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Defendant: GENENE JONES

JN#: 1797060-1
CLERK'S ORIGINAL FILED
Address: 8862 ROCHELL, SAN ANTONIO, TX -
O'CLOCK_____ M

JUN 2 9 2017
Complainant:
DONNA KAY MçKINNEY
DISTRICT CLERK
CoDefendants: BEXAR JOUNTY, TEXAS

Offense Code/Charge: 090420 MURDER-NONFAMILY


-

DEPUTY
GJ: 652212 PH Court: MAG NO:
Court #: SID #:354967 Cause #: 2017- CR-7192
Witness: State's Attorney

TRUE BILL OF INDICTMENT

IN THE NAME AND BY AUTHORITY OF THE STATE OF TEXAS, the Grand Jury of Bexar County, State of
Texas, duly organized, empanelled and sworn as such at the May term, A.D., 2017, of the
311
Judicial District Court of said County, in said Court, at said term, do present in and to said Court that in the
County and State aforesaid, and anterior to the presentnient of this indictment:
PARAGRAPH A

On or about the 17th Day of January, 1982, GENENE JONES, hereinafter referred to as the defendant, did then
and there intentionally or knowingly cause the death of an individual, namely, PATRICK ZAVALA, hereinafter
referred to as the complainant, by causing the improper introduction of a substance Unknown to the Grand Jury
into the body of the complainant.

PARAGRAPH B

On or about the 17th Day of January, 1982, GENENE JONES, hereinafter referred to as the defendant, did then
and there, with intent to cause serious bodily injury to an individual, namely, PATRICK ZAVALA, hereinafter
referred to as the complainant, commit an act clearly dangerous to human life that caused the death of the
complainant by causing the improper introduction of a substance unknown to the Grand Jury into the body of the
complainant.
Os
PARAGRAPH C

On or about the 17th Day of January, 1982, GENENE JONES, hereinafter referred to as the defendant, did then
and there intentionally or knowingly commit or attempt to commit the felony offense of INJURY TO A CHILD,
and while in the course of or in furtherance of or in immediate flight from the commission or the attempted
0) commission of this offense, the defendant did then and there commit or attempt to commit an act clearly
dangerous to human life, to wit; by causing the improper introduction of a substance Unknown to the Grand Jury
,-1 into the body of PATRICK ZAVALA, thereby causing the death of an individual, namely: PATRICK ZAVALA;

AGAINST THE PEACE AND DIGNITY OF THE STATE.

F reman of the G and Jury

co
INDICTMENT - CLERK'S ORIGINAL
a
Defendant: GENENE JONES
JN#: 1783214-1
CLERK'S ORIGINAL FILED
Address: 8862 ROCHELL, SAN ANTONIO, TX _O'CLOCKM

Complainant:
MAY 2 5 201?
DONNA KAY MgKINNEY
DISTRICT CLERK
CoDefendants:

Offense Code/Charge: 090420 MURDER-NONFAMILY


-

GJ: 646416 PH Court: MAG NO:


Court #: SID#:354967 Cause#:
201 7- CR -5730
Witness: State's Attorney

TRUE BILL OF INDICTMENT

IN THE NAME AND BY AUTHORITY OF THE STATE OF TEXAS, the Grand Jury of Bexar County, State of
Texas, duly organized, empanelled and sworn as such at the May term, A.D., 2017, of the 399
Judicial District Court of said County, in said Court, at said term, do present in and to said Court that in the
County and State aforesaid, and anterior to the presentment of this indictment:

COUNT ONE

PARAGRAPH A

On or about the 12th Day of December, 1981, GENENE JONES, hereinifter referred to as the defendant, did
then and there intentionally or knowingly cause the death of an individual, namely, JOSHUA SAWYER,
hereinafter referred to as the complainant, by causing the introduction of DILANTIN otherwise known as
,

PHENYTOIN, into the body of the complainant.

PARAGRAPH B

On or about the 12th Day of December, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there, with intent to cause serious bodily injury to an individual, namely, JOSHUA SAWYER,
? hereinafter referred to as the complainant, commit an act ôlearly dangerous to human life that caused the death
of the complainant by causing the introduction of DILANTIN otherwise known as PHENYTOIN, into the body of
the complainant.
C.
PARAGRAPH C
*
t- On or about the 12th Day of December, 1981, GENENE JONES, hereinafter referred to as the defendant, did
'
then and there intentionally or knowingly cause the death of an individual, namely, JOSHUA SAWYER,
C hereinafter referred to as.the complainant, by causing the introduction of a substance Unknown to the Grand
Jury into the body of the complainant.

PARAGRAPHD
S
eq
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INDICTMENT- CLERK'S ORIGINAL
Defendant: GENENE JONES
JN #: 1783214-1
On or about the 12th Day of December, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there, with intent to cause serious bodily injury to an individual, namely, JOSHUA SAWYER,
hereinafter referred to as the complainant, commit an act clearly dangerous to human life that caused the death
of the complainant by causing the introduction of a substance unknown to the Grand Jury into the body of the
complainant.

AGAINST THE PEACE AND DIGNITY OF THE STATE.

F&eman of th
thee Jury

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C
Defendant: GENENE JONES
JN#: 1815543-1
CLERK'S ORIGINAL FILED
Address: 8862 ROCHELL, SAN ANTONIO, TX _O'CLOCK_____ M
OCT 3 1 itt?
Complainant:
DONNA KAY MQXINNEY
DISTRICT CLERK
CoDefendants: -

Offense CodelCharge: 090420 MURDER-NONFAMILY


-

GJ: 659413 PH Court: NIAG NO:


Court #:93lD #:354967 Cause #:
Witness: State's Attorney 2011- CR1 1745
TRUE BILL OF INDICTMENT

IN THE NAME AND BY AUTHORITY OF THE STATE OF TEXAS, the Grand Jury of Bexar County, State of
Texas, duly organized, empaneled and sworn as such at the September term, A.D., 2017, of the
Judicial District Court of said County, in said Court, at said term, do present in and to said Court that in the
County and State aforesaid, and anterior to the presentment of this indictment:
PARAGRAPH A

On or about the 24th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there intentionally or knowingly cause the death of an individual, namely, PAUL VILLARREAL,
hereinafter referred to as the complainant, by causing the improper introduction of HEPARIN into the body of the
complainant.

PARAGRAPH B

On or about the 24th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there intentionally or knowingly cause the death of an individual, namely, PAUL VILLARREAL,
hereinafter referred to as the complainant, by causing the improper introduction of a substance Unknown to the
Grand Jury into the body of the complainant.

PARAGRAPH C

On or about the 24th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there, with intent to cause serious bodily injury to an individual, namely, PAUL VILLARREAL,
hereinafter referred to as the complainant, commit an act clearly dangerous to human life that caused the death
of the complainant by causing the improper introduction of HEPARIN into the body of the complainant.

On or about the 24th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there, with intent to cause serious bodily injury to an individual, namely, PAUL VILLARREAL,
hereinafter referred to as the complainant, commit an act clearly dangerous to human life that caused the death
of the complainant by causing the improper introduction of a substance unknown to the Grand Jury into the body
of the complainant.
INDICTMENT - CLERK'S ORIGINAL

/
Defendant: GENENE JONES
JN#: 1815543-1

PARAGRAPH E

On or about the 24th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there intentionally or knowingly commit or attempt to commit the felony offense of INJURY TO A
CHILD, and while in the course of or in furtherance of or in immediate flight from the commission or the
attempted commission of this offense, the defendant did then and there commit or attempt to commit an act
cleatly dangerous to human life, to wit; by causing the improper introduction of HEPARIN into the body of PAUL
VILLARREAL, thereby causing the death of an individual, namely: PAUL VILLARREAL;

PARAGRAPH F

On or about the 24th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there intentionally or knowingly commit or attempt to commit the felony offense of INJURY TO A
CHILD, and while in the course of or in furtherance of or in immediate flight from the commission or the
attempted commission of this offense, the defendant did then and there commit or attempt to commit an act
clearly dangerous to human life, to wit; by causing the improper introduction of a substance Unknown to the
Grand Jury into the body of PAUL VILLARREAL, thereby causing the death of an individual, namely: PAUL
VILLARREAL;

AGAINST THE PEACE AND DIGNITY OF THE STATE.

Panof the GraJu C

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Id)

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,t.I
Defendant: GENENE JONES
JN#: 1797059-1
CLERK'S ORIGINAL FILED
Address: 8862 ROCHELL, SAN ANTONIO, TX O'CLOCK_____ M

JUN 2 0 2017
Complainant:
DONNA KAY MgKINNEY
DISTRICT CLERK
CoDefendants: BEXAR COUNTY, TEXAS
u.n. I A
Offense CodelCharge: 090420 MURDER-NONFAMILY
-

DEPUTY
GJ: 651911 PH Court: MAG NO:
Court #: SID#:354967 Cause#:
'201 7- CR 7191 -

Witness: State's Attorney

TRUE BILL OF INDICTMENT

IN THE NAME AND BY AUTHORITY OF THE STATE OF TEXAS, the Grand Jury of Bexar County, State of
Texas, duly organized, empanelled and sworn as such at the May term, A.D., 2017, of the 6-1
Judicial District Court of said County, in said Court, at said term, do present in and to said Court that in the
County and State aforesaid, and anterior to the presentment of this indictment:
PARAGRAPH A

On or about the 3rd Day of July, 1981, GENENE JONES, hereinafter referred to as the defendant, did then and
there intentionally or knowingly cause the death of an individual, namely, RICHARD NELSON, hereinafter
referred to as the complainant, by causing the improper introduction of a substance Unknown to the Grand Jury
into the body of the complainant.

PARAGRAPH B

On or about the 3rd Day of July, 1981, GENENE JONES, hereinafter referred to as the defendant, did then and
there, with intent to cause serious bodily injury to an individual, namely, RICHARD NELSON, hereinafter
referred to as the complainant, commit an act clearly dangerous to human life that caused the death of the
complainant by causing the improper introduction of a substance unknown to the Grand Jury into the body of the
complainant. -

PARAGRAPH C

On or about the 3rd Day of July, 1981, GENENE JONES, hereinafter referred to as the defendant, did then and
there intentionally or knowingly commit or attempt to commit the felony offense of INJURY TO A CHILD, and
while in the course of or in furtherance of or in immediate flight from the commission or the attempted
commission of this offense, the defendant did then and there commit or attempt to commit an act clearly
dangerous to human life, to wit; by causing the improper introduction of a substance Unknown to the Grand Jury
into the body of RICHARD NELSON, thereby causing the death of an individual, namely: RICHARD NELSON;

AGAINST THE PEACE AND DIGNITY OF THE STATE.

Fó/emah of G3d Jury


INDICTMENT - CLERK'S ORIGINAL
Defendant: GENENE JONES
JN#: 1793440-1
CLERK'S ORIGINAL FILED
Address: 8862 ROCHELL, SAN ANTONIO, TX O'CLOCK M

JUN 2 1 2017
Complainant:
DONNA KAY MgKINNEY
DISTRICT CLERK
CoDefendants:

Offense Code/Charge: 090420 MURDER-NONFAMILY


-
rflZL
GJ: 649999 PH Court: MAG NO:
Court #: SID #:354967 Cause #:
7fl17- PP-67&c
Witness: State's Attorney

TRUE BILL OF INDICTMENT

IN THE NAME AND BY AUTHORITY OF THE STATE OF TEXAS, the Grand Jury of Bexar County, State of
Texas, duly organized, empanelied and sworn as such at the May term, A.D., 2017, of the
Judicial District Court of said County, in said Court, at said term, do present in and to said Court that in the
County and State aforesaid, and anterior to the presentment of this indictment:
PARAGRAPH A

On or about the 16th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
then and there intentionally or knowingly Cause the death of an individual, namely, ROSEMARY VEGA,
hereinafter referred to as the complainant, by causing the improper introduction of a substance Unknown to the
Grand Jury into the body of the complainant.

PARAGRAPH B

On or about the 12th Day of 16th Day of September, 1981, GENENE JONES, hereinafter referred to as the
defendant, did then and there, with intent to cause serious bodily injury to an individual, namely, ROSEMARY
VEGA, hereinafter referred to as the complainant, commit an act clearly dangerous to human life that caused
the death of the complainant by causing the improper introduction of a substance unknown to the Grand Jury
into the body of the complainant.
".4
(A;) PARAGRAPH C
41.4
On or about the 16th Day of September, 1981, GENENE JONES, hereinafter referred to as the defendant, did
& then and there intentionally or knowingly commit or attempt to commit the felony offense of INURY TO A CHILD,
and while in the course of or in furtherance of or in immediate flight from the commission or the attempted
commission of this offense, the defendant did then and there commit or attempt to commit an act clearly
('It, dangerous to human life, to wit; by causing the improper introduction of a substance Unknown to the Grand Jury
into the body of ROSEMARY VEGA, thereby causing the death of an individual, namely: ROSEMARY VEGA;

AGAINST THE PEACE AND DIGNITY OF THE STATE.


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INDICTMENT - CLERK'S ORIGINAL

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