LegalCaseDocs.com
shopping cart  
  |     
Search
 

 
New Visitors


 VeriSign Secure Site

 Get Adobe Reader

NEW YORK v ALBRECHT STROMEYER Click to find out why . . .



Keywords & Phrases
CaseNo: NYVAS155994, CourtName: MISC 3, Plaintiff: NEW YORK, UniqueCaseRef: LCD>NYVAS155994, Hotel, Serena Williams, Observed Defendant, Offense9, Reasonable Fear, Brooks, Tournament, Valli, Cease, Correspondence, Hotel Room, Family Members, Fairmont Scotsdale Princess, Defendant Albrecht Stromeyer, Thflt, Refuse, Rome, Lobby, Daklo Valli, Dar10 Valli, Paris, Wimbledon, England, Stadium, Sex Offenses, Suffers Annoyance, Alarm, Occurpnce , ContentID: 120253776

Case Documents
1 2001-09-01 COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 130187
4 pages
PDF
Total Documents: 1 document , 4 pages
Price: $ 19.95


IVESLCD01 KGI0001
 
 

 Forgot your password?


1 . COMPLAINT

EXTRACTED KEY WORDS
HOTEL
SERENA WILLIAMS
OBSERVED DEFENDANT
OFFENSE9
REASONABLE FEAR
BUSINESS
BROOKS
TOURNAMENT
VALLI
CEASE
CORRESPONDENCE
HOTEL ROOM
FAMILY MEMBERS
FAIRMONT SCOTSDALE PRINCESS
DEFENDANT ALBRECHT STROMEYER
THFLT
REFUSE
ROME
LOBBY
DAKLO VALLI
DAR10 VALLI
PARIS
WIMBLEDON
ENGLAND
STADIUM
SEX OFFENSES
SUFFERS ANNOYANCE
ALARM
OCCURPNCE
                                                                                                   
                                        CRIMINAL  COURT  OF  THE  CITY  OF  NY
                                            PART  APAR  COUNTY  OF  QUEENS


                                                                 I
THE  PEOPLE  OF  THE  STATE  OF  NEW  YORK                                       STATE  OF  NEW 
                                                                                   COUNTY  OF 
                               V.

     ALBRECHT         STROMEYER

                            DEFENDANT


DETECTIVE         ZAMES  S  MACDONALD  OF  DA  QNS,  SHIELD                     2007,       TAX 
DULY  SWORN,  DEPOSES  AND  SAYS  THAT  APPROXIMATELY                              BETWEEN 
12:bO        PM  AND  AUGUST  30  2002  05:30  PM AT  FLUSHING  MEADOW CORONA PARK TENll
CENTER,  CCU&'TY  OF  QUEENS,  STATE  OF  NEW.YORK,  AND  THE  FOLLOwlNG  LOCATIONS
HEREIN        MENTIONED:

%%?a DEFENDANT  COMMITTED  THE  OFFENSE9  OF:
PL  120.50-3          STALKING  IN  THE  THIRD  DEGREE
PL  120.45-l          STALKING          4TH  DEQREQ
PL  120-45-3          STALKING  IN  THE  FOURTH  DEGREE

IN  THAT  THE  DEFE-NDANT  DID:                    WITH  IN&NT         TO  HARASS,  ANNOY  OR 
SPECIFIC         PERSON,  IN'?BNTIGNALLY             ENGAGES  IN  A  COURSE OF  CONDUCT DIRECTED  A
SUCH  PERSON  WHICH  IS  LIKELY                   TO  CAUSE  SUCH  PERSON  TO  REASONABLY  FEAR
PHYSICAL         INJURY       OR  SERIOUS       PBYSICAL       INJURY,        THE  COMMISSION      
OFFENSE  AGAINST,               OR  TEE  KIDNAPPING,           UNLAWFUL  IMPRISONMENT  OR  DEATH 
PERSON  OR  MEMBER  OP  SUCH  PERSON'S                       IMMEDIATE        FAMILY
FOR  NQ  LEGITIMATE              PURPOSE, ENGAGE IN  A  COURSE  OF  CONDUCT  DIRECTED  AT  A
SPECIFIC         PERSON,        AND  DID  KNOW  OR  RF3&ONABLY  SHOULD  HAVE  KNOWN  THAT  SUCH
CONDUCT:  WAS LIKELY  TO  CAUSE REASONABLE FEAR  OF  MATERIAL  HARM TO  THE
PHYSICAL         HEALTH,        SAFETY  OR  PROPERTY  OF  SUCH  PERSON,  A  MEMBER  OF  SUCH
PERSON'S         IMMEDIATE            FAMILY  OR  A  THIRD  PA.RTY~!,WZ~TH
                                                                                   WHOM  SUCH 
ACQUAINTED
COURSE  OF  CONDuCT  DIRECTED                   AT  A  SPECIFIC        PERSON,  AND  DID  KNOW  OR
REASONABLY  SHOULD  HiiVE                   KNOWN THAT       SUCH  COmUCT         Is  LIKELY       
PERSON TO  REASONABLY FEAR  THAT  HIS  OR HER  EMPLOYMENT, BUSINESS  OR  CAREER
IS  THREATENED,  WHERE SUCH CONDUCT CONSISTS  OF  APPEARING,  TELEPBONING  OR
INITIATING          COMMUNICATION             OR  CONTACT  AT  SUCH  PERSON'S                    
OR  BUSXNESS,          AND  THE  ACTOR  WAS  PREVIOUSLY                    CLEARLY  INFORMED  TO 
CONDUCT


THE  SOURCE OF  DEPONENT'S  INFORMATION  AND  THE  GROUNDS FOR DEPONENT'S
SNIPPETS:
  • %%?a DEFENDANT COMMITTED THE OFFENSE9 OF:
  • WAS LIKELY TO CAUSE REASONABLE FEAR OF MATERIAL HARM TO THE
  • DEPONENT STATES THAT HE IS INFORMED BY CARLOS FLEMING, BUSINESS AGENT FO
  • CEASE ALL CORRESPONDENCE.
  • OCCUPIED A HOTEL ROOM ALONG WITH FAMILY MEMBERS OF SERENA WILLIAMS,
  • BROOKS THAT DEFENDANT DID THEN APPROACH MS.
  • THE FAIRMONT SCOTSDALE PRINCESS HOTEL THAT DEFENDANT ALBRECHT STROMEYER
  • THFlT DURING HIS STAY DEFENDANT DID REPEATEDLY kEQU!&$T TO SEE SERENA
  • REFUSE TO LEAVE THE AREA.
  • ROME, ITALY DURING THE WEEK OF MAY 13, 2002 AND THAT ON MAY 18, 2002 HE OBSERVED DEFENDANT
  • THE FOLLOWING DAY, MAY 19, 2002 HE OBSERVED DEFENDANT IN THE LOBBY OF TH
  • FURTHER INFORMED EY DAklO VALLI THAT DURING SAID WEEK DAR10 VALLI DID
  • FRONT OF SAID HOTEL IN PARIS.
  • HELD IN WIMBLEDON, ENGLAND DURING THE WEEK OF JULY 1, 2002 AND THAT
  • SERENA WILLIAMS DID PARTICIPATE IN THE TOURNAMENT AND AT APPROXIMATELY
  • STADIUM.
  • SEX OFFENSES AGAINST HER, SUFFERS ANNOYANCE AND ALARM AND THAT SAID
  • TIME AND PLACE OF OCCURPNCE:
  •    |