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STATE 0F IDAHO,
-8136,
Defendant.
The Madison County Prosecuting Attorney’s Office having submitted, pursuant to Idaho
Criminal Rule 3, the sworn affidavit of Detective Ron Ball of the Rexburg Police Department, who
complains and alleges the Defendant, CHAD GUY DAYBELL, 202 North 1900 East, Rexburg,
CRIMINAL COMPLAINT l
COUNT I.
That the Defendant, Chad Guy Daybell, on or between the 22nd day of September, 201 9, and
the 9th day of June, 2020, in the County of Fremont, State of Idaho, did wilifully conceal and/or did
aid and abet another to willfully conceal human remains, knowing that said human remains were
about to be produced, used and/or discovered as evidence in a felony proceeding, inquiry and/or
investigation authorized by law, with the intent to prevent it from being so produced, used and/or
discovered.
COUNT II.
That the Defendant, Chad Guy Daybell, on or between the 8th day of September, 20 1 9, and the
9th day of June, 2020, in the County of Fremont, State of Idaho, did willfully destroy, alter and/or
conceal human remains, and/or did aid and abet another to willfully destroy, alter and/or conceal
human remains knowing that said human remains were about to be produced, used and/or discovered
as evidence in a feiony proceeding, inquiry and/or investigation authori zed by law, with the intent
to
A11 0f which is contrary to the form, force and effect 0f the Statute in such cases made and
therefore prays
provided and against the peace and dignity of the State of Idaho. Said complainant
that a WARRANT be issued for the arrest of the said CHAD GUY DAYBELL, and that he may be
dealt with according to the law.
CRIMINAL COMPLAEIT 2
m f hday ofJune, 2020.
v
DATED this
WM
ROB H. Wood
I
.rz,
SUBMITTBDTQ ME this /0 day ofJune,.2020.
?m 24¢,
Magistrate
CRWAL COMPLAmT 3