Complaint State of Minnesota vs. Melissa Hokanson

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    _____________________________________________________________________________

    STATE OF MINNESOTA DISTRICT COURTCOUNTY OF DAKOTA FIRST JUDICIAL DISTRICT

    COURT FILE NO. ________________COUNTY ATTORNEY FILE NO.: CA-10-2152CONTROLLING AGENCY: MN0190000

    CONTROL NUMBER: 09001094_____________________________________________________________________________

    State of Minnesota,

    Plaintiff, [ ] SUMMONS[X] WARRANT

    [ ] ORDER OF DETENTION

    v. [ ] AMENDED

    MELISSA LOUISE HOKANSON

    30685 Foliage AvenueNorthfield, MN 55057DOB: 03/03/91,

    Defendant.

    COMPLAINT

    The Complainant, being duly sworn, makes complaint to the above-named Court and

    states that there is probable cause to believe that the Defendant committed the following

    offense(s):

    COUNT I

    MANSLAUGHTER IN THE SECOND DEGREE (CHILD NEGLECT)

    M.S. 609.205, subd.1(5); 609.378; and 609.1010-10 years and/or $6,000-$20,000MOC: H5904 GOC: N[X] Felony [ ] Gross Misdemeanor [ ] Misdemeanor [ ] Petty Misdemeanor

    That on or about June 19 through June 23, 2009, in part in Dakota County, Minnesota,MELISSA LOUISE HOKANSON did cause the death of another by committing or attemptingto commit neglect of a child in violation of Minn. Stat. 609.378, subd.1(a)(1).

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    COUNT II

    NEGLECT OF A CHILD

    M.S. 609.378, subd.1(b)(1); and 609.1010-5 years and/or $3,000-$10,000

    MOC: I1062 GOC: N[X] Felony [ ] Gross Misdemeanor [ ] Misdemeanor [ ] Petty Misdemeanor

    That on or about June 19 through June 23, 2009, in part in Dakota County, Minnesota,MELISSA LOUISE HOKANSON, being a parent, legal guardian, or caretaker, did willfullydeprive a child of necessary health care or supervision appropriate to the childs age when

    the defendant was reasonably able to make the necessary provisions, and the deprivationcaused substantial harm to the child.

    COUNT III

    NEGLECT OF A CHILDM.S. 609.378, subd.1(a)(1); and 609.1010-1 year and/or $900-$3,000MOC: I2064 GOC: N[ ] Felony [X] Gross Misdemeanor [ ] Misdemeanor [ ] Petty Misdemeanor

    That on or about June 19 through June 23, 2009, in part in Dakota County, Minnesota,MELISSA LOUISE HOKANSON, being a parent, legal guardian, or caretaker, did willfullydeprive a child of necessary health care or supervision appropriate to the childs age when

    the defendant was reasonably able to make the necessary provisions, and the deprivationcaused substantial harm to the child and the deprivation did harm or was likely tosubstantially harm the child's physical, mental, or emotional health .

    STATEMENT OF PROBABLE CAUSE

    The Complainant states that the following facts establish probable cause:

    Your Complainant is an investigator with the Dakota County Sheriffs Office. In that

    capacity I have reviewed the police reports and believe the following to be true.

    On June 23, 2009, paramedics were called to a Maiden Rock, Wisconsin, address on a

    report of a 17-month-old infant who was not breathing and who was non-responsive.

    Paramedics responded and observed a 17-month-old child having CPR performed on him.

    Paramedics took over resuscitation efforts but were unable to revive the child, who was

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    subsequently pronounced dead at the Chippewa Valley, Wisconsin, hospital. He had multiple

    bruises on his face.

    A medical examination was conducted and the medical examiner determined that the

    child, N.A.M., date of birth 01/15/2008, had died of blunt force trauma, a subdural hematoma,

    and a fracture to the back which caused lymphatic fluid to leak into his lung cavity and compress

    his lungs. Based on his review of the injuries, the medical examiner believed that the injuries

    were inflicted approximately two to four days prior to the victims death, which would have their

    infliction occurring in the city of Northfield, Dakota County, Minnesota, where the victims

    step-father and mother, Melissa Louise Hokanson, date of birth 3/31/91 (defendant herein) were

    residing prior to leaving for Maiden Rock, Wisconsin, on Monday, June 22, 2009. Based on that

    information, the Dakota County Sheriffs Department took over investigation of the offense and

    began interviewing numerous family members, including the victims step-father Tylar

    Hokanson, the victims father B.M., and the defendant.

    Investigators learned from B.M., who had custody of the victim the week before his death

    that, while he was walking a little bit slower than normal, he appeared to be healthy, had a good

    appetite, and had no issues with movement. B.M. indicated that he returned the victim to Tylar

    Hokanson and the defendants home on June 19, 2009 at approximately 2:00 p.m. to the care of

    the victims aunt. At the time that B.M. dropped the victim off, the victim reached for him,

    screamed for him, and struggled to be with him instead of being left at Tylar Hokanson and the

    defendants home.

    Investigators subsequently learned that on June 19, 2009, at approximately 8:00 p.m.,

    Tylar Hokanson shook N.A.M. no less than fifteen times with significant force. The defendant

    walked into the room where Tylar Hokanson was assaulting the victim just after the assault

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    completed and after she heard the victim cry out and took the victim away from Tylar Hokanson.

    Both Tylar Hokanson and the defendant acknowledge watching the victim decline in health over

    the next four days. The defendant indicated that the victim appeared to lose color, had difficulty

    in movement, and had no appetite on Saturday, June 20, 2009. On Sunday, June 21, 2009, the

    defendant indicated that the victim continued to decline and continued to lose color, did not have

    interest in eating or activities, and a photograph was taken where the victim clearly looked to be

    in pain on June 21, 2009. The victim continued to have difficulty in movement and continued to

    have no appetite. He was also sweaty and was beginning to have difficulty breathing. Both

    Saturday, June 20, and Sunday, June 21, passed with the defendant not seeking medical care for

    the victim.

    On Monday, June 22, 2009, the victim continued to decline and had difficulty breathing,

    difficulty in movement, and when he walked his knees appeared to give out from under him.

    Instead of seeking medical attention at this point, the defendant and Tylar Hokanson put the

    children in the car and brought them to Maiden Rock, Wisconsin, where Tylar Hokansons

    mother and step-father resided. The victim continued to have difficulty breathing, he was

    sweaty, he exuded a body odor, and appeared to be in discomfort and pain. On Monday, June

    22, 2009, the defendant and Tylar Hokanson failed to seek medical attention for the victim. The

    defendant indicated she and Tylar Hokanson had brought the victim in previously when he was

    behaving this way and the doctors had sent him home with a nebulizer treatment.

    According to the victims step-grandmother, R.H., the victim did not sleep the night of

    June 22, 2009. The victim tossed and turned and repeatedly said, Mama. When told this the

    following morning, the defendant administered a nebulizer treatment to the victim, thinking that

    perhaps he was having an asthma attack, but still failed to get medical assistance for him on

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    Tuesday, June 23, 2009. At approximately 5:00 p.m. on June 23, 2009, the victim turned blue,

    and family members began to perform CPR on him. The victim could not be revived and

    subsequently died as a result of the injuries inflicted by Tylar Hokansons on June 19, 2009. For

    four days, the victim went without medical care before his death on June 23, 2009. Both the

    medical examiner and a pediatric child abuse expert indicated that with medical intervention the

    victim could have survived the injuries that caused his death.

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    NOTICE: You must appear for every court hearing on this charge. A failure

    to appear for court on this charge is a criminal offense and may be punished as

    provided in Minn. Stat. 609.49.

    Complainant requests that Defendant, Melissa Louise Hokanson, subject to bail or conditions ofrelease, be:

    (1)arrested or that other lawful steps be taken to obtain Defendants appearance in court, or(2)detained, if already in custody, pending further proceedings, and that said Defendantotherwise be dealt with according to law.

    COMPLAINANTS NAME COMPLAINANTS SIGNATURE

    ______________________________ _______________________________

    Subscribed and sworn to before the undersigned this _____ day of _______________, 2010.

    NOTARY STAMP: SIGNATURE

    _______________________________

    Notary Public

    Being authorized to prosecute the offenses charged, I approve this complaint.

    Date: (ajh) PROSECUTING ATTORNEY SIGNATURE:

    _____________________________________Name: James C. Backstrom

    Dakota County AttorneyDakota County Judicial Center1560 Highway 55Hastings MN 55033(651) 438-4438Attorney Registration No.: 3797

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    FINDING OF PROBABLE CAUSEFrom the above sworn facts, and any supporting affidavits or supplemental sworn testimony, I, the Issuing Officer, havedetermined that probable cause exists to support, subject to bail or conditions of release where applicable, Defendants arre stor other lawful steps be taken to obtain Defendants appearance in court, or Defendants detention, if already in custody,pending further proceedings. Defendant is therefore charged with the above-stated offense.

    [ ] SUMMONSTHEREFORE YOU, THE ABOVE-NAMED DEFENDANT, ARE HEREBY SUMMONED to appear on the date stated onthe attached Notice of Hearing before the above-named court at Dakota County Judicial Center, 1560 Highway 55, Hastings,Minnesota, 55033 to answer this complaint.

    IF YOU FAIL TO APPEAR in response to this SUMMONS, a WARRANT FOR YOUR ARREST shall be issued .

    [X] WARRANTTo the Sheriff of the above-named county; or other person authorized to execute this warrant: I hereby order, in the name ofthe State of Minnesota, that the above-named Defendant be apprehended and arrested without delay and brought promptlybefore the above-named court (if in session), and if not, before a Judge or Judicial Officer of such court without unnecessary

    delay, and in any event not later than 36 hours after the arrest or as soon as such Judge or Judicial Officer is available to bedealt with according to law.

    [ ]Execute in MN Only [X]Execute Nationwide [ ]Execute in MN and Border States

    [ ] ORDER OF DETENTIONSince the above-named Defendant is already in custody, I hereby order, subject to bail or conditions of release, that theabove-named Defendant continue to be detained pending further proceedings.

    Bail: $Conditions of Release:

    This complaint, duly subscribed and sworn to, issued by the undersigned Judicial Officer this

    13th

    day of December , 2010.

    JUDICIAL OFFICER: SIGNATURE:

    NAME:

    TITLE: Judge of District Court __________/s/_________________________

    Judge

    COUNTY OF DAKOTASTATE OF MINNESOTA

    Clerks Signature or File Stamp

    STATE OF MINNESOTA

    Plaintiff,

    vs.

    MELISSA LOUISE HOKANSON,

    Defendant.

    RETURN OF SERVICEI hereby Certify and Return that I have served a copy of this

    COMPLAINT upon the Defendant herein named.

    Signature of Authorized Service Agent:

    _______________________________________