FORCED ENTRY RECORDS

07-21-2001




CAN OF VIBE PARTY
07-14-01
(PART 3)
AKA UNWARRANTED CAN OF RAID


BY GGJIM


How many United States Citizens'
Civil Rights got freakin' raped
by the Washington County PoPo
at Can Of Vibe Saturday July 14th, 2001?

While I was being
detained against my will
and with no given reason,
My car was searched by the cops.
Above you see a supposed "drug sniffing dog"
in the trunk of my car.





Here we have Washington County Sheriff Gary Yount(on the right)
and two other cops extremely interested in a large doll leg
in my trunk. This is the lone remaining doll body part
from the SnuffCore performance at Dica303 several months ago.
The cops were sure it contained something illegal.
They were sure..
Notice the shoe is off.
They took off the shoe and then the sock looking for illegalities.
They shook it.
They looked up in it.
They listened to it.
Then they tossed it back in my trunk.




Here a cop tries his hand
at searching my car.
The "drug sniffing dog" is also inside my car.
At this point the dog is eating the french fries
out of a Mcdonald's bag in the front seat.
I invoked my 4th Ammendment rights
prior to the cops entering my vehicle
when I made it clear that
"I am not consenting to a search of my vehicle."
I asked the cops what they are looking for
and I also very clearly asked to see a warrant.
The cops gave no reply.
All they could say the whole time is,
"We gotta find shit in this car."
"Damn we can't find any shit in this car."
We GOT TA find shit in this car!"
The cops and dog went ahead and searched my car
knowing I did not consent.




Another cop searches my car
after the previous cop and "drug sniffing dog"
couldn't find anything besides french fries.
This cop might have been looking in the bottom
of the McDonald's bag hoping the "drug sniffing dog"
had missed some delicious french fries.




The back seat of my car after
the double cop and "drug sniffing dog"
invasion.
Note the now empty Mcdonald bag
and the Raw Brutal Rough and Bloody flyers.

Ok so below I have the Warrant for this whole affair.
I posted it EXACTLY as it written.
So keep in mind all the spelling errors
and general context mistakes are not mine. haha
Rene Saller, the music editor at the RiverFront Times
told me it looks like "it was written by a 7th grader."
I think she gave them too much credit.
I will also point out now the amusing claim in the bottom
of Deputy Sheriff Charles LaLumondiere's affidavit
that it was rumored "that the bottoled water contained
the drug Ecstasy and that it was being sold
for two dollars a bottle by Jeff Winhouse."
So whatever.
You make the call on that one.
Also, mucho grassy ass to Rene for providing
Forced Entry Records with a copy of the warrant :)


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SEARCH WARRANT AUTHORIZING SEARCH FOR
NARCOTICS, AND DRUG PARAPHERNALIA

STATE OF MISSOURI, )
) SS.
COUNTY OF WASHINGTON. )
NO.__________

IN THE CIRCUIT COURT OF WASHINGTON COUNTY, MISSOURI
DIVISION II

THE STATE OF MISSOURI TO ANY PEACE OFFICER IN THE STATE OF MISSOURI

WHEREAS, on the 14th, day of July, 2001, at 11:45 AM an complaint in writing duly
verified by oath has been filed with the undersigned Judge of this Court, stating
upon information and belief that heretofore the following described proprty,
articles, materials, or substances, constitute evidence of the commission of a
criminal offense in violation of Chapter 195 RSMo,
et.
al.

WHEREAS, a complaint in writing duly verified by oath has been filed with the
undersigned Judge of this court, stating upon information and belief that
heretofore the following described evience of a crime, narcotics, to wit,
marijuana methamphetamines, cocaine it slats or derivatives drug paraphernalia,
including syringes, mirrors, straws, razor blades, smoking pipes and bongs
(water pipes), Vicks inhalers, dust masks, pacifiers.

of the goods and chattels of a parcel of land owned by Ronnie McRaven and leased
to Phil Lynch of L-Bo Room Productions, has/have been unlawfully CONCEALED, and
said NARCOTICS are being kept or held in this County and State at PLACE KNOW AS
THE RIVER OF LIFE GROUNDS ON HIGHWAY 8 POTOSI SEE EXHIBIT "A"
ONCORPORATED HEREIN BY REFERENCE WASHINGTON COUNTY MISSOURI

WHEREAS, the Judge of this Court from the sworn allegations of said complaint and
from the supporting written affidavit(s) filed therewith has found that there is
probable cause to believe the allegations of the complaint to be true and probable
cause for the issuance of a search warrant herein:

NOW THEREFORE: these are to command you that you search the said premises
above described within 10 days after the issuance of the warrant by day or night,
and take with you, if need be, the power of your county, and, if said above described
property or any part thereof be found on said premises by you, that seized the
same and take the same into the property so taken by you in the presence of the of
person from whose possession the same is taken, if that be possible, with a copy
this warrant, or if no person be found in possession of said property, leaving said

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receipt and said copy of the inventory thereof and with your
return to this Court to be herein
dealt with in accordance with law.

Witness my hand and the seal of this Court on this day of 14th
of July 2001, at 12:00p.m.
(signed) Kenneth (unreadable)
JUDGE OF THE CIRCUIT COURT
24TH Judicial Circuit
Division II
POTOSI, Missouri


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STATE OF MISSOURI, )
) SS.
COUNTY OF WASHINGTON. )


IN THE CIRCUIT COURT OF WASHINGTON COUNTY, MISSOURI
DIVISION II


NO.__________

AFFIDAVIT



I, Charles Lalumondiere , a law enforcement officer, of lawful age, being first duly
sworn, deposes and says that he has reasonable grounds to believe that the
aforesaid methamphetamines, marijuana, cocain, narcotics, and drug paraphanalia
and evidence of crime described in the Complaint attached hereto is/are held and
kept in the place decribed in the Complaint because on 07/14/2001
I recived a tele-phone call from Ronnie Mcraven the property owner of the ground
commonly known as The River of Life campground. He advised me that he had
rented the property on the pretence that a promoter was having a alcohol, tabacco
and drug free party, and that when the promoters started arriving that he learned
it was going to be a party commonly known as a "Rave Party".
After learning this information
Myself and Potosi Police Officer Doug Tuning responded to the location and made
contact with several subjects at the gate. The subjects at the gate advised us it
was a "Rave Party" when we asked and that it would cost us twennty dollars to
enter. We returned to the Sheriff's and spoke with the property authoritys and
obtained permission to enter the premises on a undercovr bases. Upon are arrival
we each paid twenty(20) dollars and recived a band and a flyer advising
us that there was going to be a rave party the following night.
After entering where where showed where to park, after parking we we started
walking around, witihn approximately three hours I observed sevral different
people ingesting a white powdery substance into there system through there nose
using a straw and mirrow, which from my training and expierence in narcotics that
a powdery substance of this type and injested in that mannor is
one of two types of narcotics, mehtanphetamines or cocain. While wakking around we observed numerous people smoking marijuana in vehicles, and
while walking around in the open, also we witnessed money being exchanged
for small packages which where corners of sandwich baggies the personwould
then injest the contents of the baggies on the grounds. This Officer then
witnessed staff members (persons wearing identification stating staff)
smoking marijuana and talking about smoking marijuana and using drugs
at the Rave Parties. The subjects at the party where wearing dust masks,
sucking on pacifiers, and sucking on Vicks inhalers, which is evidence
of the use of the frug called ecstasy, in that the use of ecstasy cause
grinding of the teath and the need to use pacifiers, the use of vicks
either through a inhaler or by smearing on a dust mask inhances the high
of the drug. Also this offier observed other paraphernalia such as pipes of
all sorts, straws, mirrors and this officer saw the use of said items
to injest drugs in to the human body.
Also while speaking to subjects at the "Rave Party" we heard rumor
that the bottoled water contained the drug Ecstasy and that it was
being sold for two dollars a bottle by Jeff Winhouse.


(signed) unreadable - #914
(printed) Charles LaLumondiere
Deputy Sheriff
Subscribed and Sworn to before me this 14th day of July, 2000

(signed) unreadable
CLERK OF SAID COURT
JUDGE

On this____day of ____, 2000, the above listed property was released by the
Court to the custody of __________________________________________________.



_________________________________________
CLERK OF SAID COURT


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STATE OF MISSOURI, )
) SS.
COUNTY OF WASHINGTON. )


IN THE CIRCUIT COURT OF WASHINGTON COUNTY, MISSOURI
DIVISION II


NO.__________


COMPLAINT FOR SEARCH WARRANT


I, Charles LaLumondiere, being duly sworn, deposes and states upon
information and belief that heretofore the following
described, evidence of a crime, Narcotics, to wit:
marijuana methamphetamines, cocaine it slats or derivatives drug paraphernalia,
including syringes, mirrors, straws, razor blades, smoking pipes and bongs
(water pipes), Vivks inhalers, dust masks, pacifiers of the goods and
chattels of a parcel of land owned by Ronnie McRaven and leased to Phil Lynch
of L-Bo Room Productions, has/have been unlawfully CONCEALED, and said
NARCOTICS are being kept or held in this County and State at PLACES KNOW AS
THE RIVER OF LIFE GROUNDS ON HIGHWAY 8 POTOSI SEE EXHIBIT "A"
INCORPORATED HEREIN BY REFERENCE IN WASHINGTON COUNTY
MISSOURI



That the basis of affiant's information and belief is contained in the attached
affidavit(s) of witness to facts concerning the said matter which affidavit(s)
is/are made a part hereof and is/are submitted herewith as a basis upon which
this Court may find the existence of a probable cause
for the issuance of said warrant.

WHEREFORE, your petition prays that a search
warrant be issued as provided by Law.

SIGNED Charles LaLumondiere #914

TITLE Deputy Sheriff

REVIEWED AND APPROVED
(signed) John D Rupp Jr
_________________________
PROSECUTING ATTORNEY


Subscribed and Sworn to before me this 14th day of
July, 2001

(signed) (unreadable)
JUDGE OF THE CIRCUIT COURT
24th Judicial Circuit
Division II
POTOSI, MISSOURI


---------------------------------------------------------------



STATE OF MISSOURI, )
) SS.
COUNTY OF WASHINGTON. )


IN THE CIRCUIT COURT OF WASHINGTON COUNTY, MISSOURI
DIVISION II


NO.__________


AFFIDAVIT


I, Douglas Tuning, a law enforcement officer, of lawful age, being first
duly sworn, deposes and says that he has reasonable grounds to believe
that the aforesaid Methamphetamine's, Marijuana, Cocaine, and evidence
of crime described in the Complaint attached hereto is/are held and kept
in the place described in the Complaint because on July 13th, 2001 during the
hours of 2230 and 0115 a.m. I personally witnessed several subjects involved in
the selling and using of the aforesaid illegal drugs. I also observed several
different forms of paraphernalia such as straws, mirrors, pipes, vic inhalers,
pacifier's. Deputy Lalumondiere and myself were there in an undercover setting
for the fact of obtaining this information. I observed the above described narcotics
and evidence of crime in the place described in the Complaint within the previous
twelve hours.

(signed) Douglas Tuning #111
Doug Tuning
Potosi Police Officer
Subscribed and Sworn to before me this 14th day of July, 2001

(signed) Kenneth (unreadable)
JUDGE OF THE CIRCUIT COURT
DIVISION 2
POTOSI, MISSOURI


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