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1 CLIFFORD NEWELL (SBN 204426)

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Nevada County District Attorney

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9 IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA


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IN AND FOR THE COUNTY OF NEVADA
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THE PEOPLE OF THE STATE OF CALIFORNIA, Case No.:
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14 Plaintiff, . FELONY COMPLAINT


-vs-
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DAKARI HARRIS (A)
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DOB: 09/04/1998
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18 (B)
DOB: 12/01/1998
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(C)
21 DOB: 10/11/1989
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(D)
DOB: 05/10/1998
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25 (E)
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DOB: 10/01/1989

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(F)
28 DOB: 10/10/2000

___________________________________________________________________________________________________
FELONY COMPLAINT
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1 Defendant.
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3 The District Attorney of the County of Nevada hereby accuses the defendant of:
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COUNT I
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On or about November 7, 2020, in the County of Nevada, State of California, the crime of
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Conspiracy To Commit A Crime in violation of PC182(a)(1), a Felony, was committed in that
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DAKARI MONDELL HARRIS AND DEVON DEONTAE JENNINGS AND WILLIAM RYNELL
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LEVISE AND TREY RONDAL RICHARD AND RONNEY TURNER AND LADERRICK
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TIMOTHY WYNN did unlawfully conspire together and with another person and persons
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whose identity is unknown to commit the crime of Transportation of Marijuana, in violation of
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Section 11360(a)(3)(D) of the Health and Safety Code, a felony; that pursuant to and for the
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purpose of carrying out the objectives and purposes of the aforesaid conspiracy, the said
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defendants, DAKARI MONDELL HARRIS AND DEVON DEONTAE JENNINGS AND WILLIAM
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RYNELL LEVISE AND TREY RONDAL RICHARD AND RONNEY TURNER AND
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LADERRICK TIMOTHY WYNN, and unknown co-conspirators, committed the following overt
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act and acts:
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1. Travelled from Texas to California
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2. Rented Vehicles
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3. Booked hotels
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4. Bundled together fake money

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5. Setup a marijuana purchase

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COUNT II
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28 On or about November 7, 2020, in the County of Nevada, State of California, the crime of

Conspiracy To Commit A Crime in violation of PC182(a)(1), a Felony, was committed in that


___________________________________________________________________________________________________
FELONY COMPLAINT
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DAKARI MONDELL HARRIS AND DEVON DEONTAE JENNINGS AND WILLIAM RYNELL
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LEVISE AND TREY RONDAL RICHARD AND RONNEY TURNER AND LADERRICK
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TIMOTHY WYNN did unlawfully conspire together and with another person and persons
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whose identity is unknown to commit the crime of Grand Theft by False Pretenses, in violation
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of Section 484 of the Penal Code, a felony; that pursuant to and for the purpose of carrying out
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the objectives and purposes of the aforesaid conspiracy, the said defendants, DAKARI
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MONDELL HARRIS AND DEVON DEONTAE JENNINGS AND WILLIAM RYNELL LEVISE
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AND TREY RONDAL RICHARD AND RONNEY TURNER AND LADERRICK TIMOTHY

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WYNN, and unknown co-conspirators, committed the following overt act and acts:

11 1. Travelled from Texas to California

12 2. Rented Vehicles

13 3. Booked hotels

14 4. Bundled together fake money

15 5. Setup a marijuana purchase


16 6. Fled from the scene
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COUNT III
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On or about November 7, 2020, in the County of Nevada, State of California, the crime of
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Shooting At Occupied Motor Vehicle in violation of PC246, a Felony, was committed in that
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DAKARI MONDELL HARRIS AND DEVON DEONTAE JENNINGS AND DEVON DEONTAE
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JENNINGS AND WILLIAM RYNELL LEVISE AND WILLIAM RYNELL LEVISE AND TREY
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RONDAL RICHARD AND TREY RONDAL RICHARD AND RONNEY TURNER AND RONNEY
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TURNER AND LADERRICK TIMOTHY WYNN AND LADERRICK TIMOTHY WYNN did
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willfully, unlawfully, and maliciously discharge a firearm at an occupied motor vehicle. 
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NOTICE: The above offense is a serious felony within the meaning of Penal Code Section
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1192.7(c). 
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___________________________________________________________________________________________________
FELONY COMPLAINT
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NOTICE: It is further alleged that pursuant to Penal Code section 1203.095, there is a
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presumptive minimal jail time required if you are convicted of this charge.  
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NOTICE: The above offense is a serious felony within the meaning of Penal Code Section
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1192.7(c).
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Special Allegation-Personal And Intentional Discharge Of A Firearm,
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Causing GBI or Death: PC 12022.53(d)
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It is further alleged as to Count III that defendant, TREY RICHARD personally and intentionally

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discharged a firearm, a handgun, which caused great bodily injury and death to Shanta Olsen

11 within the meaning of Penal Code Section 12022.53(d) also causing the above offense to

12 become a serious felony pursuant to Penal Code section 1192.7(c)(8) and a violent felony

13 within the meaning of Penal Code section 667.5(c)(8).    

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I declare under penalty of perjury that the foregoing is true and correct.
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Executed on November 13, 2020, at Nevada City, Nevada County, California.

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19 CLIFFORD NEWELL, DISTRICT ATTORNEY

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By:
23 CHRISTOPHER WALSH,
ASSISTANT DISTRICT ATTORNEY
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DA#: 05720-003534
26 Agency: GVPD
Report #: G2003023
27 Booking#: B20002084 IC
BAC:
28 Grube
CJW/cjw

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FELONY COMPLAINT
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2 NOTICE: PURSUANT TO PENAL CODE SECTIONS 1054.5(b) AND 1054.3,


THE DISTRICT ATTORNEY HEREBY MAKES AN INFORMAL DEMAND
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FOR DISCOVERY WITHIN FIFTEEN DAYS.
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Additionally, the People request that defense counsel provide any statements
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made by the defendant’s intended witnesses, including the substance of oral
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statements that defense witnesses have made directly to defense counsel.
8 Roland v. Superior Court,124 Cal.App.4th 154, 21 Cal.Rptr.3d 151.
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FELONY COMPLAINT
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