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Holly Crahay Case

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    INFORMATION - 1

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    24Daniel T. Satterberg, Prosecuting AttorneyW554 King County Courthouse516 Third AvenueSeattle, Washington 98104

    (206) 296-9000, FAX (206) 296-0955

    SUPERIOR COURT OF WASHINGTON FOR KING COUNTY

    THE STATE OF WASHINGTON,Plaintiff,

    v.

    HOLLY MARRIE CRAHAY,

    Defendant.

    ))))

    )))))

    No. 11-1-08015-0 SEA

    INFORMATION

    COUNT I

    I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and by theauthority of the State of Washington, do accuse HOLLY MARRIE CRAHAY of the crime ofUnlawful Possession of a Firearm in the Second Degree, committed as follows:

    That the defendant HOLLY MARRIE CRAHAY in King County, Washington, on orabout September 12, 2011, previously having been convicted in August 2000 of Assault in theFourth Degree - Domestic Violence, a crime committed on or after July 1, 1993, against a familyor household member, knowingly did own, have in her possession or have in her control, arevolver, a firearm as defined in RCW 9.41.010;

    Contrary to RCW 9.41.040(2)(a)(i), and against the peace and dignity of the State ofWashington.

    COUNT II

    And I, Daniel T. Satterberg, Prosecuting Attorney aforesaid further do accuse HOLLYMARRIE CRAHAY of the crime ofFelony Harassment - Domestic Violence, based on aseries of acts connected together with another crime charged herein, committed as follows:

    That the defendant HOLLY MARRIE CRAHAY in King County, Washington, on orabout September 23, 2011, knowingly and without lawful authority, did threaten to cause bodily

    FILED

    11 OCT 21 PM 2:27

    KING COUNTY

    SUPERIOR COURT CLERK

    E-FILED

    CASE NUMBER: 11-1-08015-0 SEA

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    INFORMATION - 2

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    24Daniel T. Satterberg, Prosecuting AttorneyW554 King County Courthouse516 Third AvenueSeattle, Washington 98104

    (206) 296-9000, FAX (206) 296-0955

    injury immediately or in the future to Chance Hansen-Noble, by threatening to kill him, and thewords or conduct did place said person in reasonable fear that the threat would be carried out;

    Contrary to RCW 9A.46.020(1), (2), and against the peace and dignity of the State ofWashington.

    And I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and bythe authority of the State of Washington further do accuse the defendant HOLLY MARRIECRAHAY at said time of committing the above crime against a family or household member; acrime of domestic violence as defined under RCW 10.99.020.

    COUNT III

    And I, Daniel T. Satterberg, Prosecuting Attorney aforesaid further do accuse HOLLYMARRIE CRAHAY of the crime ofDomestic Violence Misdemeanor Violation of a CourtOrder, based on a series of acts connected together with another crime charged herein,

    committed as follows:

    That the defendant HOLLY MARRIE CRAHAY in King County, Washington, on orabout September 12, 2011, did know of and willfully violate the terms of a court order issued onMarch 14, 2011 by the SeaTac Municipal Court pursuant to RCW chapter 10.99, for theprotection of Trevor Noble, Jr.;

    Contrary to RCW 26.50.110(1), and against the peace and dignity of the State ofWashington.

    And I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and by

    the authority of the State of Washington further do accuse the defendant HOLLY MARRIECRAHAY at said time of committing the above crime against a family or household member; acrime of domestic violence as defined under RCW 10.99.020.

    COUNT IV

    And I, Daniel T. Satterberg, Prosecuting Attorney aforesaid further do accuse HOLLYMARRIE CRAHAY of the crime ofDomestic Violence Misdemeanor Violation of a CourtOrder, based on a series of acts connected together with another crime charged herein,committed as follows:

    That the defendant HOLLY MARRIE CRAHAY in King County, Washington, on orabout September 15, 2011, did know of and willfully violate the terms of a court order issued onAugust 15, 2005, by the King County Superior Court pursuant to RCW chapter 26.50, for theprotection of Amanda Noble;

    Contrary to RCW 26.50.110(1), and against the peace and dignity of the State ofWashington.

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    INFORMATION - 3

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    24Daniel T. Satterberg, Prosecuting AttorneyW554 King County Courthouse516 Third AvenueSeattle, Washington 98104

    (206) 296-9000, FAX (206) 296-0955

    And I, Daniel T. Satterberg, Prosecuting Attorney for King County in the name and bythe authority of the State of Washington further do accuse the defendant HOLLY MARRIECRAHAY at said time of committing the above crime against a family or household member; acrime of domestic violence as defined under RCW 10.99.020.

    DANIEL T. SATTERBERGProsecuting Attorney

    By:Alexandra E. Voorhees, WSBA #31915Senior Deputy Prosecuting Attorney

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    Prosecuting Attorney CaseSummary and Request for Bailand/or Conditions of Release - 4

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    24Daniel T. Satterberg, Prosecuting AttorneyW554 King County Courthouse516 Third AvenueSeattle, Washington 98104

    (206) 296-9000, FAX (206) 296-0955

    CAUSE NO. 11-1-08015-0 SEA

    PROSECUTING ATTORNEY CASE SUMMARY AND REQUEST FOR BAIL AND/ORCONDITIONS OF RELEASE

    The facts are contained in the Certification for Determination of Probable Cause writtenby Detective Jon C. Holland of the King County Sheriff's Office.

    REQUEST FOR BAIL

    The State requests $60,000 bail. The defendant has a history of domestic violenceassaults against these particular victims and has repeatedly demonstrated her unwillingness toabide by no contact orders issued by this and other courts. Additionally, there is probable causeto believe that she is unlawfully in possession of a firearm and that she may use it to harm herself

    or others, particularly family members. Given the evidence uncovered by the investigation inthis case, it appears the defendant may have significant mental health issues that make her adanger to both herself and the community and that she has a substantial likelihood of committingadditional violent crimes while out on self recognizance. Finally, the defendant has recentwarrant activity, including in two pending Assault cases in June and March of this year involvingthe same victims.

    Signed this _____ day of October, 2011.

    Alexandra E. Voorhees, WSBA #31915

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