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SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO

SAN BERNARDINO J USTICE CENTER DISTRICT


THE PEOPLE OF THE STATE OF CALIFORNIA,
Plaintiff
vs.
Anthony Artell Tolbert ,
Terryl Diamond Morris ,
J amaal Aaron Duncan ,
Damar Sowell ,
Vanessa Everlin Felix ,
Taylor Morgan J ones
Defendants
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COURT CASE NO




FELONY COMPLAINT


DA CASE NO 2014-00-0028243

The undersigned is informed and believes that:
COUNT 1
On or about J anuary 20, 2013, in the above named judicial district, the crime of MURDER,
in violation of PENAL CODE SECTION 187(a), a felony, was committed by Anthony Artell Tolbert,
Terryl Diamond Morris, J amaal Aaron Duncan and Damar Sowell, who did unlawfully, and with
malice aforethought murder Kevon Marquise Decatur-Webber, a human being.
"NOTICE: The above offense is a serious felony within the meaning of Penal Code section
1192.7(c) and a violent felony within the meaning of Penal Code section 667.5(c)."
"NOTICE: Conviction of this offense will require you to provide specimens and samples
pursuant to Penal Code section 296. Willful refusal to provide the specimens and samples is a
crime."
It is further alleged pursuant to Penal Code section 186.22(b)(1)(C) as to count(s) 1, 2, 3
that the above offense was committed for the benefit of, at the direction of, or in association with a
criminal street gang with the specific intent to promote, further or assist in criminal conduct by gang
members.
"NOTICE: Conviction of this offense will require you to register pursuant to Penal Code
Section 186.30(a). Willful failure to register is a crime."
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Complaint DA CASE NO: 2014-00-0028243
It is further alleged as to count(s) 1, 2, 3 that said defendant(s) J amaal Aaron Duncan
personally and intentionally discharged a firearm, a handgun, which caused great bodily injury and
death to Kevon Marquise Decatur-Webber within the meaning of Penal Code Section 12022.53(d)
also causing the above offense to become a serious felony pursuant to Penal Code section
1192.7(c)(8) and a violent felony within the meaning of Penal Code section 667.5(c)(8).
It is further alleged as to count(s) 1, 2, 3 that a principal personally and intentionally
discharged a firearm, a handgun, which proximately caused great bodily injury and death to Kevon
Marquise Decatur-Webber within the meaning of Penal Code sections 12022.53(d) and (e)(1).
It is further alleged as to count(s) 1, 2, 3 that a principal personally and intentionally discharged a
firearm, a handgun, within the meaning of Penal Code sections 12022.53(c) and (e)(1).
It is further alleged as to count(s) 1, 2, 3 that a principal personally used a firearm, a handgun,
within the meaning of Penal Code sections 12022.53(b) and (e)(1).
*****

COUNT 2
On or about J anuary 20, 2013, in the above named judicial district, the crime of
ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED MURDER, in violation of PENAL
CODE SECTION 664/187(a), a felony, was committed by Anthony Artell Tolbert, Terryl Diamond
Morris, J amaal Aaron Duncan and Damar Sowell, who did unlawfully and with malice aforethought
attempt to murder Emery Schexnayde, a human being.
It is further alleged that the aforesaid attempted murder was committed willfully, deliberately
and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony
pursuant to Penal Code section 1192.7(c).
It is further alleged pursuant to Penal Code section 186.22(b)(1)(C) as to count(s) 1, 2, 3
that the above offense was committed for the benefit of, at the direction of, or in association with a
criminal street gang with the specific intent to promote, further or assist in criminal conduct by gang
members.
"NOTICE: Conviction of this offense will require you to register pursuant to Penal Code
Section 186.30(a). Willful failure to register is a crime."
It is further alleged that the offense(s) charged in Count(s) 2 are punishable in the state
prison for life and cause the sentencing to be pursuant to section 186.22(b)(5).
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It is further alleged as to count(s) 1, 2, 3 that said defendant(s) J amaal Aaron Duncan
personally and intentionally discharged a firearm, a handgun, which caused great bodily injury and
death to Kevon Marquise Decatur-Webber within the meaning of Penal Code Section 12022.53(d)
also causing the above offense to become a serious felony pursuant to Penal Code section
1192.7(c)(8) and a violent felony within the meaning of Penal Code section 667.5(c)(8).
It is further alleged as to count(s) 1, 2, 3 that a principal personally and intentionally
discharged a firearm, a handgun, which proximately caused great bodily injury and death to Kevon
Marquise Decatur-Webber within the meaning of Penal Code sections 12022.53(d) and (e)(1).
It is further alleged as to count(s) 1, 2, 3 that a principal personally and intentionally discharged a
firearm, a handgun, within the meaning of Penal Code sections 12022.53(c) and (e)(1).
It is further alleged as to count(s) 1, 2, 3 that a principal personally used a firearm, a handgun,
within the meaning of Penal Code sections 12022.53(b) and (e)(1).
*****

COUNT 3
On or about J anuary 20, 2013, in the above named judicial district, the crime of
ATTEMPTED WILLFUL, DELIBERATE, AND PREMEDITATED MURDER, in violation of PENAL
CODE SECTION 664/187(a), a felony, was committed by Anthony Artell Tolbert, Terryl Diamond
Morris, J amaal Aaron Duncan and Damar Sowell, who did unlawfully and with malice aforethought
attempt to murder Dante Tyrone Holland , a human being.
It is further alleged that the aforesaid attempted murder was committed willfully, deliberately
and with premeditation within the meaning of Penal Code section 664(a) and is a serious felony
pursuant to Penal Code section 1192.7(c).
It is further alleged pursuant to Penal Code section 186.22(b)(1)(C) as to count(s) 1, 2, 3
that the above offense was committed for the benefit of, at the direction of, or in association with a
criminal street gang with the specific intent to promote, further or assist in criminal conduct by gang
members.
"NOTICE: Conviction of this offense will require you to register pursuant to Penal Code
Section 186.30(a). Willful failure to register is a crime."
It is further alleged that the offense(s) charged in Count(s) 3 are punishable in the state
prison for life and cause the sentencing to be pursuant to section 186.22(b)(5).
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Complaint DA CASE NO: 2014-00-0028243
It is further alleged as to count(s) 1, 2, 3 that said defendant(s) J amaal Aaron Duncan
personally and intentionally discharged a firearm, a handgun, which caused great bodily injury and
death to Kevon Marquise Decatur-Webber within the meaning of Penal Code Section 12022.53(d)
also causing the above offense to become a serious felony pursuant to Penal Code section
1192.7(c)(8) and a violent felony within the meaning of Penal Code section 667.5(c)(8).
It is further alleged as to count(s) 1, 2, 3 that a principal personally and intentionally
discharged a firearm, a handgun, which proximately caused great bodily injury and death to Kevon
Marquise Decatur-Webber within the meaning of Penal Code sections 12022.53(d) and (e)(1).
It is further alleged as to count(s) 1, 2, 3 that a principal personally and intentionally discharged a
firearm, a handgun, within the meaning of Penal Code sections 12022.53(c) and (e)(1).
It is further alleged as to count(s) 1, 2, 3 that a principal personally used a firearm, a handgun,
within the meaning of Penal Code sections 12022.53(b) and (e)(1).
*****

COUNT 4
On or about J anuary 20, 2013, in the above named judicial district, the crime of STREET
TERRORISM, in violation of PENAL CODE SECTION 186.22(a), a felony, was committed by
Anthony Artell Tolbert, Terryl Diamond Morris, J amaal Aaron Duncan and Damar Sowell, who did
unlawfully and actively participate in a criminal street gang with knowledge that its members
engage in or have engaged in a pattern of criminal gang activity and did promote, further or assist
in felony criminal conduct by gang members.
*****

COUNT 5
On or about J anuary 20, 2013, in the above named judicial district, the crime of
ACCESSORY AFTER THE FACT-(KNOWLEDGE OF CRIME), in violation of PENAL CODE
SECTION 32, a felony, was committed by Vanessa Everlin Felix and Taylor Morgan J ones, who
unlawfully, having knowledge that the crime of Murder, a felony, in violation of Section 187(a) of
the Penal Code of the State of California had been committed by J amaal Duncan, Anthony Tolbert
and Damar Sowell, did harbor, conceal, and aid said J amaal Duncan, Anthony Tolbert and Damar
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Complaint DA CASE NO: 2014-00-0028243
Sowell, with the intent that he/she might avoid and escape from arrest, trial, conviction, and
punishment for said felony.
It is further alleged pursuant to Penal Code section 186.22(b)(1)(A) as to count(s) 5 that the
above offense was committed for the benefit of, at the direction of, or in association with a criminal
street gang with the specific intent to promote, further or assist in criminal conduct by gang
members.
"NOTICE: Conviction of this offense will require you to register pursuant to Penal Code
Section 186.30(a). Willful failure to register is a crime."

*****

It is further alleged as to count(s) 1, 2, 3, 4 pursuant to Penal Code section 667.5(b) that the
defendant(s) Anthony Artell Tolbert, has suffered the following prior conviction(s):

Court Case Code/Statute Conv Date County State Court Type
RIF12467 HS 11378 10/23/2007 Riverside CA Superior
RIF14604 PC 12316(b)(1)10/10/2008 Riverside CA Superior
RIF1103675 PC 12021(a)(1)03/23/2012 San Bernardino CA Superior

and that a term was served as described in Penal Code section 667.5 for said offense(s), and that
the defendant(s) did not remain free of prison custody for, and did commit an offense resulting in a
felony conviction during, a period of five years subsequent to the conclusion of said term.


It is further alleged pursuant to Penal Code sections 1170.12(a) through (d) and 667(b)
through (i) as to count(s) 1, 2, 3, 4 that said defendant(s) Terryl Diamond Morris, has suffered the
following prior conviction of a serious or violent felony or juvenile adjudication:
Court Case Code/Statute Conv Date County State Court Type
Y80370 PC459 06/11/1998 Riverside CA Superior
RIF10004335 PC 246.3 05/19/2011 Riverside CA Superior

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Complaint DA CASE NO: 2014-00-0028243
It is further alleged as to count(s) 1, 2, 3, 4 pursuant to Penal Code section 667(a)(1) that
the defendant(s) Terryl Diamond Morris, has suffered the following prior conviction(s) of a serious
felony:
Court Case Code/Statute Conv Date County State Court Type
Y80370 PC459 06/11/1998 Riverside CA Superior
RIF10004335 PC 246.3 05/19/2011 Riverside CA Superior

It is further alleged pursuant to Penal Code sections 1170.12(a) through (d) and 667(b)
through (i) as to count(s) 1, 2, 3, 4 that said defendant(s) Jamaal Aaron Duncan, has suffered the
following prior conviction of a serious or violent felony or juvenile adjudication:

Court Case Code/Statute Conv Date County State Court Type
RIJ 120190 PC 243(D) 10/12/2010 Riverside CA Superior
RIF1201739 PC 422 04/15/2013 Riverside CA Superior

It is further alleged as to count(s) 1, 2, 3, 4 pursuant to Penal Code section 667(a)(1) that
the defendant(s) J amaal Aaron Duncan, has suffered the following prior conviction(s) of a serious
felony:

Court Case Code/Statute Conv Date County State Court Type
RIJ 120190 PC 243(D) 10/12/2010 Riverside CA Superior
RIF1201739 PC 422 04/15/2013 Riverside CA Superior

It is further alleged as to count(s) 1, 2, 3, 4 pursuant to Penal Code section 667.5(b) that the
defendant(s) J amaal Aaron Duncan, has suffered the following prior conviction(s):

Court Case Code/Statute Conv Date County State Court Type
RIF1202914 HS 11379(a)04/15/2013 Riverside CA Superior
and that a term was served as described in Penal Code section 667.5 for said offense(s), and that
the defendant(s) did not remain free of prison custody for, and did commit an offense resulting in a
felony conviction during, a period of five years subsequent to the conclusion of said term.
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Complaint DA CASE NO: 2014-00-0028243
* * * * *
NOTICE TO DEFENDANT AND DEFENDANTS ATTORNEY
Pursuant to Penal Code Sections 1054.5.(b), the People are hereby informally requesting that
defense counsel provide discovery to the People as required by Penal Code Section 1054.3.
NOTICE TO ATTORNEY
The materials accompanying this notice may include information about witnesses. If so, these
materials are disclosed to you pursuant to Penal Code section 1054.2 which provides: "No
attorney may disclose or permit to be disclosed to a defendant the address or telephone number of
a victim or witness whose name is disclosed to the attorney pursuant to subdivision (a) of Section
1054.1 unless specifically permitted to do so by the court after a hearing and a showing of good
cause."

I DECLARE UNDER PENALTY OF PERJ URY THAT THE FOREGOING IS TRUE AND
CORRECT AND THAT THIS COMPLAINT CONSISTS OF 5 COUNT(S).
Executed at San Bernardino, California, on J une 4, 2014.
Ronald D. Webster
Ronald D. Webster
DECLARANT AND COMPLAINANT

Agency: Redlands Police Department Prelim Est. 02:30

Defendant
Anthony Artell Tolbert
Terryl Diamond Morris
J amaal Aaron Duncan
Damar Sowell
Vanessa Everlin Felix
Taylor Morgan J ones

Birth Date
03/21/1987
06/06/1980
09/19/1992
03/03/1992
11/04/1987
12/01/1993

Booking No.







CII No.
A25885824
A12246295
A27371196
A33740795
A31932483
A32452511

NCIC








Gang

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Complaint DA CASE NO: 2014-00-0028243