criminal complaint against larry o'neil walker ii
DESCRIPTION
Criminal complaint filed against Larry O'Neil Walker II, a person of interest in a Detroit barbershop shooting.TRANSCRIPT
AO 91 (Rev.08/091 Criminal Complaint
2:L3-mj-30726-DUTY Doc dfioSpecial Agent
Uurpn SrnrBsIor
Pg 1 of 4 rPr$rlfiJtsr3)226_ess7Telephone: (313)965-2323Krupa, FBI
ISTRICT COUNT
United States of America,
Plaintiff,
LARRY O'NEIL WALKER, II
in the Eastern District of
(lode Sectionl8 USC Section 1 1 1(a) and (b)
Sworn to before me and signed in my presence,
Date: November 8. 2O
City and state: petroit , Michioan
Eastem Distri of Michigan
Defendant(s).
CRIMINAL MPLAINT
l. the complainant in this case, state that the following is to the best of my knowledge and belief:
On or about the date(s) of , in the counry of Oaklandthe defendant(s) violated:
Olfense Desuiption
Case:2:13-mj -30726Judge: Unassigned,Filed: '11-08-2013 At 11:02 AMRE: I-ARRY O'NE|L WALKER, il (EoB)
Felonious Assault on a Federal Officer
rEIE
n
Printed name and tille
2:1-3-mj-30726-DUTY Doc # 1- Filed 1-1-lOB/13 Pg 2 o'( 4 Pg lD 2
AFFIDAVIT
I, being duly sworn, dppot. and state the following:
1. I am a Special Agent with the Federal pu.eau of Investigation (FBl) in Detroit,
Michigan and I am assigned to the Violenf Crime Task Force. My duties include
the investigation of federal crimes of viol{nce including assault and weapons
violations.
2. I make this affidavit from personal knc
investigation, including witness interview
officers, communications with others whc
and circumstances described herein, and ifrformation gained through my training
and experience. The information outline{ below is provided for the limited
purpose of establishing probable cause, a{'rd does not contain all details or all facts,
which exist pertaining to this investigatioft.
3. On 6 November, 2013, at approximat{ly 9:45 p.m', members of the Detroit
Violent Crime Task Force initiated suw.f llunce in the area of 8XX Lynhaven
C_ouft: Rochgster Hills, Michigan. The srirveillance was related to a Detroit Police
Department'Homicide investigation with multiple victims, and the target of the
surveillance was Larry O'Neil Walker II.
4. During surveillance, Task Force Offic
white passenger vehicles leave the reside
area of Rochester Road and Avon Road i
The vehicles stopped briefly at several lo
restaurants, without exiting the cars. Tht
time. The vehicles were believed to be I
Oneil Walker and were observed talking on what appeared to be cell phones.
5. By approximately 12:20 a.m., on 7 Npvember, 2013, Task Force Officers and
Agents had lost sight of one white vehicfe. They observed the second parked at
8XX Lynhaven Court, Rochester Hills, \4ichigan. At that time, Federal Bure.-au of
Investigation Task Force Officer (TFO) who was a member of the
surveillance team, was parked in an unniarked surveillance vehicle at the Outback
Steakhouse at 1880 South Rochester Ro{d, Rochester Hills, Michigan.
2:13-mj-30726-DUTY Doc # 1 Filed LL1OS1L3 Pg 3 of 4 Pg lD 3
6. TFO observed a blue chrysler minivan, later determined to bear
Michigan License Plate CLE 1867, appro4ch his vehicle in the parking lot. TFO
- artempted td'exit the parking lot al which time the driver of the van
atternptedtoblockhispathbydr iv ingto,*1ardTFo-vehic le.Thedr iverof van then drove his vehicle toward the driver's side of Herzog's vehicle' Fearing
for his safety, TFO was able to ev@de contact and pulled onto Rochester
Road, heading north.
7. As TFO rove north on Roche$ter Road, he requested assistance via
radio from other members of the Violent Crime Task Force as the driver of the van
pursued and attempted to ram the rear burppers and rear quarter panels of TFO
vehicle. Continuing to fear for lfris safety, TFO was.again forced
to evade contact by accelerating to 80 mph. The driver of the van continued to
pursue TFO North on Rochester Road, veering toward TFO
vehicle between six and eight more times before other TFO's and agents arrived to
assist. Based on TFO training alnd experience., he believed that if he
would have allowed the driver of the van lto pull beside hirn, the van would have
rammed his vehicle to incapacitate him. On at least one occasion, TFO
was forced to rnove his vehicle into the csnter lane of Rochester Road to avoid
contact.
8. As TFO approached the Clinten River overpass on Rochester Road,
near the intersection of South Street, othqr TFO's and Agents arrived to assist.
TFO- then activated emergency blue and red flashers located on the rear
deck of his unmarked vehicle, and slowe{ to a stop. The driver of the van, who
was behind vehicle, then drove forward and towards TFO
driver side door.
9. At that time other TFO's attempted to box the van in from the rear. The van
began to reverse towards the other TFO Vehicles. TFO then exited his
vehicle with his badge plainly in sight, alrd identified himself as a Police Officer.
TFO |r!$egan to give verbal commflnds, ordering the driver of the uln to ,top
and place his hands in the air. The drivef continued to reposition the van to drive
off and yelled out, "l don't fucking care iffou are thb police, no one chases my
mamma."
2:13-mj-30726-DUTY Doc # L filed LIIOBILS Pg 4 ot 4 Pg lD 4
f O. fpOethen was able to gain cofrtrol of the driver and removed him fronl
the van. While conducting a pat down fo4 weapons, TFO's and Agents observed
that,the driver, then identified as Larry O'fNeil Walker II, was wearing a bullet
proofvest
I l. At all times relevant to these events, Qfficer was a federally
deputized Task Force Officer of the Fede{al Bureau of Investigation and the FBI
Violent Crimes Task Force and was engaged in the performance of his official
duties.
12. Affiant believes there is probable cau]se that in light of the facts and
circumstances described above, in the Ea$tem District of Michigan, LARRY
O'NEIL WALKER II, knowingly, and by means of a dangerou! weapon, [o-wit: an
automobile, did fgrcibly assault, resist, oqpose, impede, intimidate and interfere ,with a task force officer enlployed by the Federal Bureau of
Investigation, with the intent to commit afrother felony, that is, felonious assault,
whil was engaged in his official duties, in violation of Title 18,
UnitedStates Code, Section 1 l1(a) and (h).
pecial Agent
Fe$eral Bureau of Investigation
Affiant
Subscribed and swom to before me
This 8th day of November, 2013
Hon. Mona Majzoub
United States Magistrate Judge
Eastern District of Michisan
pecial Agent and
Hon. Mona