Petition To Deny Pre-Trial Release in Plainfield Child Murder
Petition To Deny Pre-Trial Release in Plainfield Child Murder
Petition To Deny Pre-Trial Release in Plainfield Child Murder
) SS.
COUNTY OF WILL )
Now come the People of the State of Illinois by JAMES W. GLASGOW, State's Attorney
of Will County, Illinois, through Michael J. Fitzgerald, Assistant State's Attorney, and respectfully
requests that this Honorable Court grant the State's Petition to Deny Defendant's Pre-Trial Release
1. In the above captioned matter, the defendant has been charged with the following
offense(s):
CT# 1
10/14/2023 First Degree Murder Class M Felony
CT# 3 I
0/14/2023 First Degree Murder Class M Felony
CT# 6 I
0/14/2023 Aggravated Battery Class 3 Felony
reasons:
(a) The defendant is charged with a felony offense other than a forcible felony for
_
which, based on the charge or the defendant's criminal history, a sentence of imprisonment,
conviction, and the defendant's pretrial release poses a specific, real and present threat to the
safety of any person or persons or the community. See 725 ILCS 5/110-6.1 (a)(l ).
X (b) The defendant's pretrial release poses a real and present threat to the safety of
any person or persons or the community, and the defendant is charged with a forcible felony;
_robbery
_
_burglary where there is use of force against another person
residential urglary home invasion
_vehicular invasion _aggravated arson
_kidnapping
or disfigurement
OR
--any other felony which involves the threat or infliction of great bodily
defendant's pretrial release poses areal and present threat to the safety of a victim of the alleged
offense, and denial of release is necessary to prevent fulfillment of the threat upon which the
stalking no contact order under Section 80 of the Stalking No Contact Order Act, or of a civil
no contact order under Section 213 of the Civil No Contact Order Act, and the defendant's
pretrial release poses a real and present threat to the safety of any person or persons or the
(e) The defendant is charged with domestic battery or aggravated domestic battery
_
under Section 12-3.2 or 12-3.3 of the Criminal Code of 2012 and it is alleged that the
defendant's pretrial release poses a real and present threat to the safety of any person or persons
(f) The defendant is charged with any offense under Article 11 of the Criminal Code
_
of 2012, except for Sections 11-14, 11-14.1, 11-18, 11-20, 11-30, 11-35, 11-40, and 11-45 of
the Criminal Code of 2012, or similar provisions of the Criminal Code of 1961 and the
defendant's pretrial release poses a real and present threat to the physical safety of any person
to the physical safety of any person or persons or the community See 725 ILCS 5/110-6.1 ( a)( 6).
equipped with a device designed or used for silencing the report of firearm).
represented to be armor piercing bullets, dragon's breath shotgun shells, bolo shells or flechette
shells).
of any school).
weapons by felons or person in the Custody of the Department of Corrections facilities (Section
24-1.1 ): (ii) aggravated unlawful use of a weapon (Section 24-1.6; or (iii) aggravated
(h) The defendant is charged with any of the following offenses, and it is alleged
_
the defendant's pretrial release poses a real and present threat to the safety of any person or
for Animals Act (cruel treatment, aggravated cruelty, and animal torture)
(aggravated driving under the influence while operating a school but with passengers)
(aggravated driving under the influence after a previous reckless homicide conviction)
Subdivision (d)(l)(F) of Section 11-501 of the Illinois Vehicle Code
(aggravated driving under the influence that resulted in bodily harm to a child under the age of
16)
X (i) The defendant is charged with an attempt to commit any charge listed above and
the defendant's pretrial release poses a real and present threat to the safety of any person or
law upon conviction, and the defendant's pretrial release poses a real and present threat to the
safety of any person or persons or the community and the defendant poses a serious risk not to
3. Additional grounds upon which the defendant should be denied pretrial release are as
follows:
a. The nature and circumstances of the offense: The defendant stabbed Wadee
Alfayoumi (DOB: 10/06/2017) multiple times about the body killing him, and
the defendant stabbed Hanan Shaheen, the deceased's mother, multiple times
b. The identity of any person or persons to whose safety the defendant is believed
Upon information and belief, On October 14, 2023 at approximately 1138 hours,
Deputies of the Will County Sheriff's Office were dispatched to 16201 S. Lincoln Highway in
Plainfield IL 60586, regarding an assault. While enroute deputies were advised of a language
barrier and that the caller, later identified as Hanan Shaheen, advised the landlord was killing
Upon Deputy Cisneros's arrival, the Plainfield Police Department was on scene and he
was directed to the front door of the residence where they were attempting to force entry into
the residence by kicking the door. Plainfield police officers made entry through the back door
Deputy Cisneros made entry through the front door of the residence and began clearing
the first floor of the residence. Deputy Janovyak and Deputy Cisneros entered a bedroom
located on the first floor south of the main floor kitchen. Deputies observed a male white child,
later identified as Wadee Alfayoumi (DOB: 10/06/2017) laying on a bed on his back shirtless
with multiple stab wounds to the chest and what appeared to be a knife inserted approximately
4 inches on the right side of t e child's abdomen. The child was unresponsive and not
breathing.
Deputy Cisneros contacted LCC and requested an ambulance on scene. Deputy
Cisneros continued to clear the rest of the main floor and observed the back door was open.
Deputy Starcevich and Deputy Cisneros contacted a white male, later identified as
Joseph M Czuba (DOB: 11/08/1951) who was found lying on his back in the yard at rear of
the residence.
Deputy Cisneros observed a laceration on Joseph's left side of his forehead. Joseph
proceeded to sit up on his own and placed his hands behind his back. Joseph was asked if
anyone else was in the house. Joseph did not give any statements. Joseph was placed in
handcuffs and detained, and a field dressing was placed on Joseph's wound. A knife holster
was found on Joseph's waist belt and removed by Deputy Starcevich. Several pocketknives
It was later learned that Hanan had two other children. A second search of the residence
was conducted in an attempt to locate them. No other subjects or victims were in the residence.
The other children were later found to be with their father in Chicago.
The Plainfield Fire Department arrived on scene and provided medical treatment.
Wadee and Hanan were relocated to Saint Joseph Medical Center in Joliet for treatment of
their wounds. Joseph was relocated to Bolingbrook Edward hospital for further medical
treatment.
Upon Deputy Silverstein's arrival, he was met by the mother of the injured child, Hanan
A. Shaheen, who was sitting on the front porch of the above-listed residence. Hanan had
multiple facial wounds and was bleeding profusely. Hanan appeared to be alert and
oriented. Deputy Silverstein followed the Plainfield Fire Department ambulance to St. Joe's
Hospital in Joliet. While m emergency room 13, Hanan was able to give the following
statement in summary.
Hanan stated, she and her son, Wadee Alfayoumi (DOB 10/6/2017) rent two rooms at
the above address. Hanan stated she also lives there with the owner of the residence, Joseph
Czuba. Hanan advised the day started out normal with breakfast and she thought everything
was fine. Hanan further advised, right before calling police, Joseph was knocking on her
bedroom door. Hanan answered the door and an argument started over the current
Hamas/Israel conflict in the Middle East. It should be noted, Hanan advised she is
Muslim. Hanan stated, the argument became physical, and she was able to get away from
Joseph by locking herself in the nearby bathroom. Hanan advised she was not able to get her
son with her into the bathroom. Hanan stated while in the bathroom she called police and
while on the phone with 911 Hanan stated, her son was being stabbed.
While trying to retrieve a statement from Hanan, Deputy Silverstein was being asked
to exit the room by medical staff so they could render aid to Hanan. Detective Sgt. Earnest
arrived on scene shortly after and was able to get a statement from Hanan.
While at St. Joes Hospital, medical staff was rendering aid to Hanan's son, Wadee, in
the emergency room. As Deputy Silverstein walked by the emergency room, medical staff
pronounced Wadee deceased. Wadee was pronounced deceased at 1219 hours by Dr. N.
Detective Sgt. Earnest arrived at St. Joseph's Hospital and spoke with Hanan and first
verified that her other children were safe and not at the residence during the time of the
incident. Hanan stated her other children were safe, with her ex-husband, and were not with
around 9 a.m. Saturday. Detective Sgt. Earnest asked Hanan who she was with, and she stated
in the house there is a guy with his wife, and he looked into her door. Hanan stated that he
started to knife her and her baby. Hanan stated she tried to defend herself and he went to the
kitchen. Hanan stated she grabbed her phone and went to the bathroom.
Detective Sgt. Earnest asked Hanan if the guy who came to the door was her landlord
and what his name was. Hanan stated his name was Joseph Czuba. Hanan stated she lives on
the first floor and the Czubas live on the second floor. Hanan stated she has lived in the
Detective Sgt. Earnest asked Hanan if she has had any trouble with Czuba during the
time she has lived in the residence. Shaheen stated that Czuba is an angry man. Shaheen stated
that Czuba abuses his wife and screams at her. Shaheen stated today he knocked on the door,
as he has done before to ask for a favor. Shaheen stated today Czuba told her he was angry at
her for what was going on in Jerusalem. Shaheen stated she responded to him "let's pray for
peace." Shaheen stated Czuba gave her no chance to do anything. Shaheen stated that Czuba
then attacked her with a knife. Detective Sgt. Earnest asked Shaheen what kind of knife, and
she said it was a large blade. Shaheen stated Czuba was injured during the initial attack on
her. Detective Sgt. Earnest asked if Shaheen injured him while she was defending herself and
she said yes. Shaheen stated that when she went into the bathroom Czuba was still in the
residence. Shaheen stated that she came out of the bathroom when the police arrived.
Detective Sgt. Earnest asked Shaheen if she saw Czuba by her child and she stated
no. He asked where her child was during the incident, and she stated in his room. Detective
Sgt. Earnest asked Shaheen if Czuba attacked her over the conflict in Jerusalem and she stated
yes. Shaheen stated that yesterday (Friday the 13th) or the day before (Thursday the 12th), she
was tex ting Czuba's wife talking about Czuba's hatred of Muslims. Shaheen then showed the
officer a screen shot from Oct 11th from Mary Joseph Czuba. Shaheen stated on Wednesday
October 11 °1, Czuba confronted her about what was going on in the Middle East.
Detective Sgt. Earnest asked Shaheen if she had any altercations with Czuba before
this and she stated he is just very angry. Shaheen stated today she tried to defend herself and
push him away and stated Czuba gets weird when he is angry and wanted to kill us.
Detective Thomas Hannon interviewed Mary Czuba who stated the following. Mary
advised Joe listens to conservative talk radio on a regular basis. Mary advised Joe has been
heavily interested in the events that have recently occurred in Israel. Mary advised that Hanan
is Palestinian. Mary advised that on Wednesday, October 11th, 2023, Joe related that he
expressed that he wanted Hanan and her son to move out of the residence. Mary advised Joe
believed that they were in danger and that Hanan was going to call over her Palestinian friends
or family to harm them. Unbeknownst to Mary, Joe recently made a cash withdrawal of
$1,000.00 in case the U.S. grid went down. Mary advised Joe stated he was concerned about
the National Day of Jihad that was supposed to occur on Friday, October 13th, 2023. Mary
advised Joe stated an event was going to occur on today's date (October 141'\ 2023) but did not
explain any further. Mary stated Joe does not carry around a large knife on a normal basis.
5. Accordingly, for the reasons stated above, and based upon the proffer the People
request to make during the hearing on this petition pursuant to 725 ILCS 5/110-
6.1 (f)(2), the People pray that this Honorable Court deny the defendant pretrial release.
VERIFICATION BY CERTIFICATION
The undersigned hereby certifies, as authorized by 735 ILCS 5/1-109, that the undersigned has
read the contents of the foregoing document, has knowledge of the matters recited, and that the
statements set forth in this instrument are true and correct, except as to matters therein stated to
be on information and belief as to such matters the undersigned certifies as aforesaid that the
Respectfully submitted,
By
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Assistant State's Attorney