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WARRANT OF ARREST AND DETENTION DALLAS COUNTY, TEXAS | Dallas County, Texas Service #:_| 055208-2017 Bi Fetony o ID: Arrest fs Misdemeanor ‘Warrant Number @) : ‘Charge: | Capital Murder Suspect | RISER, Bryan, Keon Ta eee a - "Inthe name of the State of Texas to any Sheriff or other Peace Officer of the state of Texas-— Greetings: ‘You are here by commanded to take the body of: (@ RISER, Bryan, Keon hereinafter called the accused, and him safely keep so that he may be dealt with according to law, and to hold the accused to answer to the State of Texas for an offense against the laws of the said State, namely: (6) Capital Murder 19.03/F/C of which felony offense he is accused by written complain, made under oath that has been presented to me and that is by this reference incorporated herein forall purposes. © Witness my signature this 3 dayor March az 2e4 Sb. ae aes Dallas Courrty civrotDalias, Texas ADMINISTRATIVE DATA ALL BLANKS MUST BE COMPLETED OR INDICATE “UNKNOWN” (@) State of Texas vs. | RISER, Bryan, Keon (@) Arrest Status: [ Atay (ioRece: [B [UHSexM | a2)D08: pH awe [195 | (15) Hair: [Black | (6) Eyes | Bro (17) Residence Address: (20) Business Address: (@i) Business Name: (22) Complainant: | Liza Saenz (deceased) 2s Date FOTiense: | 03-10-2017 ‘Arrest Warrant Isued to: | DPD/DSO (18) Driver's License F (9) State: FEES @5) $4.00 $2.00 $2.00 $6.00 s s s RETURN G6 CAME TO HAND THE day of > AD.20 and executed the day of ,A.D. 20 ____, by arresting and detaining above named and accused and BY: [STATE OF TEXAS |_AFFIDAVIT FOR ARREST WARRANT | COUNTY OF DALLAS | BEFORE ME, the undersigned authority, on this day personally appeared the undersigned affiant who, after being duly swom by me, on oath stated: My name is E, Montenegro #6991 and I am a peace officer of the City of Dallas, Dallas County, Texas. I, the affiant, have good reason and do believe that on or about the 10th day of March, 20 17, one (name of suspect) RISER, Bryan, Keon did then and there in the City of Dallas, Dallas County, Texas commit the offense of Capital Murder, a violation of Section 19.03 of the Texas Penal Code, a Capital Felony. Affiant’s belief is based upon the following facts and information which Affiant received from: {X) Affiant’s personal investigation of this alleged offense. 1 fellow peace officer of the City of Dallas, Dallas County, Texas, who personally participated in the investigation of this alleged offense, providing this information to Affiant, and whose information Affiant believes to be credible. (On Friday, March 10, 2017, at about 11:39 p.m., Dallas Police officers responded to 200 Santa Fe Avenue, Dallas, Texas, [Trinity River] regarding a dead female in the water. The dead female, later identified as Liza Sacnz, was found shot multiple times. During the course ofthis investigation, three suspects were identified and arrested for their participation in the kidnapping and killing of ‘Complainant Saenz. Charges of Capital Murder have been filed on the thres individuals involved in the participation and killing of ‘Complainant Saenz. Due to the sensitive nature of this case those individuals will not be named but will be referred to as witness, associate #1 and associate #2. ‘On August, 12, 2019, Assistant District Auomey (ADA) Trey Stock informed Detective Montencero, #6991, thatthe witness, who 2t the time wasa suspect in the Capital Murder, and will be referrd as witness from hereafter, wanted to come forward with information regarding Suspect Risers participation and involvement in the Capital Miurdercase of Complainant Saenz, Arranyctmsnts were made between the ‘witness’ attomey to have the witness transported to Dallas Police Headquarters to be interviewed. The withiese will not be named at this time. Providing detailed information ofthe witness could put the sxtness in immediate danger. The assistanis ofthe FBI-Public Corruption Unit was requested (On August 14, 2019, the witmess was transported to Dallas Police Headquarters from the Dallas County Jail with the assistance of the US Marshals Service. Detective Montenegro read the witness’ Mirands Warning inthe presence ofthe attorney. The witness waived his rights and agreed to talk to Detective Montenegro in the presence of his attorney. ‘The witness inctiminated the suspect in connection with the death of Complainant Saenz and with the kidnapping and killing of a second victim, Complainant Douglas, ‘The witness lost communication with the suspect; however, in 2013 they reconnected. From that point, they began communicating back again through cell phone, During their communication, Suspect Rises contacted the witness and asked him [witness] if he was still doing the things that they were doing when they were young [referring tothe licks and burglarizing]. According tothe witnes, the suspect shared his plan with the witness. The plan was thatthe suspoct would provide intelligence on “spots” (drug houses) and the witness and the witness’ crew would rob the drug houses. ‘The arrangement and agreement were that if any drugs were taken, the witness would Keep the drugs and if any money and guns were taken the suspect would keep them. The witness stated that the plan did not materialize because Suspect Riser came to him with another job which consisted in the kidnapping and killing ofan individu TThe witness snd Suspect Riser met at various places. They met at a donut shop near Simpson Stuart and Ronnie View and at Miller Family ark located at 2800 Persimmons where they discussed the plan to kidnap and kill Complainant Douglas. Te suspect provided the witness with a physical description of complainant Douglas and where he could be located, The suspect drove the witness to the location where the complainant was at and identified him as the person that needed to be kidnapped and killed. Suspect Riser offered the witness $3500.00 dollars for the kidnapping and killing of the complainant. The witness accepted the offer. Several days after the meeting with the suspect, Complainant Douglas was located by the witness and associate #1, The complainant was stopped, handeuf fe, and placed in associate #I's vehicle. They drove the complainant to 200 Santa Fe where he was shot and killed. The complainant was diireyéd in the river. Several days later, the suspect went to associate #1°s residence to pay the agreed amount of $3500.00 dollars. This was lacr corroborated by a text message sent from the witness to the suspect providing associate 4's address [STATE OF TEXAS AFFIDAVIT FOR ARREST WARRANT | COUNTY OF DALLAS EBL research on Complainant Dougias showed that there was no longer proof of life regarding Complainant Douglas, In addition, Deveetive Montenegro has been in constant contact with his family and to date they have not heard from him ‘Suspect Kilpatrick stated that about two weeks after Complainant Douglas’ murder, sometime during February 2017, the suspect called the witness and gave him another job to have another individual kidnapped and killed. ‘The suspect provided the witness with a description and location where Complainant Saenz could be located. The same method of operation was used to locate and kill Complainant Saenz, ‘The suspect also told the witness that she was an “informant”. Both complainants were taken to the same area where they were shot and killed and dumped in the Trinity River. The suspect agreed to pay the witness $6000.00; however, the agreed amount was not paid because the witness and his associates were arrested on other Capital Murder offenses, (On October 9, 2019, Detective Montenegro received the preliminary Cell Site Location analysis performed by FBI. The analysis revealed that the suspects cell phone placed him in or about the area duting the time fame of Complainant Douglas’ and Complainant Saenz” disappearance and killing BI analysis placed the suspect's cell phone and squad car at the locations where the witness stated they met and planned the kidnapping of both complainants. Due to the sensitive and extensive nature of this case, the entite facts and evidence have not been included in this affidavit. ] [ STATE OF TEXAS AFFIDAVIT FOR ARREST WARRANT | COUNTY OF DALLAS Al sree mente nt ANT above accused individual in accordance with the law. SUBSCRIBED AND SWORN 7 BEFORE ME 3 tay of __Mar. 20 Zt mn y MAGISTRATE, I/AND YOR DALLAS COUNTY, TEXAS, MAGISTRATE'S DETERMINATION OF PROBABLEJCAUSE onttisite 3 aay or__ March w2{. There by acknowledge that have examined the foregoing affidavit and have determined tha probable cause eit for he lnsunee of an ames warrant forthe individual accuse therein, _ IftAS COUNTY. TEXAS MAGISTRATE, IN

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