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THOMAS A DIST.

CLE
TARRANT COUNTY, TEXAS RK
TIME
BY

NOV 182014 ,0 1025?


A.
Ab SEARC WARRANT
4104A 3 2 5
THE STATE OF TEXAS

COUNTY OF TARRANT
THE STATE OF TEXAS to the Sheriff or any peace Officer of Tarrant County,
Texas, or any Peace Officer of the State of Texas:
GREETINGS:
WHEREAS, the Affiant, Chad Woodside, whose signature is affixed to the
Affidavit appearing on the reverse hereof is a Peace Officer under the laws of
Texas and did heretofore this day subscribe and swear to said Affidavit before
me and whereas I find that the verified facts stated by Affiant show that
Affiant has probable cause for the belief he expresses therein and establishes
the existence of proper grounds for the issuance of this Warrant.
NOW, THEREFORE, you, and other police officers and crime scene officers for
the Hurst Police Department, are commanded to enter the suspected place and
premises located at
A single story
dwelling that in located on the west side of the street, between
The house has a red/orange brick
structure with white trim. The front door faces east and has a
white screen door on the exterior of the front door with black
numbers-in the center of the door. There is a two car
garage that is white in color with a brown trim on each door
making a "cross design? on each door. The curb on each side of
the drive has black background with white numbers- This
warrant includes the curtilage to include, but is not limited to,
sheds in the backyard, vehicles in the driveway belonging to
Randy Wesson and any detached structures on the property.
to there search for;
Any documentation that could help in proving the true identity of
Matthew Drew Wesson. This includes, but is not limited to,
immigration papers, birth certificates, identification cards and
gauge/95

medical records.
Computers, including any electronic, magnetic, optical,
electrochemical, or other high speed data processing devices
performing logical, arithmetic, or storage functions: data storage
facilities such as magnetic tape, hard disk, floppy disk or drum CD
ROM or scanner; communications facilities directly relating to or
operating in conjunction with such devices; devices for printing
records of data; and such recorded or data produced in various
forms; manual, documents, or instructional material relating to such
devices printers.
Computers, personal computer peripherals, modems, computer
printers, computer monitors, floppy disk drives, thumb drives, hard
drives, hard disk drives, diskettes, tapes, computer software,
computer programs and applications, computer manuals, system
documentation and electronic communications stored in computer
as email.
Such information, communications may be in the form of electronic
communication (such as email and text messages) residing on any
media magnetic or optical). That information may include
electronic communications held or maintained in electronic storage
by an electronic communication service or remote computing
service, as those services are defined within 18 2703.
These communications are referred to herein as "stored
communications?. These communications related to this case
stored in the suspect computer in electronic services as email. The
Federal Law, which is part of the Electronic Communications
Privacy Act, allows interception of such electronic communications
pursuant to a search warrant.
Cell phones, including but not limited to -, belonging
to or used by;
Randy Ray Wesson
Matthew Drew Wesson (known as),
Photographs taken of the location and photographs of evidence
taken by the Hurst Police Department from the location.
52/023;ch
Printed or stored photographic images (in any form) containing
sexually explicit visual depictions of a child or children,
photographs, negatives, photographic slides, video tapes, or other
sexually explicit visual depiction of a child or children engaging in
sexual conduct.
Items that would tend to show dominion and control over the
property searched, to include but not limited to, utility bills,
telephone bills, correspondence, rental agreements, subscriptions
and other identification documents.
Grey 2006 Nissan SUV bearing Texas license plate number-, registered to Randy Wesson.
and to seize the same and bring the same before me. Herein fail not, but
have you then and there this Warrant within three days, exclusive of the day
of its execution, with your return thereon, showing you have executed the
2014, to certify which witness my hand this da .

ISSUED AT @205 o'clockm on this the lag day of

TEXAS
:l?C?a?brng 'H'x BlS?i?mcf Cold-'1'"
SW-14-14

C:
Qw BEI L0 ?5 FILED
AFFIDAVIT FOR SEARCH DIST. CLERK
. TARRANT comm, TEXAS
37/15
NOV 1 8 2014
THE STATE OF TEXAS I ?o
TIME /5
BY
COUNTY OF TARRANT
The undersigned Affiant, being a Peace Officer under the laws of Texas, and
being duly sworn, on oath makes the following statements and accusations:
1. THERE IS IN TARRANT COUNTY, TEXAS, A SUSPECTED PLACE
ANDPREMISES DESCRIBED AND LOCATED AS FOLLOWS:
A Single Story
dwelling that in located on the west side of the street, between
The house has a red/orange brick
structure with white trim. The front door faces east and has a
white screen door on the exterior of the front door with black
numbers-in the center of the door. There is a two car
garage that is white in color with a brown trim on each door
making a "cross design? on each door. The curb on each side of
the drive has black background with white numbers- This
warrant includes the curtilage to include, but is not limited to,
sheds in the backyard, vehicles in the driveway belonging to
Randy Wesson and any detached structures on the property..
2.THERE IS AT SAID SUSPECTED PLACE AND PREMISES PROPERTY
CONCEALED AND KEPT IN VIOLATION OF THE LAWS OF TEXAS AND
DESCRIBED AS FOLLOWS:
A.
Computers, including any electronic, magnetic, optical,
electrochemical, or other high speed data processing devices
performing logical, arithmetic, or storage functions: data storage
facilities such as magnetic tape, hard disk, floppy disk or drum CD
ROM or scanner; communications facilities directly relating to or
operating in conjunction with such devices; devices for printing
records of data; and such recorded or data produced in various
forms; manual, documents, or instructional material relating to such
devices printers.
Computers, personal computer peripherals, modems, computer

Page 1
5 (p 5
printers, computer monitors, floppy disk driJUL, thumb drives, hard
drives, hard disk drives, diskettes, tapes, computer software,
computer programs and applications, computer manuals, system
documentation and electronic communications stored in computer
as email.
Such information, communications may be in the form of electronic
communication (such as email and text messages) residing on any
media (eg. magnetic or optical). That information may include
electronic communications held or maintained in electronic storage
by an electronic communication service or remote computing
service, as those services are defined within 18 2703.
These communications are referred to herein as "stored
communications". These communications related to this case
stored in the suspect computer in electronic services as email. The
Federal Law, which is part of the Electronic Communications
Privacy Act, allows interception of such electronic communications
pursuant to a search warrant.
Cell phones, including but not limited ta-belonging
to or used by;
Randy Ray Wesson
Matthew Drew Wesson (known as),
Photographs taken of the location or photographs of evidence taken
by the Hurst Police Department as evidence.
Printed or stored photographic images (in any form) containing
sexually explicit visual depictions of a child or children,
photographs, negatives, photographic slides, video tapes, or other
sexually explicit visual depiction of a child or children engaging in
sexualconduct
Items that would tend to show dominion and control over the
property searched, to include but not limited to, utility bills,
telephone bills, correspondence, rental agreements, subscriptions
and other identification documents.
Grey 2006 Nissan SUV bearing Texas license plate number-, registered to Randy Wesson.
Any documentation that can help prove the true identity of
Matthew Drew Wesson. This includes, but is not limited to,
immigration papers, birth certificates and medical records.
Page 2
SL0 30105
SUSPECTED PLACE AND PREMISES ARE IN CHARGE OF AND
CONTROLLED BY EACH OF THE FOLLOWING PERSONS:
Cornelius A Presley, DOB September 3, 1926, Texas
(currently living in a nursing home).
Randy Ray Wesson, DOB February 1, 1986, Texas BL(currently living in the residence at- Fort Worth,

TexasL
4. IT IS THE BELIEF OF AFFIANT, AND HE HEREBY CHARGES AND
ACCUSES, THAT:
That on or about the day of June, 2014, Randy Ray Wesson
did then and there intentionally or knowingly possess visual
material, to wit: photograph~jpeg, which visually depicted, and
which the defendant knew visually depicted, a child, who was
younger than 18 years of age at the time the image of the child
was made, engaging in sexual conduct, to wit: oral sex and
That on or about the 4th day of August, 2014, Randy Ray
Wesson did then and there knowingly, make, possess a
governmental record with intent that it be used unlawfully, or
present a governmental record with knowledge of its falsity, to
wit: birth certificate belonging to Matthew Drew Wesson, and
said record is of the tenor of the following: Ohio Department of
Health Vital Statistics.
5. AFFIANT HAS PROBABLE CAUSE FOR SAID BELIEF BY REASON OF THE
FOLLOWING FACTS:
1. On Friday June 20, 2014 Hurst Public Service Officer Travis
Hiser generated a Hurst Police Department offense report from a
report forwarded to the Hurst Police Department by the NCMECNational Center for Missing and Exploited Children and the Dallas
Police Department Child Exploitation Unit. Officer Hiser reviewed
the report and stated the following; On June 8, 2014 the
National Center for Missing and Exploited Children received a
Cyber Tip, number 250603, from lnstagram. The tip was
reporting child pornography related to Username "littleboy8" and
Page 3
3, 30 I II:
email address of repodisk@hotmail.com, lP ress
50.11.86.108. A child pornography jpeg was uploaded to the IP
address on June 7, 2014 at 00:46 UTC. Said offense has been
reported to the Hurst Police Department and has been assigned
report number 2014003807 for Possession of Child
Pornography. Said report has been reviewed by your affiant,
Chad Woodside.

. NCMEC did a Geo-lockup on this IP address and it returned to


Fort Worth, Texas, Clear wireless. NCMEC conducted a search
on the email address "repodisk@hotmail.com" and found the
following post made by user "repodisk" on the forum
"bedwettingABDL.com; am a 26 years old daddy looking for a
baby boy. I want to change you (wet or messy) feed you bathe
you and play with you. I am looking for temporary or
permanent. I want my baby to be smooth and under 21. My
baby will be treated like a real baby. If your interested or have
questions email me at NCMEC found
another posting by "repodisk" in the same forum that stated
am a baby boy looking for a mommy daddy babysitter. I am
looking for permanent or temporary situation?. Another search
through Google on "repodisk" shows 27*M*Hurst*TX". A
search on Spokeo website on repodisk@hotmail.com found a link
to the name Randy Wesson. NCMEC records showed that
Grapevine Police Department sent in a report with concerns on a

Randy Wesson in 2012. That report states that Randy Wesson


was an employee at the Sea Life Aquarium and while working
picked up a 4 year old male child. Wesson then approached the
child?s mother and asked if he could babysit the male. The case
was investigated but charges were never filed. Your affiant
obtained a copy of the police report.
. NCMEC then forwarded the pornography tip and files to Dallas
Police Department Child Exploitation Unit on approximately June
12, 2014. The case was sent to Analyst Raymond Irvine and
eventually assigned to Detective Gregory Dugger. After reading
the NCMEC report that referred to Grapevine Detective Rebecca
Graves, Detective Dugger called Detective Graves and spoke to
her about the case. She stated that the suspect, Randy Wesson,
lived a ?in Hurst and instructed him to
forward the report to Hurst Police. Detective Dugger then
forwarded this report and files to Hurst Detective Greg Noone
who instructed Public Service Officer Hiser to take the report.
Page 4
4. Your affiant obtained and reviewed this and'all
documents. Your affiant ran Randy Wesson through Hurst
databases and a complete check through Wesson?s
Texas driver?s license showed him to live at
-, Hurst, Texas. Your affiant had a medical issue and was
off work the next 9 weeks. A check on ?in
Hurst showed the house to belong to Lloyd and Debra Wesson.
On Wednesday November 12, 2014, your affiant went by the
residence to speak with Randy, Lloyd or Debra Wesson. Lloyd
"Bruce" Wesson answered the door and invited me in. No one
else was home at the time. Bruce stated that it was his son
Randy who probably looked at the child pornography over the
internet. He stated that he suspected Randy of looking at child
pornography and said he suspected that Randy was gay. He
said that when Randy is at his house he usually gets on the
internet using his phone, however he does occasionally use the
desktop. Bruce continued to talk about Randy and their family
and then said, "Can I tell you something strange?? He said
Randy showed up in February 2014 with a 12 year old boy.
Bruce told your affiant that Randy told him and his wife that a
female called him from El Paso, Texas and told him that the 12
year old child was his child, that she did not want him anymore
and he needed to come get the child. Randy told his parents
that he had a DNA test done in El Paso and the child was in fact
his, so he went to El Paso and picked the child up. Bruce stated
that Randy lives with them on the weekends and in Fort Worth
at -, Fort Worth, Texas, during the week. Bruce
explained that the house on David Drive belongs to his father?inlaw, C. A. Presley, who is currently in a nursing home. Bruce
told your affiant that he pays all the bills at the house on David
Drive and pays Randy's cell phone which is He said that
the boy, Matthew, lives with Randy. Bruce said that Randy
enrolled Matthew in school at Hurst Hills Elementary School at
the beginning of this year (August 2014) but kept him out of
school from February 2014 to August 2014. Bruce told your
affiant that Randy changed Matthews?s last name to Wesson.
Bruce had no clue how Randy enrolled Matthew into school
without proper documentation. Your affiant asked Bruce if he
has ever questioned Matthew about his past or his mother. He
said, "Yes, but Matthew will not talk about it?. Bruce then
paused and said, "Can i tell you something very weird?? He said
Matthew wears diapers at night. He stated Matthew was 6'0"

tall and spoke three languages, English, Spanish and German.


Page 5
$10 '5 Chin
Your affiant told Bruce that this would be i stigated and
meanwhile he agreed not to say anything to Randy.
. On Thursday November 13, 2014, your affiant went to Hurst
Hills Elementary School, 525 Billie Ruth Lane, Hurst, and
contacted school Principal Elizabeth Sanders. Sanders stated that
Matthew Wesson was enrolled at her school. She stated that if
a child enrolled and did not have a birth certificate or proof of
prior education, it would be flagged and sent to her. Sanders
said Wesson was not flagged at time of enrollment. Your affiant
was able to obtain Matthew's enrollment documents on Friday
November 14, 2014. Your affiant was provided a birth
certificate in the name "Matthew Drew Wesson", a "Student
Enrollment Form? which contained emergency contacts, address,
etc. and Matthew Wesson?s vaccination records. There were no
documents on Matthew?s last school attended. When your
affiant questioned this, Sanders stated it is because the father
said that Matthew came from Mexico. She said they only
attempt to get prior school records if they are from within the
United States. Your affiant later examined the Enrollment Form.
The form states that Matthew's date of birth is March 25, 2002,
he resides at Hurst, Texas, his father and
emergency contact was Randy Wesson and grandparent?s
information, Debbie and Bruce Wesson were listed as people the
school could share information with. There was no other parent
information on the report. Your affiant noticed that Randy listed
his contact information as ?repodisk@hotmail.com? and his
phone number as-. Your affiant then examined
the vaccination record. The records showed a total of 12 shots
and all were given between the dates of July 15, 2013 and July
28, 2014. Your affiant noticed that most of the "parent of
guardian" signatures appeared to be 3 Wendy Callahan and a Pat
Crutchfield.
. Your affiant then examined the birth certificate in the name
Matthew Drew Wesson. The certificate was from Ohio
Department of Health/Vital Statistics. This seemed odd since
Bruce Wesson, Debbie Wesson nor Randy Wesson ever-showed
to live in Ohio, according to Accurint database. The certificate
had the number 02?92501 8 in the top right hand corner. Your
affiant did confirm the name of the hospital and doctor listed on
the certificate were actually in Cleveland, Ohio. The name listed
as the mother on the certificate is "Valeria Lagos Villanueva?,
date of birth December 29, 1966, age 36. Your affiant checked
Page 6
guns
this name and date of birth through databa aal
with no records found. The father listed on the certificate was
Randy Ray Wesson, date of birth January 2, 1986, age 16.
According to the Texas Department of Public Safety Driver?s
License Division on Randy Ray Wesson, he is issued Texas
driver?s license number 02632183 however his date of birth
shows to be February 1, 1986, not January 2, 1986 as the
certificate shows. The address on the certificate for the parents
shows Akron, Ohio. A search of that address

in Accurint shows no links with that address and Randy, Bruce


or Matthew Wesson or Valeria Villanueva. Suspecting that this
birth certificate was counterfeit, your affiant called the Ohio
Department of Health/Vital Statistics and spoke to Ed Quinn.
Your affiant gave Mr. Quinn all the names, numbers and address
listed on the certificate. He stated that the number assigned to
the certificate shows he found nothing searching
Matthew Drew Wesson, Matthew Lagos or Matthew Villanueva
or date of birth of March 25, 2002 (Matthew?s birth date listed
on the certificate). Mr. Quinn also showed
under the mother?s name, running it several different ways and
by the date of birth. Mr. Quinn requested that your affiant email
a copy of the birth certificate to the compliance department and
they could confirm for sure if the certificate was counterfeit.
Your affiant sent them a copy of the certificate on Friday
November 14, 2014. Angela Stephens with the Ohio
Department of Health/Vital Statistics Compliance Department
viewed the said birth certificate and on November 17, 2014
stated in an email that a statewide check of their database on
Matthew Drew Wesson, date of birth March 25, 1986, born to
Valeria Villanueva and Randy Wesson resulted in no records
found. She said there was also no record for Randy Wesson or
Valeria Villanueva. The certificate number 02-925018 is actually
assigned to a birth certificate in Ohio, however it is issued to a
person with a different name and date of birth.
. Your affiant has solicited the assistance of the FBI, DPS Special
Crimes, US. Immigration, Child Protective Services and the
Tarrant County District Attorney?s Office on this case.
Subsequent investigation through the Tarrant County Appraisal
District on?, Fort Worth, Texas shows the
owner to be Cornelius A. Presley. Presley?s information shows
Hurst, Texas. Your affiant drove to this
address and observed a grey Nissan SUV, bearing Texas license
plate A registration check through the Department
Page 7
. WI (as
of Motor Vehicles on license shows th ner to be Randy
Wesson at Hurst, Texas. Your affiant
contacted Bruce Wesson by phone on Friday November 14,
2014 and he confirmed that Randy does drive a grey Nissan
SUV. Bruce also told your affiant that Randy does have a
desktop computer, a laptop computer and possibly an IPAD
inside his residence at -, Fort Worth, Texas.
Subsequent investigation through database LP Police on Randy
Wesson?s phone number listed on the school enrollment form of
shows that it is an account belonging to
Randy Wesson. Bruce also confirmed that he, his wife nor
Randy have ever lived in the state of Ohio.
8. On Friday November 14, 2014, your affiant viewed the
photograph in evidence that was seized by lnstagram and
forwarded to NCMEC, Dallas Police Department and eventually
Hurst Police Department. The photograph depicts a young nude
male that appears to be approximately 10-12 years of age,
receiving oral sex from a much older male. Although you
cannot see the young male's genitals, you can see the older
male?s partial face in the area of the young male?s genitals which
"depicts patently offensive representations or descriptions of
ultimate sexual acts".

9. On Monday November 17, 2014, your affiant called Dallas Police


Detective Greg Dugger and asked him if he did a subpoena for
the CLEAR IP address. He said he did not, but that he would
obtain the information as soon as possible for your affiant.
10.0n Monday November 17, 2014, your affiant called Bruce
Wesson and asked him if what internet service Randy Wesson
uses. He stated that he used to have CLEAR WIRELESS,
however he now has Charter Communications. Your affiant
asked Bruce if Randy ever brought his CLEAR mobile device to
his (Bruce?s) house to use the internet. He said he did not think
so.
1 1 .Subsequent investigation through the Texas Department of
Public Safety Driver?s License Division on 3 Randy Ray Wesson,
a white male whose date of birth is February 1, 1986, shows
that he is currently issued Texas driver?s license number
resides at Hurst, Texas, is
5?8" tall, 135 pounds, has brown hair and hazel eyes.
Page 8
3w I (a 5
12.8ubsequent investigation through the Tex L'rime Information
Center and the National Crime Information Center on Randy Ray
Wesson, a white male whose date of birth is February 1, 1986,
shows no record.
Based on your affiant?s knowledge of digital photography, digital
cameras, computers and the knowledge of personnel with whom
your affiant has consulted on the issue, your affiant knows that
effective searches and seizures of evidence from digital cameras
(storage media) and computers require that these devices be
processed by a forensic expert in a controlled environment. This
is true because: computer storage devices, digital cameras,
digital storage devices, removable storage devices can all store
thousands of digital images and information. The device can
store and delete images as directed by the user. Image files can
be named by the user. Searching the digital camera, computers,
and digital photography storage devices for criminal evidence is a
technical process requiring a skilled professional in a controlled
environment. The search is signed to protect the integrity of the
evidence and recover hidden, erased photographic images. Your
affiant ask that any of these devices be sent to a forensic expert
to be examined.
Your affiant is asking for this warrant because your affiant has
reason to believe and does believe that Randy Ray Wesson
possesses child pornography in his residence, on his computer
and on his phone. Your affiant also believes that Randy Ray
Wesson presented a counterfeit Government Record to the Hurst
Hills Elementary School with the intent to hide the true identity
of the young male living with him, known as Matthew Wesson.
Your affiant has reason to believe that Matthew Wesson is not
Randy Wesson?s son and Randy Wesson?s residence contains
documents that have Matthew?s true identity. A search of
Instagram shows that Randy Wesson and Mathew Wesson both
have accounts. Matthew?s last post was 38 weeks ago, putting
the time around February, 2014. Said post also show that
"repodisk" and Matthew are friends. Since
Randy Wesson no longer uses CLEAR WIRELESS (which can be

used mobile), your affiant believes that Randy Wesson uses the
internet at his residence to download photographs and store
photographs on his home computer, laptop or phone.
WHEREFORE, Affiant asks for issuance of a warrant that will authorize him
to search said suspected place and premises for said property and seize the
Page 9
same.

Subscribed and sworn to before me by said Affiant on this the My of


,2014.

RAN
ct weds

U?f?

Page 10
.
FILED 51d ill/H

THOMASAW
Timmiig??i??iix?iisi?? 50? 30 (026
NOV 2 1 2014 2014003807
TIME Bil?
BM

?zzy/71H DEPUTRETURN AND INVENTORY


THE STATE OF TEXAS I
COUNTY OF TARRANT
The undersigned Af?ant, being a Peace Of?cer under the laws of Texas and
being duly sworn, on oath certi?es that the foregoing Warrant came to hand on the
day it was issued and that it was executed on the 18th day of November, 2014, by
making the search directed therein and seizing during such search the following
described property:

TTom Tom GPS


Business Card "Nurse Practitioner Kala Bright
Chase Credit card Statement and other paper documents belonging to Randy
VVesson
Dell computer
One DVD marked ORISKANY
Six Journals containing hand written notes
One CD
SD card
Sim?s card
Small sentry safe
HP lap top computerSer#41005RG
Thumb drive
Seven DVD's
Six compact disc
Acer lap to computer ser#11609880225
Wi-Fi controller
Seagate 4068 hard drive serial
Simple Tech 25068 serial #07135200250311683
HTC T-Mobile cell phone
Thumb drive black and red in color
Silver case containing three SD cards
Three cellphone SIMS cards
Two thumb drives
Six pieces of ID belonging to David Uribe
Two white colored prescription pills
Five yellow prescription pills
White colored Samsung cell telephone
Black colored Samsung cell telephone
Black colored Phoneom Tom GPS
Busines Card "Nurse Practioner Kala Bright
Chase Credit card Statement and other paper documents belonging to Randy
VVesson
Dell computer
One DVD marked ORISKANY
Six Journals conttaining hand written notes

One CD
SD card
sim card
Small sentry safe
HP lap top computerSer#41005RG
Thumb drive
Seve DVD's
Six compact disc
Acer lap to computer ser#11609880225
wif ft controller
Seagate 406B hard drive serial
Simple Tech 2506B serial #07135200250311683
HTC Tmobile cell phone
Thumb drive black and red in color
Silver case containing three SD cards
Three cell telephone SIMS cards
Two thumb drives
Six pieces of ID belonging to David Uribe
Two white colored prescription pills
Five yellow prescription pills
White colored Samsung cell telephone
Black colored Samsung cell telephone
Black colored Phone

whim
SUBSCRIBED AND SWORN to before me, the undersigned authority, on the
day of November, 2014.
RETURNED AT 3 1 st 5? o'clock o. on this the 447,4 day of
?am? gm 20153 to certify which witness my hand th day.

MAGI TRA E, TARRANT COUNTY, TEXAS

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