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Kansas Secretary of State Kris Kobach has charged Shawnee resident Michael Hannum with charges related to voter fraud. It's the second wave of voter fraud charges Kobach has filed since he acquired prosecutorial power to go after such cases in 2015.
Kansas Secretary of State Kris Kobach has charged Shawnee resident Michael Hannum with charges related to voter fraud. It's the second wave of voter fraud charges Kobach has filed since he acquired prosecutorial power to go after such cases in 2015.
Kansas Secretary of State Kris Kobach has charged Shawnee resident Michael Hannum with charges related to voter fraud. It's the second wave of voter fraud charges Kobach has filed since he acquired prosecutorial power to go after such cases in 2015.
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IN THE 10TH JUDICIAL DISTRICT OF THE STATE OF KANSAS
IN THE DISTRICT COURT OF JOHNSON COUNTY
STATE OF KANSAS,
Plaintiff,
vs. Case No.
MICHAEL L. HANNUM,
Defendant.
COMPLAINT/INFORMATION
COMES NOW, Erie K. Rucker, the duly appointed and qualified Assistant Secretary of
State for the State of Kansas, on behalf of Secretary of State Kris W. Kobach and on behalf of the
State of Kansas, and gives the court to understand and be informed that Mr. Bryan Caskey, the
duly appointed Deputy Assistant Secretary of State, has submitted a swom affidavit that probable
cause exists to believe that crime/s have been committed and further states and declares as follows:
COUNT ONE
On or about October 23, 2012, in Johnson County, Kansas, the defendant, Michael L. Hannum,
did intentionally and knowingly falsely subscribe to a statement contained in an affidavit which is
prescribed in any manner by the secretary of state or any county election officer under the election
laws of this state, ro wit: A poll book affidavit, in violation of K.S.A, 25-2411(c), ELECTION
PERJURY, a level 9 nonperson felony.
COUNT TWO
On a date between October 23, 2012 and November 6, 2012, in Johnson County, Kansas, the
defendant, Michael L. Hannum, did knowingly and willfully vote more than once at the same
election, fo wit: “General election,” as defined in K.S.A. 25-2502(a) and K.S.A. 25-1115(a), and
“National election” as defined in K.S.A. 25-2503(a) and K.S.A, 25-1116(a), in violation of K.S.A.
25-2416(b) VOTING WITHOUT BEING QUALIFIED, a Class A nonperson misdemeanor.
COUNT THRE]
On or about October 23, 2012, in Johnson County, Kansas, the defendant, Michael L. Hannum,
did knowingly and willfully vote at the 2012 General election, as defined in K.S.A. 25-1115, when
not a lawfully registered voter, in violation of K.S.A. 25-2416(a) VOTING WITHOUT BEING
QUALIFIED, a Class A nonperson misdemeanor,
agen cQURT
CLERK OF OST Ne KS
23
ais JAN 21 AM
wevo12t 14
207
SCAN DATECOUNT FOUR
On or about October 23, 2012, in Johnson County, Kansas, the defendant, Michael L. Hannum,
did willfully and falsely declare or subscribe to a material fact in an affirmation for an advance
voting ballot, in violation of K.S.A. 25-1128(), ADVANCE VOTING UNLAWFUL ACTS, a
Class C nonperson misdemeanor.
WITNESSES
Presently Known Witnesses:
‘The State of Kansas endorses the following witnesses, presently known to the State, who may
be called to appear and testify in this matter:
Mr. Bryan Caskey, Director of Elections, Kansas Secretary of State
Mr. Jameson Beckner, Assistant Director of Elections, Kansas Secretary of State
Mr. Timothy Dunning, Douglas County, NE Sheriff Department
Mr. Dave Phipps, Douglas County, NE Election Commissioner
Ms. Justine Kessler, Douglas County, NE Elections Office
Representative of Douglas County, NE Sheriff's Office
Mr. Frank Denning, Johnson County, Kansas Sheriff Department
Mr. Dana Gouge, Johnson County, Kansas District Attorney's Office
Representative of Johnson County, Kansas Election Office
Representative of Douglas County, NE Appraiser’s Office
Representative of Douglas County, NE Register of Deeds Office
Mr. Mark Lang, Douglas County, NE District Attomey’s Office Investigator
149283
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my
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&I, Bric K. Rucker, Assistant Secretary of State for the State of Kansas, being first duly sworn
state that I have reviewed the probable cause affidavit submitted by Mr. Bryan Caskey, Deputy
Assistant Secretary of State, Thereafter, I composed the Complaint/Information in this matter. T
know the content thereof, and the same is true to the best of my information and belief.
120 SW 10® Ave., Room 140
Topeka, Kansas 66611
785.296.2034
785.368.8032 (FAX)
eric.rucker@sos.ks.gov
I verify under penalty of perjury that the foregoing is ¥ 10 the best of my
information and belief.
ae day of AOlle
Executed this
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8
SCAN DATEIN THE DISTRICT COURT OF JOHNSON COUNTY, KANSAS
Criminal Department Section__
State of Kansas
Vs. Case No. Wo. Lo
MICHAEL L HANNUM Print-off Date 01/21/2016
INITIATION OF ACTION
Offenses(s) Alleged: 25-2411 ELECTION PERJURY
25-2503(a) VOTING W/O QUALIFYING
25-2416(A) VOTING W/O QUALIFYING
25-1128(F) ADVANCE VOTING UNLAWFUL ACT