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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)RELATED CASES:

    COMPLAINANT DEFENDANT

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    1 0990

    1 2399

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did feloniously, willfully and of deliberately premeditated malice aforethought kill and murder Dan Belvin.

    ...did [take/take possession of/take custody of/take control of] a credit card belonging to Dan Belvin without his consent.

    DATE:

    TIME:

    02/25/201507:53

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _______________;

    MD. ANN. CODE ART _______ SEC. _______________;

    COMMON LAW OF MD: _______________ ;

    COMMON LAW OF MD: _______________ ;

    PUB. LOCAL LAW ART. ______ SEC. _______

    PUB. LOCAL LAW ART. ______ SEC. _______

    COMAR OR AGENCY CODE NO. _________________;

    COMAR OR AGENCY CODE NO. _________________;

    ORDINANCE NO. ________________ ;

    ORDINANCE NO. ________________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    COMMISSIONER INITIALS ID

    COMMISSIONER INITIALS ID

    __________ _____

    __________ _____

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    BULLOCK, C.

    MCP 1426HQ15

    240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Drive

    ROCKVILLE 20878MARYLAND

    NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA

    DRIVER'S LICENSE # STATE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DYSON, ERIC, S

    MaleB 03/25/1954

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    D250234782239

    6' 2" 195

    NAME (LAST, FIRST, M.I.) TITLE

    WORK TELEPHONE HOME TELEPHONE

    ( ) ( )

    HAIR EYES OTHER DESCRIPTION

    BROBLD

    PROBABLE CAU

    PROBABLE CAU

    Y

    Y

    N

    N

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OFMY KNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. _______________156337267041 MON150560072

    DISTRICT COURT

    CASE NUMBER50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DEFENDANT'S NAME (LAST, FIRST, M.I.)DYSON ERIC, S

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    ROCKVILLE (City / Coun

    X

    X

    CR

    CR

    2- 201

    8- 204(a)(i)

    1

    2

    Court Copy

    Page 1 of 4

    CJIS CODE

    CJIS CODE

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    X

    ,

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    2 2803

    2 2803

    1 1241

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    ...did, with intent to defraud Navy Federal Credit Union, use a credit card issued to Dan Belvin, for the purpose of obtaining things ofvalue] having a value of $5532.39, at least $1,000 but below $10,000 knowing the said card to have been stolen.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 204(a)(ii)

    8- 204(a)(ii)

    8- 206(a)(1)

    3

    4

    5

    (CONTINUED)

    Court Copy

    Page ______ of ______42

    ,

    X

    02/25/2015

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 1257

    2 0560

    1 1260

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did receive things of value to wit: US Currency having a value of $5532.39, at least $1,000 but less than $10,000, obtained by means ofa forged or misrepresented credit card issued to Dan Belvin and negotiated by Eric Dyson, knowing the said [money/goods] was illegallyobtained.

    did unlawfully disclose the holder' s signature of Dan Belvin.

    ...did knowingly, willfully, and with fraudulent intent possess personal identifying information of Dan Belvin, without the consent of saidDan Belvin, for the purpose of using that information to obtain a benefit/obtain other item of value in the name of Dan Belvin.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 209(a)

    8- 214

    8- 301(b)

    6

    7

    8

    (CONTINUED)

    Court Copy

    Page ______ of ______43

    X

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 0632

    2 2411

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did, between the dates of 02/20/2015 and 02/23/2015, pursuant to one scheme and continuing course of conduct, steal$5532.39property of Dan Belvin having a value of at least $1,000 but less than $10,000, in violation of CR 7- 104 of the Annotated Code ofMaryland.

    ...did without permission, take and carry away from the use of Dan Belvin, a 2004 Dodge Intrepid, bearing MD tag 79764HV, with theintent to temporarily deprive Dan Belvin of the use and possession of said property.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    CR

    CR

    7- 104

    7- 203

    9

    10

    (CONTINUED)

    Court Copy

    Page ______ of ______44

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    15008745LOCAL INCIDENT #: DATE:TIME:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    NAME (LAST, FIRST, M.I.) TITLE

    ............................................

    ............................................

    NAME (LAST, FIRST, M.I.) TITLE

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA HAIR EYES OTHER DESCRIPTION

    DRIVER'S LICENSE # STATE

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    COMPLAINANT DEFENDANT

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    Page 1 of

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    THE DEFENDANT HAS BEEN ARRESTED UPON THE FOLLOWING INFORMATION OR OBSERVATION: (MAKE A PLAIN, CONCISE AND DEFINITIVE STATEMENT OF ESSENTIAL FACTS CONSTITUTING THE OFFENSE CHARGED.)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A) PROBABLE CAUSE CHARGES # __________________LACK OF PROBABLE CAUSE CHARGES # __________________

    TRACKING NO. ____________________________________ PC DC/CR 4 (Rev. 4/2002)

    5d00337342

    ROCKVILLE

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    MaleB 03/25/1954

    ( ) ( )

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    BROBLD

    D250234782239

    6' 2" 195

    Court Copy

    BULLOCK, C.

    MCP 1426HQ15

    (240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Dr

    ROCKVILLE 20878MARYLAND

    CBF NO. _________________________________156337267041 MON150560072

    02/25/201507:53

    (City / County)

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    I HAVE REVIEWED THE STATEMENT OF CHARGES AND HAVE DETERMINED THATTHERE IS PROBABLE CAUSE TO DETAIN THE DEFENDANT

    THERE IS NOT PROBABLE CAUSE TO DETAIN THE DEFENDANT AND I HAVEACCORDINGLY RELEASED HIM ON HIS OWN RECOGNIZANCE.

    DATE JUDICIAL OFFICER COMMISSIONER I.D. NO.

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    X

    ,

    On February 23rd, 2015, members of the Montgomery County Department of Police responded for a

    deceased person at 531 Randolph Road, apartment 206B Silver Spring, Montgomery County,

    Maryland. Once officers entered the apartment, they observed the victim: Dan Belvin (W/M/DOB:

    01/26/1920) deceased on the floor. Belvin appeared to have suffered multiple sharp force

    injuries that led investigators to believe his death was a homicide.

    On February 25, 2015, a search warrant was executed at the residence of Dan Belvin, located at

    531 Randolph Road, Apt. 206B, Silver Spring, Montgomery County, Maryland. While on scene,

    investigators obtained and reviewed Dan Belvin's cell phone log. There were numerous calls

    from a subject identified on the victim's phone as "Eric Dyson" that were dated Thursday,

    February 19, 2015. Investigation revealed that Eric Sylvester Dyson (B/M/DOB: 03-25-1954)

    resides in the same apartment complex as Dan Belvin. Eric Dyson resides at 531 Randolph Road,

    Apt. 219B, Silver Spring, Montgomery County, Maryland. Interviews reveal that Dan Belvin was

    3

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    LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    ............................................

    ............................................

    MAFIS NAME (LAST, FIRST, M.I.)

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    PC DC/CR 4A (Rev. 4/02)

    DEFENDANT'S NAME (LAST, FIRST, M.I.)

    (CONTINUED)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A)

    Page ______ of ______

    15008745

    5d00337342

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    last known to be alive on Thursday, February 19, 2015. During the search of Dan Belvin's

    apartment, several emphatic notes were written on a calendar, dated February 19th and 20th, and

    were located on his bedside table. Additionally, a note Dan Belvin had written to himself,

    specifically listed his need to obtain his vehicle keys from Eric Dyson. During the search of

    Dan Belvin's apartment, investigators were also unable to locate Dan Belvin's wallet and CreditCards. As Dan Belvin did not have any immediate family in the area, it is unknown whether other

    items of Belvins property were taken during the murder.

    While on scene, investigators also reviewed Belvins cell phone voicemails and noted that there

    were numerous messages on the phone. One of these messages was from Navy Federal Credit Union

    (NFCU), making an inquiry regarding suspicious activity on Belvins bank card. A records

    request was made to NFCU and it was learned that Belvins NFCU card was used on February 19,

    2015 at 2104 hours for a balance inquiry. Immediately after this transaction, $300 was

    withdrawn from Belvins account. This transaction occurred at 12405 Georgia Avenue (7-11), in

    close proximity to the crime scene. Further investigation revealed that a Navy Federal Credit

    Union card belonging to Dan Belvin was used fraudulently at several different locations, for a

    total loss of approximately $5532.39 between February 20, 2015 and February 23, 2015. Eric

    Dyson was also observed using Dan Belvin's stolen credit card via store surveillance cameras.

    The investigation revealed that Eric Dyson had been using Dan Belvin's vehicle, described as a

    2000 Ford Dodge Intrepid 4 door, MD registration: 79764HV, and that Dan Belvin had requested

    that Eric Dyson return his vehicle keys. While on the scene, investigators discovered Dan

    Belvin's vehicle had been driven from the parking lot and could no longer be located.

    On February 24, 2015, a staff member of Randolph Village Apartment Complex observed Eric Dyson

    operating and parking Dan Belvin's vehicle in the parking lot. Eric Dyson was arrested and

    transported to Police Safety Headquarters to be interviewed. Eric Dyson elected to provide a

    Court Copy

    TRACKING NO. __________________________________ CBF NO. ______________________________156337267041 MON150560072

    DATE:

    TIME:

    02/25/201507:53

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    ROCKVILLE (City / County)

    2

    X

    ,

    3

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    LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    ............................................

    ............................................

    MAFIS NAME (LAST, FIRST, M.I.)

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    PC DC/CR 4A (Rev. 4/02)

    DEFENDANT'S NAME (LAST, FIRST, M.I.)

    (CONTINUED)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A)

    Page ______ of ______

    15008745

    5d00337342

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    statement after being read his Miranda Rights, via MCP 50. Eric Dyson alleged that he exchanged

    sexual favors with Dan Belvin for money and the use of his vehicle. Eric Dyson admitted to

    stabbing Dan Belvin in response to alleged unwelcomed sexual advances.

    All of the above events occurred in Montgomery County, Maryland.

    Court Copy

    TRACKING NO. __________________________________ CBF NO. ______________________________156337267041 MON150560072

    DATE:

    TIME:

    02/25/201507:53

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    ROCKVILLE (City / County)

    33

    X

    ,

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    TO THE PERSON CHARGED:

    1. This paper charges you with commiting a crime.2. If you have been arrested, you have the right to have a judicial officer decide whether you should be released

    from jail until your trial.3. You have the right to have a lawyer.4. A lawyer can be helpful to you by:

    (A) explaining the charges in this paper; (B) telling you the possible penalties; (C) helping you at trial; (D) helping you protect your constitutional rights; and (E) helping you to get a fair penalty if convicted.5. Even if you plan to plead guilty, a lawyer can be helpful.6. If you want a lawyer but do not have the money to hire one, the Public Defender may provide a lawyer for you.

    The court clerk will tell you how to contact the Public Defender.7. If you want a lawyer but you cannot get one and the Public Defender will not provide one for you, contact the

    court clerk as soon as possible.8. DO NOT WAIT UNTIL THE DATE OF YOUR TRIAL TO GET A LAWYER. If you do not have a lawyer

    before the trial date, you may have to go to trial without one.

    RECEIPT

    I have read or have had read to me the contents of the above notice and acknowledge receipt of a copy thereof.

    RETURN OF SERVICE

    Detention Facility

    Signature of Peace Officer

    Title

    NOTICE OF ADVICE OF RIGHT TO COUNSEL

    Date

    Date

    Signature of Defendant

    Commissioner I.D. No.

    I certify that at ______________ o'clock ___________ on __________________________ at ________

    ___________________________________________________ , I executed this Statement of Charges by

    arresting the Defendant and delivered a copy of the Statement of Charges to the Defendant.

    02/25/20157:53

    CPU - CPU

    CPU - CPU

    1307 Seven Locks Road , ROCKVILLE, MARYLAND 20854

    Date

    AM

    Place

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    REQUEST FOR WITNESS SUMMONS

    TO THE DISTRICT COURT:PLEASE SUMMONS THE FOLLOWING WITNESSES IN THE CASE OF:

    DEFENDANT'S NAME:

    CENTRAL COMPLAINT NUMBER:

    5d00337342

    02/25/2015 07:53

    REQUESTED BY: BULLOCK, C.

    Court Copy

    Page ______ of ______1

    DYSON, ERIC, S

    15008745

    EDT

    1

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)RELATED CASES:

    COMPLAINANT DEFENDANT

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    1 0990

    1 2399

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did feloniously, willfully and of deliberately premeditated malice aforethought kill and murder Dan Belvin.

    ...did [take/take possession of/take custody of/take control of] a credit card belonging to Dan Belvin without his consent.

    DATE:

    TIME:

    02/25/201507:53

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _______________;

    MD. ANN. CODE ART _______ SEC. _______________;

    COMMON LAW OF MD: _______________ ;

    COMMON LAW OF MD: _______________ ;

    PUB. LOCAL LAW ART. ______ SEC. _______

    PUB. LOCAL LAW ART. ______ SEC. _______

    COMAR OR AGENCY CODE NO. _________________;

    COMAR OR AGENCY CODE NO. _________________;

    ORDINANCE NO. ________________ ;

    ORDINANCE NO. ________________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    COMMISSIONER INITIALS ID

    COMMISSIONER INITIALS ID

    __________ _____

    __________ _____

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    BULLOCK, C.

    MCP 1426HQ15

    240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Drive

    ROCKVILLE 20878MARYLAND

    NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA

    DRIVER'S LICENSE # STATE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DYSON, ERIC, S

    MaleB 03/25/1954

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    D250234782239

    6' 2" 195

    NAME (LAST, FIRST, M.I.) TITLE

    WORK TELEPHONE HOME TELEPHONE

    ( ) ( )

    HAIR EYES OTHER DESCRIPTION

    BROBLD

    PROBABLE CAU

    PROBABLE CAU

    Y

    Y

    N

    N

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OFMY KNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. _______________156337267041 MON150560072

    DISTRICT COURT

    CASE NUMBER50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DEFENDANT'S NAME (LAST, FIRST, M.I.)DYSON ERIC, S

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    ROCKVILLE (City / Coun

    X

    X

    CR

    CR

    2- 201

    8- 204(a)(i)

    1

    2

    State's Attorney Copy

    Page 1 of 4

    CJIS CODE

    CJIS CODE

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    X

    ,

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    2 2803

    2 2803

    1 1241

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    ...did, with intent to defraud Navy Federal Credit Union, use a credit card issued to Dan Belvin, for the purpose of obtaining things ofvalue] having a value of $5532.39, at least $1,000 but below $10,000 knowing the said card to have been stolen.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 204(a)(ii)

    8- 204(a)(ii)

    8- 206(a)(1)

    3

    4

    5

    (CONTINUED)

    State's Attorney Copy

    Page ______ of ______42

    ,

    X

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 1257

    2 0560

    1 1260

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did receive things of value to wit: US Currency having a value of $5532.39, at least $1,000 but less than $10,000, obtained by means ofa forged or misrepresented credit card issued to Dan Belvin and negotiated by Eric Dyson, knowing the said [money/goods] was illegallyobtained.

    did unlawfully disclose the holder' s signature of Dan Belvin.

    ...did knowingly, willfully, and with fraudulent intent possess personal identifying information of Dan Belvin, without the consent of saidDan Belvin, for the purpose of using that information to obtain a benefit/obtain other item of value in the name of Dan Belvin.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 209(a)

    8- 214

    8- 301(b)

    6

    7

    8

    (CONTINUED)

    State's Attorney Copy

    Page ______ of ______43

    X

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 0632

    2 2411

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did, between the dates of 02/20/2015 and 02/23/2015, pursuant to one scheme and continuing course of conduct, steal$5532.39property of Dan Belvin having a value of at least $1,000 but less than $10,000, in violation of CR 7- 104 of the Annotated Code ofMaryland.

    ...did without permission, take and carry away from the use of Dan Belvin, a 2004 Dodge Intrepid, bearing MD tag 79764HV, with theintent to temporarily deprive Dan Belvin of the use and possession of said property.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    CR

    CR

    7- 104

    7- 203

    9

    10

    (CONTINUED)

    State's Attorney Copy

    Page ______ of ______44

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    15008745LOCAL INCIDENT #: DATE:TIME:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    NAME (LAST, FIRST, M.I.) TITLE

    ............................................

    ............................................

    NAME (LAST, FIRST, M.I.) TITLE

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA HAIR EYES OTHER DESCRIPTION

    DRIVER'S LICENSE # STATE

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    COMPLAINANT DEFENDANT

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    Page 1 of

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    THE DEFENDANT HAS BEEN ARRESTED UPON THE FOLLOWING INFORMATION OR OBSERVATION: (MAKE A PLAIN, CONCISE AND DEFINITIVE STATEMENT OF ESSENTIAL FACTS CONSTITUTING THE OFFENSE CHARGED.)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A) PROBABLE CAUSE CHARGES # __________________LACK OF PROBABLE CAUSE CHARGES # __________________

    TRACKING NO. ____________________________________ PC DC/CR 4 (Rev. 4/2002)

    5d00337342

    ROCKVILLE

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    MaleB 03/25/1954

    ( ) ( )

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    BROBLD

    D250234782239

    6' 2" 195

    State's Attorney Copy

    BULLOCK, C.

    MCP 1426HQ15

    (240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Dr

    ROCKVILLE 20878MARYLAND

    CBF NO. _________________________________156337267041 MON150560072

    02/25/201507:53

    (City / County)

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    I HAVE REVIEWED THE STATEMENT OF CHARGES AND HAVE DETERMINED THATTHERE IS PROBABLE CAUSE TO DETAIN THE DEFENDANT

    THERE IS NOT PROBABLE CAUSE TO DETAIN THE DEFENDANT AND I HAVEACCORDINGLY RELEASED HIM ON HIS OWN RECOGNIZANCE.

    DATE JUDICIAL OFFICER COMMISSIONER I.D. NO.

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    X

    ,

    On February 23rd, 2015, members of the Montgomery County Department of Police responded for a

    deceased person at 531 Randolph Road, apartment 206B Silver Spring, Montgomery County,

    Maryland. Once officers entered the apartment, they observed the victim: Dan Belvin (W/M/DOB:

    01/26/1920) deceased on the floor. Belvin appeared to have suffered multiple sharp force

    injuries that led investigators to believe his death was a homicide.

    On February 25, 2015, a search warrant was executed at the residence of Dan Belvin, located at

    531 Randolph Road, Apt. 206B, Silver Spring, Montgomery County, Maryland. While on scene,

    investigators obtained and reviewed Dan Belvin's cell phone log. There were numerous calls

    from a subject identified on the victim's phone as "Eric Dyson" that were dated Thursday,

    February 19, 2015. Investigation revealed that Eric Sylvester Dyson (B/M/DOB: 03-25-1954)

    resides in the same apartment complex as Dan Belvin. Eric Dyson resides at 531 Randolph Road,

    Apt. 219B, Silver Spring, Montgomery County, Maryland. Interviews reveal that Dan Belvin was

    3

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    LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    ............................................

    ............................................

    MAFIS NAME (LAST, FIRST, M.I.)

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    PC DC/CR 4A (Rev. 4/02)

    DEFENDANT'S NAME (LAST, FIRST, M.I.)

    (CONTINUED)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A)

    Page ______ of ______

    15008745

    5d00337342

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    last known to be alive on Thursday, February 19, 2015. During the search of Dan Belvin's

    apartment, several emphatic notes were written on a calendar, dated February 19th and 20th, and

    were located on his bedside table. Additionally, a note Dan Belvin had written to himself,

    specifically listed his need to obtain his vehicle keys from Eric Dyson. During the search of

    Dan Belvin's apartment, investigators were also unable to locate Dan Belvin's wallet and CreditCards. As Dan Belvin did not have any immediate family in the area, it is unknown whether other

    items of Belvins property were taken during the murder.

    While on scene, investigators also reviewed Belvins cell phone voicemails and noted that there

    were numerous messages on the phone. One of these messages was from Navy Federal Credit Union

    (NFCU), making an inquiry regarding suspicious activity on Belvins bank card. A records

    request was made to NFCU and it was learned that Belvins NFCU card was used on February 19,

    2015 at 2104 hours for a balance inquiry. Immediately after this transaction, $300 was

    withdrawn from Belvins account. This transaction occurred at 12405 Georgia Avenue (7-11), in

    close proximity to the crime scene. Further investigation revealed that a Navy Federal Credit

    Union card belonging to Dan Belvin was used fraudulently at several different locations, for a

    total loss of approximately $5532.39 between February 20, 2015 and February 23, 2015. Eric

    Dyson was also observed using Dan Belvin's stolen credit card via store surveillance cameras.

    The investigation revealed that Eric Dyson had been using Dan Belvin's vehicle, described as a

    2000 Ford Dodge Intrepid 4 door, MD registration: 79764HV, and that Dan Belvin had requested

    that Eric Dyson return his vehicle keys. While on the scene, investigators discovered Dan

    Belvin's vehicle had been driven from the parking lot and could no longer be located.

    On February 24, 2015, a staff member of Randolph Village Apartment Complex observed Eric Dyson

    operating and parking Dan Belvin's vehicle in the parking lot. Eric Dyson was arrested and

    transported to Police Safety Headquarters to be interviewed. Eric Dyson elected to provide a

    State's Attorney Copy

    TRACKING NO. __________________________________ CBF NO. ______________________________156337267041 MON150560072

    DATE:

    TIME:

    02/25/201507:53

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    ROCKVILLE (City / County)

    2

    X

    ,

    3

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    LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    ............................................

    ............................................

    MAFIS NAME (LAST, FIRST, M.I.)

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    PC DC/CR 4A (Rev. 4/02)

    DEFENDANT'S NAME (LAST, FIRST, M.I.)

    (CONTINUED)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A)

    Page ______ of ______

    15008745

    5d00337342

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    statement after being read his Miranda Rights, via MCP 50. Eric Dyson alleged that he exchanged

    sexual favors with Dan Belvin for money and the use of his vehicle. Eric Dyson admitted to

    stabbing Dan Belvin in response to alleged unwelcomed sexual advances.

    All of the above events occurred in Montgomery County, Maryland.

    State's Attorney Copy

    TRACKING NO. __________________________________ CBF NO. ______________________________156337267041 MON150560072

    DATE:

    TIME:

    02/25/201507:53

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    ROCKVILLE (City / County)

    3

    X

    ,

    3

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    REQUEST FOR WITNESS SUMMONS

    TO THE DISTRICT COURT:PLEASE SUMMONS THE FOLLOWING WITNESSES IN THE CASE OF:

    DEFENDANT'S NAME:

    CENTRAL COMPLAINT NUMBER:

    5d00337342

    02/25/2015 07:53

    REQUESTED BY: BULLOCK, C.

    State' s Attorney Copy

    Page ______ of ______1

    DYSON, ERIC, S

    15008745

    EDT

    1

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)RELATED CASES:

    COMPLAINANT DEFENDANT

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    1 0990

    1 2399

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did feloniously, willfully and of deliberately premeditated malice aforethought kill and murder Dan Belvin.

    ...did [take/take possession of/take custody of/take control of] a credit card belonging to Dan Belvin without his consent.

    DATE:

    TIME:

    02/25/201507:53

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _______________;

    MD. ANN. CODE ART _______ SEC. _______________;

    COMMON LAW OF MD: _______________ ;

    COMMON LAW OF MD: _______________ ;

    PUB. LOCAL LAW ART. ______ SEC. _______

    PUB. LOCAL LAW ART. ______ SEC. _______

    COMAR OR AGENCY CODE NO. _________________;

    COMAR OR AGENCY CODE NO. _________________;

    ORDINANCE NO. ________________ ;

    ORDINANCE NO. ________________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    COMMISSIONER INITIALS ID

    COMMISSIONER INITIALS ID

    __________ _____

    __________ _____

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    BULLOCK, C.

    MCP 1426HQ15

    240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Drive

    ROCKVILLE 20878MARYLAND

    NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA

    DRIVER'S LICENSE # STATE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DYSON, ERIC, S

    MaleB 03/25/1954

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    D250234782239

    6' 2" 195

    NAME (LAST, FIRST, M.I.) TITLE

    WORK TELEPHONE HOME TELEPHONE

    ( ) ( )

    HAIR EYES OTHER DESCRIPTION

    BROBLD

    PROBABLE CAU

    PROBABLE CAU

    Y

    Y

    N

    N

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OFMY KNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. _______________156337267041 MON150560072

    DISTRICT COURT

    CASE NUMBER50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DEFENDANT'S NAME (LAST, FIRST, M.I.)DYSON ERIC, S

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    ROCKVILLE (City / Coun

    X

    X

    CR

    CR

    2- 201

    8- 204(a)(i)

    1

    2

    Defendant Copy

    Page 1 of 4

    CJIS CODE

    CJIS CODE

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    X

    ,

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    2 2803

    2 2803

    1 1241

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    ...did, with intent to defraud Navy Federal Credit Union, use a credit card issued to Dan Belvin, for the purpose of obtaining things ofvalue] having a value of $5532.39, at least $1,000 but below $10,000 knowing the said card to have been stolen.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 204(a)(ii)

    8- 204(a)(ii)

    8- 206(a)(1)

    3

    4

    5

    (CONTINUED)

    Defendant Copy

    Page ______ of ______42

    ,

    X

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 1257

    2 0560

    1 1260

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did receive things of value to wit: US Currency having a value of $5532.39, at least $1,000 but less than $10,000, obtained by means ofa forged or misrepresented credit card issued to Dan Belvin and negotiated by Eric Dyson, knowing the said [money/goods] was illegallyobtained.

    did unlawfully disclose the holder' s signature of Dan Belvin.

    ...did knowingly, willfully, and with fraudulent intent possess personal identifying information of Dan Belvin, without the consent of saidDan Belvin, for the purpose of using that information to obtain a benefit/obtain other item of value in the name of Dan Belvin.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 209(a)

    8- 214

    8- 301(b)

    6

    7

    8

    (CONTINUED)

    Defendant Copy

    Page ______ of ______43

    X

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 0632

    2 2411

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did, between the dates of 02/20/2015 and 02/23/2015, pursuant to one scheme and continuing course of conduct, steal$5532.39property of Dan Belvin having a value of at least $1,000 but less than $10,000, in violation of CR 7- 104 of the Annotated Code ofMaryland.

    ...did without permission, take and carry away from the use of Dan Belvin, a 2004 Dodge Intrepid, bearing MD tag 79764HV, with theintent to temporarily deprive Dan Belvin of the use and possession of said property.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    CR

    CR

    7- 104

    7- 203

    9

    10

    (CONTINUED)

    Defendant Copy

    Page ______ of ______44

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    15008745LOCAL INCIDENT #: DATE:TIME:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    NAME (LAST, FIRST, M.I.) TITLE

    ............................................

    ............................................

    NAME (LAST, FIRST, M.I.) TITLE

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA HAIR EYES OTHER DESCRIPTION

    DRIVER'S LICENSE # STATE

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    COMPLAINANT DEFENDANT

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    Page 1 of

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    THE DEFENDANT HAS BEEN ARRESTED UPON THE FOLLOWING INFORMATION OR OBSERVATION: (MAKE A PLAIN, CONCISE AND DEFINITIVE STATEMENT OF ESSENTIAL FACTS CONSTITUTING THE OFFENSE CHARGED.)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A) PROBABLE CAUSE CHARGES # __________________LACK OF PROBABLE CAUSE CHARGES # __________________

    TRACKING NO. ____________________________________ PC DC/CR 4 (Rev. 4/2002)

    5d00337342

    ROCKVILLE

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    MaleB 03/25/1954

    ( ) ( )

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    BROBLD

    D250234782239

    6' 2" 195

    Defendant Copy

    BULLOCK, C.

    MCP 1426HQ15

    (240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Dr

    ROCKVILLE 20878MARYLAND

    CBF NO. _________________________________156337267041 MON150560072

    02/25/201507:53

    (City / County)

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    I HAVE REVIEWED THE STATEMENT OF CHARGES AND HAVE DETERMINED THATTHERE IS PROBABLE CAUSE TO DETAIN THE DEFENDANT

    THERE IS NOT PROBABLE CAUSE TO DETAIN THE DEFENDANT AND I HAVEACCORDINGLY RELEASED HIM ON HIS OWN RECOGNIZANCE.

    DATE JUDICIAL OFFICER COMMISSIONER I.D. NO.

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    X

    ,

    On February 23rd, 2015, members of the Montgomery County Department of Police responded for a

    deceased person at 531 Randolph Road, apartment 206B Silver Spring, Montgomery County,

    Maryland. Once officers entered the apartment, they observed the victim: Dan Belvin (W/M/DOB:

    01/26/1920) deceased on the floor. Belvin appeared to have suffered multiple sharp force

    injuries that led investigators to believe his death was a homicide.

    On February 25, 2015, a search warrant was executed at the residence of Dan Belvin, located at

    531 Randolph Road, Apt. 206B, Silver Spring, Montgomery County, Maryland. While on scene,

    investigators obtained and reviewed Dan Belvin's cell phone log. There were numerous calls

    from a subject identified on the victim's phone as "Eric Dyson" that were dated Thursday,

    February 19, 2015. Investigation revealed that Eric Sylvester Dyson (B/M/DOB: 03-25-1954)

    resides in the same apartment complex as Dan Belvin. Eric Dyson resides at 531 Randolph Road,

    Apt. 219B, Silver Spring, Montgomery County, Maryland. Interviews reveal that Dan Belvin was

    3

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    LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    ............................................

    ............................................

    MAFIS NAME (LAST, FIRST, M.I.)

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    PC DC/CR 4A (Rev. 4/02)

    DEFENDANT'S NAME (LAST, FIRST, M.I.)

    (CONTINUED)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A)

    Page ______ of ______

    15008745

    5d00337342

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    last known to be alive on Thursday, February 19, 2015. During the search of Dan Belvin's

    apartment, several emphatic notes were written on a calendar, dated February 19th and 20th, and

    were located on his bedside table. Additionally, a note Dan Belvin had written to himself,

    specifically listed his need to obtain his vehicle keys from Eric Dyson. During the search of

    Dan Belvin's apartment, investigators were also unable to locate Dan Belvin's wallet and CreditCards. As Dan Belvin did not have any immediate family in the area, it is unknown whether other

    items of Belvins property were taken during the murder.

    While on scene, investigators also reviewed Belvins cell phone voicemails and noted that there

    were numerous messages on the phone. One of these messages was from Navy Federal Credit Union

    (NFCU), making an inquiry regarding suspicious activity on Belvins bank card. A records

    request was made to NFCU and it was learned that Belvins NFCU card was used on February 19,

    2015 at 2104 hours for a balance inquiry. Immediately after this transaction, $300 was

    withdrawn from Belvins account. This transaction occurred at 12405 Georgia Avenue (7-11), in

    close proximity to the crime scene. Further investigation revealed that a Navy Federal Credit

    Union card belonging to Dan Belvin was used fraudulently at several different locations, for a

    total loss of approximately $5532.39 between February 20, 2015 and February 23, 2015. Eric

    Dyson was also observed using Dan Belvin's stolen credit card via store surveillance cameras.

    The investigation revealed that Eric Dyson had been using Dan Belvin's vehicle, described as a

    2000 Ford Dodge Intrepid 4 door, MD registration: 79764HV, and that Dan Belvin had requested

    that Eric Dyson return his vehicle keys. While on the scene, investigators discovered Dan

    Belvin's vehicle had been driven from the parking lot and could no longer be located.

    On February 24, 2015, a staff member of Randolph Village Apartment Complex observed Eric Dyson

    operating and parking Dan Belvin's vehicle in the parking lot. Eric Dyson was arrested and

    transported to Police Safety Headquarters to be interviewed. Eric Dyson elected to provide a

    Defendant Copy

    TRACKING NO. __________________________________ CBF NO. ______________________________156337267041 MON150560072

    DATE:

    TIME:

    02/25/201507:53

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    ROCKVILLE (City / County)

    2

    X

    ,

    3

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    LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    ............................................

    ............................................

    MAFIS NAME (LAST, FIRST, M.I.)

    STATEMENT OF PROBABLE CAUSEARREST ON TRAFFIC / NATURAL RESOURCES / MASS TRANSIT CITATIONS / CRIMINAL CHARGES / MUNICIPAL ORDINANCES / PUBLIC LOCAL LAWS

    PC DC/CR 4A (Rev. 4/02)

    DEFENDANT'S NAME (LAST, FIRST, M.I.)

    (CONTINUED)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 4A)

    Page ______ of ______

    15008745

    5d00337342

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DYSON, ERIC, S

    statement after being read his Miranda Rights, via MCP 50. Eric Dyson alleged that he exchanged

    sexual favors with Dan Belvin for money and the use of his vehicle. Eric Dyson admitted to

    stabbing Dan Belvin in response to alleged unwelcomed sexual advances.

    All of the above events occurred in Montgomery County, Maryland.

    Defendant Copy

    TRACKING NO. __________________________________ CBF NO. ______________________________156337267041 MON150560072

    DATE:

    TIME:

    02/25/201507:53

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BESTOF MY KNOWLEDGE, INFORMATION AND BELIEF.

    DATE

    AGENCY SUB-AGENCY I.D. NO.

    ARRESTING OFFICER

    DISTRICT COURT

    CASE NUMBER

    02/25/2015

    MCP HQ15 1426

    ROCKVILLE (City / County)

    3

    X

    ,

    3

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    TO THE PERSON CHARGED:

    1. This paper charges you with commiting a crime.2. If you have been arrested, you have the right to have a judicial officer decide whether you should be released

    from jail until your trial.3. You have the right to have a lawyer.4. A lawyer can be helpful to you by:

    (A) explaining the charges in this paper; (B) telling you the possible penalties; (C) helping you at trial; (D) helping you protect your constitutional rights; and (E) helping you to get a fair penalty if convicted.5. Even if you plan to plead guilty, a lawyer can be helpful.6. If you want a lawyer but do not have the money to hire one, the Public Defender may provide a lawyer for you.

    The court clerk will tell you how to contact the Public Defender.7. If you want a lawyer but you cannot get one and the Public Defender will not provide one for you, contact the

    court clerk as soon as possible.8. DO NOT WAIT UNTIL THE DATE OF YOUR TRIAL TO GET A LAWYER. If you do not have a lawyer

    before the trial date, you may have to go to trial without one.

    RECEIPT

    I have read or have had read to me the contents of the above notice and acknowledge receipt of a copy thereof.

    RETURN OF SERVICE

    Detention Facility

    Signature of Peace Officer

    Title

    NOTICE OF ADVICE OF RIGHT TO COUNSEL

    Date

    Date

    Signature of Defendant

    Commissioner I.D. No.

    I certify that at ______________ o'clock ___________ on __________________________ at ________

    ___________________________________________________ , I executed this Statement of Charges by

    arresting the Defendant and delivered a copy of the Statement of Charges to the Defendant.

    02/25/20157:53

    CPU - CPU

    CPU - CPU

    1307 Seven Locks Road , ROCKVILLE, MARYLAND 20854

    Date

    AM

    Place

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)RELATED CASES:

    COMPLAINANT DEFENDANT

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    1 0990

    1 2399

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did feloniously, willfully and of deliberately premeditated malice aforethought kill and murder Dan Belvin.

    ...did [take/take possession of/take custody of/take control of] a credit card belonging to Dan Belvin without his consent.

    DATE:

    TIME:

    02/25/201507:53

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _______________;

    MD. ANN. CODE ART _______ SEC. _______________;

    COMMON LAW OF MD: _______________ ;

    COMMON LAW OF MD: _______________ ;

    PUB. LOCAL LAW ART. ______ SEC. _______

    PUB. LOCAL LAW ART. ______ SEC. _______

    COMAR OR AGENCY CODE NO. _________________;

    COMAR OR AGENCY CODE NO. _________________;

    ORDINANCE NO. ________________ ;

    ORDINANCE NO. ________________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE ___________

    COMMISSIONER INITIALS ID

    COMMISSIONER INITIALS ID

    __________ _____

    __________ _____

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DOMESTIC VIOLENCE

    VULNERABLE ADULT ABUSE

    HATE CRIME

    CHILD ABUSE

    BULLOCK, C.

    MCP 1426HQ15

    240) 773- 5000 ( )

    MCPD HEADQUARTERS, 100 Edison Park Drive

    ROCKVILLE 20878MARYLAND

    NAME (LAST, FIRST, M.I.) TITLE

    I.D. NO. D.O.B (MM/DD/YY)RACE SEX HT WT

    CC/OCA

    DRIVER'S LICENSE # STATE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE

    DYSON, ERIC, S

    MaleB 03/25/1954

    531 Randolph rd #219B

    WHEATON 20904MARYLAND

    D250234782239

    6' 2" 195

    NAME (LAST, FIRST, M.I.) TITLE

    WORK TELEPHONE HOME TELEPHONE

    ( ) ( )

    HAIR EYES OTHER DESCRIPTION

    BROBLD

    PROBABLE CAU

    PROBABLE CAU

    Y

    Y

    N

    N

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERSAND FACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OFMY KNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. _______________156337267041 MON150560072

    DISTRICT COURT

    CASE NUMBER50 Maryland AvenueROCKVILLE, MARYLAND 20850

    DEFENDANT'S NAME (LAST, FIRST, M.I.)DYSON ERIC, S

    MAFIS NAME (LAST, FIRST, M.I.) TITLE

    ROCKVILLE (City / Coun

    X

    X

    CR

    CR

    2- 201

    8- 204(a)(i)

    1

    2

    Law Enforcement Copy

    Page 1 of 4

    CJIS CODE

    CJIS CODE

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    X

    ,

    02/25/2015

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    2 2803

    2 2803

    1 1241

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    did receive a credit card belonging to Dan Belvin, knowing it to have been stolen, with the intent to use to a person other than DanBelvin.

    ...did, with intent to defraud Navy Federal Credit Union, use a credit card issued to Dan Belvin, for the purpose of obtaining things ofvalue] having a value of $5532.39, at least $1,000 but below $10,000 knowing the said card to have been stolen.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 204(a)(ii)

    8- 204(a)(ii)

    8- 206(a)(1)

    3

    4

    5

    (CONTINUED)

    Law Enforcement Copy

    Page ______ of ______42

    ,

    X

    02/25/2015

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 1257

    2 0560

    1 1260

    CR

    CR

    CR

    02/24/2015

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did receive things of value to wit: US Currency having a value of $5532.39, at least $1,000 but less than $10,000, obtained by means ofa forged or misrepresented credit card issued to Dan Belvin and negotiated by Eric Dyson, knowing the said [money/goods] was illegallyobtained.

    did unlawfully disclose the holder' s signature of Dan Belvin.

    ...did knowingly, willfully, and with fraudulent intent possess personal identifying information of Dan Belvin, without the consent of saidDan Belvin, for the purpose of using that information to obtain a benefit/obtain other item of value in the name of Dan Belvin.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    X

    CR

    CR

    CR

    8- 209(a)

    8- 214

    8- 301(b)

    6

    7

    8

    (CONTINUED)

    Law Enforcement Copy

    Page ______ of ______43

    X

    02/25/2015

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    15008745LOCAL INCIDENT#:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)............................................

    RELATED CASES:

    ............................................

    ............................................

    DC/CR 2 (Rev. 10/2000)

    CONTINUED ON ATTACHED SHEET (FORM DC/CR 2A)

    STATEMENT OF CHARGESIT IS FORMALLY CHARGED THAT THE DEFENDANT

    5d00337342

    CJIS CODE

    CJIS CODE

    CJIS CODE

    AR

    AR

    AR

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    ON OR ABOUT (DATE)

    AT (PLACE)

    AT (PLACE)

    AT (PLACE)

    1 0632

    2 2411

    CR

    CR

    02/24/2015

    02/24/2015

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    531 Randolph, WHEATON, Montgomery County, MARYLAND 20904

    ...did, between the dates of 02/20/2015 and 02/23/2015, pursuant to one scheme and continuing course of conduct, steal$5532.39property of Dan Belvin having a value of at least $1,000 but less than $10,000, in violation of CR 7- 104 of the Annotated Code ofMaryland.

    ...did without permission, take and carry away from the use of Dan Belvin, a 2004 Dodge Intrepid, bearing MD tag 79764HV, with theintent to temporarily deprive Dan Belvin of the use and possession of said property.

    DATE:

    TIME:

    02/25/2015

    07:53

    DISTRICT COURT

    CASE NUMBER

    I SOLEMNLY AFFIRM UNDER THE PENALTIES OF PERJURY THAT THE MATTERS ANDFACTS SET FORTH IN THE FOREGOING DOCUMENT ARE TRUE TO THE BEST OF MYKNOWLEDGE, INFORMATION AND BELIEF.

    AGENCY SUB-AGENCY I.D. NO.

    DATE PEACE OFFICER

    TRACKING NO. _______________________ CBF NO. ________________156337267041 MON150560072

    50 Maryland AvenueROCKVILLE, MARYLAND 20850

    MAFIS NAME (LAST, FIRST, M.I.)DEFENDANT'S NAME (LAST, FIRST, M.I.)

    DYSON, ERIC, S 03/25/1954

    D.O.B.

    ROCKVILLE (City / County)

    IN VIOLATION OF:

    IN VIOLATION OF:

    IN VIOLATION OF:

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    MD. ANN. CODE ART _______ SEC. _____________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    COMMON LAW OF MD: ___________;

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    PUB. LOCAL LAW ART. ______ SEC. ________

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    COMAR OR AGENCY CODE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    ORDINANCE NO. ______________ ;

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    AGAINST THE PEACE,GOVERNMENT ANDDIGNITY OF THE STATE __________

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    COMMISSIONER INITIALS ID NO.

    __________ ________

    __________ ________

    __________ ________

    PROBABLE CAUSE

    PROBABLE CAUSE

    PROBABLE CAUSE

    Y

    Y

    Y

    N

    N

    N

    X

    X

    CR

    CR

    7- 104

    7- 203

    9

    10

    (CONTINUED)

    Law Enforcement Copy

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    15008745LOCAL INCIDENT #: DATE:TIME:

    DISTRICT COURT OF MARYLAND FOR MONTGOMERY COUNTY

    LOCATED AT (COURT ADDRESS)

    ............................................

    RELATED CASES:

    NAME (LAST, FIRST, M.I.) TITLE

    ............................................

    ............................................

    NAME (LAST, FIRST, M.I.) TITLE

    AGENCY SUB-AGENCY I.D. NO. (POLICE)

    WORK TELEPHONE HOME TELEPHONE

    ADDRESS APT. NO.

    CITY ZIP CODESTATE