JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San...

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E. Weber Avenue Stockton, CA 95202 209.468.2400; Fax 209.465.0371 Attorneys for Plaintiff SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN JOAQUIN Stockton Branch The People of the State of California, v. JAIME RAMOS Plaintiff, Defendant(s). No. SP14-26068 SPD CASE DA Case: CR-2014-4078139 COMPLAINT I, the undersigned, say, on information and belief, that in the County of SAN JOAQUIN, State of California: COUNT 1: WILLFUL, DELIBERATE, PREMEDITATED MURDER PC.187(A) <F22 On or about July 16, 2014, in the County of San Joaquin, California, JAIME RAMOS, did commit the crime of WILLFUL, DELIBERATE, PREMEDITATED MURDER, in violation of Section 187 (a) of the Penal Code, a FELONY, who at the time and place last aforesaid

Transcript of JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San...

Page 1: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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JAMES P. WILLETT

District Attorney

San Joaquin County

State Bar No. 88837

By: Ronald Freitas

Deputy District Attorney

222 E. Weber Avenue

Stockton, CA 95202

209.468.2400; Fax 209.465.0371

Attorneys for Plaintiff

SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN JOAQUIN

Stockton Branch

The People of the State of California,

v.

JAIME RAMOS

Plaintiff,

Defendant(s).

No. SP14-26068

SPD CASE

DA Case: CR-2014-4078139

COMPLAINT

I, the undersigned, say, on information and belief, that in the

County of SAN JOAQUIN, State of California:

COUNT 1: WILLFUL, DELIBERATE, PREMEDITATED MURDER PC.187(A)<F22

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of WILLFUL,

DELIBERATE, PREMEDITATED MURDER, in violation of Section 187 (a) of

the Penal Code, a FELONY, who at the time and place last aforesaid

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did willfully, unlawfully, and with malice aforethought murder

MISTY HOLT-SINGH a human being. It is further alleged that the

aforesaid murder was committed willfully, deliberately and with

premeditation within the meaning of Penal Code Section 189 and is a

serious felony pursuant to Penal Code Section 1192.7(c).

SPECIAL CIRCUMSTANCE: MULTIPLE MURDERS PC.190.2(A)(3)

It is further alleged that the offense charged in counts ONE, are a

special circumstance, within the meaning of Penal Code Section

190.2 (a) (3) .

SPECIAL CIRCUMSTANCE: ROBBERY PC.190.2(A)(17)(A)

It is further alleged that the murder of MISTY HOLT-SINGH was

COMMITTED by defendant, JAIME RAMOS while the said defendant

ENGAGED IN THE COMMISSION OF the crime of ROBBERY, within the

meaning of Penal Code Section 190.2(a)(17)(a).

SPECIAL CIRCUMSTANCE: KIDNAPPING PC.190.2(A)(17)(B)

It is further alleged that the murder of MISTY HOLT-SINGH was

committed by defendant, JAIME RAMOS while the said defendant was

engaged in the commission of the crime of Kidnapping in violation

of Penal Code Section 207 and 209.

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~ SPECIAL CIRCUMSTANCE : BURGLP,RY NNRDER PC .190 .2 (A) (17) (G)

It is further alleged that the murder of MISTY HOLT-SINGH was

COMMITTED by defendant, JAIME RAMOS while the said defendant

ENGAGED IN THE COMMISSION OF the crime of BURGLARY, within the

meaning of Penal Code Section 190.2(a)(17)(g).

SPECIAL CIRCUMSTANCE: MURDER COMMITTED CRIMINAL STREET GANG

PC.190.2 (A) (22)

It is further alleged, pursuant to Penal Code Section 190.2(a)(22),

that the defendant, JAIME RAMOS intentionally killed MISTY HOLT-

SINGH while the defendant was an active participant in a criminal

street gang, and that the murder was carried out to further the

activities of the criminal street gang.

PRINCIPAL'S INTENTIONAL DISCHP,RGE OF A FIREARM, GBI-GANG CASEPC.12022 .53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: MISTY HOLT-SINGH within the meaning of Sections 12022.53(d)

and (e)(1) (and 12022.53(c) and 12022.53(b) of the Penal Code.

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CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

COUNT 2: WILLFUL, DEI~IBERATE, PREMEDITATED MURDER PC.187(A)<F22

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of WILLFUL,

DELIBERATE, PREMEDITATED MURDER, in violation of Section 187 (a) of

the Penal Code, a FELONY, who at the time and place last aforesaid

did willfully, unlawfully, and with malice aforethought murder ALEX

MARTINEZ a human being. It is further alleged that the aforesaid

murder was committed willfully, deliberately and with premeditation

within the meaning of Penal Code Section 189 and is a serious

(felony pursuant to Penal Code Section 1192.7(c).

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ESPECIAL CIRCUMSTANCE: MULTIPLE MURDERS PC.190.2(A)(3)

~It is further alleged that the offense charged in counts TWO, are a

special circumstance, within the meaning of Penal Code Section

190.2 (a) (3) .

SPECIAL CIRCUMSTANCE: ROBBERY PC.190.2(A)(17)(A)

It is further alleged that the murder of ALEX MARTINEZ was

COMMITTED by defendant, JAIME RAMOS while the said defendant

ENGAGED IN THE COMMISSION OF the crime of ROBBERY, within the

meaning of Penal Code Section 190.2(a)(17)(a).

SPECIAL CIRCUMSTANCE: KIDNAPPING PC.190.2(A)(17)(B)

It is further alleged that the murder of ALEX MARTINEZ was

committed by defendant, JAIME RAMOS while the said defendant was

engaged in the commission of the crime of Kidnapping in violation

of Penal Code Section 207 and 209.

SPECIAL CIRCUMSTANCE: BURGLARY MURDER PC.190.2(A)(17)(G)

It is further alleged that the murder of ALEX MARTINEZ was

COMMITTED by defendant, JAIME RAMOS, while the said defendant

ENGAGED IN THE COMMISSION OF the crime of BURGLARY, within the

meaning of Penal Code Section 190.2(a)(17)(g).

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SPECIAL CIRCUMSTANCE: MURDER COMMITTED CRIMINAL STREET GANG

PC.190.2 (A) (22)

It is further alleged, pursuant to Penal Code Section 190.2(a)(22),

that the defendant, JAIME RAMOS intentionally killed ALEX

MARTINEZ while the defendant was an active participant in a

criminal street gang, and that the murder was carried out to

further the activities of the criminal street gang.

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREARM, GBI-GANG CASE

PC.12022.53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI- AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: ALEX MARTINEZ within the meaning of Sections 12022.53 (d) and

(e)(1) (and 12022.53(c) and 12022.53 (b) of the Penal Code.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

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For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

COUNT 3: WILLFUL, DELIBERATE, PREMEDITATED MURDER PC.187(A)<F22

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of WILLFUL,

DELIBERATE, PREMEDITATED MURDER, in violation of Section 187 (a) of

the Penal Code, a FELONY, who at the time and place last aforesaid

did willfully, unlawfully, and with malice aforethought murder

GILBERT RENTERIA a human being. It is further alleged that the

aforesaid murder was committed willfully, deliberately and with

premeditation within the meaning of Penal Code Section 189 and is a

serious felony pursuant to Penal Code Section 1192.7(c).

SPECIAL CIRCUMSTANCE: MULTIPLE MURDERS PC.190.2(A)(3)

It is further alleged that the offense charged in counts THREE, are

a special circumstance, within the meaning of Penal Code Section

190.2 (a) (3) .

SPECIAL CIRCUMSTANCE: ROBBERY PC.190.2(A)(17)(A)

It is further alleged that the murder of GILBERT RENTERIA was

COMMITTED by defendant, JAIME RAMOS , while the said defendant

ENGAGED IN THE COMMISSION OF the crime of ROBBERY, within the

meaning of Penal Code Section 190.2(a)(17)(a).

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SPECIAL CIRCUMSTANCE: KIDNAPPING PC.190.2(A)(17)(B)

It is further alleged that the murder of GILBERT RENTERIA was

committed by defendant, JAIME RAMOS while the said defendant was

engaged in the commission of the crime of Kidnapping in violation

of Penal Code Section 207 and 209.

SPECIAL CIRCUMSTANCE: BURGLARY MURDER PC.190.2(A)(17)(G)

It is further alleged that the murder of GILBERT RENTERIA was

COMMITTED by defendant, JAIME RAMOS while the said defendant

ENGAGED IN THE COMMISSION OF the crime of BURGLARY,

within the meaning of Penal Code Section 190.2(a)(17)(g).

SPECIAL CIRCUMSTANCE: MURDER COMMITTED CRIMINAL STREET GANG

PC.190.2 (A) (22)

It is further alleged, pursuant to Penal Code Section 190.2(a)(22),

that the defendant, JAIME RAMOS intentionally killed GILBERT

RENTERIA while the defendant was an active participant in a

criminal street gang, and that the murder was carried out to

further the activities of the criminal street gang.

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREP,RM, GBI-GANG CASE

PC.12022 .53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM and

proximately caused great bodily injury as defined in Penal Code

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Section 12022.7, or death, to a person other than an accomplice, to

wit: GILBERT RENTERIA within the meaning of Sections 12022.53(d)

and (e)(1) (and 12022.53(c) and 12022.53(b) of the Penal Code.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

COUNT 4: ROBBERY PC.211

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of FIRST DEGREE

ROBBERY, in violation of Section 211 of the Penal Code, a FELONY,

who at the time and place last aforesaid, did willfully,

unlawfully, and by means of force and fear take personal property

from the person, possession, and immediate presence of BANK OF THE

WEST. It is further alleged that the above offense is a serious

felony within the meaning of Penal Code Section 1192.7(c)(19).

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PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREARM, GBI-GANG CASEPC.12022.53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: BANK OF THE WEST, within the meaning of Sections 12022.53(d)

and (e)(1) (and 12022.53(c) and 12022.53 (b) of the Penal Code.

USE OF FIREARM IN COMMISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5(a) and also causing the above to

become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

(criminal street gang, and with the specific intent to promote,

(further, or assist in criminal conduct by gang members.

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For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

COUNT 5: KIDNAPPING TO COMMIT ROBBERY,RAPE,SODOMY, ETC. PC.209(B)(1)

On or about ,Tuly 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of KIDNAPPING TO

COMMIT ANOTHER CRIME, in violation of Section 209(b)(1) of the

Penal Code, a FELONY, who at the time and place last aforesaid, did

willfully and unlawfully kidnap and carry away KELLY HUBER to

commit ROBBERY. It is further alleged that the above offense is a

serious FELONY within the meaning of Penal Code Section

1192.7 (c) (20) .

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREARM, GBI-GANG CASEPC.12022 .53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: KELLY HUBER within the meaning of Sections 12022.53(d) and

(e)(1) (and 12022.53(c) and 12022.53 (b) of the Penal Code.

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USE OF FIREARM IN CONIl~IISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5 (a) and also causing the above to

become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

COUNT 6: ATTEMPTED MURDER:PREMEDITATED PC.664/187(A)

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED WILLFUL,

DELIBERATE, PREMEDITATED MURDER, in violation of Section 664/187 (a)

of the Penal Code, a FELONY, who at the time and place last

aforesaid, did willfully, unlawfully, deliberately, with

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premeditation and malice aforethought, attempt to murder, KELLY

HUBER A HUMAN BEING.

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREARM, GBI-GANG CASEPC.12022.53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM and

proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: KELLY HUBER within the meaning of Sections 12022.53 (d) and

(e)(1) (and 12022.53(c) and 12022.53(b) of the Penal Code.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 7: CARJACKING PC.215(A)

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of CARJACKING, in

violation of Section 215(a) of the Penal Code, a FELONY, who at the

time and place last aforesaid, did unlawfully take a motor vehicle

in the possession of KELLY HUBER from his/her person and immediate

presence and from the person and immediate presence of a passenger

of said motor vehicle, against the will and with the intent to

permanently and temporarily deprive the person in possession of the

motor vehicle of the possession, and accomplished by means of force

and fear. "NOTICE: The above offense is a serious felony within the

meaning of Penal Code Section 1192.7 (c) and a violent felony within

the meaning of Penal Code section 667.5(c)". "NOTICE: Conviction of

this offense will require you to provide specimens and samples

pursuant to Penal Code section 296. Willful refusal to provide the

specimens and samples is a crime".

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREARM, GBI-GANG CASE

PC.12022.53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

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wit: KELLY HUBER within the meaning of Sections 12022.53 (d) and

(e)(1) (and 12022.53(c) and 12022.53(b) of the Penal Code.

USE OF FIREARM IN COMMISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5 (a) and also causing the above to

become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

COUNT 8: KIDNAPPING TO COMMIT ROBBERY,RAPE,SODOMY, ETC. PC.209(B)(1)

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of KIDNAPPING TO

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COMMIT ANOTHER CRIME, in violation of Section 209(b)(1) of the

Penal Code, a FELONY, who at the time and place last aforesaid, did

willfully and unlawfully kidnap and carry away STEPHANIE KOUSSAYA

to commit ROBBERY. It is further alleged that the above offense is

a serious FELONY within the meaning of Penal Code Section

1192.7 (c) (20) .

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIREARM, GBI-GANG CASEPC.12022.53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: STEPHANIE KOUSSAYA within the meaning of Sections 12022.53(d)

and (e)(1) (and 12022.53(c) and 12022.53(b) of the Penal Code.

USE OF FIREARM IN COMMISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5 (a) and also causing the above to

,become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

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CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

COUNT 9: KIDNAPPING TO COMMIT ROBBERY,RAPE,SODOMY, ETC. PC.209(B)(1)

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of KIDNAPPING TO

COMMIT ANOTHER CRIME, in violation of Section 209(b)(1) of the

Penal Code, a FELONY, who at the time and place last aforesaid, did

willfully and unlawfully kidnap and carry away MISTY HOLT-SINGH to

commit ROBBERY. It is further alleged that the above offense is a

serious FELONY within the meaning of Penal Code Section

1192.7 (c) (20) .

PRINCIPAL'S INTENTIONAL DISCHARGE OF A FIRF.ARM~ GBI-GANG CASE

PC.12022 .53 (D) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

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personally discharged a firearm, to wit: SEMI-AUTOMATIC FIREARM,

and proximately caused great bodily injury as defined in Penal Code

Section 12022.7, or death, to a person other than an accomplice, to

wit: MISTY HOLT-SINGH within the meaning of Sections 12022.53 (d)

and (e)(1) (and 12022.53(c) and 12022.53(b) of the Penal Code.

IUSE OF FIREARM IN COMMISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5(a) and also causing the above to

become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 10: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER D. EGAN #1392, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 11: ATTEMPTED MURDER OF A PEP,CE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

~OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER D.SANDOVAL #1560, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GP,NG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 12: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER J.ZAVALA #1653, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL' S DISCIiARGE OF FIREARM - GANG PC. 12022 .53 (C) (E) (1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge s)

above, complainant further complains and says:

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COUNT 13: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER S.MCPHERSON #2429, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

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COUNT 14: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER A. ADAMS #2426 who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

loffense from but connected in its commission with the charge s)

above, complainant further complains and says:

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COUNT 15: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER H. SENSABAUGH #2323, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 16: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER N. HANCE #2422, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 17: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal ~

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER E. BERGWERFF #2645, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge s)

above, complainant further complains and says:

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ICOUNT 18: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal ~

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER J. SWAN #1724, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge s)

above, complainant further complains and says:

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COUNT 19: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER T. VALONE #2101, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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Page 29: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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ICOUNT 20: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

~OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal ~

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER P. MAYER #1999, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

labove, complainant further complains and says:

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COUNT 21: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER G. GUERRERO #2270, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPA.L'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

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COUNT 22: ATTEMPTED MURDER OF A PEP,CE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER M. SERNA #2097, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge s)

above, complainant further complains and says:

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(COUNT 23: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

~OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER S. VEN #1472, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 24: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER S. KONOSKE #2676, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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COUNT 25: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER P. FREER #2576, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge s)

above, complainant further complains and says:

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ICOUNT 26: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

~OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER J. GRIFFIN #2632, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

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COUNT 27: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

~OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder SERGEANT P. SMITH #1330, who was a peace

officer/firefighter engaged in the performance of duty and this wasl

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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Page 37: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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COUNT 28: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Penal

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder LIEUTENANT I. ROSE #1217, who was a peace

officer/firefighter engaged in the performance of duty and this was ~

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

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Page 38: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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ICOUNT 29: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

~OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER N. URIAS who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

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Page 39: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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COUNT 30: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER M. SANDBERG #1656, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge s)

above, complainant further complains and says:

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Page 40: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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COUNT 31: ATTEMPTED MURDER OF A PEACE OFFICER PC.664/187(A)<F25A

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ATTEMPTED MURDER

OF A PEACE OFFICER, in violation of Section 664/187 (a) of the Pena l

Code, a FELONY, who at the time and place aforesaid, did unlawfully

attempt to murder OFFICER M. RODRIGUEZ #1714, who was a peace

officer/firefighter engaged in the performance of duty and this was

known, and reasonably should have been known by the defendant.

PRINCIPAL'S DISCHARGE OF FIREARM - GANG PC.12022.53(C)(E)(1)

As to defendant JAIME RAMOS it is further alleged that in the

commission of the foregoing offense, a principal intentionally and

personally discharged a firearm, to-wit: SEMI-AUTOMATIC FIREARM.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charges)

above, complainant further complains and says:

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Page 41: JAMES P. WILLETT District Attorney San Joaquin County ...JAMES P. WILLETT District Attorney San Joaquin County State Bar No. 88837 By: Ronald Freitas Deputy District Attorney 222 E.

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ICOUNT 32: ASSAULT WITH SEMIAUTOMATIC FIREARM PC.245(B)<Fl

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of ASSAULT WITH

SEMIAUTOMATIC FIREARM, in violation of Section 245 (b) of the Penal

Code, a FELONY, who at the time and place last aforesaid, did

willfully and unlawfully commit an assault upon LUIS SILVA, with a

(semiautomatic firearm.

USE OF FIREARM IN COMMISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5(a) and also causing the above to

become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

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For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

COUNT 33: EVADING A PEACE OFFICER:GBI/DEATH VC.2800.3<F1

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of EVADING OFFICER

CAUSING INJURY, in violation of Section 2800.3 of the Vehicle Code,

a FELONY, who at the time and place last aforesaid, did willfully

and unlawfully, while operating a motor vehicle and with the intent

to evade, flee or otherwise to elude a pursuing peace officer's

motor vehicle while all of the following conditions existed: the

peace officer's motor vehicle exhibited at least one lighted red

lamp visible from the front and the defendant either saw or

reasonably should have seen the lamp, the peace officer's motor

vehicle was sounding its siren as was reasonably necessary, the

peace officer's motor vehicle was operated by a peace officer and

that the defendant proximately caused bodily injury to MISTY HOLT-

SINGH.

USE OF FIREARM IN COMMISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

.commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5(a) and also causing the above to

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become a serious felony pursuant to Penal Code Section

1192.7 (c) (8) .

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

COUNT 34: POSSESSION OF ASSAULT WEAPON PC.30605(a)

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of POSSESSION OF

ASSAULT WEAPON, in violation of Section 30605(a) of the Penal Code,

a FELONY, who at the time and place last aforesaid, did willfully

and unlawfully possess an assault weapon.

CRIMINAL STREET GANG ACTIVITY PC.186.22(B)(1)

It is further alleged that pursuant to Penal Code Section

186.22(b)(1) that the above offense was committed by JAIME RAMOS

for the benefit of, at the direction of, or in association with a

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criminal street gang, and with the specific intent to promote,

further, or assist in criminal conduct by gang members.

For a further and separate cause of complaint, being a different

offense from but connected in its commission with the charge (s)

above, complainant further complains and says:

COUNT 35: CRIMINAL STREET GANG ACTIVITY PC.186.22(A)

On or about July 16, 2014, in the County of San Joaquin,

California, JAIME RAMOS, did commit the crime of CRIMINAL STREET

GANG ACTIVITY, in violation of Section 186.22 (a) of the Penal Code,

a FELONY, who at the time and place last aforesaid did willfully

and unlawfully actively participate in a criminal street gang with

the knowledge that the gang members did engage in a pattern of

criminal gang activity, and did willfully promote, further or

assist in felonious criminal conduct by members of that gang.

USE OF FIREARM IN CONII~lISSION OF FELONY PC.12022.5(A)<F1

It is further alleged that in the commission and attempted

commission of the above offense, the said defendant JAIME RAMOS

personally used firearm(s), within the meaning of Penal Code

Section 1203.06(a)(1) and 12022.5(a) and also causing the above to

(become a serious felony pursuant to Penal Code Section

~ 1192.7 (c) (8) .

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If the above-named defendant (s) is/are presently on probation in

San Joaquin County, any evidence presented at a preliminary hearing

in the instant case will be used not only as a basis for a holding

order in this case but also as evidence of a violation of probation

and, at any formal hearing on that violation of probation, the

People will move the transcript of the preliminary hearing into

evidence as a basis for the violation.

Pursuant to Penal Code Section 1054.5(b), the People hereby

informally request that the defendant and his/her attorney disclose

to the People all information and materials described in Penal Code

Section 1054.3.

I declare under penalty of perjury that the foregoing is true and

correct except for those things stated on information and belief

and those I believe to be true.

Executed on 7/18/2014, at Stock n, ali a.

smt

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