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STATE OF MISSOURI, )
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Plaintiff,
Case No. l6AC-CR02868-01
vs.
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BRANDON JAMES RAPIER,
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Defendant.
COMES NOW, the State of Missouri by Aaron Maness, Assistant Prosecuting Attorney,
I. The State announced that it intends to prove the following statutory aggravating
circumstance 0r circumstances:
record of
1. The murder in the rst degree was committed by a person with a prior
of Assault In the
a. On or about May 6, 2015, defendant pleaded guilty to the felony
number
Second Degree in the Circuit Court of Cole County, Missouri, in case
The murder in the rst degree offense was committed while the offender was engaged
homicide. RSMo
in the commission or attempted commission of another unlawful
565.032.2(2).
The murder in the rst degree was outrageously or wantonly vile, horrible, or
.
. The murdered individual was a witness or potential witness in any past or pending
Section 565.0321, RSMo and State v. Debler, 856 S.W.2d 641 (Mo. 1993):
2. On or about August 5, 2013, defendant was convicted of the crime of assault in the
protection was led and served on defendant and defendant violated the ex-parte order
of protection by communicating with C.K., entering upon the premises of C.K., and
4. Between on or about October 24, 2016 and November 10, 2016, defendant committed
was led and served on defendant and defendant violated the ex-parte order of
feet of
protection by entering upon the premises of M.H., and coming within 100
M.H..
Respectfully submitted,
1151M a-
AaroiM. Maness #63666
A istant Prosecuting Attorney
311 E. High Street, 3"1 F1er
Jefferson City, Missouri 65101
Phone: 573-634-9180
CERTIFICATE OF SERVICE
19th
A true and correct copy of this document is being led electronically with the
Judicial Circuit Clerks Ofce. The defense counsel is served through the electronic ling
system to Thomas J. Kirsch, Ofce of Public Defender, 210 Adams Street, Jefferson City, MO
65101 , attorney for defendant, on the A day of April, 2017.
ALI/(10L
Maness #63666
@nM.