COUNT 1

 

     The undersigned, under penalty of perjury upon information and belief, declares:  That the
above named defendant KENDRA AMELIARAE BERNAL committed a violation of Penal
Code section 487, subdivision (a) a Felony, in that on or about November 12, 2001, in the
County of Riverside, State of California, she did willfully and unlawfully take money and personal
property of a value exceeding Four Hundred Dollars ($400.00), to wit,
FIFTY THREE THOUSAND NINE HUNDRED DOLLARS ($53,900.00), the property of
FREEDOM INTERNATIONAL.

 

 

COUNT 2

 

      That the above named defendant(s) KENDRA AMELIARAE BERNAL committed
a violation of Penal Code section 487, subdivision (a), a Felony, in that on or about
November 12, 2001 through and including February 28, 2002, in the County of Riverside,
State of California, she did willfully and unlawfully take money and personal property of
a value exceeding Four Hundred Dollars      ($400.00), to wit,  THIRTEEN THOUSAND
TWO HUNDRED AND SEVENTY EIGHT DOLLARS AND SIXTY EIGHT CENTS
($13,278.68),  the property of LUIS OJEDA

 

 

COUNT 3

 

     That the above named defendant(s) KENDRA AMELIARAE BERNAL,
committed a violation of Penal Code section 487, subdivision (a), a Felony, in that on
or about March 1, 2002, in the County of Riverside, State of California, she did willfully and
unlawfully take money and personal property of a value exceeding
Four Hundred Dollars ($400.00), to wit, FOUR THOUSAND NINE HUNDRED
EIGHTY DOLLARS ($4,980.00), the property of JOE DIAZ.

 

 

COUNT 4

 

     That the above named defendant(s) KENDRA AMELIARAE BERNAL, committed
a violation of Penal Code section 487, subdivision (a), a Felony, in that on or about July 2001,

In the County of Riverside, State of California, she did willfully and unlawfully take money and
personal property of a value exceeding Four Hundred Dollars ($400.00), to wit,
FORTY NINE THOUSAND SEVEN HUNDRED SEVENTY DOLLARS ($49,770.00),
the property of FERNANDO HERNANDEZ and DIVERSIFIED SALES AND SERVICE CORP.

 

 

 

COUNT 5

 

     That the above named defendant(s) KENDRA AMELIARAE BERNAL, committed
a violation of Penal Code section 487, subdivision (a), a Felony, in that on or about August 2, 2001

In the County of Riverside, State of California, she did willfully and unlawfully take money and
personal property of a value exceeding Four Hundred Dollars ($400.00), to wit, FORTY-NINE

THOUSAND SEVEN HUNDRED SEVENTY DOLLARS ($49,770.00), the property
of SALVADOR CORONA and DIVERSIFIED SALES AND SERVICE CORP.

 

 

COUNT 6

 

     That the above named defendant(s) KENDRA AMELIARAE BERNAL, committed
a violation of Penal Code section 487, subdivision (a), a Felony, in that on or about August 2, 2001

In the County of Riverside, State of California, she did willfully and unlawfully take money and
personal property of a value exceeding Four Hundred Dollars ($400.00), to wit,
TWENTY SIX THOUSAND, THREE HUNDRED SIXTY-FOUR DOLLARS ($26,364.00),
the property of JOSE MARTINEZ and DIVERSIFIED SALES AND SERVICE CORP.

 

 

COUNT 7

     That the above named defendant(s) KENDRA AMELIARAE BERNAL, committed
a violation of Financial Code section 22100/22780, a Felony, in that on or about September 2001,
through May 30, 2002, in the County of Riverside, State of California, she did willfully and
unlawfully engage in the business of a finance lender and broker without obtaining a license
from the Department of Corporations.

 

It is further alleged that in the commission and attempted commission of the above offense
the said defendant(s)KENDRA AMELIARAE BERNAL with the intent so to do, took damaged and
destroyed property of a value exceeding $150,000, within the meaning of Penal Code section 12022.6,
subdivision (a), subsection (2).

 

NOTICE:  A violation of probation has been filed in Case No.(s). RIF75158 based on the
allegations in this complaint.  The District Attorney hereby serves notice upon the defendant,
KENDRA AMELIARAE BERNAL, that the District Attorney is seeking to have the violation
of probation heard at the same time and place as the scheduled hearing in this case, and will
seek to have said defendant found in violation of said probation at the conclusion of any hearing.

 

 

I declare under penalty of perjury upon information and belief under the laws of the
State of California that the foregoing is true and correct.

 

Dated:  May 30, 2002

 

WEM:BL                                                               complainant