judicial Circuit ofthe State of Indiana informs that: On or about February 12, 2017, in Tippecanoe County, State of Indiana, Donald Grant Ward did knowingly or intentionally have other sexual conduct, as de?ned in IC. with Victim #1 when such person was unaware that the other sexual conduct was occurring; All of which is contrary to the form of the statute in such cases made and provided, to wit: I.C. and against the peace and dignity of the State of Indiana. PATRICK K. HARRINGTON Prosecuting Attorney for the 23 rd Judicial Circuit BY: I Charles W. Hagen Deputy Prosecuting Attorney Attorney No. 21968-53 A??iant does swear or a?irm, under penalties of perjury as speci?ed by Indiana Code that the foregoing representations are true to the best of A?iant?s knowledge and belief. Dated: 732 7 ,2017 Signed: ga/W A?iant Case No. PUPD 17-232 Witnesses: Of?cer Edwards, Detective Hartman, Of?cer Myles, Detective Rosenberger, Victim Kevin De] Re, . Thomas A Lcinart, Daniel Tracy, ISP Laboratory Analyst, Any 0t?cer(s) involved in Defendant's arrest and/ or book-in, Representatives from St. Elizabeth Hospital, Sta?? or Treating Physicians STATE OF INDIANA SS: COUNTY OF TIPPECANOE) FE STATE OF INDIANA F553 2 2 2017 cm rn . 1 ?New" CAUSE NO: VS. DONALD GRANT WARD 1275 W. 3rd Street, #734 West Lafayette, IN 47906 DOB: 11/22/1997 OLN: Count II INFORMATION OFRAPE (Level 3 Felony) The Prosecuting Attorney for the Twenty-third Judicial Circuit of the State of Indiana informs that: On or about February 12, 2017, in ipoecanoe County, State of Indiana, Donald Grant Ward did knowingly or intentionally have sexual intercourse with Victim when such person was unaware that the sexual intercourse was occurring; All of which is contrary to the form of the statute in such cases made and provided, to wit: I.C. and against the peace and dignity of the State oflndiana. PATRICK K. HARRINGTON Prosecuting Attorney for the 23rd Judicial Circuit BY: Charles W. Hagen Deputy Prosecuting Attorney Attorney No.21968-53 A??iant does swear or a?irm, under penalties ofperj ury as speci?ed by Indiana Code that the foregoing representations are true to the best of Af?ant's knowledge and belief. Dated: 73%47 ,2017 Ai?ant Case No. PUPD 17-232 Witnesses: See Count} STATE OF INDIANA FE LE IN THE PERJQIR )ss: rm,? . COUNTY OF TIPPECANOB) g2 2017 (Erma Clerk oi TJppecanue County CAUSE NO: 79 moa? F3 CCT-CCO 9x DONALD GRANT WARD 1275 W. 3rd Street, #734 West Lafayette, IN 47906 DOB: 11/22/1997 OLN: STATE OF INDIANA AFFIDAVIT OF PROBABLE CAUSE Comes now Ai?ant and being duly sWorn upon oath, deposes .and states that A?ant is a law enforcement o?icer in Tippecanoe County, State of Indiana, and in said capacity is familiar with the records of said defendant. A?iant has reviewed the report of Of?cer Myles of the Purdue University Police Department. In his report, he indicates on February 12, 2017, at approximately 2:43pm, he was dispatched to St. Elizabeth Hospital regarding a sexual assault complaint In the course of Af?ants' investigation A?iant spoke with Victim Victim #1 indicated she was at a party in her boyfriend?s, dorm room, located on the Purdue University Campus, Tippecanoe County, Indiana. At some point in the early morning hours she and her boy??iend fell asleep in her boyfriend's bed . At approximately 8:00am on February 12, 2017, Victim #1 awoke to someone ?om behind, touching her clitoris beneath her clothes as she was lying on her side. Victim #1 believed the subject to be her boy?iend and had subsequently engaged in sexual intercourse the subject. Victim #1 indicated she stepped the act and left the bed to use the bathroom. When she returned Victim #l climbed back up to the bunk and was surprised to observe Donald G. Ward in her boy??iend's bed. A?iant spoke with Donald Ward. Ward indicated to A?iant he and others spent the night in -s dorm room. Ward told A?iant a?er -r had left the dorm room in the early morning hours of February 12, 2017, he climbed up into bunk with Victim Ward ?nther described Victim #1 lying down with her back to him. Ward further indicated he believed Victim #1 thought Ward was really - When asked why he believed that to be the case Ward responded, ?because she got very close to me". Ward further described the room as being dark. Ward admitted to having sexual intercourse with Victim Fm?ther, Ward indicated he had sexual intercourse with Victim #1 knowing she believed him to be her boyfriend. A?iant believes the statement of Victim #1 to be reliable and credible as she spoke from ?rst hand information. A?iant believes the statements of Donald G. Ward to be reliable and credible insofar as his statements Were contrary to his own penal interests. Further A?iant saith not. Af?ant does swear or af?rm, under penalties of perjury as speci?ed by Indiana Code 35 -44. 1 -2-1, that" the foregoing representations are true to the best of Af?ant's knowledge and belief. Datedci 2? ?2 7 2017 - Signagm (I