Sheriff Use Only PID Case 2020-18520 Law Enforcement Agency: MCALLEN POLICE DEPARTMENT MCALLEN MUNICIPAL COURT Date of Arrest: April 20, 2020 Hidalgo County, Texas Time of Arrest: 1135 HOURS Warrant If any: 20203896] Place of Arrest: 1601 N. BICENTENNIAL BLVD MCALLEN, TX Amount of Bond: kg? [g HAS A PROBABLE CAUSE AFFIDAVIT BEEN NO DOES THE ACCUSED SPEAK ENGLISH SPANISH WARNWG THE STATE OF TEXAS COUNTY OF HIDALGO VS. 7 JIMMI RIOS PEREZ D.O.B. Ap efore me, the rsigned, magistrate oindalgo County, Texas on the 20TH day of APRIL 2020 at o?clock appeared JIMMI RIOS PEREZ I gave said person the followina amin ou are charged with the offense of INDECENT ASSAULT CLASS A) [3}61 have the right to hire an attorney to represent you. have the right to have an attorney present prior to and during any interview and questioning by peace officers or attorneys a felony a sdemeanor. esenting the state. din have the right to remain silent. X?ou are not required to make a statement, and any statement you make can and may be used against you in court. You have the right to stop any interview or questioning at any time. on Y?y?ve the right to request appointment of counsel if you cannot afford counsel An application for a court appointed attorney must be completed to determine if you qualify for a court appointed omey; Re sonable assistance will be provided to you when filling out the application for a court appointed attorney, if eeded. must Sign a ?nancial af?davit; An af?davit is a written or printed declaration or statement of facts made voluntarily and con?rmed by oath before a person aft; mg authority to administer such oath; you meet the indigent standards, you will qualify for a court appointed attorney; and, Attorney should attempt to contact you by the end ofthe ?rst working day after appoi ment and to i terview you as soon a practicable after the app ointment. ?d?L THE ACCUSED DOES 360E OT WANT TO REQUEST C0, AT .ORNE Contacted anyone since arrest? or NO Who? -- . 3/ IMMIGRA TION ADMONISHMENTS: if you are not a United States citizen and you have been arr or detained, you may entitled to have us no tify your country?s consular representatives here in the United St Sigo you wa consular of?cials: If you responded ?Yes? what country? UV us to notify your country?s IT IS THEREFORE ORDERED THAT THE ACCUSED BE REMANDED INTO CUSTODY PENDING FURT PIE ING AGAINST I SAID ACCUSATION, AND IN THE MEANTIME BE ADMITTED To BAIL IN THE AMOUNTOF CONDITIONED I HIS APPEARANCE INSTANTERBEPORE ANY COURT OR MAGISTRATE TAKING JURISDICTION HERE OF AND BEFORE WHOM THE ACCUSATII MAY HEREAFTERBE PENDING AT ANY TIME WHEN, AND PLACE HIS PRESENCE MAY BE a. BY LAW OR BY SUCH COURT MAGISTRATE. . I acknowledge that I was given the above Warning. (This is NOT an admission of guilt). Declaro que se me Icy ron mis derechos aqui Mencionados. (Esto NO es admisi de culpabilidad). I II Place ofwa nin -- CIPAL COURT A Iii-i/ Time: Person Warned Accused refused'to-" .n acknowledgement of warning: Date: April 20, 2020 Remarks; . Witness (if any) 5' Name; JESUS M. FLORES #7137 \j Address: 1601 N. BICENTENNIAL BLVD. MCALLEN, TX 7851 This hearing was interpreted by: Adopted 02/19/03 - idalgo County Indigent Defense rogram. Case: 2020-18520 COMPLAINT NO. gang-?9?47 THE STATE OF TEXAS MUNICIPAL COURT COUNTY OF HIDALGO MCALLEN, HIDALGO COUNTY, TEXAS I, DETECTIVE JOEL VILLEGAS #11744, do solemnly swear that I have good reason to believe, and do believe and charge, that heretofore, on or before the 2_2 day of JANUARY A.D.2020,in the County of Hidalgo and State of Texas, JIMMI RIOS PEREZ hereinafter called Defendant, did then and there with the intent to arouse or gratify the sexual desire of the defendant or Mary Meyers (Pseudonym), touch the anus and vagina of Mary Meyers (Pseudonym), hereafter styled the complainant, and the defendant acted without the complainant?s consent. PC STATEMENT (Page 1 of 2) On March 14, 2020 Mary Meyers (Pseudonym) reported she was inappropriately touched by her doctor, Doctor immi Rios Perez, without her consent. Ms. Meyers submitted to several cosmetic surgeries. After the surgeries, which occurred in late 2019, Ms. Meyers was subject to regularly scheduled follow?up visits. On January 13, 2020 Ms. Meyers went for a follow up visit where Dr. Rios Perez touched her vagina without her consent while performing the examination. On January 22, 2020 Ms. Meyers went for her last follow up visit where Dr. Rios Perez again touched her vagina along with her anus without her consent. Ms. Meyers stated she had no procedures done on her vagina or anus that would warrant Dr. Rios Perez touching her in those areas. Ms. Meyers stated Dr. Rios Perez was also not wearing gloves while conducting the examination and no chaperone was present. Ms. Meyers further stated Dr. Rios Perez would make inappropriate comments about her physical appearance during the examinations. On March 17, 2020 Detective J. Villegas met with Ms. Meyers and obtained a recorded statement providing details of the incident and wishing to ?le charges. On April 14, 2020 Det. Villegas obtained a medical records subpoena for Ms. Meyers which was served at the of?ce of Dr. Rios Perez. On April 15, 2020, an attorney representing Dr. Rios Perez delivered the medical records and also advised Dr. Rios Perez would not be providing a statement. Det. Villegas reviewed the medical records and found no documentation relating to any procedures done in the anus or vagina of Ms. Meyers. Based on these records, Dr. Rios Perez did not have a medical reason to check or touch Ms. Meyers? anus or vagina without her consent. Wherefore, I ask that a warrant to arrest said Defendant be issued forthwith in accordance with the law in such cases provided. . KEFI SWORN TO AND SUBSCRIBED BEFORE ME this [lg day of Case' 2020-18520 COMPLAINT N0. 970ch 2,1 747 7 THE STATE OF TEXAS MUNICIPAL COURT COUNTY OF HIDALGOU MCALLEN, HIDALGO COUNTY, TEXAS l. DETECTIVE JOEL VILLEGAS #11744, do solemnly swear that I hnve good reason to heheve, and do belleve and charge. thut heretofore, uu or before the 21 day of JANUARY Anzflun the Ceuuty of and State or Texas, mos PEREZ Defendant, then and there with the intent to arouse or gratity the sexual desire defendant or Mary Meyers (Pseudonym), touch the anus vagina or Mary Meyers (Pseudonym), hereaflcr styled the complainant, and the defendant neten without the complainant's consent. PC STATEMENT (Page 2 of 2) Based on the facts and statements evidence to the case, this affinnt respectfully requests that an arrest warmnt be tssued for Jimmi Rios Parez for Indecem Assault class A Mlsdemeanor. Suspect: JIMMI RIOS PEREZ EYES: BROWN HAIR: BROWN, HEIGHT- 6'00" WEIGHT- zooms TX DL Wherefore, I ask that a warrant to arrest said Defendant he issued in acculdance the law ln such cases provided.