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  • STATE VS COLLINS TENNILLE M DRUGS document preview
  • STATE VS COLLINS TENNILLE M DRUGS document preview
  • STATE VS COLLINS TENNILLE M DRUGS document preview
  • STATE VS COLLINS TENNILLE M DRUGS document preview
						
                                

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Filing # 197649045 E-Filed 05/06/2024 09:32:04 AM IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT IN AND FOR BREVARD COUNTY, FLORIDA STATE OF FLORIDA NO CAPIAS VS. TENNILLE M. COLLINS CASE NUMBER: 052024CF027016AXXXBC / INFORMATION COUNT 1: POSSESSION OF FENTANYL (F3) 893,13(6)(a) COUNT 2: POSSESSION OF COCAINE (F3) 893,13(6)(a) COUNT 3: USE OR POSSESSION OF DRUG PARAPHERNALIA (M1) 893.147(1)(b) IN THE NAME AND BY AUTHORITY OF THE STATE OF FLORIDA, PHIL ARCHER, STATE ATTORNEY, THROUGH THE UNDERSIGNED DESIGNATED ASSISTANT STATE ATTORNEY, CHARGES THAT: COUNT |: IN THE COUNTY OF BREVARD, STATE OF FLORIDA, on May 2, 2024, TENNILLE M. COLLINS, was in actual or constructive possession of a controlled substance named or described in Florida Statute 893.03(2)(b)9., to wit: FENTANYL, contrary to Section 893.13(6)(a), Florida Statutes, COUNT 2: IN THE COUNTY OF BREVARD, STATE OF FLORIDA, on May 2, 2024, TENNILLE M. COLLINS was in actual or constructive possession of a controlled substance named or described in Florida Statute 893.03(2)(a)4, to wit! COCAINE, contrary to Section 893.13(6)(a), Florida Statutes, COUNT 3: IN THE COUNTY OF BREVARD, STATE OF FLORIDA, on May 2, 2024, TENNILLE M, COLLINS did _ use, or possess with intent to use, drug paraphernalia as defined in Section 893.145, Florida Statutes, to wit! STRAW, such paraphernalia being used, intended for use or designed for use in injecting, ingesting, inhaling, or otherwise introducing into the human body a controlled substance, as defined or described in chapter 893, Florida Statutes, contrary to section 893.147(1)(b), Florida Statutes, AND against the peace and dignity of the State of Florida. Filing 197649045 State vs COLLINS, TENNILLE M. 05-2024-CF-027016-AXXX-BC. STATE OF FLORIDA VS. TENNILLE M. COLLINS CASE NUMBER: 052024CF027016AXXXBC Page 2 of 2 I hereby state under oath that I am instituting this Prosecution in good faith, and I certify that I have received testimony under oath from the material Witness o vithesses’for the offense(s). oars co Cee BT late Attorney ghteen wit Florida Bar No, 0050350 Personally appeared by physical presence before me, Designated Assistant State Attorney SUSAN STEWART, who is personally known to me, who being first duly sworn, says that this prosecution is instituted in good faith, and certifies that testimony under oath has been received from the material witness or witnesses for the offense(s), and says that the allegations as set forth in the foregoing information are based upon facts that have been sworn to as true and which, if Tae true, would constitute the offe: ) therei in ch; Sworn to and subscribed before me in Brevard County, Florida, this day of. 2024. Gametkt Signature of Notary 1: aya a Filing 197649045 State vs COLLINS, TENNILLE M 05-2024-CF-027016-AXXX-BC.