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OA g 436)77

RD RP12000914
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IN THE JSTICE COUT OF RENO TOlmSIIP
, !N AND FOl THE Cr OF WASHOE,
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4 'H STA'E Of NEV;)",
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PIl.ir.!U!,
, 'ACHARY BARKER CIN,
OODOBDT.


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Rei 2012-
DEn; \
065630
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CIMINA OOMPLI
10 ZCI YOUNG O TDE Q _ OT WBBDOO CBT Q EV = OB
11 NO11TOB BDO OOCJBIOB Q@OD 3DTOC1OD BDO OO1E BDQ EZ _EDBJg
12 O [1`1I_ DBT ZACHARY AARKR CUGHLIN, TDB QO1ODQBDT B OOVOJ BO(
II DBG CCMR2TTOO IDO C11O O1
4 USE or H d DERG!NCY SYSTEM WiEN SO AC OR ?ERCElVED
15 EMERGENCY EXISTS, 1 VOJBT2OD O N 207.:HS. 1 gro 1GQBRBDO1
H (0360) D TOE WOEZ O1JOW2D@ TO W T'
11 TDd OU BBJO 0CDOBDT on CZ OOIWED en" l)th OB_ O1
11 BD1BT_ 2012 BD DO TD g OT )B1_ 2012. BT ODO OWDBD3[,
U WTDD I.E LQ1I_ O1 WBBDOO, bBE OT \QVBQB OQ W21JTU1J_ OX
20 OWDJg WOJ in TE LOT_ OT WBDO WBHE QDE OZ MO1E EMB1@ODC_
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1 telephone 1&11& to the 911 , .. erg,:"y ayet . : when no actual or
' percdved e"'':geney existed.
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, AFFIRTION PURUA
t the preceding
9 docu"ent doe. not contain the social security numer of any person.
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PC RPD1200020C
CUstody:
Bailed: X
Warrant,
26 012(4J6377SJ
C01rt "
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DA # 436377
RPD RP12-000974
1 IN THE JUSTICE. COURT OF RENO TOWNSHIP
2 IN AD FOR THE COUNTY OF WASHOE, STATE OF NEVADA
3
* * *
4 THE STATE OF NEVADA,
5 Plaintiff, RCR 2012-065630
6 v. DEPT: 1
7 ZACHARY BARKER COUGHLIN,
AMENDED
8 Defendant. CRIMINAL COMPLAINT
9
10 ZACH YOUNG of the County of Washoe, State of Nevada,
11 verifies and declares upon information and belief and under penalty
12 of perjury, that ZACHARY BARKER COUGHLIN, the defendant above-named,
13 has committed the crime of:
14 RESISTING, DELAYING, OR OBSTRUCTING A PUBLIC OFFICER, a
15 violation of NRS 199.280(3), a misdemeanor in the manner following, to
16 wit:
17 That the said defendant on or between the 12th day of
18 January, 2012 and the 14th of January, 2012, at Reno Township, within
19
the County of Washoe, State of Nevada, did willfully and unlawfully
20 resist, delay, or obstruct public officers, namely, RENO POLICE
21 DEPARTMENT OFFICERS JASON SCHAUR,LAR, TIMOTHY BROADWAY,
!

22 AD/OR OTHER RENO POLICE DEPARTMENT OFFICERS AD/OR RENO POLICE
23 DEPARTMENT SERGEATS PAUL SIFRE AND/OR CARLOS MRID AD/OR CITY OF
24 RENO EMERGENCY DISPATCH SUPERVISOR KARIANN BEECHLER AND/OR OTHER RENO
25 EMERGENCY DISPATCHERS, in discharging or attempting to discharge a
26 legal duty of their office, in that the said defendant made one or more
b

, 2012
1 telephone calls to the 911 emergency system when no actual or perceived
2 emergency existed and/or continued to call the 911 emergency system
3 when no actual or perceived emergency existed after having been warned
4 or otherwise advised not to so call, to wit: during the calls, the said
5 defendant, among other things, falsely reported that officers on scene
6 were shining a flashlight in his face, asked for law enforcement
7 assistance when law enforcement officials were already on scene, used
8 profane and otherwise inappropriate language when speaking with 911
9 emergency dispatchers, requested to lodge various complaints against
10 public officers, was argumentative with and failed to cooperate with
11 questions asked by 911 emergency dispatchers, and/or hung up on 911
12 emergency dispatchers, in Reno, Washoe County, Nevada.
13 DATED this day of
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r\
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PCN RPD1200020C
Custody:
Bailed: 7
Warrant:
0727436377Adpb
2
District Court Dept: 10
District Attorney: YOUG
Defense Attorney:
Bail
Restitution:
J
1 Pursuant to NRS 174.234, the following are the names and
2 addresses of such witnesses the State intends to call in its case in
3 chief.
4 RENO POLICE DEPARTMENT
I OFFICER JASON SCHAUR
OFFICER TIMOTHY BROAWAY
6 SERGEAT PAUL SIFRE
SERGEAT CARLOS MADRID
7
RENO EMERGENCY COMMUNICATIONS
8
KARIAN BEECHLER
9
10 NRS 174.234 also requires the defendant, at least five
11 judicial days prior to the trial date, to file and serve upon the
12 prosecuting attorney a written notice containing the name and last
13 known address of any witness the defendant intends to call during
14 his/ her case-in-chief. Failure to do so may result in the exclusion
JI of the witness.
16
17 The party executing this document hereby affirms that this
18 document submitted for recording does not contain the social security
19 number of any person or persons pursuant to NRS 239B.230.
20
RICHARD A. GAMICK
District Attorney
21
Washoe County, Nevada
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r\
strict Attorney
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