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Terence Greene Indictment (CR 652481) PDF

Terence Greene has been indicted on 8 counts relating to sexual assault of John Doe 1 between 2008 and 2009. The charges include 2 counts of rape, 2 counts of sexual battery, 2 counts of felonious assault, and 2 counts of kidnapping. All charges involve John Doe 1, who was under 18 at the time. The indictment also specifies that Greene is a sexually violent predator.

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© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Download as PDF, TXT or read online on Scribd
100% found this document useful (1 vote)
609 views39 pages

Terence Greene Indictment (CR 652481) PDF

Terence Greene has been indicted on 8 counts relating to sexual assault of John Doe 1 between 2008 and 2009. The charges include 2 counts of rape, 2 counts of sexual battery, 2 counts of felonious assault, and 2 counts of kidnapping. All charges involve John Doe 1, who was under 18 at the time. The indictment also specifies that Greene is a sexually violent predator.

Uploaded by

19 News
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd
You are on page 1/ 39

Cuyahoga County Court of Common Pleas

Criminal Court Division


State of Ohio, A True Bill Indictment For
Plaintiff Rape - F1
VS. † $ 
Terence Greene,
Defendant 73 Additional Count(s)

Dates of Offense (on or about) The Term Of Case Number


08/01/1998 to 10/31/2019 July of 2020 652481-20-CR

The State of Ohio,


Cuyahoga County } SS.

Count 1 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The Jurors of the Grand Jury of the State of Ohio, within and for the body of the County aforesaid, on their oaths, IN THE NAME
AND BY THE AUTHORITY OF THE STATE OF OHIO, do find and present, that the above named Defendant(s), on or about the
date of the offense set forth above, in the County of Cuyahoga, unlawfully
did engage in sexual conduct, to wit: performed fellatio on victim, with John Doe 1, DOB 12/4/1992
by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 1 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 2 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 1, DOB 12/4/1992 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 3 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that (he/she) has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
12/4/1992, a person under eighteen years of age, to wit: DOB 12/04/1992, who is not the spouse of
the Terence Greene.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 2 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 4 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 1, DOB 12/4/1992 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 1, DOB 12/4/1992 against his will.
FURTHERMORE, the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 5 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: performed fellatio on victim, with John Doe 1, DOB 12/4/1992
by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 3 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 6 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 1, DOB 12/4/1992 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 7 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that (he/she) has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
12/4/1992, a person under eighteen years of age, to wit: DOB 12/04/1992, who is not the spouse of
the Terence Greene.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 4 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 8 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to December 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 1, DOB 12/4/1992 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 1, DOB 12/4/1992 against his will.
FURTHERMORE, the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 9 Gross Sexual Imposition - F4


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to May 31, 2008
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did have sexual contact, to wit: touching victim's thigh/groin area, with John Doe 2, DOB 3/30/1991,
QRWKLVVSRXVHE\SXUSRVHO\FRPSHOOLQJVXFKSHUVRQ V WRVXEPLWE\IRUFHRUWKUHDWRIIRUFH
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 5 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 10 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to May 31, 2008
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 2, DOB 3/30/1991 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 2, DOB 3/30/1991 against his will.
FURTHERMORE, the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 11 Disseminating Matter Harmful To Juveniles - F5


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2008 to May 31, 2008
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGUHFNOHVVO\GLUHFWO\VHOOGHOLYHUIXUQLVKGLVVHPLQDWHSURYLGHH[KLELWUHQWRUSUHVHQWWR-RKQ
Doe 2, DOB 3/30/1991, a juvenile, to wit: DOB 03/30/1991, a group of juveniles, a law enforcement
officer posing as a juvenile, or a group of law enforcement officers posing as juveniles material or
performance that is obscene with Terence Greene having knowledge of the character or content of
said material or performance.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 6 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 12 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - victim performs fellatio on Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 13 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - Defendant performs fellatio on victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 7 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 14 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - anal penetration of victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 15 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - anal penetration of Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 8 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 16 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that (he/she) has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
2/15/1995, a person under eighteen years of age, to wit: DOB 02/15/1995, who is not the spouse of
the Terence Greene.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 9 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 17 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 3, DOB 2/15/1995 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 3, DOB 2/15/1995 against his will.
FURTHERMORE, the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 18 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident - victim performing fellatio on Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 10 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 19 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident -Defendant performing fellatio on victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 20 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident - anal penetration of Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 11 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 21 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that (he/she) has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
2/15/1995, a person under eighteen years of age, to wit: DOB 02/15/1995, who is not the spouse of
the Terence Greene.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 12 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 22 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 3, DOB 2/15/1995 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 3, DOB 2/15/1995 against his will.
FURTHERMORE, and the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 23 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 3, DOB
2/15/1995 by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
3rd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 13 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 24 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 3, DOB 2/15/1995 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
3rd incident - Defendant performing fellatio on victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 25 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that (he/she) has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
2/15/1995, a person under eighteen years of age, to wit: DOB 02/15/1995, who is not the spouse of
the Terence Greene.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
3rd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 14 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 26 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2010 to December 31, 2010
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 3, DOB 2/15/1995 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 3, DOB 2/15/1995 against his will.
FURTHERMORE, and the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
3rd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 27 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2001 to April 30, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHUZDV
a teacher, administrator, coach, or other person in authority employed by or serving in a school for
which the state board of education prescribes minimum standards pursuant to division (D) of section
3301.07 of the Revised Code and John Doe 4, DOB 7/6/1984 was enrolled in or attended that school,
and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - victim performing fellatio on Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 15 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 28 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2001 to April 30, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHUZDV
a teacher, administrator, coach, or other person in authority employed by or serving in a school for
which the state board of education prescribes minimum standards pursuant to division (D) of section
3301.07 of the Revised Code and John Doe 4, DOB 7/6/1984 was enrolled in or attended that school,
and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - Defendant performing fellatio on victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 29 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2001 to April 30, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHUZDV
a teacher, administrator, coach, or other person in authority employed by or serving in a school for
which the state board of education prescribes minimum standards pursuant to division (D) of section
3301.07 of the Revised Code and John Doe 4, DOB 7/6/1984 was enrolled in or attended that school,
and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident - anal penetration of victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 16 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 30 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2001 to April 30, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 4, DOB 7/6/1984 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 4, DOB 7/6/1984 against his will.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
1st incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 31 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about April 1, 2001 to May 31, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: victim performing fellatio on Defendant, with John Doe 4, DOB
7/6/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 17 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 32 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about April 1, 2001 to May 31, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHUZDV
a teacher, administrator, coach, or other person in authority employed by or serving in a school for
which the state board of education prescribes minimum standards pursuant to division (D) of section
3301.07 of the Revised Code and John Doe 4, DOB 7/6/1984 was enrolled in or attended that school,
and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident - victim performing fellatio on Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 33 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about April 1, 2001 to May 31, 2002
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 4, DOB 7/6/1984 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 4, DOB 7/6/1984 against his will.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
2nd incident
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 18 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 34 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
During school trip to Washington DC
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 35 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Defendant performing fellatio on victim
During school trip to Washington DC
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 19 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 36 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 5, DOB 3/11/1984 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 5, DOB 3/11/1984 against his will.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
During school trip to Washington DC
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 37 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
During school trip to Cincinnati
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 20 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 38 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Defendant performing fellatio on victim
During school trip to Cincinnati
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 39 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: anal penetration of Defendant, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
During school trip to Cincinnati
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 21 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 40 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Anal penetration of Defendant
During school trip to Cincinnati
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 41 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 5, DOB 3/11/1984 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 5, DOB 3/11/1984 against his will.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
During school trip to Cincinnati
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 22 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 42 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
At Defendant's house
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 43 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Defendant performing fellatio on victim
At Defendant's house
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 23 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 44 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: victim perfoming fellatio on Defendant, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
At Defendant's house
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 45 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
victim performing fellatio on Defendant
At Defendant's house
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 24 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 46 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: anal penetration of Defendant, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
At Defendant's house
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 47 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
anal penetration of Defendant
At Defendant's house
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 25 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 48 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: victim performing fellatio on Defendant, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
At defendant's apartment
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 49 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
victim performing fellatio on Defendant
At defendant's apartment
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 26 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 50 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 5, DOB
3/11/1984 by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
At defendant's apartment
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 51 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Defendant performing fellatio on victim
At defendant's apartment
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 27 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 52 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: anal penetration of defendant, with John Doe 5, DOB 3/11/1984
by purposely compelling him to submit by force or threat of force.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
At defendant's apartment
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 53 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about August 1, 1998 to December 31, 2000
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOHWKHRIIHQGHU
was a teacher, administrator, coach, or other person in authority employed by or serving in a school
for which the state board of education prescribes minimum standards pursuant to division (D) of
section 3301.07 of the Revised Code and John Doe 5, DOB 3/11/1984 was enrolled in or attended
that school, and the offender was not enrolled in and did not attend that school.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
anal penetration of Defendant
At defendant's apartment
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 28 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 54 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about October 1, 2019 to October 31, 2019
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 6, DOB
05/08/2002 by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 55 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about October 1, 2019 to October 31, 2019
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 6, DOB 05/08/2002 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Defendant performing fellatio on victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 29 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 56 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about October 1, 2019 to October 31, 2019
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: anal penetration of victim, with John Doe 6, DOB 05/08/2002
by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 57 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about October 1, 2019 to October 31, 2019
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 6, DOB 05/08/2002 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
anal penetration of victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 30 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 58 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about October 1, 2019 to October 31, 2019
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGNQRZLQJO\FDXVHVHULRXVSK\VLFDOKDUPWR-RKQ'RH'2%GLGZLWKNQRZOHGJHWKDW
(he/she) has tested positive as a carrier of a virus that causes acquired immunodeficiency
V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%DSHUVRQXQGHU
eighteen years of age, to wit: DOB 05/08/2002, who is not the spouse of the Terence Greene.
FURTHERMORE, and the deadly weapon used by defendant was a motor vehicle.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 59 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about October 1, 2019 to October 31, 2019
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 6, DOB 05/08/2002 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 6, DOB 05/08/2002 against his will.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 31 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 60 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Defendant performing fellatio on victim, with John Doe 7, DOB
8/14/1993 by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 61 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 7, DOB 8/14/1993 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Defendant performing fellatio on victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 32 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 62 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: Anal penetration of defendant, with John Doe 7, DOB
8/14/1993 by purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 63 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 7, DOB 8/14/1993 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Anal penetration of Defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 33 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 64 Rape - F1
† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did engage in sexual conduct, to wit: anal penetration of victim, with John Doe 7, DOB 8/14/1993 by
purposely compelling him to submit by force or threat of force.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 65 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 7, DOB 8/14/1993 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
anal penetration of victim
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 34 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 66 Disseminating Matter Harmful To Juveniles - F5


† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGUHFNOHVVO\GLUHFWO\VHOOGHOLYHUIXUQLVKGLVVHPLQDWHSURYLGHH[KLELWUHQWRUSUHVHQWWR-RKQ
Doe 7, DOB 8/14/1993, a juvenile, to wit: DOB 08/14/1993, a group of juveniles, a law enforcement
officer posing as a juvenile, or a group of law enforcement officers posing as juveniles material or
performance that is obscene with Terence Greene having knowledge of the character or content of
said material or performance.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 67 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that (he/she) has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
8/14/1993, a person under eighteen years of age, to wit: DOB 08/14/1993, who is not the spouse of
the Terence Greene.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 35 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 68 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about May 1, 2011 to May 31, 2011
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 7, DOB 8/14/1993 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 7, DOB 8/14/1993 against his will.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 69 Gross Sexual Imposition - F4


† $ 
Defendants Terence Greene
Date of Offense On or about November 1, 2012 to February 28, 2013
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did have sexual contact, to wit: touching victim's pubic/groin area, with John Doe 8, DOB
QRWKLVVSRXVHE\SXUSRVHO\FRPSHOOLQJVXFKSHUVRQ V WRVXEPLWE\IRUFHRUWKUHDWRI
force.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 36 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 70 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about November 1, 2012 to February 28, 2013
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 8, DOB 09/22/1998 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 8, DOB 09/22/1998 against his will.
FURTHERMORE, and the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 71 Sexual Battery - F3


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to May 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGHQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%QRWKLVVSRXVHZKLOH7HUHQFH
Greene was a teacher, administrator, coach, or other person in authority employed by or serving in a
school in which John Doe 9, DOB 01/07/1992 was enrolled in or attended, in violation of 2907.03 of
the Ohio Revised Code.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
Anal penetration of defendant
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 37 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 72 Disseminating Matter Harmful To Juveniles - F5


† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to May 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
GLGUHFNOHVVO\GLUHFWO\VHOOGHOLYHUIXUQLVKGLVVHPLQDWHSURYLGHH[KLELWUHQWRUSUHVHQWWR-RKQ
Doe 9, DOB 01/07/1992, a juvenile, to wit: DOB 01/07/1992, a group of juveniles, a law
enforcement officer posing as a juvenile, or a group of law enforcement officers posing as juveniles
material or performance that is obscene with Terence Greene having knowledge of the character or
content of said material or performance.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

Count 73 Felonious Assault - F2


† % 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to May 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, with knowledge that he has tested positive as a carrier of a virus that causes acquired
LPPXQRGHILFLHQF\V\QGURPHNQRZLQJO\HQJDJHLQVH[XDOFRQGXFWZLWK-RKQ'RH'2%
01/07/1992, a person under eighteen years of age, to wit: DOB 01/07/1992, who is not the spouse of
the Terence Greene.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 38 of 39
Cuyahoga County Court of Common Pleas A True Bill Indictment

Count 74 Kidnapping - F1
† $ 
Defendants Terence Greene
Date of Offense On or about January 1, 2009 to May 31, 2009
The grand jurors, on their oaths, further find that the Defendant(s) unlawfully
did, by force, threat, or deception, purposely remove John Doe 9, DOB 01/07/1992 from the place
ZKHUHKHZDVIRXQGRUUHVWUDLQWKHOLEHUW\RIKLPIRUWKHSXUSRVHRIHQJDJLQJLQVH[XDODFWLYLW\DV
defined in Section 2907.01 of the Revised Code, with John Doe 9, DOB 01/07/1992 against his will.
FURTHERMORE, the victim of the offense is under eighteen years of age.
6H[XDO0RWLYDWLRQ6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
the offender committed the offense with a sexual motivation.
6H[XDOO\9LROHQW3UHGDWRU6SHFLILFDWLRQ† $
The Grand Jurors further find and specify that
Terence Greene is a sexually violent predator.
The offense is contrary to the form of the statute in such case made and provided, and against the peace and dignity of the State of
Ohio.

<GRANDJURORSIGNATURE> <PROSECUTORSIGNATURE>
Foreperson of the Grand Jury Prosecuting Attorney

Page 39 of 39

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