Tonya Office of the Governor I State ofWisconsin - - September 11, 2020 Governor Pritzker ATTN: McCloskey Extradition Coordinator Illinois State Police 801 S. 7th St. Ste. Springfield, IL 62703?2487 Dear Governor Pritzker, At Governor Evers?s request, I am enclosing an extradition requisition for the return to the State of Wisconsin of: Kyle H. Rittenhouse a/ k/ a Kyle Howard Rittenhouse If you honor this requisition, please forward your warrant and agent?s authority to: Sheriff John Idleburg Lake County Sheriff?s Office 25 Martin Luther King Jr. Avenue Waukegan, IL 60085 (847) 377?4000 When the defendant is ready for release, please notify: Sheriff David Beth Kenosha County Sheriff?s Office 1000 55th Street Kenosha, WI 53140 (262) 653?5101 Thank you for your prompt attention to this matter. If you have any questions regarding these documents, please contact me at (608) 516-7734. Sincerely, . I Office ofthe Governor 0' Box 7868?, - I - - [608] 266?1212 Jack glask/ Assis' ant Legal Counsel Enclosures cc enclosures: Lake County Sheriff John Idleburg Kenosha County Sheriff David Beth Kenosha County District Attorney Tony?Evers - Office of the Governor 1 State of Wisconsin - - ..- -.. A GEN APPOINTMENT To All to Whom These Presents Come: I have this day demanded of the Governor of Illinois the apprehension and return of Kyle H. Rittenhouse a/ k/ a Kyle Howard Rittenhouse (?the fugitive?), who is charged in Wisconsin with the crimes of First?Degree Reckless Homicide (Use of a Dangerous Weapon); First?Degree Recklessly Endangering Safety (Use of a Dangerous Weapon); First?Degree Intentional Homicide (Use of a Dangerous Weapon); Attempted First?Degree Intentional Homicide (Use of a Dangerous Weapon); First?Degree Recklessly Endangering Safety (Use of a Dangerous Weapon); Possession of a Dangerous Weapon by a Person Under 18, and who has ?ed Wisconsin and is now in Illinois. I appoint and authorize Kenosha County Sheriff David Beth and/ or designee to, on behalf of Wisconsin, receive the fugitive from the Governor of Illinois and return the fugitive to Wisconsin to be dealt wit according to law. IN TESTIMONY WHEREOF, I have hereunto set my hand and caused the Great Seal of the State of Wisconsin to be affixed. Done at the Capitol in the City of Madison this eleventh day of September in the year two thousand twenty. "39) 7 I - - .4 fminim? ?4 . 7" 15' druids)? {H?m?l'?fr si/ By the Governor. [15 wgu?s La Follette, SECRETARY OF STATE - - .Office of the Governor PO Box 7863, Madison, WI 53707 [608] 266-1212 0 evers.wi.gov TonyEVers Office of the Governor I State of Wisconsin REQ UISITION To His Excellency, the Governor of the State of Illinois: It appears by the annexed documents, which I certify are authentic, that Kyle H. Rittenhouse a/ k/ a Kyle Howard Rittenhouse (?the fugitive?) is charged as verified by affidavit with the crimes of First?Degree Reckless Homicide (Use of a Dangerous Weapon); First?Degree Recklessly Endangering Safety (Use of a Dangerous Weapon); First?Degree Intentional Homicide (Use of a Dangerous Weapon); Attempted First?Degree Intentional Homicide (Use of a Dangerous Weapon); First?Degree Recklessly Endangering Safety (Use of a Dangerous Weapon); Possession of a Dangerous Weapon by a Person Under 18 under Wisconsin law and that the fugitive was present in Wisconsin when the alleged crime was committed but has since ?ed Wisconsin and is now in Illinois. Pursuant to the Constitution and laws of the United States, I respectfully demand that the fugitive be apprehended and delivered to Kenosha County Sheriff David Beth and or designee, whom I have .. orized to receive and convey the fugitive to Wisconsin. IN TESTIMONY WHEREOF, I have hereunto set my hand and caused the Great Seal of the State of Wisconsin to be affixed. Done at the Capitol in i I - the City of Madison this eleventh day of I ?i September in the year two thousand twenty. gm 1., I ?rw . I?xt II A cc,- 0 one a; . mam)? .. Tony Evers GOVERNOR A I/jli/ Douglas! La Follette, SECRETARY OF STATE . . .-- . . - . . -. Office of the Governor Box 7863, Madison, WI 53707 (608] 266?1212 0 evers.wi.gov Extradition Ch. 976, Wis. Stat. T H E S T A T E O F W I S C O N S I N DEPARTMENT OF JUSTICE September 2, 2020 Charged With: First-Degree Reckless Homicide (Use of a Dangerous Weapon); First-Degree Recklessly Endangering Safety (Use of a Dangerous Weapon); First-Degree Intentional Homicide (Use of a Dangerous Weapon); Attempted First-Degree Intentional Homicide (Use of a Dangerous Weapon); First-Degree Recklessly Endangering Safety (Use of a Dangerous Weapon); Possession of a Dangerous Weapon by a Person Under 18 Application Documents: Criminal Complaint, Arrest Warrant, Affidavit of Probable Cause, Identification, and Supporting Papers State: Illinois To His Excellency The Governor: Sir: I have examined the annexed application of Thomas C. Binger, an Assistant District Attorney for Kenosha County, for the requisition of Kyle H. Rittenhouse a/k/a Kyle Howard Rittenhouse and I find the application and its accompanying documents to be in compliance with law. Christine A. Remington Assistant Attorney General Coun of Kgnosha Michael D. Graveley V DistrictAttorney 912 56th Street Molinaro Building Kenosha, Wl 53140 Phone 262 653-2400 District Attorney Angelina Gabriele Victim Witness (262) 653-2408 Fax (262\ 653-2783 - 2nd Floor Fax (262) 653-2411 - 3'd Floor, West Fax (262) 653-2487 - 3'd Floor, East Deputy District Attorney Heather M. Beasy Victim Wilness Coordinator Tina A. Burke OfIlce l\.4anager Brian P. Stuht Offlce lnvestigator Far Official Use September 2, 2020 Honorable Tony Evers Governor of the State of Wisconsin 1 15 East State Capitol Madison, Wl 53702 RE: State of Wisconsin v. Kyle H. Rittenhouse, File No. 2020CF000983 Dear Sir. The County of Kenosha was advised on August 27,2020 that Kyle H. Rittenhouse was apprehended in the County of Lake, State of lllinois. The defendant is a fugitive The Wis. Stat. $ 976.03 deadlines {"do" or "do not"} apply at this time. 09126124 30 11125120 90 Days: Days The attached application requests that ycu issue a Governor's Warrant authorizing the return of the defendant to \l/isconsin. Said warranl should be sent to The Office of the Governor of lllinois, requesting that on apprcval, the papers then be forwarded directly to the Lake County Sheriff's Department. lf you have any questions or concerns about this application, I can be reached a 262-653-2467. Sincerely, - ',-LLtq latr Amy t Paralegal "' -... '/ Enclosures cc Lisa Smith, Extradition Coordinator John ldleburg, Sheriff CIRCUIT COURT KENOSHA COUNTY DA Case No.: 2020KN003907 STATE OF WISCONSIN STATE OF WISCONSIN Plaintiff, FILED Court Case No.. 2020CF000983 SEP VS - 2 a0m APPLICATION FOR REQUISITION KYLE H. RITTENHOUSE DOB: 01/03/2003 Defendant. REqFccA lr' 1rn s KA. 0LEL( CF LliiCi.llT Date taken into custody: 30 day deadline: 90 day deadline: 08t27t20 09t26t20 11t25t20 flrr For Official Use To His Excellency Tony Evers, Governor of the State of Wisconsin l, Thomas C. Binger, Assistant District Attorney, pursuant to Wis. Stat. S 976.03, requests a requisition issue for arrest and rendition consistent with the following information: 'l. Defendant Information: Name of Defendant: Kyle H. Rittenhouse Known Aliases: Present Location: NA Hulse Juvenile Detention Center, Lake County, lllinois x The defendant is not in custody in the asylum state X The defendant is in custody in the asylum state. Taken into custody on: 0812712020 2. Crime lnformation The defendant stands charged with Count One: First Degree Reckless Homicide, Use of a Dangerous Weapon - Contrary to Wis. Stat. 5940.02(1), 393 50(3)(b) and 939 63(1Xb) Count Two: First Degree Recklessly Endangering Safety, Use of a Dangerous Weapon Contrary tc \ Jis Stat. S941 .30(1), 939.s0(3X0 and 939.63(1)(b) Count Three: First Degree lntentional Homicide, Use of a Dangerous Weapon Contrary to Wis. Siat. $940.0i E ).lTl]"1K COLIRT Count Four: Attempted First Degree lntentional Homicide, Use of a Dangerous Weapon Contrary to Wis. Stat $940 01(1)(a), 393 50(3)(a), 939 32 and 939 63(1 )(b) Count Five: First Degree Recklessly Endangering Safety, Use of a Dangerous Weapon Contrary to Wis. Stat. S941 .30(1), 939 50(3)(0 and 939.63(1 )(b) Count Six: Possession of a Dangerous Weapon by a Person Under 18 - Contrary to Wis Stat. $9a8.60(2)(a) and 939.51 (3Xa) The crime was commrtted on or about August 25, 2020, in Kenosha County. X The defendant is a fugitive as he or she was personally present in the State of Wisconsin at the time the crime was committed. The defendant is a non-fugitive as he or she was not personally present in the State of Wisconsin at the time the crime was committed but committed acts that resulted in a crime in Wisconsin. The defendant has been. X Charqed by CriminallQqmplaint or lnformation. Certified copies of the compliant or information, the warrant and an affidavit of probable case signed before a judge are attached Convicted but Not Yet Sentenced. Certified co pies of the conviction and failure to appear warrant are attached Convicted and Violated Terms of Senlence Certified copies of the conviction, documentation of the violation and the violation warrant are attached Statutory Text: Crime: First Degree Reckless Homicide, Use of a Dangerous Weapon Vvis. Stat. S 940.02(1)and e39.6s(1)(b) Whoever recklessly causes the death of another human being under circumstances which show utter disregard for human life is guilty of a Class B felony. lf a person commits a ci'ime while possessing, using or threatenrng to use a dangerous weapon, the maximum term of imprisonment prescribed by law for that crime may be increased as follows. lf the maximum term of imprisonment for a felony is more than 5 years or is a life term, the rnaximum term of imprisonment for the felony may be increased b), not more than 5 years. Penalty: 939.50(3)(bl: For a Class B f-^lcny, i!"nprisonment not to exceed 60 years As to Counts Two and Five: Crime: First Degree Recklessly Endangering Safety, Use of a Dangerous Weapon Wis. Stat. S 941.30(1)and 939.63(1Xb) Whoever recklessly endangers another's safety under circumstances which show utter disregard for human life is guilty of a Class F felony. lf a person commits a crime while possessing, using or threatening to use a dangerous weapon, the maximum term of imprisonment prescribed by law for that crime may be increased as follows: lf the maximum term of imprisonment for a felony is more than 5 years or is a life term, the maximum term of imprisonment for the felony may be ancreased by not more than 5 years. Penalty. 939.50(3)(b): For a Class B felony, imprisonment not to exceed 60 years Crime: First Degree lntentional Homicide, Use of a Dangerous Weapon Wis. Stat. $940.01(1)(a) and 939.63(1Xb) Whoever causes the death of another human being with intent to kill that person or another is guilty of Class A felony. lf a person commits a crime while possessing, using or threatening to use a dangerous weapon, the maximum term of imprisonment prescribed by law for that crime may be increased as follows: lf the maximum term of imprisonment for a felony is more than 5 years or is a life term, the maximum term of imprisonment for the felony may be increased by not more than 5 years. Penalty. 939.50(3Xa): For a Class A felony, life imprisonment Crime: Attempted First Degree lntentional Homicide, Use of a Dangerous Weapon Wis. Stat. $9a0.0r(1)(a), 939.32 and 939.63(1Xb) Whoever causes the death of another human being with intent to kill that person or another is guilty of a Class A felony. 939.32 Whoever attempts to cornmit a crime for which the penalty is life imprisonment is guilty of a Class B felony. lf a person commits crime while possessing, using or threatening to use a dangerous weapon, the maximum term of imprisonment prescribed by law for that crime may be increased as follows: lf the maximum term of imprisonment for a felony is more than 5 years or is a life term, the maximum term of imprisonment for the felony may be increased by not more than 5 years. Penalty. 939.50(3Xb): For a Class B felony, imprisonment not to exceed 60 years Crime: Possession ofa Dangerous Weapon by a Person Under 18 Wis. Stat. $9a8.60(2)(a) Any person under 18 years of age who possess or goes armed with a dangerous weapon is guilty of a Class A misdemeanor. penaity: 939.51(3)(a): For a Class A misdemeanor, a fine not to exceed $10,000 or imprisonment not to exceed 9 months, or both. 3. Circumstances of the Offense/Escape/Breach The circumstances of the offenses are contained within the attached criminal complaint. 4. Agent lnformation I nominate the following individual(s) to be designated by you as the agent(s) to return the defendant to Wisconsin: David Beth Sheriff, Kenosha County 1000 55 Street, Kenosha, Wl., 53140 262-653-5101 5. Certification I hereby certify THAT the ends of justice require the arrest and return of the identified defendant, and I have carefully examined the facts and circumstances of the case, and I am content that the defendant should be brought to the State of Wisconsin at public expense. THAT this is the first application made for the requisition of the defendant for the purpose stated in the application. This demand is made in good faith and is not made to secure the defendant's return to serve civil process, for the purpose of collecting debt, nor for any private purposes. THAT this application was not made sooner because despite a diligent search and due inquiry, the defendant could not be located or found before this date. THAT the documentation enclosed in support of this application is true, accurate and properly authenticated in accordance with the laws of this state. Thomas C. Binger Assistant District Attorney l, Thomas C. Binger, Assistant District Attorney, being first duly sworn, do solemnly swear that the facts set forth in this application are true, except as to those stated on information and belief and as to those I believe them to be true Binger Thomas Assistant District Attorney Su of September, 2020. bed and, surorn before me on the (! Ll-^ Hono ble ts ruce' E. Schroeder, 3 Kenosha County Circuit Couft [Seal of the Court] c, 'r (.1 r{N STATE OF WISCONSIN CIRCUIT COURT KENOSHA COUNTY DA Case No.: 2020KN003907 FILED STATE OF WISCONSIN P laintiff, Court Case No.: 2020CF000983 SEP - 2 40il VS, COURT CERTIFICATION KYLE H. RITTENHOUSE DOB: 01/03/2003 Defendant. RFl',FccA t.,.rrnst/4.MrITt ^!K ultrrv\ Uf L,,.i:Uii C0.rR Fot Official Use l, Tami Lema, Deputy Clerk of Circuit Court in and for the County of Kenosha, Wisconsin, do hereby certify that I have examined the attached court documents and find them to be full, true and complete copies of the originals on file. lN WITNESS WHEREOF, I have hereunto set my hand and affixed the seal of the said Court at the City day September , 2020. of Kenosha, County of Kenosha, Wisconsin, on this 2 of 1) \)A-/) LJIJ Tami Lema Deputy Court Clerk Kenosha County Circuit Court l, Honorable Bruce E. Schroeder, do hereby certify that I am the Presiding Judge of Branch 3 of the Circuit Court in and for the County of Kenosha, Wisconsin, and further certify that Tami Lema, whose name is subscribed to the certificate subjoined to the within copies, is and was at the date of said certificate, the Deputy Clerk of the said Court, duly appointed and qualified and acting as such; that the attestation of said Tami Lema is genuine and in due form of law and that the seal thereto attached is the proper seal of said Court. lN WITNESS WHEREOF, I have hereunto set my hand and affixed the seal of the said Court at the Cjty oi Kenosha, County of Kenosha, \A/isconsin on this 2.- day of , September , 2020. BT,ii' t /tle'Bru'ce E. Schroeder, Branch 3 sha County Circuit Court oTa f\b \i\ Case 2020CF000983 Frled 08'27-2020 Docun'renl 2 Page 1 of 5 FILE D 08-27 -2020 STATE OF WISCONSIN CIRCUIT COURT STATE OF Wisconsin Plarntiff Clerk of Circuit Court Kenosha County KENOSHA COUNTY 2020c F000983 Honorable Bruce E. Schroeder Branch 3 CRIMINAL COMPLAINT , DA Case #: 2020KN003907 VS Agency Case #: KPD 2020-00047360 KYLE H. RITTENHOUSE 286 Anita Terrace, #10 Antioch, lL 60000-2 DOB 01/03/2003 Sex/Race: lVAfu Brown 5ft8in lbs Hair Color. Height: Weight: 150 Alias. ,:I',iI,::NI 0',',:l;'iAL 0i\ i Ii Defendanfu, lS A CT COPf OF THE C0 tN HIS OFFICE. <7'a\ <-) Ii ri:! I r i -e \ .. ryJ2 \-r / /^ r:2 /"J' / ltil1;*Ot CIT .MENTINK 0 creLafiafM" The undersigned, being first duly sworn, states that Count 1: FIRST DEGREE RECKLESS HOMICIDE, USE OF A DANGEROUS WEAPON The above-named defendant on or about Tuesday, August 25, 2020, in the City of Kenosha, Kenosha County, Wisconsin, did recklessly cause the death of Joseph D. Rosenbaum, under circumstances which show utter disregard for human life, contrary to sec. 940.02(1), 939.50(3Xb), 939.63(1)(b) Wis. Stats., a Class B Felony, and upon conviction may be sentenced to a term of imprisonment not to exceed sixty (60) years. And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by not more than 5 years. Count 2: FIRST OEGREE RECKLESSLY ENDANGERING SAFETY, USE OF A DANGEROUS WEAPOii The abcve-named defendant on cr about Tuesday, August 25, 2020, ro the City of Kenosha, Kencsha County, Wisconsin, did recklessly endanger the safety of Richard lVlcGinnis, under circumstances which show utter disregard for hunran life, contrary to sec. 94i .30(1), 939.50(3)(f), 939.63(1)(b) Wis. Stats., a Class F Felony. and upon conviction may be fined not more than Twenty Five Thousand Dollars ($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both. And further, invoking the provisior;s of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this offense while using a dangerous weapon, the maximum term of impriscnment for the felony may be increased by not rnore than 5 years. Count 3: FIRST DEGREE INTENTIONAL HOMICIDE, USE OF A DANGEROUS WEAPON Case 2020CF000983 Document 2 Ftbd A8-27 -2024 Page 2 of 5 The above-named defendant on or about Tuesday, August 25, 2020, in the City of Kenosha. Kenosha County, Wisconsin, did cause the death of Anthony l\r1. Huber, with intent to kill that person, contrary to sec. 9a0.01(1)(a), 939 50(3)(a), 939 63(1)(b) Wis Stats , a CIass A Felony, and upon conviction shall be sentenced to imprisonment for life. And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats , because the defendant committed this offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by not more than 5 years. Count 4: ATTEMPT FIRST DEGREE INTENTIONAL HOMICIDE, USE OF A DANGEROUS WEAPON The above-named defendant on or about Tuesday, August 25, 2020, in the City of Kenosha, Kenosha County, Wisconsin, attempted to cause the death of Gaige P. Grosskreutz, with intent to kill that person, contrary to sec. 940 0'1 (1)(a), 939 50(3)(a), 939.32, 939 63(1)(b) Wis Stats , a Class B Felony, and upon conviction may be sentenced to a lerm of imprisonment not to exceed sixty (60) years And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by not more than 5 years. COunt 5: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY, USE OF A DANGEROUS WEAPON The above-named defendant on or about Tuesday, August 25, 2020. in the City of Kenosha, Kenosha County, Wisconsin, did recklessly endanger the safety of an unknown male, under circumstances which show utter disregard for human life, contrary to sec. 941 .30(1), 939.50(3)(0, 939.63(1)(b) Wis. Stats., a Class F Felony. and upon conviction may be fined not more than Twenty Five Thousand Dollars ($25,000), or imprisoned not more than twelve (12) years anC six (6) months, or both. And further, invoking the pi"ovisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this offense while using a dangerous weapon, the maximum term of imprisonment for the feiony may be increased by notfiore than 5 years. Count 6: PCSSESSION OF A DANGEROUS WEAPON BY A PFRSON UNDER 18 The above-named defendant on or about Tuesday. August 25, 2020, in the City of Kenosha. Kenosha County, Wisconsin, being a person under 18 years of age, did go armed wrth a dangerous weapon, contrary to sec. 948.60(2)(a), 939.51(3)(a) Wis. Stats.. a Class A tVlisdemeanor, and uoon conviction may be fined noi more than Ten Thousand Dollars ($'10,000). or imprisoneci not more than nine (9) months, or both. PROBA.BLE CAUSE vout'cornplainant Spoke witr, Sgt \y'el,Char r:otec'iv6 Ha\/a'd. Delectrve Cep.g5" and Detealive Antaramian of the Kenosha Police Department who provided the following information. On August Case 2020CF000983 Document 2 Filed 08-27 2020 Page 3 of 5 25,2020 an 8:00 pm curfew had been imposed east of l-94 in Kenosha County due to civil unrest On August 25th at approximately 11:45 pm a shooting occurred at Car Source which is located at the northwest corner of 63rd St. and Sheridan Road in the City and County of Kenosha, State of Wisconsin. The man who was shot at this location was identified as Joseph Rosenbaum. Rosenbaum was transported to a local hospital where a doctor declared him to be deceased on August 26, 2020 al 12.47 am In the course of investigating this incident, Iaw enforcement reviewed and shared with your complainant multiple videos that appeared to be recorded on cell phones. ln the first video, a male who was later identified to be Kyle H. Rittenhouse, DOB, 01/03/03 (hereinafter "the defendant"), is running southwest across the eastern portion of the Car Source parking lot. The defendant is a resident of Antioch, lL. The defendant can clearly be seen holding a long gun, which was later recovered by law enforcement and identified as a Smith & Wesson AR-'1 5 style .223 rifle. The recovered magazine for this rifle nolds iO rounds of ammunition. Following the defendant is Rosenbaum and trailing behind the defendant and Rosenbaum is a male who was later identified as Richard lt4cGinnis, a reporter. The video shows that as they cross the parking lot, Rosenbaum appears to throw an object at the defendant. The object does not hit the defendant and a second video shows, based on where the object landed, that it was a plastic bag. Rosenbaum appears to be unarmed for the duration of this video. A review of the second video shows that the defendant and Rosenbaum continue to move across the parking lot and approach the front of a black car parked in the lot. A loud bang is heard on the video, then a male shouts, "Fuck youl', then Rosenbaum appears to continue to approach the defendant and gets in near proximity to the defendant when 4 more loud bangs are heard. Rosenbaum then falls to the ground. The defendant then circles behind the black car and approaches Rosenbaum. Rosenbaum remains on the ground. lVcGinnis also approaches, removes his shirt, and atlempts to render aid to Rosenbaum. The defendant appears to get on his cell phone and place a call. Another male approaches, and the defenciant turns and begins to run away from the scene. As the defendant is running away. he can be heard saying on the phone, "llust killed somebody.' Detective Cepress interviewed IVlcGrnrris and indicates the following: Before the shooting, IVlcGinnis was interviewing the defendant. The defendant told lVlcGinnis that he was a trained medic. lt/lcGinnis stated that he (Mccinnis) has handled many ARs and that the defendant was noi handling the weapon very well. IVcGinnis said that as they were walking south another armed male who appeared to be in his 30s joined them and said he was there to protect the defendant. I\/lcGinnis stated that before the defendant reached the parking lot and ran across it, the defendant had moved from the middle of Sheridan Road to the sidewalk and that is when A/lcGinnis saw a male (Rosenbaum) initially try to engage the defendant. lVcGinnis stated that as the defendant was walking Rosenbaum was trying to get closer to the defendant. When Rosenbaum advanced, the defenoant did a "juke" move and started running. fulcGrnnis stated that there nrere other peopie that were moving very quickiy. lVcGinnis stated that they were moving towaros the defendant. lVcGinnis said that according to what he saw the defendant was trying to evade these individuals. It/lcGinnis described the point lvhere the defendant had reached the car. McGinnis described that the defendant had the gun in a low ready position. l\,4eaning that he haci the gun raised but pointed dowrward. The butt of the gun would have been at an angle downlvarcis from the shoulCer. l\,4cGinnis stated that the defendant brought the gun up. l\ilcGinnis stated that he stepped back and Case 2020CF000983 Document 2 F led 03-27 2020 Page 4 of 5 he thinks the defendant fired 3 rounds in rapid succession. McGinnis said when the first round went off, he thought it hit the pavement. IVlcGinnis felt something on his leg and his first thought was wondering whether he had gotten shot. McGinnis was behind and slightly to the right of Rosenbaum, in the line of fire, when the defendant shot. lVlcGinnis stated that the first round went into the ground and when the second shot went off, the defendant actually had the gun aimed at Rosenbaum. lVcGinnis stated he did not hear the two exchange any words. It/lcGinnis said that the unarmed guy (Rosenbaum) was trying to get the defendant's gun. [/lcGinnis demonstrated by extending both of his hands in a quick grabbing motion and did that as a visual on how Rosenbaum tried to reach for the defendant's gun. Detective Cepress indicates that he asked lVlcGinnis if Rosenbaum had his hands on the gun when the defendant shot. McGinnis said that he definitely made a motion that he was trying to grab the barrel of the gun. lt/lcGinnis stated that the defendant pulled it away and then raised it McGinnis stated that right as they came together, the defendant fired. ltlcGinnis said that when Rosenbaum was shot, he had leaned in (towards the defendant). It/lcGinnis stated that after the defendant shot he ran back towards the hospital towards the middle of the road. McGinnis stayed and turned his attention to Rosenbaum. lVlcGinnis stated that he then heard other shots really soon after. The third video that your complainant reviewed shows the defendant running northbound on Sheridan Road after he had shot Rosenbaum. The street and the sidewalk are full of people. A group of several people begin running northbound on Sheridan Road behind the defendant. A person can be heard yelling what sounds like, "Beat him upl" Another person can be heard yelling what sounds like, "Hey, he shot himl" Your complainant reviewed a fourth video that showed a different angle of the defendant running northbound. ln this video a person can be heard yelling, "Get him! Get that dudel" Then a male in a light-colored top runs towards the defendant and appears to swing at the defendant with his right arm. This swing makes contact with the defendant, knocking his hat ofL The defendant continues to run northbound. On the video a male can be heard saying something to the effect of. "What'd he do?" Another male can be heard respondrng something to the effect of. 'Just shot someone." Then a male can be heard yelling, "Get his assl" The defendant then trips and falls to the ground. As the defendant is on the ground an unidentified male wearing a dark-colored top and lightcoioi"ed pants jumps at and over the defendant. Based on the sounds of gunshots on the video and the positioning of the defendant's gun, it appeai's that he fires two shots in quick succession at this perscn. lt appears that that person was not hit as he then runs away from the defendant. A second person who was iater identified as Anthony l-luber approaches the defendant who is still on the ground, on his back. Huber has a skateboard in his right hand. When Huber reaches the defendant it appears that he is reaching for the defendant s gun with his left hand as the skateboard makes contacl with the defendant's left shoulder. Huber appears to be trying to pull the gun away from the cjefendant. The defendant rolls tovrards his left sicie and as Huber appears to be trying to grab the gun the gun is pointed at Huber's body. The defendant then fires one round which can be heard on the video. Huber staggers away, taking several steps, then collapses to the ground Huber subs--quently died from this gunshol wound After shooting l-ruber, the defendant moves to a seated posrtion and points his gun at a thrrd male, later identified as Gaige Grosskreutz, who had begun to approach the defendant When the defendant shot Huber, Grosskreutz freezes and ducks and takes a step back. Grosskreutz puts Case 2020CF000983 Document 2 F Page 5 of 5 tled oB 2 /- -242C his hands in the air. Grosskreutz then moves towards the defendant who aims his gun at Grosskreutz and shoots him, firing 1 shot. Grosskreutz was shot in the right arm. Grosskreutz appears to be holding a handgun in his right hand when he was shot. Grosskreutz then runs southbound away from the defendant screaming for a medic and the defendant gets up and starts walking northbound. The defendant turns around facing southbound while walking backwards northbound with his firearm in a ready position, pointed towards the people in the roadway. Dr. Kelley of the lVlilwaukee lVledical Examiner's Office conducted an autopsy on Joseph Rosenbaum. Dr. Kelley indicated that Rosenbaum had a gunshot wound to the right groin which fractured his pelvis, a gunshot wound to the back which pedorated his right lung and liver, a gunshot wound to the left hand, a superficial gunshot wound to his lateral left thigh, and a graze gunshot wound to the right side of his forehead. Dr. Kelley also conducted an autopsy on Anthony Huber. Dr. Kelley indicated that Huber had a gunshot wound to his chest that perforated his heart, aorta, pulmonary artery, and right lung. Detective Antaramian spoke with Dominic Black on August 26, 2020. Dominic stated that he received a phone call from his friend Kyle Rittenhouse, the defendant, at 1'1 :46 pm in which the defendant stated that he shot someone. Detective Antaramian saw the defendant in person at the Antioch, lL Police Department and identified the defendant as the shooter in the various videos. Your complainant is an attorney with the Kenosha County District Attorney's Office, who bases her knowledge of this complaint on: z / 2 i Statements given to your complainant by Sgt. l\,4elichar, Detective Howard, Detectlve Cepress, and Detective Antaramian of the Kenosha Police Department; Statements from Dr. Kelley of the Nililwaukee lt/edical Examiner's Office; Review by law enforcement and by your complainant of the aforementioned videos, Statements by citizen informant(s) Richard IVlcGinnis and Dominic Black, who are eyewitnesses tc the facts they relate, Staternents by the defendant, which niere made contrary to his penal interests, The official records cf. The Circuit Court for Kenosha County; The Department of Transportation; The FBI Tripie I Teletype, The Wisconsin Circuit Court Automated Program, which records are maintained in the normal course of business duties. Electron ically Signed By Subscribed and sworn to before me an 48127i20 Electronically Signed By: Carli McNeill A.ngelina Gabriele Complain Deputy District Attorney State Bar#: 1025039 a nt STATE OF WISCONSIN CIRCUIT COURT KENOSHA COUNTY FILE.D DA Case No.: 2020 KN003907 STAIE OF WISCONSIN Plaintiff, Court Case No.: 2020CF000983 stP -2 20n VS. KYLE H. RITTENHOUSE DOB: 01/03/2003 Defendant STATE OF WISCONSIN couNTY oF KENOSHA AFFIDAVIT OF PROBABLE CAUSE ''.,. For Official Use ) )ss ) Thomas C. Binger, being first duly sworn, on oath, says that upon review of the criminal complaint in the above-entitled action, a certified copy hereto annexed and made a part hereof; this application for requisition of the defendant, Kyle H. Rittenhouse, is made in good faith for the purpose of punishing the defendant for the crime(s) committed contrary to the laws of Wisconsin. The probable cause portion of the criminal complaint contains the requisite facts to support a finding of probable cause, and a criminal warrant annexed hereto was issued by the Honorable Mary K. Wagner, Judge of the Circuit Court in and for the County of Kenosha, Wisconsin, for the arrest of the defendant. a-, _-/ Thomas C. Binger Assistant District Attorney Based upon the foregoing Affidavit ancj the attached Criminal Conrplaint, I find there is probable cause to believe the accuseci committed the offense(s). t Subscribed and sworn to before me on this zl day of ,). 6.--. (,---- \i ,,\ l( -,'t'. r-k. t.1-l D ti Honorable B ce E. Schroeder, Branch 3 Kenosha County Circuit Coutt lCourt Seail ,2020 Y l() /o a C< )\ lll 141 'a_ C) ll{STl:lUI El'T E A CORRESTCOFYOFIHE .LON (. F CLIRI( STATE OF WISCONSIN CIRCUIT COURT ]URTS WARRANT Plaintiff, KYLE H, RITTENHOUSE 286 Anita Terrace, #10 Antioch, lL 60000-2 DOB: 01/03/2003 Sex/Race: M/VV Eye Color: Green Hair Color: Brown Height: 5ftBin Weight: '150 lbs Alias, Defendant IBii-]CA t14ATgSM . ,,EN,,NK osHAcouMY!'Jt KENOSHA COUNTY STATE OF Wisconsin VS Z AiIE \ IEINTHISOFFICE DA Case #: 2020KN003907 Agency Case #: KPD 2020-00047360 FILED AUG 27 ?020 -EiE8[tyfl83ffii8ixi, 2c, cF qt,j Fa. atrtcia! Use THE STATE OF WISCONSIN TO ANY LAW ENFORCEMENT OFFICER A cornplaint, a copy of which is attached, having been made before me accusing the defendant of committing lhe crime(s) of: THE CRIME(S) OF First Degree Reckless Homicide, Use of a Dangerous Weapon First Degree Recklessly Endangering Safety; Use of a Dangerous Weapon First Degree !ntentional Homicide; Use of a Dangerous Weapon First Degree lntentional Homicide; Attempt; Use of 08;21r2A20 DATE OF VIOLATION. 08t25t2420 08125t2020 48t25t2020 08t2512C20 08t25t2020 a812512020 CONTRARY TO WIS. STATUTE(S) eao.02(1 ); 939.63(1 )(b) 941 30(1), e3e.63(1Xb) 9a0 01 (1)(a), 939.63(1Xb) 9a0 01(1)(a); 939 32; 939.63(1)(b) e41 30(1);939.63(1Xb) 948.60(2)(a) STATE OF WISCONSIN - VS I - Kylc H. Rittenhousc a Dangerous Weapon Frrst Degree Recklessly Endangering Safety; Use of a Dangerous Weapon Possession of a Dangerous Weapon by a Person under 18 And having found that probable cause exists that such violation was committed by the defendant, you are, therefore, commanded to arrest the defendant and bring him before me, or if I am not available, before some other judge of this county. ,l.r., aon#2 a3t2'712024 LizrU 0-i1r cash. 2 STATE OF WISCONSIN CIRCUIT COURT KENOSHA COUNTY F.[E*L-' DA Case No.. 2020KN003907 STATE OF WISCONSIN Plaintiff, Court Case No.: 2020CF000983 SEP - 2 2pp VS AFFIDAVIT OF IDENTIFICATION KYLE H. RITTENHOUSE DOB: 01/03/2003 Defendant. For Official Use STATE OF WISCONSIN SS COUNTY OF KENOSHA Thomas C. Binger, being first duly sworn, on oath, states that 1. I am an Assistant District Attorney and responsible for filing applications for extraditions for crimes committed in Kenosha County. 2. As part of the application process, I obtain photographs and/or fingerprints of persons who are the subjects of extradition for the purposes of identification from law enforcement agencies. 3. ln connection with an application for the requisition of Kyle H. Rittenhouse, I have obtained a photograph and/or fingerprint records of the defendant from the Lake County Sheriff's Department. 4- I believe the attached photograph and/or fingerprint records are true and correct ,'-) r) 1_//', (=,--* {e) / Thomas C. Binger Assistant District Attorney Subscribed and sr,vo;n before m on this 2 5y of Septe er,2020 I l ( (1 + I \ , Notary Public, tats Wiscon sin My Commission is permanent 14 I --/ .p p-1 - -.. nail-m ga - 3i} . 5- Transaction Control Nun'rber ARREST GARD ALL FIEI-DS MARI(ED IN BOLO ARC [4ANOATCRY C.nlro Nunrbor Ref. DCN Docunrcnt lL o 4 9 L54302518 Subjects Last Name Pla.e of T zoo: 03 Birll- Hair lryeig h1 5 0 . qirvers Lrc€nse Number I 335022268 ii FBI ;r 0 Height , ChicaOc lR IL 5 o i8 .l Socrai Securily Number I Slale ldi?nti[rcelon Number L Mirw 1l HOWARD :KYLE Date ol Birth 01 fvlidCle l.Jame/Sullix ]trilt 134741543025r8 LS O Firsl NanTc RITTENHOI]SE ill,illl I lilt ill ill tiltiill lil Arrestlng Agency ORI -NCIC "*o Skrrr GRN l XN IL LGT Painr Prinrs Photo A',ailable DL Slate R35250803003 Eyc FOID B YN Basrs For Caulion AIiai l;rst tlamc Alias Firsl N.rnc Scars l,/arks. Taitcos TAT L THGH Alii s Daie of Eirth C,ccupa(ron Enrployer LIFE GUARD Yi\,4CA Adi:ess Employer 19,15 GRASS LAKE RD LINDENhURST,IL Agerrcy Case Number 600!6 : 286 ANITA TERRACE 10. ANTIOCH.IL 60002 lndictm3nt Case Nunrber Adlll B Court Arreslee/\rmed 26 With (Ccde Table on Back) Orde. Yes ;. r {,_....-,._.1'l i2: 13i Receipl Eond Date r Re'eased Date.ot Arrest * Ofllcer Badge 08 2A-2047C2 2020 Co. ol Pros 07 . ,tuto waupon Choose N4axinl urn ol lwc i4' 17 Y 16t ,1.s Nlrnber X.J Cash Arncufl L3ond Amotrnt Wo rharging Bond Typ e (Check Box) No Bcnd ; Driv. L,c c c 5 L , o S S ;Counly it i- Recognizance Ctlrer Casir Oate Fingerprinted 0B i 26 Count 001 12420 Yes Posl Senlence Finll erprirrts Statutc CitationlAOlC Code 725 LCS 225 0t13 D C) Wananl Case State Use Numbe r OnlY Ofrerlsc DcsDliption VIOI EXTRADITlON ACT 001 001 Dale oi otfense oB 26 2o2o Dcrnestic Violcnce (Plcasc Check) Domestic Violcncc (Plcasc Ch(ck) : Yer; . N[ lBrok) es No (6o.h) 402 o02 002 Date of Otfe{rse v, 003 00_3 003 ) , Dale oa Donreslic Violence {Please Cif€nse Check) Yer No (ea.1:) Pago Number 1,1! 3 C6.J2 ..C py 1/4 lllingsSrate Policg Bureau or ldenlificalion , . ,-.- - of _ -_isP 5-402 (B/os /'.1* rl[LDS tu1.I\RKED ]N EOLD ^RF r'.1aNlfAroPv. AFTREST CARD Transactron Control ll!rfiber LS r0474154302518 Rel )LrN DocLrnrr)d :rnitroJ N(,nrber L54302518 Subiects Lest Nanre First Name ilarre;Su'flx M ddle I HOWARD KYLE RITTENHOUSE Arre:;lee Arrred V./ilh Code Tabie L)narnred L..,rrl(rown Yveapon l-ar1al{un aifle Slrel(run Cthcr Fircafln l,?ll'r.l Cutiri-rli Clrrl-r/K lr)kles 1 ',1 2 13 Please Mail To 14 lllinois Stzrte Police 15 Bureau cif dentification 250 fJolth Chicago Slreet JcJict, lllinois 60432 16 i7 aiocJt Arresl Type Description On V cw /\rrest :irr.nr:loned/Ciled (l'iot laken i11o .r Jslod/') Oriili.al Arresi Warr.rnt S Ear,aJ ForfeilLrre VVar.anl B P ,rrobalLon Violatrolr \ /airaDt P.r.ole Vi.latiolilvldndatciy Release Violairor OLit Ihis Copy l\'l o cI Siatc ,'arri]nl F ingerprirrt lntaiges l I I t ,",jirr*, : 2rl rlltoDla .1 I ii L, RrfrG 5R LTTILE I t- 7t- .li,Er. Fi r;rs CROSSMATCH L S , ]' L i\,] I]L]LE ,ii i/litliia::. ., tit/),t Ii l'.lc lo i t r?1!ti' Xercx Phaser 4510 Serles Class Driver 8/261202A 911.21 00 006001840.12c17 .. ; ;._i:=. :ji:ti.:,; a ..::a:: ;1i.] E rt..19i1,0692 L-)L-l L IIIUI.r'E I T l ?'a{,\ ;'i't.= _rt\r'e Cotri'ii,1 Illirrois State Poli0c Btrrear oi ldenlrlicaiion tsP 6,,102 1g/05) P