IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI AT INDEPENDENCE Police# 16-000598 Prosecutor# 095430338 1616-CR OCN# cw002827 STATE OF MISSOURI COMPLAINT STATE REQUESTS A WARRANT vs. Phillip D Perkins 3514 E. 55th St. Kansas City, MO 64130 DOB: 07/26/1971; Race/Sex: B/M; SS# Defendant. Count I. Assault 2nd Degree (565.060-001Y19841305.0) and belief, charges that the defendant, in violation of Section 565.060, RSMo, committed the class C felony of assault in the second degree, punishable upon conviction under Sections 558.011 and 560.011, RSMo, in that on or about February 25, 2016, in the County of Jackson, State of Missouri, the defendant attempted to cause physical injury to by means of a deadly weapon by putting a sword to the victim's neck. Count II. Assault 2nd Degree (565.060-001Y19841305.0) and belief, charges that the defendant, in violation of Section 565.060, RSMo, committed the class C felony of assault in the second degree, punishable upon conviction under Sections 558.011 and 560.011, RSMo, in that on or about February 25, 2016, in the County of Jackson, State of Missouri, the defendant attempted to cause physical injury to by means of a deadly weapon by putting a sword to the victim's neck.
Count III. Endangering The Welfare Of A Child Creating Substantial Risk - 1st Degree - 1st Offense - No Sexual Conduct (568.045-005Y20033899.0) a substantial risk to the life, body, and/or health of., a child less than seventeen years old, by Count IV. Endangering The Welfare Of A Child Creating Substantial Risk - 1st Degree - 1st Offense - No Sexual Conduct (568.045-005Y20033899.0) a substantial risk to the life, body, and/or health of., a child less than seventeen years old, by Count V. Endangering The Welfare Of A Child Creating Substantial Risk - 1st Degree - 1st Offense - No Sexual Conduct (568.045-005Y20033899.0) a substantial risk to the life, body, and/or health of, a child less than seventeen years old, by Count VI. Endangering The Welfare Of A Child Creating Substantial Risk - 1st Degree - 1st Offense - No Sexual Conduct (568.045-005Y20033899.0) a substantial risk to the life, body, and/or health of., a child less than seventeen years old, by
Count VII. Resisting Arrest/detention/stop By Fleeing - Creating A Substantial Risk Of Serious Injury/death To Any Person (575.150-002Y20054899.0) and belief, charges that the defendant, in violation of Section 575.150, RSMo, committed the class D felony of resisting a lawful stop, punishable upon conviction under Sections 558.011 and 560.011, RSMo, in that on or about February 25, 2016, in the county of Jackson, State of Missouri, Officer Wildman was attempting to make a lawful stop of defendant, and the defendant knew or reasonably should have known that the officer was making a lawful stop, and, for the purpose of preventing the officer from effecting the stop, resisted the stop of defendant by fleeing from the officer and the defendant fled in such a manner that created a substantial risk of serious physical injury or death to other persons in that the defendant eluded police for approximately thirty minutes with four minor children and an adult female, all whom were unrestrained and unclothed, ultimately crashing the truck into a church. Count VIII. Property Damage 1st Degree (569.100-001Y19792999.0) and belief, charges that the defendant, in violation of Section 569.100, RSMo, committed the class D felony of property damage in the first degree, punishable upon conviction under Sections 558.011 and 560.011, RSMo, in that on or about February 25, 2016, in the County of Jackson, State of Missouri, the defendant knowingly damaged the front doors and glass of the First Baptist Church of Raytown, located at 6509 S. Raytown Rd. Raytown MO, which property was possessed by Brandon Park, by ramming the front doors of the church with a U-Haul truck, and the damages to such property exceeded seven hundred and fifty dollars. The facts that form the basis for this information and belief are contained in the attached statement(s) of facts, made a part hereof and submitted as a basis upon which this court may find the existence of probable cause. law. Wherefore, the Prosecuting Attorney prays that an arrest warrant be issued as provided by
THE STATE OF MISSOURI vs. Phillip D Perkins JEAN PETERS BAKER Prosecuting Attorney Jackson County, Missouri by, Hallie L. Williams (#66333) Assistant Prosecuting Attorney 321 W. Lexington Independence, Missouri 64050 (816) 881-4488 hwilliams@jacksongov.org WITNESSES: PO Frank McDevitt, 10000 E. 59th Street, Raytown, MO 64133 B.P., 14534 S. 71 Hgy. #203, Kansas City, MO 64133