1/5/2021 9:43 AM 21CR00416 IN THE CIRCUIT COURT OF THE STATE OF OREGON FOR THE COUNTY OF MARION THE STATE OF OREGON Plaintiff, vs CHANDLER PRESTON ALEXANDER PAPPAS, (DOB: 04/29/93) Defendant. No. 21CR00416 INFORMATION The above named defendant is accused by PAIGE E. CLARKSON, District Attorney for the County of Marion, by this information of the crimes of: Count I: ORS 163.208 ASSAULTING A PUBLIC SAFETY OFFICER(C Felony) Count 2: ORS 163.208 ASSAULTING A PUBLIC SAFETY OFFICER (C Felony) Count 3: ORS 163.208 ASSAULTING A PUBLIC SAFETY OFFICER (C Felony) Count 4: ORS 163.208 ASSAULTING A PUBLIC SAFETY OFFICER (C Felony) Count 5: ORS 163.208 ASSAULTING A PUBLIC SAFETY OFFICER (C Felony) Count 6: ORS 163 .208 ASSAULTING A PUBLIC SAFETY OFFICER (C Felony) Count 7: ORS 164.265 CRIMINAL TRESPASS WHILE IN POSSESSION OF A FIREARM (A Misdemeanor) Count 8: ORS 164.225 BURGLARY IN THE FIRST DEGREE (A Felony) Count 9: ORS 166.015 RIOT (C Felony) committed as follows: COUNT 1: The defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly cause physical injury to Anthony Burke, a person defendant knew to be a peace officer, while Anthony Burke was acting in the course of official duty. COUNT 2: As part of the same act or transaction, as alleged in Count 1 above, the defendant, on or about December 2 l, 2020, in Marion County, Oregon, did unlawfully and knowingly cause physical injury to Logan Denney, a person defendant knew to be a peace officer, while Logan Denney was acting in the course of official duty. COUNT 3: As part of the same act or transaction, as alleged in Count 1, and Count 2 above, the defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly cause physical Page 1 of 3 - INFORMATION D.A.#: 21-71-A injury to Roger Hibbeler, a person defendant knew to be a peace officer, while Roger Hibbeler was acting in the course of official duty. COUNT 4: As part of the same act or transaction, as alleged in Count 1, Count 2, and Count 3 above, the defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly cause physical injury to Jeffrey Lucenti, a person defendant knew to be a peace officer, while Jeffrey Lucenti was acting in the course of official duty. COUNT 5: As part of the same act or transaction, as alleged in Count 1, Count 2, Count 3, and Count 4 above, the defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly cause physical injury to Vincennt Salazar, a person defendant knew to be a peace officer, while Vincennt Salazar was acting in the course of official duty. COUNT 6: As part of the same act or transaction, as alleged in Count 1, Count 2, Count 3, Count 4, and Count 5 above, the defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly cause physical injury to David Smith, a person defendant knew to be a peace officer, while David Smith was acting in the course of official duty. COUNT 7: As part of the same act or transaction, as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, and Count 6 above, the defendant, on or about December 21, 2020, in Marion County, Oregon, did, unlawfully and intentionally, while in possession of a firearm, enter upon the premises located at 900 Court St. NE. COUNT 8: As part of the same act or transaction, as alleged in Count 1, Count 2, Count 3, Count 4, Count 5, Count 6, and Count 7 above, the defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly enter and remain in a building located at 900 Court St. NE, with the intent to commit the crime of criminal mischief therein, and, while in said building, defendant was armed with a firearm, a deadly weapon. The state further alleges that, during the commission of the above-described offense, the defendant was armed with a deadly weapon. COUNT 9: The defendant, on or about December 21, 2020, in Marion County, Oregon, did unlawfully and knowingly, while participating with 5 or more persons, engage in tumultuous and violent conduct, thereby recklessly creating a grave risk of causing public alarm. Dated at Salem, Oregon, this 5th day of January, 2021 PAIGE E CLARKSON Marion County District Attorney By: (signature) KEIR BOETTCHER, OSB 113320 Deptuy District Attorney 01/05/21 @ 2:30 PM KEB/ads AGENCY: AGENCY#: 20-29982 IDENTIFIERS: M Ht: Wt: Hair: Eyes: SID: INST: No CNTRL#JMAR121020500 12/21/2020 COPIES: 1=Defendant, 1=File, 1=mcso Page 2 of 3 -INFORMATION D.A.#: 21-71-A