Witness account Elvin Shaver (1986)

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Witness account Elvin Shaver (1986)
Witness accounts
Sworn affidavit Elvin W. Shaver, Jr (1986)
Text version:
State of Michigan
in the county of Kent
Case No. 85-37049-7C

People of the state of Michigan, Plaintiff vs.Harry Bout, Defendant.
Hon. R. Stuart Hoffius

Affidavit of Elvin W. Shaver Jr.

1. I, Elvin William Shaver Jr., do hereby make this sworn affidavit supp., that my previous statements and testimony in the case of "The People of the State of Michigan -vs- Harry Bout", were not the truth, and that I made said false statements and testimony against my free will.

2. I would further like to state for the record that I was forced against my will to make false statements and testimony by means of "Blackmail", "Duress", "Threats", and "Coercion", used and induced bu the mentioned Defendants of the Grand Rapids Police Department and the Kent County Prosecuting Attorneys Office in Grand Rapids, Michigan.

3. I would like to clearly state for the record that a certain point in time during the course of the aforementioned trial concerning Harry Bout, that I tried to tell the truth and expose the corruption on the part of the mentioned Defendants while I was still on the witness stand, but that I was physically removed from the witness stand by the detectives and rushed out of the courtroom when it became apparent to them that I was not responding to their signals, and it appeared that I was going to tell on them concerning the lies and corruption.

4. I would like to clearly state that when the detectives removed me from the witness stand by force, that they took me out of the courtroom into the hallway, and there pushed me around, and threatend me with life imprisonment, and that they would make sure that I would loose my son and never see him again, if I did not continue to cooperate and lie for them and testify to the things that they instructed me.
5. I would like to point out that I was not allowed to enter my plea and be sentenced pursuant to my plea bargan, as an accessory after the fact of murder, untill I had testified at the trial against Harry Bout exactly as they had instructed me to.

6. That my plea bargan was held as a barganing chip to "Blackmail" me into making false statements and testifying untruthfully on the witness stand, in a combined effort to illegally obtain a conviction against Harry Bout.

7. I would like to clearly state that my statements prior to any court proceedings were not made freely, and were merely statements which I was told to make when the tape recorder was turned off or temporarily paused, and that I was lead by the detectives in answering the questions to refesh my memory in what my answeres were supposed to be.

8. I would like to clearly state for the record that my statements and testimony were the words that were put into my mouth by the detectives, and that I cooperated only because I was under threat of life imprisonment, and that I was "Blackmailed" with that threat continuously in an effort to keep me cooperating.

9. I would like to herewith officially for the record "Recant" my previous statements and testimony because they were not the truth.

10. Harry Bout never at any time, talked, planned, or even mentioned anything to me about murdering Mr. Iwuagwu, or trying to do away with him in any way, prior to the actual killing that took place the evening of March 7th, 1985.

11. Harry Bout also never talked or mentioned anything to me about being blackmailed by Mr. Iwuagwu, over counterfeiting plates, or over a counterfeiting opperation, in that this was nothing more than a fabracated theory thought up by the detectives to be used for a possible motive, only to leave an inference of guilt because Harry Bout did in fact have past dealings in counterfeiting.

12. Harry Bout also never talked, planned, or even mentioned anything to me about acquiring 49 apartment buildings from Mr. Iwuagwu, in that this was also nothing more than another fabracated theory thought up by the detevtives to be used for another possible motive, only to leave an inference of guilt because Harry Bout did in fact have realestate dealings with Mr. Iwuagwu in the past that the detectives had knowledge of.

13. Not one of these alleged motives could have been proven, and in fact, could not be proven, because they were not the truth, and were only fabracated to infer guilt and bias the jury because Harry Bout could not actually disprove the possible motives.

14. I would like to further retract my statements and testimony where it pertains to Harry Bout's alleged admissions to me about his guilt in the actual killing, in that Harry Bout never at any time admitted to me that he was responsible for Mr. Iwuagwu's death.

15. I would like to further state for the record that my previous statements and testimony concerning Dawn Renee Bean were also not the truth, especially not where it pertains to "her not being herself and being in shock" the night of the killing, in that she was far from being in shock, and didn't even appear at all upset over Mr. Iwuagwu's death other than she was very concerned in the immediate cover-up of what had happend.

16. My truthfull observations of Dawn Renee Bean on the evening of March 7th, 1985, were that she seemed to be very cheerfull and thankfull that I was assisting in the cover-up, and she appeared to carry on as if Mr. Iwuagwu's death was some sort of game that didn't seem to bother her in the least.

17. I would like to further mention concerning Dawn Renee Bean, that after the killing had already occured, that she did mention to me that it was she who took Mr. Iwuagwu to the upstairs bedroom with the promise of sex, and that she admitted to me that she had kissed him, and that it was gross, and that she was alone with Mr. Iwuagwu in that upstairs bedroom, and never at any time did she mention to me that Harry Bout was with them in that bedroom at the time of the actual shooting.

18. I would like to further state that Dawn Renee Bean has admitted to me on several occasions that she in fact was a prostitute, and that she prostituted in the area of Grand Rapids, Michigan, and Detroit, Michigan, and that she had been in the profession ever since the age of 14 years old.

19. I would like to further mention that Harry Bout had never owned or possessed a .32 caliber pistol for as long as I've known him, and that I never noticed any such weapon untill Dawn Renee Bean moved in to live with Harry Bout.

20. I would like to further mention that Dawn Renee Bean was never forced, in any way, or at any time, to participate in the cover-up of Mr. Iwuagwu's death, and as a matter of fact it was she who appeared to be the one most concerned that no one would ever find out what had happend to Mr. Iwuagwu, and this is why she so eagerly volenteerd to drive Mr. Iwuagwu's car to Indianapolis as part of the cover-up, when Harry Bout and myself refused to be any part of the car transportation.

21. I would like to further state that Dawn Renee Bean had every oppertunity in the world to call the police, or let any one know what had happend, had she wanted to, because Harry Bout was out and about the town each day from early morning hours till late in the evening hours taking care of the opperaton of his business, and apartment buildings, in addition to visitation with his children, marriage counseling, parenting skill classes and many other miscellaneous activities such as out of town trips or visiting his wife or friends.

22. I hereby acknowledge that I understand this affidavit will be used to start an action in the United States District Courts to obtain the protection that I need in the way of a Court Injunction so that I may freely expose the corruption within public offices of aforementioned Defendants, and that they be restrained from carrying out their threats.

23. I hereby acknowledge that I will be required to testify to the facts contained in this affidavit, but that said testimony will be contingent upon receiving protection from the United States District Court so that I may testify without fear of reprisals or retaliatory action by the Defendants.

24. I further understand that it is agreed that without said protection from the United States Districts Courts that I will not be required to jepordise or endanger myself by testifying and that under such circumstances this affidavit will not be used in this court for any other purpose.
WHEREFORE, in light of the foregoing, I Elvin William Shaver Jr., being of sound mind, do hereby affix my signature to this document in good faith, and of my own free will, and state that I am willing to testify, pursuant to requested protection.

Elvin W. Shaver Jr, 121217

Plaintiff,
c/o Kinross Correctional Facility
Kincheloe, Michigan, 49788

Subscribed and sworn to before me this 30th day of December 1986.
Meta S. Geyer
Notary Public

My Commission expires:
Meta S. Geyer: notary public
State of Michigan
my commission expires feb. 05, 1990

Factual outline

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Factual outline
A factual outline, explaining how the photographic evidence proves the police lied to frame an innocent person.

The autopsy of the deceased revealed that he had been shot 3 times in the head at point-blank range with a 32 calibre pistol. The coroner's report indicated that the victim would have dropped dead instantly on the spot where he had been shot after entry of the first bullet.

The only eyewitness not involved in the crime (Evelyn Schneider) had been questioned by the police. Schneider told the police: she was in her bedroom (the bedroom immediately next to the bedroom where the killing took place) when she heard 3 gunshots and looked out of her room to see Harry Bout racing up the stairway carrying a long shotgun.

The police department forensic crime scene technicians thoroughly inspected the crime scene looking for evidence of a shotgun discharge having gone off in the house, AND FOUND NONE. The technicians also removed carpeting from the bedroom where the victim had been shot (Note: blood stains had been found on the carpet backing) to show that the victim had been shot in the bedroom, not on or anywhere near the stairway.

From the evidence the police and prosecutor knew that the gunshots Schneider had heard, came from a 32 calibre pistol, not a shotgun; and that Bout could not have committed the crime while on the stairway when the 3 fatal gunshots were heard.

The police also knew from Dawn Bean's own admissions that she was in the bedroom with the victim. Bean had originally been charged with premeditated first degree murder until the prosecutor made a deal with her to put blame on Bout, which Bean gladly accepted.

At Bout's trial the police had to lie and commit perjury to discredit Schneider's testimony. The police testified it would have been impossible for Schneider to have seen Bout racing up the stairway, and submitted a false diagram of the house showing a wall extending into the way of Schneider's view.

The police also lied that Schneider's bedroom door opened inward instead of outward to make it look as though the door would also have blocked her view. The video and photos that can be seen on this website of Attorney James S. Lawrence factually prove that Schneider told the truth about what she could see and conclusively proves that the police lied under oath and even submitted a falsified diagram.

Anyone willing to compare the photographic evidence to the recorded and transcribed testimony of the police officers is invited to do so and see the proof that an innocent man is presently languishing in prison for a crime the police and prosecutor's office know he could not have committed.

Detailed information from Harry about the shooting

2:26 PM Add Comment
Detailed information from Harry about the shooting
The following can be experienced as shocking. However we only want to describe the situation as accurate as possible to understand what really happened. We needed detailed information of the situation in the house where Al was shot to death.

Harry wrote this down for us:

...I know only what Dawn told me as to how it happened, and also I know certain facts from the autopsy of Al.

The facts from the autopsy are that Al was shot 3 times in the head with a 32 calibre; the first shot was in his forehead; the second shot was in the top of his head; and the third shot was in the back of his head.

As for what Dawn told me: she said that after Al realized she didn't want to have sex, he tried to leave, and so she pulled out the gun and stood in front of him, blocking his way out of the room, Al tried to grab the gun as if he wanted to look at it, and so she shot him the first time, from the front. She said Al fell downward to his hands and knees in front of her and was trying to grab her when she shot him again, I am presuming from the top. She said Al fell forward towards her as she moved out of the way. She said that she then stood directly over him because it looked like he was trying to crawl out of the room, so she shot him again from behind. I know this is only 3 gunshots, and there were 3 gunshot wounds on Al's head, but I heard what clearly sounded like a gunshot when I was downstairs in the dining room.

There was another gunshot while I was on the stairway coming up, and immediately after I closed Evelyn's bedroom door there were 2 more gunshots.

So I heard 4 shots in total, if the first loud shot was a gunshot. My lawyer at that time suggested that maybe the first shot I heard could have been a car backfiring. Well, I suppose it's possible, but it sounded to me like a loud gunshot. Before I closed Evelyn's bedroom door she was laying in her bed kind of sitting up with her elbow. She was laying with her head towards the direction of the room where the door is, looking out of the room.

Anyway, after the last shot, I yelled out two times: "Dawn, are you alright?" from where I was standing in the corner of the room next to the bedroom that Dawn and Al were in. I was on the register, and then the lights came on in the bedroom that Dawn and Al were in.

That's when I moved away from the corner (register) and from a distance of a few feet seen Al laying on the floor face down inside of the bedroom, with his head maybe 1 foot distance from the doorway, with Dawn standing next to him, on Al's right side, next to his right leg. From my view, looking into the room, Dawn was standing on the left of Al's body......