Parise Larry/Antonio Johnston Criminal Complaint
Parise Larry/Antonio Johnston Criminal Complaint
Parise Larry/Antonio Johnston Criminal Complaint
FILED
05-10-2023
Clerk of Courts
Fond du Lac County WI
STATE OF WISCONSIN CIRCUIT COURT FOND DU LAC COUNTY
2023CF000398
DA Case No.: 2023FL001388
STATE OF WISCONSIN Assigned DA/ADA: Eric J. Toney
Plaintiff, Agency Case No.: 23-3072
Court Case No.: 2023CF000398
vs.
ATN:
ANTONIO K JOHNSTON
ATN:
PARISE E LARRY
The undersigned law enforcement officer of the Fond du Lac Police Department, being first duly sworn, states
that:
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did cause the death of VICTIM 1, with intent to kill that person, contrary to sec.
940.01(1)(a), 939.50(3)(a), 939.05, 939.63(1)(b), 939.632(2)(a) Wis. Stats., a Class A Felony, and upon
conviction shall be sentenced to imprisonment for life.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 2: ATTEMPT FIRST DEGREE INTENTIONAL HOMICIDE - PTAC, AS A PARTY TO A CRIME, USE OF
A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Antonio K Johnston)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, attempted to cause the death of VICTIM 2, with intent to kill that person, contrary
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
to sec. 940.01(1)(a), 939.50(3)(a), 939.32, 939.05, 939.63(1)(b), 939.632(2)(a) Wis. Stats., a Class B Felony, and
upon conviction may be sentenced to a term of imprisonment not to exceed sixty (60) years.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 3: FIRST DEGREE RECKLESS INJURY - PTAC, AS A PARTY TO A CRIME, USE OF A DANGEROUS
WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Antonio K Johnston)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly cause great bodily harm to VICTIM 3, under circumstances which
show utter disregard for human life, contrary to sec. 940.23(1)(a), 939.50(3)(d), 939.05, 939.63(1)(b),
939.632(2)(a) Wis. Stats., a Class D Felony, and upon conviction may be fined not more than One Hundred
Thousand Dollars ($100,000), or imprisoned not more than twenty five (25) years, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 4: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Antonio K Johnston)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 4, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did cause bodily harm to VICTIM 5, by the negligent use or handling of a
dangerous weapon, contrary to sec. 940.24(1), 939.50(3)(i), 939.05, 939.63(1)(c), 939.632(2)(a) Wis. Stats., a
Class I Felony, and upon conviction may be fined not more than Ten Thousand Dollars ($10,000), or imprisoned
not more than three (3) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(c) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the underlying crime may be
increased by not more than four (4) years.
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 6: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Antonio K Johnston)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 5, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 7: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Antonio K Johnston)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 7, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 8: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Antonio K Johnston)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 6, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did cause the death of VICTIM 1, with intent to kill that person, contrary to sec.
940.01(1)(a), 939.50(3)(a), 939.05, 939.63(1)(b), 939.632(2)(a) Wis. Stats., a Class A Felony, and upon
conviction shall be sentenced to imprisonment for life.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 10: ATTEMPT FIRST DEGREE INTENTIONAL HOMICIDE - PTAC, AS A PARTY TO A CRIME, USE OF
A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, attempted to cause the death of VICTIM 2, with intent to kill that person, contrary
to sec. 940.01(1)(a), 939.50(3)(a), 939.32, 939.05, 939.63(1)(b), 939.632(2)(a) Wis. Stats., a Class B Felony, and
upon conviction may be sentenced to a term of imprisonment not to exceed sixty (60) years.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 11: FIRST DEGREE RECKLESS INJURY - PTAC, AS A PARTY TO A CRIME, USE OF A DANGEROUS
WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly cause great bodily harm to VICTIM 3, under circumstances which
show utter disregard for human life, contrary to sec. 940.23(1)(a), 939.50(3)(d), 939.05, 939.63(1)(b),
939.632(2)(a) Wis. Stats., a Class D Felony, and upon conviction may be fined not more than One Hundred
Thousand Dollars ($100,000), or imprisoned not more than twenty five (25) years, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 12: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 4, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 13: INJURY BY NEGLIGENT USE OF A DANGEROUS WEAPON - PTAC, AS A PARTY TO A CRIME,
USE OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did cause bodily harm to VICTIM 5, by the negligent use or handling of a
dangerous weapon, contrary to sec. 940.24(1), 939.50(3)(i), 939.05, 939.63(1)(c), 939.632(2)(a) Wis. Stats., a
Class I Felony, and upon conviction may be fined not more than Ten Thousand Dollars ($10,000), or imprisoned
not more than three (3) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(c) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the underlying crime may be
increased by not more than four (4) years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 14: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 5, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
Count 15: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 7, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
Count 16: FIRST DEGREE RECKLESSLY ENDANGERING SAFETY - PTAC, AS A PARTY TO A CRIME, USE
OF A DANGEROUS WEAPON, VIOLENT CRIME IN A SCHOOL ZONE (As to defendant Parise E Larry)
The above-named defendant on or about Sunday, May 7, 2023, in the City of Fond du Lac, Fond du Lac County,
Wisconsin, as a party to a crime, did recklessly endanger the safety of VICTIM 6, under circumstances which
show utter disregard for human life, contrary to sec. 941.30(1), 939.50(3)(f), 939.05, 939.63(1)(b), 939.632(2)(a)
Wis. Stats., a Class F Felony, and upon conviction may be fined not more than Twenty Five Thousand Dollars
($25,000), or imprisoned not more than twelve (12) years and six (6) months, or both.
And further, invoking the provisions of sec. 939.63(1)(b) Wis. Stats., because the defendant committed this
offense while using a dangerous weapon, the maximum term of imprisonment for the felony may be increased by
not more than 5 years.
And further, invoking the provisions of sec. 939.632(2)(a) Wis. Stats., because the defendant committed this
offense in a school zone, the maximum term of imprisonment for the underlying crime may be increased by not
more than five (5) years.
PROBABLE CAUSE:
Complainant is an officer with the City of Fond du Lac Police Department and basis this complaint upon
the report and investigation of Officer(s) HAHN, VANDERMOLEN, MIKULEC, O’DONNELL AND
ROYSTON of the same agency with whom your complainant has worked with and knows to be
competent and reliable.
1. On May 7, 2023 at approximately 7:14 PM Det. Hahn was called in to assist in a shooting investigation in
the parking lot of 868 Martin Ave, which is located in the City and County of Fond du Lac, State of
Wisconsin.
2. Upon arriving on scene Det. Hahn learned that there were three victims; VICTIM 1, VICTIM 2 and VICTIM
3. All three victims were transported to St. Agnes/SSM Hospital Emergency Room and received
treatment. Det. Mikulec responded to the hospital and while he was there, VICTIM 1 was pronounced
dead with a single gunshot wound to the head. VICTIM 2 and VICTIM 3 both received treatment for a
single gunshot wound to the upper body and were later admitted into the Intensive Care Unit.
3. Det. Mikulec learned that the suspected shooters went by the names of “Lil Snoop” and “Parise”. Det.
Mikulec also learned that there was an eye witness, VICTIM 4 that saw the shooting happen and VICTIM
4 was currently on Martin Ave.
4. During the course of this initial investigation “Lil Snoop” was identified as Antonio Kendell Johnston DOB:
2006 and Parise was identified as Parise EL Larry JR ( /2009).
5. Det. Mikulec spoke with VICTIM 3 while at the hospital and he informed Det. Mikulec that he was sleeping
in the second floor bedroom of this apartment, on Martin Ave., when he woke up and realized he had
been shot at the same time Johnston and Larry were firing rounds outside in the direction of VICTIM 3’s
apartment.
6. While processing the scene, officers located bullets fired into two separate apartments in an apartment
building on Martin Ave. and both apartments were occupied at the time when the bullets entered the
apartments.
7. Ofc. O’Donnell spoke with VICTIM 5, and learned that at the time of Johnston and Larry shooting towards
his apartment on Martin Ave. VICTIM 5‘s knee was grazed by a bullet that entered the apartment.
VICTIM 5 told Ofc. O’Donnell that this hurt when it happened and the bullet was so close to hitting
VICTIM 5‘s leg that it left a “burn” type mark, but didn’t break the skin.
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
8. Det. Meilahn spoke with VICTIM 2 while at St. Agnes/SSM Hospital and VICTIM 2 told her that he
believed he was the target of this shooting. While at the Hospital, Det. Meilahn wasn’t able to get much
more information from VICTIM 2 due to his medical status.
9. Detective Vandermolen also assisted in this shooting investigation and spoke to VICTIM 4 who was with
the group of people that were shot at.
10. Det. Vandermolen met with VICTIM 4 in the City of Fond du Lac. VICTIM 4 there was a cooking out.
VICTIM 4 went to an apartment on Martin Ave., which is also in the complex, to get a pot to cook some
green beans. VICTIM 4 saw the "boys" and was aware of some sort of conflict going back and forth
between the "boys" and others VICTIM 4 knew. VICTIM 4 later said it was VICTIM 2 , they had an issue
with. Det. Vandermolen asked VICTIM 4 who the "boys" were had a conflict with VICTIM 2. VICTIM 4
didn't know their names but knew who they were VICTIM 4 conducted an investigation into finding out the
names. VICTIM 4 said one of the subject's name was "Parise" and that he lived on Brooke St.
11. Det. Vandermolen later learned that Parise's mother Carrie Cooks lived on Western Ave and Brooke St.,
in the townhomes at that location. VICTIM 4 said the other one involved was "Lil Snoop." VICTIM 4 said
Lil Snoop was blood relatives with someone named Isaiah. VICTIM 4 later told Det. Vandermolen that Lil
Snoop's mother lived in the complex and her name was April. Det. Vandermolen is aware that April
Brackens lives at the complex and has a son named Isaiah Brackens.
12. VICTIM 4 went to get the pot from an apartment VICTIM 4 saw the group of boys hanging out by what
was later to be determined to be April Bracken's apartment which was 880-5 Martin Ave. VICTIM 4 said
they were "in and out" and described it as sort of stepping in and out of the area, like they were looking for
someone and acting "suspicious." VICTIM 4 said the group of boys had knowledge that VICTIM 4 knew
with VICTIM 2 that they had a "beef" with. VICTIM 4 said this group of boys had "jumped" some of
VICTIM 2’s "homies" in the past.
13. VICTIM 4 and VICTIM 7 took some trash out, about 15 minutes after VICTIM 4 saw "Parise" and "Lil
Snoop" lurking around. VICTIM 4 said knowing that the group of boys was out there VICTIM 4 didn't let
VICTIM 7 go alone, so VICTIM 4 said they all went with VICTIM 7. VICTIM 4 said there was a lot of
garbage. VICTIM 4 was with, VICTIM 7, VICTIM 6, VICTIM 2, and VICTIM 1. VICTIM 4 said VICTIM 7
wasn't around anymore and that VICTIM 4 didn't know where VICTIM 7 was.
14. VICTIM 4 said they walked down to the dumpsters and threw away the garbage. VICTIM 4 said they
looked for the boys because they already "knew what was gonna go on." VICTIM 4 said they made sure
they didn't see the boys. VICTIM 4 said the boys "popped out of like this, the second one from, from an
apartment building, they popped out like VICTIM 2, “we right here come snatch our chain." VICTIM 4 said
the boys then opened fire right from there. VICTIM 4 said the boys weren't by April Brackens when they
stepped out, that they came out from 868 Martin Ave, the entrance to the west. Det. Vandermolen asked
VICTIM 4 which one or if both were shooting and VICTIM 4 said "It was two guns being shot." VICTIM 4
said only two boys stepped out of the building but there was multiple males in the hallway.
15. Det. Vandermolen repeated to VICTIM 4 that two stepped out shooting and VICTIM 4 replied it was
Parise and Snoop. VICTIM 4 didn't know Parise and Snoop, but that everyone knows them. VICTIM 4
has seen them many times before and knows who they are. VICTIM 4 said Parise was wearing a pink
sweater and Snoop was wearing a blackish purple sweater. VICTIM 4 said Snoop, who was wearing the
blackish purple sweater, wasn't wearing a hood. VICTIM 4 said Parise was wearing the pink with a hood
on. VICTIM 4 said Snoop is light skinned and starting to grow a beard and had a short haircut. VICTIM 4
saw Snoop's face clearly and that he came out "rolling his weed."
16. VICTIM 4 said when the shooting started they ran. VICTIM 4 realized VICTIM 1 wasn't with them running
and turned around and saw VICTIM 1 on the ground. VICTIM 4 knew VICTIM 1 was shot. VICTIM 4
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STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
said people came out and VICTIM 4 saw the shooters running towards the west. Det. Vandermolen asked
VICTIM 4 if anyone from the group went after the shooters to stop them and VICTIM 4 said everyone ran.
Det. Vandermolen then talked with VICTIM 4 about what VICTIM 4 was wearing what VICTIM 4 still had
on. VICTIM 4 tried to recall what others were wearing. Det. Vandermolen asked if VICTIM 4 knew how the
other two that were injured and VICTIM 4 didn't and that they were shooting at everyone. Det.
Vandermolen tried to get more information on how to reach VICTIM 7, but VICTIM 4 didn't have a phone
number.
17. WITNESS 1 told Det. Vandermolen that the "Parise" boy's mother was a female with the last name
"Cook." WITNESS 1 said the "Parise" boy texted another person and asked where VICTIM 2 was
because they wanted to fight. WITNESS 1 and VICTIM 4 said they didn't understand what VICTIM 1 had
to do with any of it.
18. Det. Vandermolen clarified that VICTIM 4 actually saw "Snoop" and "Parise" shooting. VICTIM 4 said "I'm
not sure if that's their names." Det. Vandermolen then again asked VICTIM 4 how many times VICTIM 4
observed "Snoop" and "Parise." VICTIM 4 said about 10 times and that VICTIM 4 is very familiar with
them and would be able to say that was "so and so." VICTIM 4 knew who they were, but was learning the
names.
19. WITNESS 1 said "Snoop's" mother lived at the complex and described where her unit was. VICTIM 4
said Snoop's mother was basically sitting right there. Det. Vandermolen asked if they knew who Snoop's
mother was and VICTIM 4 said "April." WITNESS 1 then told me that WITNESS 1 was hearing that a
male who was older named "Kobe" gave "Lil Snoop" and "Parise" the guns. VICTIM 4 and WITNESS 1
didn't have knowledge of "Kobe" giving them the guns, but were being told that. The group of women
were talking and someone said a female named WITNESS 2 was sending that information to another
person about the guns.
20. VICTIM 4 didn't know anyone in 868 Martin Ave that Snoop and Parise would have been associating with
and why they came out from that building.
21. Det. Vandermolen then went back to the command post to brief the other investigators on what she
learned from VICTIM 4 and WITNESS 1. After briefing the other investigators, Detective Fink and Det.
Vandermolen went and spoke to VICTIM 4 and WITNESS 1 again to clarify some thigs. VICTIM 4 didn't
know any of Lil Snoop's or Parise's social media accounts. VICTIM 4 showed a photo of Snoop posted on
the internet and said that was him, but he didn't have the "dreads" any more and cut his hair off and had a
small amount of facial hair. VICTIM 4 then pointed out Parise in the photo. VICTIM 4 then went to a
social media page of Parise's mother's to find photos of Parise. I took photos of the people VICTIM 4 said
were Parise and Lil Snoop. A group was also going to try and locate Snoop and Parise's social media
pages and get back to Detective Vandermolen.
22. Det. Mikulec processed the scene for evidence and found ten spent 9mm pistol cases, all of the same
brand, outside the southwest entry door to 868 Martin Ave. where Johnston can be seen on apartment
complex video, shooting rounds at VICTIMS 1, 2, 4, 6 and 7. Det. Mikulec also located a single shell case
in the area where it appeared that VICTIM 2 fired a single round from and this case doesn’t match the
other ten cases located near the 868 building. Det. Mikulec and other officers located and recovered
multiple bullets from the another building in the Maple Commons Complex that were a result of Larry and
Johnston firing their pistols at VICTIMS 1, 2, 4, 6 and 7.
23. While Det. Hahn was on scene he learned that after the shooting three individuals were seen fleeing the
Maplewood Commons Apartment complex and witnesses had been them running to the north side of
Theisen Middle School in the area of a dumpster. After learning this information officers searched the
area and located two pistols in the dumpster, which were collected as evidence by Det. Henning.
05/10/2023 8
Case 2023CF000398 Document 9 Filed 05-10-2023 Page 9 of 9
STATE OF WISCONSIN - VS - Parise E Larry, Antonio K Johnston
24. While on scene Det. Hahn learned that prior to this shooting incident, Ofc. Royston had dealt with a call of
juveniles in possession of a gun in the area of Buttermilk Park. During the investigation of this previous
call Ofc. Royston verbally identified Antonio Kendell Johnston, Parise EL Larry JR and Tristin D.
Richmond.
25. After leaving the scene Det. Hahn observed Maplewood Commons Apartment Complex Surveillance
Camera Footage showing Antonio Kendell Johnston, Parise EL Larry JR and Tristin D. Richmond and an
unidentified black male wearing a blue hoodie, walking west on the sidewalk towards 868 Martin Ave.
and all three of them are wearing the same clothing as when Ofc. Royston identified them in the area of
Buttermilk Park. A short time later; VICTIMS 1, 2, 4, 6 and 7 are seen walking to the dumpsters on the
west end of the parking lot. After the five of them go to the dumpsters they head back walking eastbound
through the parking lot.
26. As the five of them are walking eastbound through the parking lot Antonio Johnston is seen walking out of
the southwest entry door into 868 Martin Ave. and he stands just outside the doorway. After Johnston is
seen exiting the door it appears that he exchanges words with VICTIM 2 and VICTIM 2 begins walking
towards Johnston. As VICTIM 2 is walking towards Johnston, Johnston is seen pulling out a pistol and
firing multiple rounds in the direction of VICTIMS 1, 2, 4, 6 and 7. In the video VICTIM 1 is seen
immediately falling to the ground and everyone takes off running away from Johnston.
27. When VICTIM 2 turns and begins to run away from Johnston, it is clearly visible that VICTIM 2 then pulls
a pistol and appears to fire at least one round at Johnston, who is shooting towards VICTIMS 1, 2, 4, 6
and 7 at that time. Larry is not seen firing as he was firing from within the threshold of the doorway where
Johnston is standing outside firing, based on the cases located within the doorway threshold.
28. On Monday May 8th an autopsy of VICTIM 1 was performed by Fond du Lac County Forensic Pathologist
Dr. Adam Covach. The provisional autopsy findings were that VICTIM 1’s cause of death was a single
gunshot wound to the head, with an entrance behind the left ear and the bullet stopped under the skin
behind the right ear.
29. Detective Hahn is aware that the location of the shooting is within 1,000 feet of a school zone based on
his use of Google Maps, which he has found to be accurate and reliable, and from past investigative
experience at that location.
Based on the foregoing, the complainant believes this complaint to be true and correct.
05/10/2023 9