State V Seeley Motion For No Bond

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DOCUMENT 7 ELECTRONICALLY FILED 8/2021 8:13 AM 239.00 LAUDERDALE COUNTY, SEABAMA IN THE DISTRICT COURT OF LAUDERDALE COUN CE CAN CLERE STATE OF ALABAMA Plaintiff, KYLE LYN SEELEY DC-21-900239 DA-21-585 Defendants. STATE’S MOTION FOR NO BOND PURSUANT TO RULE 7: ‘OF THE ALABAMA RULES OF CRIMINAL PROCEDURE. ‘The State of Alabama, pursuant to Rule 7.2 of the Alabama Rules of Criminal Procedure, hereby moves the court to deny bond for this Defendant. The following is submitted: 1. On May 26, 2021, the Defendant perpetrated a vicious attack on his family, including his parents, his brother and his three young children. He began his attack by launching a Molotov Cocktail into a home in which his parents and children live and then fired shots at his parents. He severely injured his brother by cutting him with a machete. He then turned his sights on his own children and wounded each of the children in front of each other. The terror and trauma suffered by the children cannot be over-stated. He further engaged in a lengthy stand-off with law enforcement that ended only when tear gas ‘was deployed by law enforcement to flush him out of a building. He attempted to flee the crime scene but was apprehended by members of law enforcement and arrested. ‘Upon being arrested, he was charged with 6 counts of attempted murder. It is anticipated that additional charges may be added upon completion of the investigation and presentation of the facts toa Lauderdale County Grand Jury. DOCUMENT 7 2. Prior to May 26, 2021, the Defendant had the following felony convi . CC-19-182 Burglary 3" Degree . CC-19-1041 Escape 3 Degree He is facing imposition of the sentences to the Alabama Department of Corrections in the above cases. Based on the foregoing, the State asserts that the Defendant being at large will pose areal and present danger to others and to the public at large. ‘The State therefore respectfully moves the court o order that the Defendant be held without bond in the pending cases. Respectfully submitted, this the __day of. 2021. CHRIS CONNOLLY DISTRICT ATTORNEY P.O. BOX 914 FLORENCE, ALABAMA 35631-0914 (256) 764-6351 ERT SERVI T hereby certify that I have provided a copy of the foregoing Motion to Jon McGee, Defendant's Attorney, by e-filing, on this the day of, 2021. CHRIS CONNOLLY DISTRICT ATTORNEY

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