SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. 0000-00000Z
CRIMINAL INFORMATION
Plaintiff
v.
BUSHTHEWARCRIM
Defendant
CRIMINAL INFORMATION
Comes forth the State of Ridgeway to seek justice and preserve the dignity of the state and
therein charge defendant BushTheWarCrim as follows;
COUNT ONE - 3 S.C.C. § 09 - FIRST DEGREE MURDER
OFFENSE TYPE - FELONY
On July 7th, 2025, BushTheWarCrim intentionally killed Aspenfun, an on-duty Ridgeway Department
of Transportation Employee discharging their lawful and official duty, knowing that they were an
on-duty employee discharging their lawful and official duty, by repeatedly shooting them with a Stetson
M2-A.
COUNT TWO - 5 S.C.C. § 08 - UNLAWFUL POSSESSION OF GOVERNMENT-ISSUED
EQUIPMENT
OFFENSE TYPE - FELONY
On July 7th, 2025, BushTheWarCrim was in possession of a Stetson M2-A, a piece of
government-issued equipment which they are not authorized to possess as a tourist.
COUNT THREE - 5 S.C.C. § 08 - UNLAWFUL POSSESSION OF A FIREARM
OFFENSE TYPE - MISDEMEANOR
On July 7th, 2025, BushTheWarCrim was in possession of a Stetson M2-A as a tourist without a RFLID.
COUNT FOUR - 5 S.C.C. § 05 - UNLAWFUL DISCHARGE OF A FIREARM
OFFENSE TYPE - MISDEMEANOR
On July 7th, 2025, BushTheWarCrim discharged a Stetson M2-A multiple times within Palmer City
Limits without legal justification for doing so.
PROBABLE CAUSE STATEMENT
Date Written 10/07/2025
Supporting the Case of State of Ridgeway v. BruhTheWarCrim
INTRODUCTION AND OFFICER BACKGROUND
I, Devideus, Lieutenant of the Criminal Investigations Division, and formerly holding the
position of Sergeant within the Special Investigations Unit, being duly sworn on oath, state the
following:
[1] I am currently a Lieutenant within the ranks of the Ridgeway Sheriff's Office. I also
currently hold the rank of Chief Detective within the Criminal Investigations Division, where I
am tasked to locate and investigate crimes within the county. Due to the fact that I am employed
under the capacity of a Law Enforcement Officer, I am granted the authority to enforce the
State’s Statutes. I am also granted the authority to investigate cases where these State Statutes
are violated.
[2] I have been previously employed within the Palmer Police Department from the dates of
March 2nd 2021 to the 3rd of June 2022. In this time I obtained the rank of Sergeant within the
Special Investigations Unit. During this time, under the capacity of a detective within the
Special Investigations Unit, I conducted my duties to the best of my ability, worked tirelessly
with my colleagues and helped in many major cases that brought to light the crimes committed
by several notable figures in the Ridgeway community. My work along with my colleagues
managed to earn the Special Investigations Unit the District Attorney’s Commendation under
District Attorney Siteowner. I also conducted department background checks, and later in my
career oversaw the process of conducting background checks for the Palmer Police Department.
I conducted numerous investigations, and filed a number of Criminal Informations and Search
Warrant Applications under the District Attorney's office. I also held a secondary position within
the Tactical Response Unit for a brief period of time, in which I was tasked with dealing with
high priority situations within the jurisdiction of Palmer. I was dealing with high stress
situations, in which I had to use critical thinking and situational awareness to tackle the
dangerous situations.
[3] The information provided in this Affidavit is not each and every fact known to me, but
rather, sufficient information to establish probable cause regarding criminal violations of state
statutes.
PROBABLE CAUSE
[4] On or around the 07th of July, 2025, at 5:44 PM EST, the Criminal Investigation Division
received a tipline submission from a complainant alleging that the defendant, BruhTheWarCrim
had committed First Degree Murder after recklessly circling complainant Aspenfun. After
investigating the evidence provided from the point of view of the complainant, I have identified
that the evidence provided proves beyond a reasonable doubt that BruhTheWarCrim opened fire
on complainant Aspenfun, wielding a Stetson M-2A firearm. Identifiers that the individual in the
video is the defendant include the username matching that of the defendant, as well as the
avatar matching.
[5] Upon interviewing complainant Aspenfun, I found that the complainant had no
recollection of prior interaction with the defendant, the complainant did however mention that
they could have towed their vehicle. This suggests no premeditation[B].
[6] I was unable to reach out to the defendant for any questioning.
APPENDIX OF EVIDENCE
[7] The affiant submits the following pieces of documentary evidence: Evidence
EXHIBIT ID SUMMARY
Exhibit [A] A In the video provided, you will see the complainant, aspenfun, towing a vehicle and
transporting it to the tow yard. As the complainant was stopped at a traffic light, the
defendant, BruhTheWarCrim, drove around the tow truck, then jumped out with a
firearm, as displayed in his hand at 14 seconds, and opened fire on the operator,
killing him as they were performing their civil department duties.
Exhibit [B] B Interview between myself and the complainant, inquiring into the potential for
premeditation.
CONCLUSION
[8] Based on the foregoing, your affiant submits there is probable cause to believe that
[BruhTheWarCrim] violated [3.09], which makes it a crime to commit murder of a peace officer or
civil department employee discharging a lawful and official duty, with the knowledge of the person
being a peace officer or civil department employee, or of murdering with malice aforethought.
[9] Based on the foregoing, your affiant submits there is probable cause to believe that
BruhTheWarCrim violated [5.01], which makes it a crime to be in possession of any firearm or
ammunition without being a holder of a valid RFLID; or possessing a weapon, firearm, or
ammunition that was sourced from an illegal dealer.
[10] Based on the foregoing, your affiant submits there is probable cause to believe that
BruhTheWarCrim violated [5.05], which makes it a crime to discharge a firearm while within city
limits/residential areas without legal means to do so, such as a proper permit, or for self-defense.
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant Devideus
Chief Detective, Criminal Investigation Division
Ridgeway County Sheriff’s Office
Executed:
07/10/2025
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor CheezIt110
Senior State Attorney, Office of Criminal Prosecution
Ridgeway Department of Justice
Executed:
07/18/2025