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SUPERIOR COURT o1= CALIFORNIA v’.Y0, ,
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COUNTY or SOLANO B .4» ?;‘-“q


*

THE PEOPLE OF THE STATE OF CALIFORNIA


Plaintiff
Case NO.

cc@aQo1¢a<
JESSICA YESENIA QUINTANILLA (10/09/2000* FELONY COMPLAINT
aka: JESSICA QUINTANILLA

MARCO ANTONIO QUINTANILLA (09/03/1994)


aka: MARCOS A QUINTANILLIA
MARCO ANWTONIO QUINTANILLA
MARCO QUINANILLA
MARCO QUINTANILLA

3910
Defendants
QB
. .

1 I P4

The undersigned is informed and believes that:

COUNT 1
On or about October 30, JESSICA YESENIA QUINTANILLA did commit
2021, defendant a
felony namely: MURDER, a violation of Section l87(a) of the Penal Code of the State of
Califomia, County of Solano, in that said defendant did unlawfully, and with malice
aforethought murder L.B., a human being.

"NOTICE: The above offense is a serious felony within the meaning of Penal Code Section
1 192.7(0) and a violent felony within the meaning of Penal Code Section 667.5(c).“

"NOT1CE: Conviction of this offense will require you to provide specimens and samples
pursuant to Penal Code section 296. Willful refusal to provide the specimens and samples is a
crime." 1

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It is further alleged as to count ONE


that said defendant JESSICA YESENIA QUINTANILLA
personally and intentionally discharged a firearm, a handgun, which caused great bodily injury
and death to L.B. within the meaning of Penal Code Section l2022.53(d) also causing the above
offense to become a serious felony pursuant to Penal Code section 1l92.7(c)(8) and a violent
felony within the meaning of Penal Code section 667.5(c)(8).

It isfurther alleged as to count ONE


that said defendant JESSICA YESENIA QUINTANILLA
personally and intentionally discharged a firearm, a within the meaning of Penal Code Section
,

l20Z2.53(c) also causing the above offense to become a serious felony pursuant to Penal Code
section 1l92.7(c)(8) and a violent felony within the meaning of Penal Code section 667.5(c)(8).

It is fi.1rther alleged as to count ONE


that said defendant JESSICA YESENIA QUINTANILLA
personally used a firearm, a handgun, within the meaning of Penal Code Section l2022.53(b)
also causing the above offense to become a serious felony pursuant to Penal Code section
1 l92.7(c)(8) and a violent felony within the meaning of Penal Code section 667.5(c)(8).

COUNT 2
On or about and between October 30, 2021 and October 31, 2021, defendant MARCO
ANTONIO QUINTANILLA did commit a felony namely: ACCESSORY AFTER THE FACT-
(KNOWLEDGE OF CRIME), a violation of Section 32 of the Penal Code of the State of
Califomia, County of Solano, in that said defendant unlawfully, having knowledge that the crime
of MURDER, a felony, in violation of Section l87(a) of the PENAL Code of the State of
Califomia had been committed by JESSICA QUINTANILLA, did harbor, conceal, and aid said
JESSICA QUINTANILLA, with the intent that he/she might avoid and escape from arrest, trial,
conviction, and punishment for said felony.

It is further alleged, that prior to the commission of that offense or offenses alleged in Count
TWO, the defendant MARCO ANTONIO QUINTANILLA had been convicted of the following
serious and/or violent felony, as defined in Penal Code section 667(d) and Penal Code section
ll70.l2(b), and is thus subject to sentencing pursuant to the provisions of Penal Code section
667(b)-(j) and Penal Code section ll70.l2:

Court Case No. Code Statute Conv. Date County of Court State Court Type
1-160231-7 664/l87(a) 10/25/2013 CONTRA COSTA CA SUPERIOR

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It is further alleged that the defendants JESSICA YESENIA QUINTANILLA and MARCO

ANTONIO QUINTANILLA did commit acts which aggravate the above crime(s) pursuant to Rules
4.408 and 4.421 of the Califomia Rules of Court.

DISCOVERY REQUEST PURSUANT TO PENAL CODE SECTION 1054/1054.7:


Pursuant to Penal Code sections 1054 through 1054.7, the People request that, within fifieen (15)
days, the defendant and/or his/her attorney disclose: (a) The names and addresses of persons,
other than the defendant, he/she intends to call as witnesses at trial, together with any relevant
written or recorded statements of experts made in connection with the case, and including the
results of physical or mental examinations, scientific tests, experiments, or comparisons which
the defendant intends to offer in evidence at the trial. This request is a continuing request, to
cover not only all such material currently in existence, but also all material which comes into
existence to the conclusion of this case.

lDECLARE UNDER PENALTY OF PERJURY THAT THE FOREGOING IS TRUE AND


CORRECT AND THAT THIS COMPLAINT CONSISTS OF 2 COUNTS.
Executed at Fairfield, California, on November 2, 2021.

BRUCE T. LYNN\7<‘
'

I .1

DECLARANT AND COMPLAINANT


AGENCY: FAIRFIELD POLICE D.A. NO.: F213685
DEPARTMENT

Arresting Officer: CHAPMAN, Badge # 1677


BOOKING CUSTODY
DEFENDANT CII NO DOB NO R’TN DATE
JessicaYesenia Quintanilla A38087456 10/09/2000 21-08576
Marco Antonio Quintanilla A31181962 09/03/1994 21-08577

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