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State of Minnesota District Court

County of Washington 10th Judicial District


CR-2014-839 Prosecutor File No.
82-CR-14-3142 Court File No.
State of Minnesota, COMPLAINT
Plaintiff, Order of Detention
vs.
STEVEN DION KELLUM DOB: 08/11/1967
3540 Columbus Avenue S
Minneapolis, MN 55407
Defendant.
The Complainant submits this complaint to the Court and states that there is probable cause to believe
Defendant committed the following offense(s):
COUNT I
Charge: FIeeing a Peace Officer in a Motor VehicIe
Minnesota Statute: 609.487.3, with reference to: 609.487.3
Maximum Sentence: 3 years and $5,000
Offense Level: Felony
Offense Date (on or about): 07/30/2014
Control #(CR#): 14406432
Charge Description: by means of a motor vehicle, flee or attempt to flee a peace officer who was acting in
the lawful discharge of an official duty, knowing or who reasonably should have known the same to be a
peace officer
COUNT II
Charge: Drugs - 5th Degree - Possess ScheduIe 1,2,3,4 - Not SmaII Amount Marijuana
Minnesota Statute: 152.025.2(a)(1), with reference to: 152.025.2(a)
Maximum Sentence: 5 years and $10,000 for a first controlled substance conviction
Offense Level: Felony
Offense Date (on or about): 07/30/2014
Control #(CR#): 14406432
Charge Description: possess one or more mixtures containing a controlled substance classified in
Schedule , , , or V, to wit: cocaine
COUNT III
Charge: Traffic - DWI - Third-Degree Driving WhiIe Impaired; Refuse to submit to chemicaI test
Minnesota Statute: 169A.26.1(b), with reference to: 169A.26.2
Maximum Sentence: One year and $3,000
Offense Level: Gross Misdemeanor
Offense Date (on or about): 07/30/2014
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Control #(CR#): 14406432
Charge Description: refuse to submit to a chemical test of said defendant's blood, breath or urine
pursuant to Minnesota Statute Section 169A.51 or 169A.52
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STATEMENT OF PROBABLE CAUSE

The Complainant states that the following facts establish probable cause:

Your complainant is a licensed peace officer in the State of Minnesota and is employed by the Minnesota
State Patrol. In that capacity and after review of the reports, your complainant states the following to
establish probable cause:
On J uly 30, 2014, at approximately 2:32 p.m. numerous law enforcement officers from various jurisdictions
were searching for a suspect in a homicide. Trooper Sturgill observed a vehicle matching the description
of the homicide suspect traveling in the area of 1st Street and D Street in Mendota Heights. Trooper
Sturgill also observed that the driver of the vehicle matched the description of the homicide suspect.
Trooper Sturgill, along with other law enforcement officers, activated their emergency lights in an attempt
to stop the vehicle on 1st Street.
The suspect vehicle initially pulled over to the right shoulder of the road and slowed down. The driver of the
suspect vehicle, later identified as STEVEN DION KELLUM, dob 08/11/1967, the defendant herein, then
sped up and began driving on 1st Street towards Highway 110. KELLUM drove the vehicle the wrong way
on 1st Street for several blocks before swerving through the ditch on his left, traveled several more blocks
the correct direction on 1st Street and exited onto Highway 110. KELLUM continued to travel eastbound
on Highway 110, with law enforcement officers in pursuit. KELLUM was weaving between all lanes of
travel and using both shoulders in an attempt to evade law enforcement. Stop sticks were successfully
deployed, causing KELLUM to slow. KELLUM continued to flee and traveled northbound on I-494, with flat
tires. KELLUM exited on Lake Street. Trooper Sturgill was able to perform a pit maneuver on the exit ramp
and stop the vehicle driven by KELLUM. The vehicle was stopped on the exit ramp of I-494 onto Lake
Street, in the City of Woodbury, Washington County, Minnesota.
Law enforcement officers approached the vehicle and demanded KELLUM exit the vehicle. KELLUM
refused to exit the vehicle and yelled "no" in response to their commands. A police K-9 was deployed on
KELLUM and he continued to refuse to exit the vehicle. Trooper Mains was able to get close to the vehicle
and deployed a taser into KELLUM's left side, at which point law enforcement were able to remove
KELLUM from the vehicle.
Trooper Sturgill noticed that KELLUM's pupils were pin points and that his speech was slurred. Based on
Trooper Sturgill's training and experience he believed that KELLUM was under the influence of a
controlled substance. KELLUM informed law enforcement that he fled because he did not have a valid
driver's license.
During a search of KELLUM's vehicle, suspected cocaine was located that NIK tested positive for
cocaine.
KELLUM was transported to Woodwinds Hospital in Woodbury where he was read the Minnesota Implied
Consent Advisory and refused to provide a blood or urine sample.
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SIGNATURES AND APPROVALS
Complainant requests that Defendant, subject to bail or conditions of release, be:
(1) arrested or that other lawful steps be taken to obtain Defendant's appearance in court; or
(2) detained, if already in custody, pending further proceedings; and that said Defendant otherwise
be dealt with according to law.
CompIainant Michael Connelly Electronically Signed:
08/01/2014 08:20 AM Sergeant
3489 Hadley Ave N
Oakdale, MN 55128
Badge: 91
Subscribed and sworn to before the undersigned.
Notary PubIic or
JudiciaI OfficiaI
Commission expires: 01/31/2017
Electronically Signed:
08/01/2014 08:54 AM
Linda Berger
Notary Public, County of Ramsey
3489 Hadley Ave N
Oakdale, MN 55128
Notary D: 31018917
Being authorized to prosecute the offenses charged, approve this complaint.
Prosecuting Attorney Electronically Signed:
08/01/2014 08:17 AM
Jessica L. Stott
PO Box 6
15015 62nd Street North
Stillwater, MN 55082
(651) 430-6115
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FINDING OF PROBABLE CAUSE
From the above sworn facts, and any supporting affidavits or supplemental sworn testimony, , the ssuing Officer, have
determined that probable cause exists to support, subject to bail or conditions of release where applicable, Defendant's arrest
or other lawful steps be taken to obtain Defendant's appearance in court, or Defendant's detention, if already in custody,
pending further proceedings. Defendant is therefore charged with the above-stated offense(s).
SUMMONS
THEREFORE YOU, THE DEFENDANT, ARE SUMMONED to appear on ________ ___, _____ at _____ AM/PM
before the above-named court at 14949 62nd Street N PO Box 3802, Stillwater, MN 55082-3802 to answer this
complaint.
F YOU FAL TO APPEAR in response to this SUMMONS, a WARRANT FOR YOUR ARREST shall be issued.
WARRANT
To the Sheriff of the above-named county; or other person authorized to execute this warrant: order, in the name of the State
of Minnesota, that the Defendant be apprehended and arrested without delay and brought promptly before the court (if in
session), and if not, before a Judge or Judicial Officer of such court without unnecessary delay, and in any event not later than
36 hours after the arrest or as soon as such Judge or Judicial Officer is available to be dealt with according to law.
Execute in MN Only Execute Nationwide Execute in Border States
ORDER OF DETENTION
X
Since the Defendant is already in custody, order, subject to bail or conditions of release, that the Defendant continue to be
detained pending further proceedings.
Bail: $
Conditions of Release: Hold for Court
This complaint is issued by the undersigned Judge as of the following date: August 1, 2014.
JudiciaI Officer John R. McBride
District Court Judge
Electronically Signed: 08/01/2014 09:43 AM
Sworn testimony has been given before the Judicial Officer by the following witnesses:

COUNTY OF WASHINGTON
STATE OF MINNESOTA
State of Minnesota
Plaintiff
vs.
Steven Dion KeIIum
Defendant
Clerk's Signature or File Stamp:
RETURN OF SERVICE
I hereby Certify and Return that I have served a copy of this Order of
Detention upon the Defendant herein named.
Signature of Authorized Service Agent:
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