SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS AN GELES THE PEOPLE OF THE STATE OF CALIFORNIA, CASE NO. LA089735 Plaintiff, V. 01 ANTHONY RAUDA (DOB: 07/30/1976) FELOWWEOPY Defendant(s)- st. S?'?i?'?of?i?gmia ounty of Los Angeles The undersigned is informed and believes that: JAN 0 7 2019 COUNT 1 Sherri Fl. Carter, Executive O?ioer/Clerk of Court By: Arshaluys Boyadzhyan, Deputy On or about June 22, 2018, in the County of Los Angeles, the crime of MURDER, in violation of PENAL CODE SECTION 187(a), a Felony, was committed by ANTHONY RAUDA, who did unlawfully, and with malice aforethought murder TRISTAN BEAUDETTE, a human being. The above offense is a serious felony within the meaning of Penal Code Section 1192.7(c) and a violent felony within the meaning of Penal Code Section COUNT 2 On or about June 22, 2018, in the County of Los Angeles, the crime of WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTIONS 664 and 187 a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder JANE a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a). Rev. 900-12/ 16 DA Case 38998027 Paqe 1 Case No. LA089735 FELONY COMPLAINT COUNT 3 On or about June 22, 2018, in the County of Los Angeles, the crime of WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTIONS 664 and 187(a), a Felony, was committed by ANTHONY RAIDA, who did unlawfully and with malice aforethought attempt to murder JANE a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a). It is further alleged as to count(s) 1, 2 and 3 that said defendant(s), ANTHONY RAUDA personally and intentionally discharged a ?rearm, a ri?e, which caused great bodily injury and death to TRISTAN BEAUDETTE within the meaning of Penal Code Section 12022.53(d) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section It is further alleged that said defendant(s), ANTHONY RAUDA personally and intentionally discharged a ?rearm, a ri?e, within the meaning of Penal Code Section 12022.53(c) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section It is further alleged that said defendant(s), ANTHONY RAUDA personally used a firearm, a ri?e within the meaning of Penal Code Section 12022.53(b) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section Rev. 900-12116 DA Case 38998027 2 Case No. LA089735 FELONY COIMPLAINT COUNT 4 On or about June 18, 2018, in the County of Los Angeles, the crime of WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTIONS 664 and 187(a), a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder TAN KINCAJD, a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a). It is further alleged that said defendant(s), ANTHONY RAUDA personally and intentionally discharged a ?rearm, a ri?e, within the meaning of Penal Code Section 12022.5 3(c) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section It is further alleged that said defendant(s), ANTHONY RAUDA personally used a ?rearm, a ri?e, within the meaning of Penal Code Section l2022.53(b) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section COUNT 5 On or about July 22, 2017, in the County of Los Angeles, the crime of ATTEMPTED WILLFUL, DELTBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder NICOLE K., a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section Rev. 900-12116 DA Case 38998027 Pace 3 Case No. LA089735 FELONY COMPLAINT COUNT 6 On or about July 22, 2017, in the County of Los Angeles, the crime of ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder NATHAN G., a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section COUNT 7 On or about June 8, 2017, in the County of Los Angeles, the crime of ATTEMPTED DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder THOMAS MARSHALL, a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section COUNT 8 On or about January 7, 2017, in the County of Los Angeles, the crime of ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder MELISSA TATANGELO, a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section Rev. 900-12/16 DA Case 38998027 Page 4 Case No. LA089735 FELONY COWLAIN COUNT 9 On or about January 7, 2017, in the County of Los Angeles, the crime of ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder FRANK VARGAS, a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section COUNT 10 On or about November 9, 2016, in the County of Los Angeles, the crime of ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder ERNEST HILL, a human being. It is further alleged that the aforesaid attempted murder was committed will?illy, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section It is further alleged as to count(that said defendant(s), ANTHONY RAUDA personally and intentionally discharged a ?rearm, a shotgun, within the meaning of Penal Code Section 12022.53(c) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section It is further alleged that said defendant(s), ANTHONY RAUDA personally used a firearm, a shotgun, within the meaning of Penal Code Section 12022.53(b) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section Rev. 900-12/16 DA Case 38998027 Page 5 Case No. LA089735 FELONY COMPLAINT COUNT 11 On or about November 3, 2016, in the County of Los Angeles, the crime of ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED ATTEMPTED MURDER, in violation of PENAL CODE SECTION a Felony, was committed by ANTHONY RAUDA, who did unlawfully and with malice aforethought attempt to murder JAMES ROGERS, a human being. It is further alleged that the aforesaid attempted murder was committed willfully, deliberately and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony pursuant to Penal Code section It is further alleged that said defendant(s), ANTHONY RAUDA personally and intentionally discharged a ?rearm, a shotgun, which caused great bodily injury and death to JAMES ROGERS within the meaning of Penal Code Section 12022.53(d) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section It is further alleged that said defendant(s), ANTHONY RAUDA personally and intentionally discharged a ?rearm, a shotgun, within the meaning of Penal Code Section 12022.53(c) also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section It is further allege that said defendant(s), ANTHONY RAUDA personally used a ?rearm, a shotgun within the meaning of Penal Code Section 12022.5 3 also causing the above offense to become a serious felony pursuant to Penal Code section and a violent felony within the meaning of Penal Code section COUNT 12 On or about July 27, 2018, in the County of Los Angeles, the crime of SECOND DEGREE COMMERCIAL BURGLARY, in violatiOn of PENAL CODE SECTION 459, a Felony, was committed by ANTHONY RAUDA, who did enter a commercial building occupied by AGOURA HILLS CALABASAS COMMUNITY CTR with the intent to commit larceny and any felony. Rev. 900-12/16 DA Case 38998027 Page 6 Case No. LA089735 FELON COMPLAINT COUNT 13 On or about September 24, 2018, in the County of Los Angeles, the crime of SECOND DEGREE COMMERCLAL BURGLARY, in violation of PENAL CODE SECTION 459, a Felony, was committed by ANTHONY RAUDA, who did enter a commercial building occupied by LAS VIRGENES WATER DISTRICT with the intent to commit larceny and any felony. COUNT 14 On or about October 1, 2018, in the County of Los Angeles, the crime of SECOND DEGREE COMMERCIAL BURGLARY, in violation of PENAL CODE SECTION 459, a Felony, was committed by ANTHONY RAUDA, who did enter a commercial building occupied by SPECTRUM DEVELOPMENT with the intent to commit larceny and any felony. COUNT 15 On or about October 4, 2018, in the County of Los Angeles, the crime of SECOND DEGREE COMMERCIAL BURGLARY, in violation of PENAL CODE SECTION 45 9, a Felony, was committed by ANTHONY RAUDA, who did enter a commercial building occupied by LAS WATER DISTRICT with the intent to commit larceny and any felony. COUNT 16 On or about October 9, 2018, in the County of Los Angeles, the crime of SECOND DEGREE COMMERCIAL BURGLARY, in violation of PENAL CODE SECTION 45 9, a Felony, was committed by ANTHONY RAUDA, who did enter a commercial building occupied by AGOURA HILLS CALABASAS COMMUNITY CTR with the intent to commit larceny and any felony. Rev. 900-12/16 DA Case 38998027 Pane 7 Case No. LA089735 FELONY COMPLAINT It is further alleged as to count(that in the commission and attempted commission of the above offense a principal in said offense was armed With a ?rearm(s), to wit, ri?e, said arming not being an element of the above offense, within the meaning of Penal Code section 12022(a)(1). It is further alleged as to count(pursuant to Penal Code section 667.5 that the defendant(s), ANTHONY RAUDA, has suffered the following prior conviction(s): Case No. 201412533 201412533 201412533 LA072058 BA275437 BA275437 BA275437 Mails! WM PC12312 ?Hit; L'ountv gigging 09/02/2014 09/02/2014 09/02/2014 09/28/2012 01/06/2006 01/06/2006 01/06/2006 Ventura Los Angeles Los Angeles Los Angeles Los Angeles Los Angeles Los Angelcs Stats CA CA CA CA CA Court Type Superior Superior Superior Superior Superior Superior Superior and that a term was served as described in Penal Code section 667.5 for said offense(s), and that the defendant did not remain free of prison custody for, and did commit an offense resulting in a felony conviction during, a period of ?ve years subsequent to the conclusion of said term. Rev. 900-12/ 16 DA Case 38998027 Paqe 8 FEL ONY COMPLAINT Case No. LA089735 NOTICE: Conviction of this offense will require the defendant to provide DNA samples and print impressions pursuant to Penal Code sections 296 and 296.1. Willful refusal to provide the samples and impressions is a crime. NOTICE: The People of the State of California intend to present evidence and seek jury, ?ndings regarding all applicable circumstances in aggravation, pursuant to Penal Code section 1170(b) and Cunningham v. California (2007) 549 U.S. 270. NOTICE: A Suspected Child Abuse Report (SCAR) may have been generated within the meaning of Penal Code 11166 and 11168 involving the charges alleged in this complaint. Dissemination of a SCAR is limited by Penal Code 11167 and 11167.5 and a court order is required for full disclosure of the contents of a SCAR NOTICE: Any allegation making a defendant ineligible to serve a state prison sentence in the county jail shall not be subject to dismissal pursuant to Penal Code 1385. NOTICE: Conviction of this offense prohibits you from owning, purchasing, receiving, possessing, or having under your custody and control any ?rearms, and effective January 1, 2018, will require you to complete a Prohibited Persons Relinquishment Form pursuant to Penal Code 29810. I DECLARE UNDER PENALTY OF PERJURY THAT THE FOREGOING IS TRUE AND CORRECT AND THAT THIS COMPLAINT, CASE NUMBER LA089735, CONSISTS OF 16 Executed at LOS ANGELES, County of Los Angeles, on January 2, 2019. MORRIS- DECLARANT AND COMPLAINANT W, JACKIE LACEY, DISTRICT ATTORNEY r" .. BY: I BARNES, DEPUTY Rev. 900-12/16 DA Case 38998027 Paue 9 Case No. LA089735 FELONY COMPLAINT AGENCX: LASD MAJOR l/Q: DANIELRMORRIS ID NO.: 436075 PHONE: (323) 890-5500 CRIMES BUREAU SPIP DR NO.: 918008083420999 OPERATOR: NS ERELIM. TIME 2 BOOKING BAIL CUSTODY DEFENDANT CII NO. DOB DATE RAUDA, ANTHONY 023170233 7/30/1976 5445143 $1,100,000 Pursuant to Penal Code Section the People are hereby informally requesting that defense counsel provide discovery to the People as required by Penal Code Section 1054.3. Rev. 900-12/16 DA Case 38998027 Pane 10 Case No. LA089735 FELONY COMPLAINT FELONY COMPLAINT -- ORDER HOLDING TO ANSWER -- P.C. SECTION 872 It appearing to me from the evidence presented that the following offense(s) has/have been committed and that there is suf?cient cause to believe that the following defendant(s) guilty thereof, to wit: RAUDA CL. Charge 1 PC 187(a) 2 PC 664&187(a) 3 PC 664&187(a) 4 PC 664&187(a) 5 PC 664/187(a) 6 PC 664/187(a) 7 PC 664/187(a) 8 PC 664/187(a) 9 PC 664/187(a) 10 PC 664/187(a) 11 PC 664/187(459 (Strike out or add as applicable) Char?re Range Check Code State Prison Life State Prison Life State Prison Life State Prison Life State Prison Life State Prison Life State Prison Life State Prison Life State Prison Life State Prison Life State Prison 16-2-3 County Jail 16-2-3 County Jail 16-2-3 County Jail 16-2-3 County Jail 16-2-3 County Jail ?aw PC 12022.53(d) PC 12022.53(d) PC 12022.53(d) PC 12022.53(c) PC 12022.53(c) PC 12022.53(c) PC 12022.53(c) PC 12022.53(c) PC 12022.53(c) PC 12022.53(c) PC 12022.53(d) PC 12022(a)(l) PC 12022(a)(l) PC 12022(a)(1) PC 12022(a)(1) PC 12022(a)(1) PC 667.5(b) Allen. Effect +25 Yrs. to Life +25 Yrs. to Life +25 Yrs. to Life +20 Yrs. +20 Yrs. +20 Yrs. +20 Yrs. +20 Yrs. +20 Yrs. +20 Yrs. +25 Yrs. to Life +1 Yr. County Jail +1 Yr. County Jail +1 Yr. County Jail +1 Yr. County Jail +1 Yr. County Jail +1 yr. per prior I order that the defendant(s) be held to answer therefore and be admitted to bail in the sum of: ANTHONY RAUDA Dollars and be committed to the custody of the Sheriff of Los Angeles County until such bail is given. Date of arraignment in Superior Court will be: ANTHONY RAUDA in Dept at: A.M. Date: Committing Magistrate Rev. 900-12116 DA Case 38998027 Paqe 11 FELONY COMPLAINT Case No. LA089735