Professional Documents
Culture Documents
Av/bm _M. E
MEY 09
i
1 1 15 Albany Street
Petty
Plaintiff,
INDICTMENT
vs. for the crime 0f:
TONY D NELSON, is accused by the Grand Jury of Canyon County of the crimes of, 2
follows:
COUNT I
That the Defendant, TONY D NELSON, on or between January 1, 201 6 through January
24, 2019, in the County 0f Canyon, State of Idaho, did, under circumstances likely to produce
INDICTMENT
great bodily harm or death, willfully cause or permit the child t0 suffer unjustifiable physical
pain or mental suffering and/or did willfully inflict upon the child unjustifiable physical pain or
mental suffering and/or did willfully cause 0r permit the child t0 be placed in a situation
endangering her health 0r person, while having care or custody of the child ,
to-wit: (DOB:
a child under the age 0f eighteen, to-wit: between the ages 0f 6-10 years old, by
t0 become malnourished.
A11 of which is contrary to Idaho Code, Section 18-1501(1) and against the power, peace
COUNT II
That the Defendant, TONY D NELSON, on or between January 1, 2016 through January
24, 2019, in the County of Canyon, State of Idaho, did, under circumstances likely to produce
great bodily harm or death, willfillly cause or permit the child t0 suffer unjustifiable physical
pain 0r mental suffering and/or did willfully inflict upon the child unjustifiable physical pain or
mental suffering and/or did willfully cause 0r permit the child to be placed in a situation
endangering his health or person, while having care 0r custody of the child ,
to-wit: (DOB:
, a child under the age of eighteen, to-wit: between the ages of 10-14 years old, by
A11 of which is contrary to Idaho Code, Section 18-1501(1) and against the power, peace
INDICTMENT 2
A TRUE BILL
INDICTMENT 3