COMMONWEALTH OF COUNTY OFIBUTLER PDLICE CRIMINAL COMMONWEALTH OF 2?Feiony Limited 3-Feiony Surrounding States 4-Felony No Extradition CI 6-Felony Pending Extradition Determ. A-Misdemeanor Full CI B-Misdemeanor Limited D-Misdemeanor No Extradition CI E-Misdemeanor Pending Extradition CI F-Misdemeanor Pending Extradition Magisteriai District Number: 50-3-04 gag VS. MDJ: Hon. Judge David Kovach DEFENDANT: (NAME and ADDRESS): Address: 9028 Marshall Road CORRINA DAWN HOGGARD Cranberry Township, pA 16066 First Name Middie Name Last Name Gen 2526 Brandt School Road Telephone: (724)772-1717 Wexford, PA 15090 . NCIC Extradition Code Type 1-Felony Fuii 5-Felony Pending Extradition El C-Misdemeanor Surrounding States Distance: DEFENDANT IDENTIFICATION INFORMATION Docket Number Date Filed OTNfLiveScan Number Compiaintiincident Number Request Lab Services? I3 YES N0 GENDER DOB 03/08/1974 - I Poe I Add?i Doe 00-Defendantis) Male First Name Middle Name Last Name Gen. Femaie AKA CORRINA DAWN . GRIFFITH RACE White I3 Asian 2 Black [3 Native American CI Unknown ETHNICITY CI Hispanic CI Non-Hispanic Unknown El GRY (Gray) RED (RedrAubn.) CI sov (Sandy) I3 BLU (Biue) El PLE (Purple), BRO (Brown) 33;; BLK (Black) [3 ONG (Orange) WHI (White) I3 (UnkJBald) GRN (Green) [3 PNK (Pink) BLN (Blonde i Strawberry) . El BLK (Biack) BLU (Blue) Ct BRO (Brown) El can (Green) GRY (Gray) Color HA2 (Hazel) CI MAR (Maroon) Ci PNK (Pink) MUL (Multicolored) (Unknown) DNA :3 YES no I DNA Location WEIGHT Obs.) FBI Number D3ALWHPA5 I MNU Number 325 Defendant Fingerprinted I [3 YES NO Ft. HEIGHT In. Fingerprint Classification: I 5 I 7 DEFENDANT VEHICLE State Haz Registration Comm'i Veh. School Veh. [3 0th. NCIC Veh. Code Reg. pgate mat - ind. same as a Sticker (MMNY) I I Def. VIN Year Make Model Styie Color Office of the attorney for the Commonwealth El Approved El Disapproved because: (The attorney for the Commonweatth may require that the compiaint,. arrest warrant affidavit. or both be approved by the attorney for the Commonwealth prior to See Pa.R.Crim.P. 507). KARA SH EEHAN-BALCHON {Name of the attorney for the Commonwealth) of (Signature of the attorney for the Commonweatth) 1. SA DAVID A. NA WILLIAM BROWN (Name of the Affiant) Of?ce of Attorney General (identify Department or Agency Represented and Potiticat Subdivision) do hereby state: (check appropriate box) 1. IX) I accuse the above named defendant who iives at the address set forth above I accuse the defendant whose name is unknown to me but who is described as 457/643 (Date) (-PSPIMPOETC -Assigned Affiant iD Number Badge PA02224OO (Police Agency ORI Number) in BUTLER County [101 with violating the penai laws of the Commonwealth of at Township, Pa 16066 [212] ?20018} [3 accuse the defendant whose name and popular designation or nickname are unknown to me and whom i have therefore designated as John Doe or Jane Doe 1 St. Francis Way, Cranberry (Place-Political bUDdIViSton) on or about MAY 22, 2017 AND DATES THEREAF-TER (County Code notice conetninr Docket Number: Date Filed: OTNlLiveScan Number Compiaintiincident Number '5 lF-20i8?0080 Defendant Name: First: Middie: Last: CORRINA DAWN HOGGARD The acts committed by the accused are described below with each Act of Assembly or statute allegedly violated, if appropriate. When there is more than one offense, each offense should be numbered chronologically. (Set forth a brief summary of the facts sufficient to advise the defendant of the nature of the offense(s) charged. A citation to the statute(s) allegedly violated, without more, is not sufficient. in a summary case, you must cite the specific section(s) and subsection(s) of the statute(s) or ordinance(s) aliegedly violated. The age of the victim at the time of the offense may be included if known. in addition, social security numbers and financial information F'lhis) should not be listed. if the identity of an account must be established, list only the last four digits. 204 PA.Code 213.1? 213.7.) inchoate Attempt El Solicitation El Conspiracy Number of Victij Age 50 or order Offense 18 901 A 18 902A 18 903 a 1 4117 "18 PA cs. 1 F3 Offense . . . NCIC Offense ead? Section Subsection PA Statute (TItle) Counts Grade Code UCRINIBRS Code Data (if appiicable) Statute Description (include the name of statute or ordinance): INSURANCE FRAUD Accident Number interstate Safety Zone Work Zone Acts of the accused associated with this Offense: On or about May 22, 2017, and dates thereafter, the Actor and/or another for whom the Actor 'was legally accountabie, knowingly and with the intent to defraud an insurer, namely Care?rst/Blue Cross Blue Shield and/or third party pharmaceutical bene?ts manager CVS Caremark, presented or caused to be presented to CVS Caremark any statement forming a part of or in support of any insurance claim that contained false, incomplete, or misleading information concerning any fact or thing material to the insurance claim, namely the Actor, presented various prescriptions for Schedule II and Schedule IV controlled substances, and non-controlied prescriptions to Rite Aid and Walgreens pharmacys which were paid by her insurance, CV5 Caremariq Care?rst/Blue Cross Blue Shield, purporting that they were properly prescribed and/or" authorized by Dr. Gregory West, Dr. Mark Fennema and Dr. Mark Lanohans. when in fact. the doctors did not prescribe andior authorize such prescriptions. inchoate Ei'Attempt . Solicitation El Conspiracy Number of Victims Age; 50 or order Offense "'18 901A - 18 902A 18903 El 2 780?113 35 PS. 1 Lead? Offenseii Section Subsection PA Statute (Title) Counts Grade Code I Accident Number Ci Interstate Safety Zone Work Zone Statute Description (include the name of statute or ordinance): VIOLATION OF THE CONTROLLED SUBSTANCE DRUG DEVICE COSMETIC ACT Acts of the accused associated with this Offense: On or about May 22, 2017 and dates thereafter, the Actor and/or another for whom the Actor was [egaiiy accountable, knowingly acquired or obtained possession of a controlled substance by misrepresentation, fraud, forgery, deception or subterfuge, namely, the Actor, on the aforementioned dates presented various prescriptions for Schedule II, controiled substances to pharmacies purporting that they were properly prescribed and/or authorized by Dr. Gregory West, Dr. Mark Fennema and Dr. Mark Langhans, when in fact, the doctors did not prescribe and/or authorize such prescriptions. Inchoate Ci Attempt I3 Solicitation Conspiracy Number of Age 30 or order Offense - 18 901A 780-113 35 PS. 1 Lead? Offensefi Section Subsection PA Statute (Title) Counts Grade NCIC Offense Code UCRINIBRS Code Penn DOT Data Accident . . . - . lnterst . Safet Zone Work Zone (if . Number [3 a El 3? Statute Description (include the name of statute or ordinance): VIOLATION OF THE CONTROLLED SUBSTANCE DRUG DEVICE ACT Acts Of the accused associated with this Offense: On or about May 22, 2017 and dates thereafter, the Actor and/or another for whom the Actor was legally accountabie, knowingly acquired or obtained possession of a controiled substance by misrepresentation, fraud, forgery, deception or subterfuge, namely, the Actor, on the aforementioned dates presented various prescriptions for Schedule IV, controlled substances to pharmacies purporting that they were properly prescribed and/or authorized by Dr. Gregory West, Dr. Mark Fennema and Dr. Mark Langhans, when in fact, the doctors did not prescribe and/or authorize such prescriptions. . .. . I I Page?ofw Poucs CREMHNAL conPLAinr Docket Number: Date Filed: OTNlLiyeScan Number Number lF?2018?0080 Defendant Name_ First: Middle: Last: CORRINA DAWN HOGGARD Inchoate Ci Attempt Solicitation Conspiracy Number of Victims Age 50 or order Offense 18 901A 4101 ff?: 18 PA cs. 1 Lead? Offenseii Section Sobeection PA Statute (Title) Counts Grade Offense Code UCRINIBRS Code Data Accident (if applicable)- Number interstate a Safety Zone Work Zone Statute Description (include the name of statute or ordinance): FORGERY Acts of the accused associated With this Offense: On or about May 22, 2017 and dates thereafter, the Actor, with the intent to defraud or with the knowledge that she was facilitating a fraud or injury to be perpetrated by anyone, did utter any writing so that it purported to be the act of another who did not authorize that act, namely, the Actor, and/or another for whom the Actor was iegaily accountable, did pass/?ll numerous prescriptions for Scheduie II controiied substances, Scheduie IV controlled substances and non-contrciied prescription medications, which were purported to be written and/or authorized by Dr. Gregory West, Dr. Mark Fennema and Dr. Mark Langhans, when in fact, the doctors did not prescribe and/or authorize such prescriptions. lnchoate El Attempt Ci Solicitation El Conspiracy Number of Victims Age 50 or order ?Offense 18901A 18 902A 18 903 5 390-8 (13)(ii) 63 P5. - 1 Lead? Offense# Section Subsection PA Statute {Title} Counts Grade Offense Code UCRINIBRS Code Data Accident {if applicable) Number Interstate El Safety Zone CI Work Zone Statute Description (inciude the name of statute or ordinance): UNLAWFUL ACT Acts cf the accused associated With this Offense: On or about May 22, 2017 and dates thereafter, the Actor and/or another for whom the Actor was legally accountable, knowingly acquired or obtained possession of any drug by misrepresentation, fraud, forgery, deception or subterfuge, nameiy, the Actor, on the aforementioned dates presented various prescriptions for non-controiied prescription medications to pharmacies purporting that they Were properly prescribed and/or authorized by Dr. Gregory West, Dr. Mark Fennema and Dr. Mark Langhans, when in fact, the doctors did not prescribe and/or authorize such prescriptions. Inchoate Attempt El Solicitation i3 Conspiracy Number of Victims Age 50 or Older Offense 18 901A 3922 (a 18 PA cs. 1 Lead? Section - Subsection PA Statute (Title) Counts Grade Offense Code UCRINIBRS Code Data Accident . (if applicable) Number Ci Interstate Safety Zone ork one Statute Description (include the name of statute or ordinance): THEFT BY DECEPTION Acts 0f the accused associated with this Offense: On or about May 22, 2017 and dates thereafter, the Actor, intentionally obtained or withheld property of another by deception, by creating a false impression, namely the Actor received approximately $643.65 in prescription medications paid for by CVS Caremark/ Cross Blue Shield by submitting various prescriptions to several pharamacies purporting that they were properly prescribed and/or authorized by Dr. Gregory West, Dr. Mark Fennema and Dr. Mark Langhans, when in fact, the doctors did not prescribe and/or authorize such prescriptions. .. . .. CREMENAL Docket Number: Date Filed: - OTNlLiveScan Number Complaintlincident Number lF?2018?0080 tN First: Middle: Last: 6 e? a? ame' CORRINA DAWN HOGGARD 2. I ask that a warrant of arrest or a summons be issued and that the defendant be required to answer the charges have made. 3. verify that the facts set forth in this complaint are true and correct to the best of my knowledge or information and belief. This verification is made subject to the penaities of Section 4904 ofthe Crimes Code (18 4904) relating to unswom falsification to authorities. 4. This complaint consists of the preceding page(s) numbered 1 through i. 5. certify that this filing complies with the provisions of the Case Records Public Access Policy of the Uni?ed Judicial System of that require tiling confidential information and documents differently that hon?confidential information and documents. The acts committed by the accused, as listed and hereafter. were against the peace and dignity of the Commonwealth of and were contrary to the Act(s) of the Assembly, or in violation of the statutes cited. - (Before a warrant of arrest can be issued, an affidavit of probable cause must be completed, sworn to before th issuing authority, and attached.) ?ag? 170/? (Year) (Signature of Afiiant) (Date) AND NOW, on this date a it?? i certify that the complaint has been property completed and verified. An affidavit of probable cause must be completed before a warrant can be issued. ?v II 2 t? 2:36:13 K944 (Magisterial District-Court Number) -- - (issuing Authority) -- .. .. . . page bf eouce Docket Number: Date Fiied: OTNILiveScan Number Compiaintiincident Number lF-2018-0080 Defendant Name_ First: Middie: Last: - CORRINA DAWN HOGGARD of" PROBABLE CAUSE Date of Violation: May 22, 2017 and dates thereafter Criminal Complaint No: Name of Affiant: Special Agent David A. Daicamo Narcotics Agent William Brown Office of Attorney General insurance Fraud Section Western Regional Office 1251 Waterfront Place Pittsburgh, PA Law Enforcement Agency: Pennsyivania Office of Attorney General Bureau of Narcotics and Drug Control 105 independence Drive Butler, PA A. Your Afiiant, David A. Daicamo, has been employed as a Special Agent for the Pennsyivania Office of Attorney General, insurance Fraud Section, Western Regionai Office, since February 2018, and has been a Police Officer in this Commonweaith since 1998, is the case agent assigned to the inVestigation involving the Actor, Corrina Hoggard. Your Affiant, William F. Brown, has been employed as a Narcotics Agent for the Office Attorney General, Bureau of Narcotics Investigations and Drug Control (BNIDC), since February 2018 and has been with the Office of Attorney General for over 20 years as a criminal investigator. Afiiant Brown was a Poiice Officer in the Commonwealth since 1987. Aitiant Brown is the case agent assigned to the investigation invoiving the Actor, Corrine Hoggard. The investigation reveaied that the Actor, Corrina Hoggard, obtained schedule ii controlled substances, soheduie IV controlled substances, and non?controlled prescription medications by passing or fiiling frauduient prescriptions at Rite Aid and Waigreens pharmacies. The Actor passed a total of 54 prescriptions, using her name and the name of her husband, Charles Hoggard. The prescriptions were not prescribed and/or authorized by Dr. Mark Fennema, Dr. . Mark Langhans or Dr. Gregory West. The Actor used her CVS Carernark/ Carefirst/Blue Cross Biue Shield Insurance plan to pay for 19 of the prescriptions causing the insurance company to pay $843.85. B. Narcotics Agent (NA) Stephanie MoElhaney of the Commonweaith of Pennsyivania, Office-of Attorney General, Bureau of Narcotics investigation and Drug Control, initiated an investigation on the Actor. Your Affiants, aiong with NA McElhaney, coilected prescriptions submitted by the Actor and tilied at Waigreens and Rite Aid and using the Actor's CVS Caremark patient profile. These documents provided the following information: 1. Between May 22, 2017 and January 30, 2018 the ActOr 42 prescriptions at either Walgreens or Rite Aid. 2. Thirty?two (32) prescriptions were allegedly prescribed by Dr. Gregory West and ten (10) were allegedly prescribed by Dr. Mark Fennema. 3. CVS Caremark covered eighteen (18) of the frauduient prescriptions for the Actor totaiing $318.49. 4. The following chart shows the-prescriptions in detail: . . . . . ?sagas; POLKCE Date Filed: Docket Number: OTN/LiveScan Number Complaint/Incident Number lF?2018?0080 First: CORRINA Defendant Name: Middfe: DAWN Last: HOGGARD Medication Date of Service Insurance Pay Prescriber Pharmacy Quantity- - rocodone/Aceta mi no phen 7.5?325 6/2/2017 Fennema, Mark Walgreens lee-?gm Wan-lgteens-7575'? - '1 Oxycodone/Acetaminophen 10?325 7/5/2017 We'st, rego ry Waigreens rte-gory- W'aigr'e'ehs - 8/2/2017 Waigreens . Cionazepam 1mg . - West, Gregory agar-g. .. lar?ens - rocodo rue/Acetaminophen 7.5-3.25 8/15/2017 Fennema, Mark Rite Aid 'Cionazepam 1mg Cash 9/5/2017 West, Gregory Walgreens {train-1'" 5061 ,3 39/14/2017 .-L.iwalgreens 9/25/2017 West, rego ry Walgreens rocodone/Acetaminophen 10?325 I 'We'sft, Oxycodone/Acetaminophen 7.5-325 10/23/2017 Fennema, Mark Walgreens Walgreen," Clonazepam 1mg 11/13/2017 West, rego ry Walgreens ma hi1.? I Oxycodone/Acetaminophen 7.5825 12/5/2017 Fennema, Mark Wafgreens 3/20 Duloxetine HCL 60mg 12/14/2017 West, Gregory Waigreens Baclofen 10mg 12/14/2017 West, Gregory Walgreens wastgme Oxycodone/Acetaminophen 10625 12/14/2017 West, Gregory Walgreens . if wean-gsraga/v Hydrocodone/Acetaminophen 10625 12/15/2017 West, Gregory Walgreens Oxycod .. Rites-Aid 12/26/2017 West, Gregory Walgreens Duisxstine?ci?omg .. Amox-Clav 500mg 1/2/2018 Fennema, Mark Walgreens n5; Gabapentin 300mg 1/6/2018 West, Gregory Walgreens . .. .. . PQLEGE CREMENAL Docket Number: Date Filed: CTN/LiveScan Number Compiaintiincident Number lF?2018?0080 First: Middte: Last: Defendant Name: CORRINA DAWN HOGGARD [greens 1 . Cash 1/8/2018 West, Gregory Walgreens West, Fennema, 1/15/2018 Mark Walgreens .. w?ig" 4.47 1/19/2018 West,Gregory Waigreens .. .. . - Fennema, Hydrocodone/Acetaminophen 10-325 4 4.79 1/22/2018 . Mark Walgreens - Hy'd'rocOdone/Acetam ino Duloxetine I Oxycodone/Acetaminophen 10-325 3 10.10 Cionazepam 1mg Hides": . . Fennema, Hydrocodone? Acetaminophen 10625 6 4.79 1/30/2018 Mark Rite Aid C. Your Affiants, along with NA McEEhaney, collected prescriptions submitted by the Actor in the name other husband, Chartes Hoggard. and filled at Waigreens and Rite Aid using his CVS Caremark'patient profile. These documents provide the following information: 1. Between June 29. 2017 and January 1. 2018 the Actor filled 12 prescriptions in her husband?s name at Walgreens. 2. Nine (9) prescriptions were allegedly prescribed by Dr. Gregory West; two (2) prescriptions were allegedly prescribed by Dr. Mark Langhans; and one (1) was allegedly prescribed by Dr. Mark Fennema. 3. CVS Caremark covered nine (9) of the fraudutent prescriptions for Charles Hoggard totaling $327.16 4. The tottowing chart shows the prescriptions in detail: - 10/14/2017 Langhans,Mark Walgreens .2: '1waigr??ns-tx 139.89 12/14/2017 West,Gregory Walgreens a 12/26/2017 West, Gregory Walgreens Walgreens? 1/2/2018 Fennema,Mark Walgreens . 1/25/2018 West,6regory Waisreens Hydrocodone/Acetaminophen 7 5~325mg D?Amphetamine Salt Com ER (XR) 30mg 30 Alprazolam 0.5 mg I I Amoxiciilin 500mg 10?325mg .. .. . .. .. . .. PGLECE Docket Number: Date Filed: OTNfLiveScan Number Number lF-2018-0080 Defendant Name. First: Middle: Last: CORRINA DAWN HOGGARD Salt cam i West, Gregory TWaigree'ns? Aiprazolam 0.5mg Tab 90 3.29 1/25/2018 West, Gregory Walgreens 327.16 D. Abby Craigmyle of Cox Health, Springfield, MO, provided Affiarit Dalcamo the following information: 1. 2. 10.- Abby Craigmyie is the Assistant Compliance Officer for Cox Health. A Craigmyle indicated that Dr. Gregory West resigned from Cox Health on December 6, 2017. Craigmyie stated that both the Actor and Charles Hoggard were patients of Dr. Gregory West. was able to review the list of prescriptions presented to Waigreens and Rite Aid and was able to identify ali that would not have been issued by Dr. West. Craigmyle indicated that-theiast time the Actor was seen in the office by Dr. West was August 19, 2016. The last prescription issued to the Actor was for Hydrocodone and/or Oxycodone was on December 8, 2016. . Based on the medical records for the Actor on file at Cox Health, Craigmyle indicated that the prescriptions on the fist provided for their review were fraudulent. In reference to Charies Hoggard, Craigmyle indicated that the last time Charles Hoggard was seen by the doctor was July 15, 2016. The test time Charles Hoggard was issued a prescription was On December 12, 2616. Based on Charles Hoggard?s medicai records on fite at Cox Health, Craigmyie indicated that the prescriptions on the iist provided for their review were fraudulent. E. Affiant Dalcamo conducted an interview with Dr. Gregory West, who provided the foiiowing information: . 2. 5. West was advised of the investigation and was able to review the prescriptions that contained his signature. West stated that the signature contained on the prescriptions was not his signature. West also stated that the fraudulent prescriptions were printed incorrectiy. West stated that he worked for the Diagnostic Clinic, which is located at 3800 South National Avenue,_in Springfield, MO. The prescription had the address of 960 East Walnut Lawn St. Suite 201, Springfield, MO. West stated the Walnut Lawn address is for the Endocrinology office. West confirmed while he was employed by Cox Health his prescription would have printed the South Nationai Avenue address. -West confirmed that all the prescriptions ilsted tor the Actor and/or Charles Hoggard were fraudulent. F. Affiant Dalcamo conducted an interview with Matt Duff, University of Pittsburgh Medical Center Police Department, who provided the following information: . .. .. ragga; d7. Docket Number: Date Filed: OTNILiveScan Number Complain?incident Number iF?2018-0080 Defendant Name_ First: Middte: Last: CORRINA DAWN HOGGARD 1. Duff was supplied a iist of the prescriptions purportedly prescribed by Dr. Mark Fennema and tilted by the Actor. 2. Duff did speak directly to Dr. Mark Fennema and researched the UPMC data base. Duff verified that ten (10) prescriptions in the Actors? name were not valid and were not authorized by Dr. Fennema. 3. Duff verified that Dr. Mark Fennema is currentiy an emergency room physician at the UPMC Passavant facility in Cranberry Township, Butler County, Pennsyivania. G. AgentMcElhaney contacted Heather Maiacki, the clinical manager at Tri?State Orthopedics at Sports Medicine who provided the toltowing: The prescriptions that were allegedly written for Charies Hoggard were not written by Dr. Mark Langhans and were not valid. 2. Their prescriptions, ifwritten on a pad, are not in that format, and the signature is not Dr. Langhans signature. 3. Dr. Langhans reviewed the prescriptions and aiso confirmed that he did not write or authorize the prescription. H. Affiant Dalcamo and Affiant Brown conducted an interview with the Actor, who provided the following information: 1. . . .. .. The Actor was advised of the investigation and agreed to answer questions concerning the fraudulent prescription and insurance claims. The Actor indicated that she was aware of the investigation into her passing fraudulent prescriptions. The Actor admitted she filled numerous prescriptions for several medications, including Schedule Ii narcotics, with prescriptions that were not authorized by the above named doctor(s). Affiant Daicamo advised the Actor that fifty four (54) of the prescriptions had been verified by Dr. Mark Fennema, Dr. Gregory West, and Dr. Mark Langhans, as being fraudulent, in her name and in the name of her husband, Charles Hoggard. The Actor advised that she presented the prescriptions at the pharmacies and received the medications for herself and in the name of her husband. The Actor stated that she is not the individuai that produced the prescriptions; however, she purchased the prescriptions from a person she only knows by the name ?Laura?. The Actor stated that in 2014' she had several surgeries on her abdomen resulting in the doctor at the time prescribing her pain medication. The Actor admitted that she became addicted to the medication. In the fall of 2016 she and her family moved from Springfield, Mo, back home to the Wexford, PA area. in early 2017, the Actor went to the emergency department at the University of Pittsburgh Medical Center, Passavant in Cranberry Township. After being treated she was leaving the hospital room and realized that she left something. She returned to the room and was approached by another woman that she could only identify as ?Laura?. notice CREMHNAL cememrnt Docket Number: Date Filed: OTNlLiveScan-Number Complaintilncident Number lF?2018-0080 fend tN First: Middle: Last: 9 3? ame- CORRINA DAWN HOGGARD 10. 11. 12. ?13. 14. Laura suggested to the Actor that she could get her the prescriptions and all the Actor wouid need to do is pay her (Laura) the co-pay she would normaiiy pay the hospitai. From this point, the Actor traded text messages with Laura which led to the Actor meeting Laura in the parking tot of UPMC Cranberry. The Actor paid Laura $50.00 and received the requested prescriptions. The Actor admitted that she wouid meet Laura three (3) to four (4) times a month and pay her $50.00 in cash for the prescriptions. - The Actor stated that she knew this was not legal and the prescriptidns were fraudulent, but she got them because she had to. due to her addiction. The Actor admitted to using her medicat insurance, prescription pian, CV8 Caremark to obtain some of the prescriptions. l. Attiant Datcarno spoke with Bradley Borowski, Ctinical, Comprehensive Fraud. Waste and Abuse Adviser for CV8 Caremark who provided the following information: 2. CV8 Caremark is the third-party prescription provider for Carefirst/Blue Cross Blue Shield. CV8 Caremark/ Carefirst/Blue Cross Blue Shield would not have?paid for the prescriptions that were forged had they known that they were not authorized by a doctor. Based upon the information set forth above, your Affiants believe that there is probable cause for the issuance of an arrest warrant for the Actor, Corrina Hoggard. .. .. .. .. of some CRIMINAL COMPLAENT Docket Number: Date Filed: OTNILiveScan Number Compiain?incident Number I First: Middle: Last: Defendant Name: CORRINA DAWN HOGGARD I I, SA DAVID A. NA WILLIAM BROWN, BEING DULY SWORN ACCORDING TO THE LAW, DEPOSE AND SAY THAT THE FACTS SET FORTH IN THE FOREGOING AFFIDAVIT ARE TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION AND BELIEF. I CERTIFY THAT THIS FILING COMPLIES WITH THE PROVISIONS OF THE CASE RECORDS PUBLIC ACCESS POLICY OF THE UNIFIED JUDICIAL SYSTEM OF THAT REQUIRE FILING CONFIDENTIAL INFORMATION AND DOCUMENTS DIFFERENTLY THAT INFORMATION AND DOCUMENTS. (Signature of Affiant Sworn to me and subscribed before me this ,Date k-ff?/ Magisterial District Judge I If) 11? K, My commission expires first Monday of January, i2? {Ti . .. .. Page Ofm