inf1902018 - kesq.b-cdn.net · cristina noelle canimo felony complaint dob: 12.24.1986 booking#:...

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CASH BOND AGENCY#: LA193250028/ RSEH RECOMMENDED: NO BAIL In Custody: 11. 26. 2019 FILED Superior Court of California MICHAEL A. HESTRIN County of Riverside DISTRICT ATTORNEY 11/ 26/ 2019 SUPERIOR COURT OF CALIFORIANYA BECERRA- CASTELLON COUNTY OF RIVERSIDE Indio) INF1902018 THE PEOPLE OF THE STATE OF CALIFORNIA, Plaintiff, D. A.# V. CASE NO. CRISTINA NOELLE CANIMO FELONY COMPLAINT DOB: 12. 24. 1986 BOOKING#: 201945610 Defendant. COUNT 1 The undersigned, under penalty of perjury upon information and belief, declares: That the above named defendant CRISTINA NOELLE CANIMO committed a violation of Penal Code section 187, subdivision ( a), a felony, in that on or about 11/ 21/ 2019, in the County of Riverside, State of California, the defendant did willfully and unlawfully, with premeditation and deliberation, murder Ronald C., a human being. It is further alleged that in the commission and attempted commission of the above offense, the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerous weapon, to wit, a knife, said use not being an element of the above offense, within the meaning of Penal Code sections 12022, subdivision( b)( 1) and 1192. 7, subdivision( c)( 23). It is further alleged that in the commission and attempted commission of the above offense, the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerous weapon, to it, a boxcutter, said use not being an element of the above offense, within the meaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23). It is further alleged that in the commission and attempted commission of the above offense, the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerous weapon( s), to wit, a screwdriver, said use not being an element of the above offense, within the meaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23). It is further alleged that in the commission and attempted commission of the above offense, the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerous weapon, to wit, a hammer, said use not being an element of the above offense, within the meaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23). KESQ

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Page 1: INF1902018 - kesq.b-cdn.net · CRISTINA NOELLE CANIMO FELONY COMPLAINT DOB: 12.24.1986 BOOKING#: 201945610 Defendant. COUNT 1 The undersigned, under penalty of perjury upon information

CASH BOND AGENCY#: LA193250028/ RSEH

RECOMMENDED: NO BAIL

In Custody: 11. 26. 2019 FILEDSuperior Court of California

MICHAEL A. HESTRIN County of RiversideDISTRICT ATTORNEY

11/ 26/ 2019SUPERIOR COURT OF CALIFORIANYA BECERRA- CASTELLON

COUNTY OF RIVERSIDE

Indio)

INF1902018THE PEOPLE OF THE STATE OF CALIFORNIA,

Plaintiff, D. A.#

V.CASE NO.

CRISTINA NOELLE CANIMO FELONY COMPLAINT

DOB: 12. 24. 1986

BOOKING#: 201945610

Defendant.

COUNT 1

The undersigned, under penalty of perjury upon information and belief, declares: That the

above named defendant CRISTINA NOELLE CANIMO committed a violation of Penal Code

section 187, subdivision ( a), a felony, in that on or about 11/ 21/ 2019, in the County ofRiverside, State of California, the defendant did willfully and unlawfully, with premeditationand deliberation, murder Ronald C., a human being.

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon, to wit, a knife, said use not being an element of the above offense, within the meaningof Penal Code sections 12022, subdivision( b)( 1) and 1192. 7, subdivision( c)( 23).

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon, to it, a boxcutter, said use not being an element of the above offense, within themeaning of Penal Code sections 12022, subdivision (b)( 1) and 1192. 7, subdivision( c)( 23).

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon( s), to wit, a screwdriver, said use not being an element of the above offense, within themeaning of Penal Code sections 12022, subdivision (b)( 1) and 1192. 7, subdivision( c)( 23).

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon, to wit, a hammer, said use not being an element of the above offense, within themeaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23).

KESQ

Page 2: INF1902018 - kesq.b-cdn.net · CRISTINA NOELLE CANIMO FELONY COMPLAINT DOB: 12.24.1986 BOOKING#: 201945610 Defendant. COUNT 1 The undersigned, under penalty of perjury upon information

Case # INF 1902018 Filing Date 11/ 26/ 2019

It is further alleged that the murder of Ronald C. by the above defendant was intentional andinvolved the infliction of torture within the meaning of Penal Code section 190. 2, subdivisiona)( 18).

COUNT 2

That the above named defendant CRISTINA NOELLE CANIMO committed a violation of

section 206 of the Penal Code, a felony, in that on or about 11/ 21/ 2019, in the County ofRiverside, State of California, the defendant did willfully and unlawfully and with the intent tocause cruel or extreme pain and suffering for the purpose of revenge, extortion, persuasion, orfor any sadistic purpose, inflicted great bodily injury upon the person of another, to wit: RonaldC.

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon, to wit, a knife, said use not being an element of the above offense, within the meaningof Penal Code sections 12022, subdivision( b)( 1) and 1192. 7, subdivision( c)( 23).

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon, to wit, a boxcutter, said use not being an element of the above offense, within themeaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23).

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon, to wit, a screwdriver, said use not being an element of the above offense, within themeaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23).

It is further alleged that in the commission and attempted commission of the above offense,

the defendant, CRISTINA NOELLE CANIMO, personally used a deadly and dangerousweapon( s), to wit, a hammer, said use not being an element of the above offense, within themeaning of Penal Code sections 12022, subdivision ( b)( 1) and 1192. 7, subdivision( c)( 23).

MARSY' S LAW

Information contained in the reports being distributed as discovery in this case may containconfidential information protected by Marsy' s Law and the amendments to the CaliforniaConstitution Section 28. Any victim( s) in any above referenced charge( s) is entitled to be freefrom intimidation, harassment, and abuse. It is unlawful for defendant( s), defense counsel, and

any other person acting on behalf of the defendant( s) to use any information contained in thereports to locate or harass any victim( s) or the victim( s)' s family or to disclose any informationthat is otherwise privileged and confidential by law. Additionally, it is a misdemeanor violationof California Penal Code § 1054. 2a( 3) to disclose the address and telephone number of a victim

or witness to a defendant, defendant' s family member or anyone else. Note exceptions in

California Penal Code § 1054.2a(a) and( 2).

KESQ

Page 3: INF1902018 - kesq.b-cdn.net · CRISTINA NOELLE CANIMO FELONY COMPLAINT DOB: 12.24.1986 BOOKING#: 201945610 Defendant. COUNT 1 The undersigned, under penalty of perjury upon information

Case # INF 1902018 Filing Date 11/ 26/ 2019

DISCOVERY REQUEST

Pursuant to Penal Code section 1054. 5, subdivision ( b), the People are hereby informallyrequesting that defense counsel provide discovery to the People as required by Penal Codesection 1054. 3.

I declare under penalty of perjury upon information and belief under the laws of the State ofCalifornia that the foregoing is true and correct.

Michael A. Hestrin

Dated: November 26, 2019District Attorney

By: Robert A. HightowerDeputy District Attorney

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