THE AMENDED CRIMINAL COMPLAINT: STATE OF WISCONSIN V. JEFFREY L. DAHMER

Fifteen counts, and each one is a man with a name, a date and an address. James Doxtator, fourteen, waiting for a bus outside a club on Second Street in January 1988. Richard Guerrero. Anthony Sears. Raymond Smith, who went by Ricky Beeks. Edward Smith, whose sister said people called him the Sheik because of the wrap he wore on his head. Ernest Miller, up from Chicago for the Labor Day weekend. David Thomas. Curtis Straughter. Errol Lindsey. Tony Hughes, who was deaf and communicated with Dahmer by writing. Konerak Sinthasomphone, fourteen. Matt Turner, also called Donald Montrell. Jeremiah Weinberger. Oliver Lacy. Joseph Bradehoft.

This is the amended criminal complaint filed in the Circuit Court of Milwaukee County as case F-912542, sworn by Captain Donald Domagalski of the Milwaukee Police Department. It is the document the whole prosecution ran on, and everything else in the Dahmer record hangs off it: the case file, the FBI file, the psychiatric interviews.

What makes it worth reading rather than summarizing is the second half. After the counts, the complaint sets out the basis for each one, and the pattern is always the same two things laid side by side: what Dahmer told detectives, and what somebody who loved the victim told them separately. Debra Vega reported her son James missing on January 18, 1988 and never heard from him again; she mentioned two small scars near his nipples that looked like cigarette burns, and Dahmer, shown a booking photograph, had described the same scars. Pablo Guerrero reported Richard missing in March 1988 and put his picture in the papers. Shirley Hughes last saw her son Tony when he came up from Madison in May 1991. Sounthone Sinthasomphone's son left home on the afternoon of May 26 and did not come back.

A forensic odontologist, Dr. L.T. Johnson, matched skulls recovered from Apartment 213 to dental records, one name at a time. That is what a charging document is: an allegation with its evidence attached, count by count, before any of it has been tested.

Nothing in this document has been proved. A criminal complaint is the state's opening move, sworn by one officer on the strength of what the investigation has gathered so far, and every one of these fifteen counts was untested on the day it was filed. Dahmer pleaded guilty months later and a jury then sat only on the question of his sanity, so much of what is alleged here was never argued in front of anyone. Where the complaint reports what he said, that is Captain Domagalski setting out the substance of police interviews, not a transcript of them, and it should not be quoted as Dahmer's own words.

The document is a public record of the Circuit Court of Milwaukee County and there is nothing to clear: anyone may read it, quote it or reproduce it in full. The copy we worked from was uploaded to a document host by a news organization, which makes it a copy rather than an original, and if you need something citable for a court or a publisher the clerk of the circuit court holds the certified version under case number F-912542.

The scan is poor, and the easiest way to show you how poor is to point at the document's own title, which comes through as AMENDED CRIMINAL COIIPLAIIflT, and at the county, which reads IV1MILWAUKEE. We have not tidied either of them away. What we did do is mechanical and limited: we closed up the letters the scanner scattered inside words, we turned the typewriter's capital I back into the double L it stands for wherever doing so produced a real English word and left it alone wherever it did not, and we repaired 209 misread words in cases where exactly one real word could fit the damage. Where two words could fit, the scan's version stands, which is why mangled text remains on the page. The fifteen victims' names appear exactly as the complaint prints them, damage included, because the naming of a victim in a charging document is itself part of the record and is not something to guess at.

Two pages are not reproduced below. The last sheet is the clerk's certification, and behind it is a copy of the 1989 judgment of conviction that the habitual-criminality paragraph refers to, the one for second degree sexual assault and enticing a child. Both are stamped, hand-annotated forms, and the scanner reduced them to marks. Nothing readable was lost, and what the judgment records is summarized in the complaint's own closing paragraphs.

THE COMPLAINT

CIRCUIT COURT

STATE OF WISCONSIN CRIMINAL DIVISION COUNTY

STATE OF WISCONSIN, Plaintiff AMENDED CRIMINAL COIIPLAIIflT vs. CRIME

See Charging Section Below Jeffrey Dahmer 0s/2t/60 STATUTE VIOLATED 924 25th st. See Chargng Section Below Milwaukee, COMPLAINING WITNESS:

Donald Domagalsk Defendant. CASE NUMBER: F-912542

THE ABOVE NAMED COMPLAINING WITNESS BEING DULY SWORN SAYS THAT THE ABOVE

NAMED DEFENDANT IN THE COUNTY OF MILWAUKEE, STATE OF WISCONSIN

COUNT FIRST DEGREE MURDER in January of 1988, 2357 South 57th Street, City of West Alls, County of Milwaukee, did cause the death of another human being, James

Doxtator, with intent to kill that person contrary to Wisconsin Statutes section 940.01.

COUNT O2z FIRST DEGREE MURDER in March of 1988, 2357 South 57th Street, City of West Allis, County of Milwaukee, did eause the death of another human being, Richard Guerrero, with intent to kill that person contrary to Wisconsin Statutes section COUNT 03: FIRST DEGREE INTENTIONAI, HOMICIDE on or about March 26, 2357 South 57th Street, City of West Allis' Couny of Milwaukee, id cause the death of another human bengr Anthony Sears, with intent kill that person contrary to wisconsin Statutes section 940.01

COUNT DEGREE INTENTTONAL HOMICIDE during the Spring or earllz Summer of 1990, 924 North 25Eh Street' City and. County of Milwaukee, did cause the death of another human beingt Raymond. Smith a/k a F.icky Beeks, with ntent to kill that person contrary to Wisconsin Statutes section 940.01(1.).

COUNT FIRST DEGREE INTENTTONAL HOMICIDE during the Summer of 1990, 924 North 25i-T: Street, City and County of Milwaukee, did cause the death of another human being, Edward. I. Smith with intent to kill that person contrary to Wisconsin Statutes section COUNT FIRST DEGREE TNTENTIONAL HOMICIDE on or about September 3, 1-990, 924 North 25th Street, City and County MIwaukee, cause the death of another human being, Ernest Miller, with intent to kill that person contrary to Vtisconsin Statutes section COUNT 07 FIRST DEGREE INTENTIONAL HOMICIDE on or about September 924 North 25th Streetr City and County of Milwaukee, did. cause the death of another human being, Daved Thomas, with ntent to kill that person contrary to Wsconsin Statutes section COUNT FIRST DEGREE INTENTIONAL HOMICIDE on or about February 18, L99L, 924 North 25th Street' City and County of Milwaukee, did. cause the death of another human being, Curtis Straughter, intent to kill that person contrary to Vlisconsin Statutes section COUNT 09: FIRST DEGREE INTENTIONAL HOMICIDE on or about April 7, t99t, al 924 North 25th Street' City and County of Milwaukee, cause the death of another human being, Error Lindsey' with intent to kit that person contrary Statutes section COUNT 10: FIRST DEGREE TNTENTTONAL HOMTCTDE on or about May 24, at 924 North 25th Street, City and County of Milwaukee, did cause the death of another human being, Tony Anthony Hughes, with intent to kilL that person contrary to lfisconsin Statutes section COUNT FIRST DEGREE INTENTIONAL on or about May 27 1991- at 924 North 25th Street, City and County of Milwaukee, id. cause the death of another human being, Konerak Sinthasomphone, with intent to kill that person contrary to Wisconsin Statues section 940.01-

I'IRST DEGREE INTENTIONAL HOMICIDE on or about June 30, 1991, 924 North Street, City and County of Milwaukee, did cause the death of another human being, Nat, Turner a/k a with intent to kill that person contrary to Wisconsin statutes section 940.01,

13: FIRST DEGREE INTENTIONAI, HOMICIDE on or about July 7, I99L, 924 North 25Eh Street, City and. County of Milwaukee, did cause the death of another human being, Jeremiah Weinberger, with intent to that person contrary to Wisconsin Statutes section COUNT L4z FIRST DEGREE INTENTIONAL HOMICIDE on or about July 15, a 924 North Street,, City and, County of Milwaukee, did cause the death of another human being, Oliver Lacy, with intent to that person contrary to Vlisconsin Statutes section COUNT FIRST DEGREE TNTENTTONAL HOMICIDE on or about July at 924 North 25th Street' City and County of Milwaukee, cause the death of another human being, Joseph Bradehoft, with intent to kill that person contrary to Wisconsin Statut, es section HABITUAL CRIMINALTY on January 30, Jeffrey Dahmer!, convicted the Circuit Court of Milwaukee County in Circuit Court Case Number F-8825t5 of the felony offenses of Second. Degree Sexual Assault and, Enticing a Child for Immortal Purposes in violation of and of the Wisconsin Statutes and that said. convictions renan of record and unreversed and therefore defendant is a repeated pursuant to Vlisconsin Statutes 939.62 and is subject to a total sentence of not nore than ten Vears on each count recited, in ad.d.ition to the mand.story life sentence for each count of First Degree Intentional Homicide and, Degree Murder.

Upon conviction of each count of Degree Intentional Homicide and each count of First Degree Murder, Class A Felonies, the penalty is tie imprisonment.

VICTIM JAlrrES DOXTATOR (1) Upon the statement of the defendant, which statement is against his the penal interest that in, January of 1988 he met a young male he thought was Hispanic who was waiting fox a bus in front of the 219 Club on 2no Street in the City and County of Milwaukee, State of Wisconsin;

Street in the City of West Allis, County of Milwaukee, State of wisconsin; the two of them that location by bus and they had sex and then he gave the young male a with sleeping pot ion and after he passed out killed him by strangling him; he dismembered him and smashed the bones witha sledgehammer and disposed of them; he did not keep any portion of this further he remembers that the young male told him that he lived. with his mother the vicinty of Lot and National he further recalls that the young male had two scars close to each of his the young nipples that were approxmately the circumference of a cigarette;

3/1,/73, that had been taken on September 23, 1987 and indicated that, he was sure that this was the male that he met by the bus stop although he remembered. him as looking somewhat older and heavier.

Upon the statement of Debra Vegas adult citizen, that she Vegas) in January of 1988 lived at East Pierce in the City and County of Milwaukee, State of Wisconsin and that her son is James Doxtator,

has never seen him since or been contacted by him since; further her son had. two small scars the area of his nipples that looked like cigarette burns; also that her home in L98B at, East Pierce was approximately one block from 10th and National; also hat her son was a Native American.

VICTIM RICIIARD GUERRERO, 1,2/12/65 (1) Upon the further stat, ement of the defendant,, that in approximately March of 1988 he (the defendant) met a Hispanic male in the Phoenix Bar located on 2nd Street near the Club the City and. County of Milwaukee, State of he (the defendant) asked. this man to come to his residence which at that time was his grandmotherrs house located. at 2357 South 57th Street in the City of West Allis, County of Milwaukee, State of Wisconsin he asked the man to come to look at videos and tal<e photos or engage sex and the man came with him; they had oral sex at, the house and, then he drug ged the man; while the man was drug ged he killed him and. dismembered the body and disposed, of it completely without keeping any parts he recalls that he later saw in the personal section of a local newspaper a photo of this victim and a report. that he was missing; further the efend.ant viewed a photograph from the January 1989 Journal of Richard. Guerrero, DOBz L2-t2-65, and identified as the person he, killed. in this incident.

statement of Palo Guerreror adul-t citizen, that he

March, L988t at that time he Palo reported, his son as missing to the Milwaukee Police Department; further that advertisements with his sonrs picture were placed. in local indicating that his son was missing.

VICTIM ANTHONY SEARS, Upon the further statement of the defendant, that he met Anthony Sears vhon he identified ina photograph) at a club called that a friend. of Anthony Sears drove him (the defendant) and Anthonlz Sears to the area of his the grandmotherrs house in the City of West County of Milwaukee, State of Wisconsin; that his grandmother's house is 2357 South 57th Street; that after they arrived at tbat residence' they had sex and he gave Anthony Sears a drink with sleeping pills in it;

that he strangled him and dismembered the body; that he kept Anthony Sears' head and boiled. it to remove the skni further, that he kept the skull and painted it.

Upon the statement of Jeffrey Connors adult citizen, that he

National; they closed the bar and that Anthony Sears hac met a white male named Jeff who said. that he was here from Chicago and. was visting his grandmother who lived. at. 56th and Lincoln; that he Connors) then gave Jeff and Anthony Sears a ride to the vicinity of 56th and Lincoln where they (Jeff and Sears) got out of the car and walked south bound.

Upon complainantrs personal knowledge of addresses in Milwaukee County and that the intersection of 56th and Lincoln is north of and in close proximity to the address 2357 South 57th Street in the City of West Allis.

Upon the statement of Dr. Jeffrey Jentzen, Milwaukee County Medical Examiner, that during the early morning hours of July L99L he with Milwaukee police officers and other r.members of the County of Milwaukee Examiners Office was present at 924 North St, reet in the City and County of lviilwaukee, State of Wisconsin in Apartment that he was present at that location when seven human skulls three of which painted.) four human heads, and numerous other body parts were recovered; that all the human remains recovered were transported to the Milwaukee County Medical Examiners Office.

the painted human skulls recovered from 924 North 25th Street in the City and County of Milwaukee, State of Vlisconsin durng the early mornng hours of July with known dental record.s of Anthony Sears and d.determined that one of the painted, skulls is that of Anthony Sears.

approximately two months after he (the defendant) moved into Apartment at 924 North 25th Street in the City and. County of Milwaukee, State of Wisconsn he met a black male at the Club and. offered hm money to be photographed and have a drink and watch vid.eosi that the man agreed and came him the to 924 North Street, Apartment that at that location he (the defendant) gave the man a drink which was drugged and the man fell asleep; that he (the defendant) then strange-ed. the man and. removed. the man's clothing and. had oraL sex with him; further, that he disrnembered he bod, but kept the skull and later painted it; further, that he the end ant) identified phot, ographs of Lamont Smith as being photographs of the man to whom he had done this.

LT. Johnson that he (Johnson) examined the painted. skulls recovered at 924 North 25El:. Street the Citlz and. County of Milwaukee, St.ate of Wisconsin during the early rnorning hours of Jullz with known dental records of Lamont and Determined. that one of the aforementioned skulls is that of Raymond Smith.

Upon your complainantrs personal observation of a copy of the defendantr rental application for the living premises at 924 North 25th Street, Apartment that the aforementioned rental agreement has an initial lease date of May 13th, 1990.

a person whom he identified. through a photograph as Edward Smith, 8-2-62, at the Phoenix Bar on 2nd Street in Milwaukee and offered him money for sex and to pose for pictures they took a cab to his the defendantr apartment at 924 North Street in the City and county of Milwaukee, State of they had, oral sex and, he gave Smith a drink which contained sleeping pills and then strangled him; he dismembered Smith and took four or five photos of him; he completely disposed of Edward, Smith's body by placing it in garbage bags and at a later time he also got rid of the photos of Edward Smith he further recalls that Smith wore a head band like an Arab.

Upon the statement of Carolyn Smith adult ctizen, that she (Carolyn Smith) is the sister of Edward Smith and that she has had no contact with him since June 1990; further that her brother was called.

because he frequently wore a turban-like wrap on his head.

VTCTIYI ERNEST MILLER 5/5/67 Upon the statement of Vivian Miller adult citizen, that she

aunt of Ernest Miller and that on September Ernest Mi1ller carne from his home in Chicago to Milwaukee to visit for the Labor Day weekend and that he let her home during the early morning hours of September 3rd,, 1990 and she has not. seen him or heard from hm since.

Upon the further statement of the defendant that during the sunmer of 1990 he met a black male whom he identified through a photograph of Ernest as being Ernest (Miller) in front of a book store in the 800 block of North 27Eh Street in the and, County of M.milwaukee, State of Vlisconsn and. that he offered the man money to return to the defend, ant apartment at 924 North 25th Street the and, County of Itmilwaukee, St.ate of that when they returned to his apartment they had. sex and then he (the defendant) drugged Ernest Miller and kIled him by cutting his throat; further, that, after taking photos of him, he dismembered the body and d.imposed of the flesh except for the biceps which he kept in the freezerr he also kept the skull which he painted after the skin was rernoved., and he kept the skeleton which he bleached.

Johnson that, he (Johnson) has compared. the painted skulLs recovered on July L99L from he defendants apartment at 924 North 25th Street in he City and County of Milwaukee, State of Iisconsj.n with known dental records of Ernest rriller and d.determined that one of the aforementioned pai-nted is that of Ernest Miller.

Upon the further statement of the defendant that he in the Autumn of 1990 met, a black male in the vicinity of 2nd and!, Wisconsin in the City and County of State of Wisconsin and offered the man money to come to his apartment at 924 North 25th Streeti rhen tbey got to apartment they drank and talked but he had no sex with his man because the man wasntt that he gave the man a drink witha sleeping pot ion in it and killed him even though he did not want to have sex with hm because he thought the man would wake up and be angry that he dismembered the body but did not keep any of the body parts because the man wasnrt his type;

in the process of dismembering him.

statement of Chandra an adult citizen, that she

September 1990 to the Milwaukee Police Department.

Police Detective, that he contacted the family of David Thomas in the course of this investigation and specifically spoke lvith Thomas who identified herself as David Thomas' sister and that he showed Leslie Thomas the facial portion of the photograph which the defendant identified. as having been taken during the course of dismembering David Thomas; further, that the tacaI portion showed no injuries at the time it shown to Leslie Thomas and Lesle Thomas identfied' the person in the photograph as being her brother, David Thomas; that he Thomas family supplied. a photograph of David Thomas sleeping which they bla; further that' th face in this family photograph appeared to him to deepct he same individual as in the photograph the defend.ant had taken while dismembering this victim.

grandmother of Curtis Straughter and that she last sari' her grand.son on February 18th 7991.

Upon the further statement of the defendant that in February of L99L he observed. Curtis Straughter whom he identified. through a photograph) waiting fora bus Marquet, te University and. offered, him money Lo come back to his apartment at 924 North 25th Street in the City and County of State of Wisconsin; that Straughter did. accompany him back and at the apartment he (the defendant) gave Curtis Straughter a drugged crink and. had oral sex with him; the defendant then strangled him witha strap and dismembered the bod, he also took photos and kept the mants skull.

compared. the unpainted recovered from the defendants apartment with knovn dental reords of Curtis Straughter and determined that one of the unpainted was that of Curtis Straughter.

VICTIM ERROR LINDSEY, 3/3/72 (1) Upon the statement of Yahuna Barkleyr adult citizen, that she Burkley) is the sister of Err1 Lindsey and that she last saw him on April L99L when he went to the store and that she has not seen him since that time.

Itlisconsn and. that he offered Error Lindsey money to return with hm (the defendant) to his apartment at 924 North 25th Street in the City and County of Milwaukee, State of Wisconsin; that after they returned to his apartment he gave Lindsey a drugged, drink and. after he fell asleep he stranged Lindsey and then had oral sex with him; he then dismembered. the body and saved. the skull.

LT. Johnson that he (Johnson) compared. the unpainted skulls recovered from the defendant's apartment on July 23rd, L99L with known dental record.s of Error Lindsey and. d.determined tha one of the unpainted. skulls is that of Error Lndsey.

VCIM TONY ANTHONY HUGHES 1-) Upon the further statement of the d.defendant that in May of he met Tony Anthony Hughes whom he identified. through a photograph) who was deaf and mute front of the 21-9 Bar on Second Street in the City and.

County of Milwaukee State of that he communicated with Hughes by writing and. appeared that Hughes could read lips; that he offered Hughes to come to his the defendants) apartment at 924 North 25ET: Street in the and County and, Milwaukee, State of Vfsconsin to take photos and. view further, that he gave Hughes a drink witha sleeping poton and then killed him and dismembered his body and kept his

Johnson that, he (Johnson) has compared. the unpainted skulls found in the apartment, of the d.defendant with known dental records of Tony Hughes and determined, that one of the unpainted skulls is that of Tony Hughes.

(3) Upon the statement of Shirley Hughesr ad, citizen, that she

is the mother of Tony Hughes and, that Tony Hughes came to Milwaukee from Mad.ison during the late afternoon evening of May 24: L99l and that she has not seen him since and further that her son, Tony Hughes, is deaf and mute.

staternent of Sounthone Sinthasomphoner adult resident, that he is the father of Konerak Sinthasomphone who was 14 years of age and that during the afternoon of May 1991 his son theft home and did not return and. he has not seen him since.

Upon the further statement of the defendant that he (the defendant) in late lviay of L99L met a young Oriental male whom he identified by photograph as Konerak in front of Grand Avenue Mall in and that they went back to his the defendant'(s) apartment at 924 North 25th Street in the City and County of Milwaukee, State of Wisconsin;

that Sinthasomphone posed for two photographs while he was alive and that he (the defendant) gave Sinthasomphone a rink laced witha sleeping pot ion a?d that they then watched videos and while they were watching viesl snthasomphone passed out; that he ttre defendant,) then had oial sex with Sinthasomphone and then he (the defendant) went to a bar to get some beer because he had run out; that. while he was walking back from hie bar located on 27Eh just North of Kilbourn, he saw Snlhasomphone staggering down the street and he (the defendant) went up to Sinthasomphone and then the police stopped. him; that he totd the police that he was a friend of this individual and that the individual had gotten drunk and done this before;

that the police escort, ed them back to his the defendant'(s) apartment and.

the police he would take care of Sinthasomphone becaue he was his friend; that they went into the apartment and after the polce left,, he killed Sinthasomphone by strangling him and then had oral sex with him and, then he took more photographs and dismembered. the body and kept the skull-I.

LT. Johnson that he (Johnson) compared the unpainted, skulls recovered from the apartment at 924 North 25th Street with known dent, al records of Konerak Sinthasomphone and determined. that one of the skulls which was recovered from that location is that. of Konerak Sinthasomphone.

VICTIM MATT TURNER AlRlA DONALD MONTREAL, 7 (1) Upon the further statement of the defendant, that on June

a black male at the Chicago Bus Station and offered him money to pose nude and also view vdeos at his apartment back in Milwaukee he the with this black ma1e, returned. to lvlilwaukee on a Greyhound, Bus and. then took a City Wet cab to his tne defendants) residence in Apartment at 924 North 25th Street, in the City and. County of lvlilwaukee, State of Wisconsnt he the gave the black male something to drink which had, been drug ged and. the man passed out and he (the defend.ant) used a strap to strangle the man and. then dismembered hm and, kept his head, and put it in the freezer apartment and placed his body ina 57 gallon barret that, he had in his resdence further that he (the defendant) loolced at a photograph suppled, by the Chicago Police Department of Matt Turner a/k a Donald. Montreal and indicated that he thought this was the person that he had killed. in this incident.

met a Puerto Rica maLe at Carol's Gay Bar on Wells Stree in Chicago and that he offered the man money to come with him to Milwaukee to pose for him and to view videos; they took a Greyhound Bus from Chcago to milwaukee and then took a cab to the defendant's apartment at 924 North 25Eh Street in the City and. County of Mlwaulcee, State of this man stayed with him for two days and on the first they had oral sex and.

and strangled him manually and. then took photos of him and dismembered the body; he then took more photos and. kept the mants head the freezer and body in the 57 gallon drum he (the defendant) looked at a photo supplied by the Chicago Department of Jeremah Weinberger and indicated that this was the man that he had killed in this incident.

(Johnson) at the Milwaukee County Medical Examiners Office compared one of the human heads recovered from the f.reefer at 924 North 25th Street with known dental records of Jeremiah Weinberger and determined, that the severed human head that he examined comparison with those records was the head of Jeremiah Vteinberger.

VICTIM OLIVER LACY 6/23/67 Upon the further statement of the defendant that on or about July 15th, L99L he met a black male on 27En Street between State and Kilbourn in Milwaukee and. that the man stated he was going to his cousin houset he invited. the man to his residence to pose for photos and the man agreed. to come and model; when they got to the residence at 924 North 25th Street in the City and County of milwaukee, State of Wisconsin, thel'removed their clothes and. did body rubs and he gave the man a drink which had. sleeping pot ion in it; when the man fell asleep, he strangled hin and then hac anal sex with him after death; he dismembered the body and placed the man head the bottom of the refrigerator ina box and kept the manr heart, in the freezer lo eat latert he also kept the manls body in the freezert he kept the man's identification which ientified the man as Oliver Lacy, date of birth 6/23/67.

VICTIM JOSEPH BR-ADEHOFT, Upon the further statement of the defendant that on or about July 19th, L99t he met a white male on Wisconsin Avenue near Marquette the man was wating fora bus and had, a pack under arrni he (the defendant) got off a bus at that location and approached the man and offered him money to pose and view vdeos and the man agreed; they returned. to the defend, ant residence at 924 North 25t.n. Street the City and. County of Milwaukee, State of they had oral sex and. then he gave the man a drink witha sleeping pot ion in it and. then strangled him witha strap whLe he slept he dismembered this man and put his head the freezer and. his bod.y in the same blue 57 gallon barrel where he had placed the bodies of. the black male and the Puerto Rica male; he kept man's identification card which identified him as Joseph Bradehoft, date of birth

TO VICTIMS TURNER., LACY AND ERADEHOFT

Upon the statement of Dr. Jeffrey Jentzen, Medical Examiner for lviilvaukee County, that on July he was by the l'lilwaukee Police Department to Apartment at 924 North Street in the City and County of Milwaukee, State of Wisconsin and inside the apartment at that location, among other evid.ence, he observed a refrigerator witha freezer section; the refrigerator contained a human head and the freezer section contaj-end human body parts; also there was a floor standing freezer which was found to contain three human heads and other body parts and there was a 57 gallon drum which contained human body parts. Jentzen further stated that at the Milwaukee County Medical Examiner IS Off ice these human bod, parts were examined. and that fingerprints were lifted. from hands that had been found, at the scene and al-so efforts at dentaL identification were made; that Dr. LT. Johnson, whom he knows to be a forensic odontologist, did the dental examination and that fngerprint Lifts vere submitted to the Milwaukee Police Department Bureau of Identification for analysis.

Upon the statement of Wayne Peterson, that he (Peterson) a Bureau of Identification technician and supervisor employed by the City of Milwaukee Police Department and that he (Peterson) mad.e comparisons of fingerprints 1fted by the Milwaukee County Med.ical Examiners Office from body parts recovered. at 924 North 25th Street on July with known prnuts of varous persons and was able to identify the prints of Oliver Lacy, Joseph Bradehoft, and Matt Turner a/k/a Donald Mont, rel as hawng been lifted from human bod.y parts discovered in that apartment.

AS TO HABITUAL.T, CRIMINALITY

Complainant further states that he has viewed a certified copy of Judgment of Conviction in Milwaukee County Circuit Court Case No. and a copy of that Judgment, of Conviction is attached thereto and incorporated, heren and the aforementioned.Judgment of Convicton indicates that the defendant was concted of felony offenses in Milwaukee County vithin five years of the offenses lsted in this complaint and. that he the end ant) is therefore a Habitual Criminal.

END OF COMPLAINT

SUBSCRTBED AND SWORN TO BEFORE ME

Circuit court Branc Defendant county l-a Defendant Date or birth court case y'.''(, er plee of guitar' 0 not gutlLv no contest i tlhe Cour Jury found the defendant guilty of: leon' or Date(s) Countff an On ill./., Tlhe Co inquirecJ defendant why.sentence hould be onouncedr and suFficicf growly'as to tre contrary being shourn or appearing to Tlhe Court, and the Court havi, ng accorded the district attorney, dee, counsel, the defendant an opportunity to addrcsc t!c Court regarding and upon evidence, records, and proceedings, the Court pronounced f.findings and judgnenL as follows:

GED that execution of tlhe sentence is stayed and the defendant is placed on probation for period of a., in the custody and-control of tr're t'Jjsconsjn Department ol HeaILh a al Services, to its rules and odes pursuant to Sec..97l.lO, rlis. Stats.;

record requires court-imposed conditions as

None WAs ordered below::

Court for reconsideration of such cErdltions.