MISSOURI CIRCUIT COURT - TWENTY-SECOND JUDICIAL CIRCUIT (ST. LOUIS CITY)
STATE OF MISSOURI VS KRAMARCZYK, JUSTIN M CA#: 510524072
DIV #: CAUSE#: DESTINATION: GRAND JURY DEFENDANT INFORMATION ADDRESS: PEDIGREE: RACE: W DOB: xx/xx/1986 HGT: 5'06" SEX: M AGE: 24 WGT: 135 ID #s: COMPLAINT#: 110036736 LID: ARREST#: DIST: SLMPD OCN: C1125282 ALIASES: SSNs: STATE OF MISSOURI CITY OF ST. LOUIS
The Circuit Attorney of the City of St. Louis, State of Missouri, upon information and belief, charges that Count 1: LEFT SCENE OF ACCIDENT (Class D FELONY) RSMo 577.060 ON 7/4/2011 Time: 12:30 AM Place: 4121 Manchester Ave. (SCC 48865) The defendant, in violation of Section 577.060, RSMo, committed the class D felony of leaving the scene of a motor vehicle accident, punishable upon conviction under Sections 558.011 and 560.011, RSMo, in that on or about July 4, 2011 at 12:30 AM, the defendant, while operating a motor vehicle on Manchester, a highway generally open for use by the public, at or near 41xx Manchester Ave. in the City of St. Louis, State of Missouri, was a party to an accident that caused another person to sustain physical injury, and the defendant knew that such injury had occurred, and the defendant left the scene of the accident without stopping and giving sufficient information by which the defendant could be readily identified and located to such persons or to a police officer in the vicinity or to a police station or judicial officer.
The facts that form the basis for this information and belief are contained in the attached statement(s) of facts, made a part hereof and submitted as a basis upon which this court may find the existence of probable cause. Wherefore, the Circuit Attorney prays that an arrest warrant be issued as provided by law. Jennifer M. Joyce Circuit Attorney of the City of St. Louis, State of Missouri By ______original signed_______________ Assistant Circuit Attorney
PROBABLE CAUSE STATEMENT
DATE: July 5, 2011 I, Daniel Brown DSN 3873, a law enforcement officer for the City of St. Louis, State of Missouri,, knowing that false statements on this form are punishable by law, state that the facts contained herein are true. 1. I have probable cause to believe that Justin M Kramarczyk, a White Male DOB: xx/xx/1986 Age: 24, committed one or more criminal offense(s). Count 1: LEFT SCENE OF ACCIDENT (Class D FELONY) RSMo 577.060 ON 7/4/2011 Time: 12:30 AM Place: 41xx Manchester Ave. (SCC 48865) 2. The facts supporting this belief are as follows: Defendantâ€™s car struck JC. Defendant was driving the car at the time. The car sustained damage to the front windshield and other areas. Suspected hair and blood are visible on the carâ€™s windshield and other areas. JC died from the injuries caused when Defendant hit him with his car. Defendant ran JC down at approximately 12:30 a.m.. After Defendant struck JC, Defendant drove home. Defendant did not stop to check on JC. Defendant did not stop and provide any identifying information. People observed Defendant driving fast prior to Defendant running down JC. Further, Defendant drank alcohol before striking JC with his car.
Daniel Brown Dsn 3873 PRINT NAME
_______Original Signed SIGNATURE
IN THE 22ND JUDICIAL CIRCUIT COURT, CITY OF ST. LOUIS, MISSOURI Judge or Division:
Defendantâ€™s Name/Alias(es)/Address: KRAMARCZYK, JUSTIN M Alias(es):
Court ORI Number: MO116025J
1635 Washington St Lous, MO 63103
Offense Cycle No. (OCN): C1125282 Investigating Agency ORI: DOB: 9/24/86
Warrant Number: MSHP Number: Height: 5'06" Sex: M
(Date File Stamp)
SSN: 618-03-7310 Driverâ€™s License No. / Issuing State / Exp. Date: / / Weight: 135 lbs.
Warrant for Arrest To Any Peace Officer in the State of Missouri: The Court having found probable cause that a crime has been committed commands you to arrest the above-named defendant who is charged with: Charge Code/DescriptionNCIC ModifierCharg 48865 Cnt 1: Left Scene Of Accident 577.060 RSMo 99 Felony D 7-4-2011 alleged to have been committed within the jurisdiction of this Court and in violation of the laws of the State of Missouri. You are further commanded to bring the defendant before this Court to be dealt with in accordance with the law. If defendant is charged with any of the following and is a concealed carry endorsement holder, defendant shall surrender his/her license to the serving officer to be forwarded with the return of this warrant to the court. 1. Any felony; 2. Any misdemeanor involving explosive weapons, firearms, firearm silencer or gas guns; 3. Any misdemeanor offense involving a crime of violence; 4. Any misdemeanor offense involving possession or abuse of a controlled substance, or prior or persistent DWI alcohol or drugs; or 5. A fugitive from justice or charged by information or indictment in any other state of any similar offense described in the above paragraphs 1-4. The officer serving this warrant shall execute in writing a return on this warrant to this Court. Date
By Circuit Clerk
Cash bond of $ _________________________ and surety bond of $ Written promise to appear Bond in the amount of $ , secured by: Cash Surety Bond in the amount of $ , with _______ % cash Other: By Judge:
OSCA (1-09) CR 240 (ARWA)
544.020, 545.310 RSMo
Officer’s Return I certify that I served this warrant in _____________________ (County/City of St. Louis), Missouri on _______________ (date), by arresting the above named defendant and bringing him/her before the court on _______________ (date). Offense Cycle Number (OCN) if not indicated above C1125282 Defendant’s license surrendered for concealed carry suspension and is attached. Sheriff’s Fees ________________________________________ Fees $ N/A ____ Arresting Officer’s Signature Mileage $ (_____ miles @ $. ________ per mile) ________________________________________ ____ Total $ _________ Title
OSCA (1-09) CR 240 (ARWA)
544.020, 545.310 RSMo
MISSOURI CIRCUIT COURT TWENTY-SECOND JUDICIAL CIRCUIT (ST. LOUIS CITY)
State Of Missouri, Plaintiff, vs.
Division Number: 0 CA#: 510524072
JUSTIN M KRAMARCZYK, Defendant
REQUEST FOR DISCLOSURE Comes now the State of Missouri and hereby requests the defendant to disclose the following material or information in compliance with Supreme Court Rules 25.02, 25.05, 25.06, 25.07 and 25.08, to wit: 1. All reports or statements of experts made in connection with his case, including but not limited to results of physical or mental examination and of scientific tests, experiments or comparisons which the defense intends to introduce into evidence at a hearing or a trial except those portions containing statements made by the defendant; 2. The names and last known addresses of persons other than defendant, who the defense intends to call as witnesses at a hearing, a trial, or a sentencing phase of a trial, together with their written or recorded statements, and existing memoranda reporting or summarizing part or all of their oral statement(s); 3. Those parts of any books, papers, documents, photographs or objects, excluding portions containing statement of defendant, which the defense intends to introduce at a hearing or a trial; 4. A written statement from defense counsel disclosing defendant's intention to rely on the defense of mental disease or defect excluding responsibility, if such defense will be relied on; 5. A written statement from defense counsel announcing the intention to rely on the defense of alibi, including specific information as the place at which the accused claims to have been at the time of the alleged offense, and as particularly as is known, the names and addresses of the witnesses by whom he proposes to establish such alibi, If defendant intends to rely on this defense. 6. Notes, memorandum, written or recorded statements reporting or summarizing ex-parte statements obtained from the State's witnesses and impeachment defense witnesses or alibi witnesses. (State vs. Culkin, 791 S.W.2d 803, (Mo. App. 1990); Foote v. Hart, 728 S.W.2d 295 (Mo. App. 1987)). The defendant is charged with: Count 1: LEFT SCENE OF ACCIDENT ON 7/4/2011 Time: 12:30 AM Place: 4121 Manchester Ave.
(Class D FELONY) RSMo 577.060
A copy of the foregoing has been mailed/handed to:
Attorney for Defendant
This ________ day of ___________, 2011, by
Assistant Circuit Attorney 1114 Market St., Suite 401 St. Louis, MO 63101 (314) 622-4941 510524072
Probable cause for Justin Kramarczyk