SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. RSC-CM-XXXX
CRIMINAL INFORMATION
Plaintiff
v.
THESYMPHONYOFTERROR, J8LV
Defendant
CRIMINAL INFORMATION
Comes forth the State of Ridgeway to seek justice and preserve the dignity of the state and
therein charge defendant thesymphonyofterrorr as follows;
COUNT ONE - 3 S.C.C. § 10 - SECOND-DEGREE MURDER
OFFENSE TYPE - FELONY
On the 10th of July, 2025, thesymphonyofterrorr, known at the time as bloods1tez, intentionally shot and
killed CartelEnthusiast with a Stetson M1.
COUNT TWO - 5 S.C.C. § 05 - UNLAWFUL DISCHARGE OF A FIREARM
OFFENSE TYPE - MISDEMEANOR
On the 10th of July, 2025, thesymphonyofterrorr, known at the time as bloods1tez, discharged a Stetson
M1 repeatedly within Palmer City Limits without legal reason to do so.
Comes forth the State of Ridgeway to seek justice and preserve the dignity of the state and
therein charge defendant j8lv as follows;
COUNT ONE - 6 S.C.C. § 04 - AIDING & ABETTING
OFFENSE TYPE - MISDEMEANOR
On the 10th of July, 2025, thesymphonyofterrorr, known at the time as bloods1tez, while pointing his
firearm at CartelEnthusiast, asked j8lv if he could “send [CartelEnthusiast] to allah”. J8lv replied “yes”,
after which bloods1tez killed CartelEnthusiast, therefore abetting thesymphonyofterrorr in doing so.
PROBABLE CAUSE STATEMENT
Date Written JULY 10, 2025
Supporting the Case of STATE OF RIDGEWAY V. BLOODS1TEZ ET AL.
I, davie123048, being duly sworn on oath, state the following:
INTRODUCTION AND OFFICER BACKGROUND
[1] I am a deputy in the Ridgeway County Sheriff’s Office and a Detective in 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 employed with the Sheriff’s Office since December 20th, 2021. During my
tenure, I have served as a Deputy assigned to the Internal Affairs Unit. In this role, I have carried out
my responsibilities with diligence, professionalism, and integrity. As an investigator within Internal
Affairs, I have worked closely with fellow investigators and command staff to uncover and address
misconduct, departmental policy violations, and criminal behavior committed by members of law
enforcement in the Ridgeway County Sheriff’s Office. My work has contributed to numerous
high-impact investigations, holding deputies within the Ridgeway County Sheriff’s Office
accountable and ensuring departmental standards are upheld.
[3] During my interview with the victim, identified as CartelEnthusiast, he reported that the
defendant had been following him from Sterling, a behavior he described as stalking. Initially, he
chose to ignore it, but upon reaching Palmer, the situation escalated and turned physical.
According to the victim, the defendants, identified as BLOODS1TEZ and J8IV, rammed his vehicle
off the road, exited their vehicle, and blocked him in. This confrontation ultimately led to his death.
Despite conducting a thorough search, I was unable to locate the co-defendant, J8IV OR
BLOODS1TEZ.
[4] This affidavit is being submitted in support of a criminal information alleging that
bloods1tez, violated the following state criminal laws: 3 R.C.C § 10 (Murder in the Second Degree),
5 R.C.C § 05 (Unlawful Discharge of a Firearm).
[5] As well as an affidavit being submitted in support of a criminal information alleging that
j8lv, violated the following state criminal laws: 6 R.C.C § 03 (Solicitation to Commit a Crime)
[6] This affidavit is based on my personal knowledge, information provided to me by other law
enforcement agents, law enforcement records, court-authorized searches, witness interviews, and
my training and experience, as well as the training and experience of other law enforcement
agents.
[7] Because this affidavit is being submitted for the limited purpose of establishing probable
cause in support of a criminal information, I have not included each and every fact known to me
concerning this investigation. I have only set forth the facts that I believe are necessary to establish
probable cause that the suspect violated the state criminal laws set forth herein.
PROBABLE CAUSE
[8] On or around the 10ᵗʰ of July, 2025, at 12:33 PM EST, the Criminal Investigation Division
received a tipline submission from a victim alleging that the defendant, bloods1tez, had committed
second-degree murder and unlawful discharge of a firearm after crashing the driver of a pink golf
cart off the road and identified as victim CartelEnthusiast. After investigating the evidence provided
from the point of view of the victim, I have identified that the evidence provided proves beyond a
reasonable doubt that bloods1tez opened fire on CartelEnthusiast, wielding an M1 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.
[9] Additionally, evidence submitted through the tipline indicates that the defendant, j8lv,
committed Solicitation to Commit a Crime. He was observed instructing the co-defendant,
bloods1tez, to target the driver of a golf cart-identified as CartelEnthusiast-by stating he should
"send him to Allah." The individual seen in the video has been identified as the defendant based on
two key factors: the visible username matches that of j8lv, and the avatar is consistent with the one
associated with his account.
APPENDIX OF EVIDENCE
[10] The affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A
A pink car (JGT204) was seen driving behind the victim, identified as
CartelEnthusiast, and then later running into the back of his golf cart and continuing
to crash the victim off the road, prohibiting the driver from leaving the area. At 0:13
you see the driver of the vehicle, identified as bloods1tez, jumping out of the vehicle
and approaching the driver's side of the golf cart. Later on at :24, the driver asked
his colleague, identified as j8lv, if he could “send him to allah” referring to killing the
driver. Where his colleague sent a message back saying “yeah” at :26. Which was
then followed by gunfire at :28, and the victim swiftly died at :29 by the driver, who
was identified as bloods1tez.
Exhibit B Victim's testimony Part 1
Exhibit C Victim's testimony part 2
CONCLUSION
[11] Based on the foregoing, your affiant submits there is probable cause to believe that
bloods1tez violated 3 R.C.C § 10, which makes it a crime to intentionally or knowingly causing
death of an individual; or of causing, with intent, serious bodily injury and commits an act clearly
dangerous to human life that causes death of an individual; or of committing or attempts to
commit a felony, other than manslaughter, and in the course of and in furtherance of the
commission or attempt, or in immediate flight from the commission or attempt, he commits or
attempts to commit an act clearly dangerous to human life.
[12] Based on the foregoing, your affiant submits there is probable cause to believe that
bloods1tez violated 5 R.C.C § 05, which makes it a crime to discharge a firearm while within city
limits and/or residential areas without legal means to do such as a proper permit or for self
defense.
[13] Based on the foregoing, your affiant submits there is probable cause to believe that j8lv
violated 6 R.C.C § 03, which makes it a crime to encourage, bribe, request, or command a person to
commit a crime.
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant davie123048
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
07/11/25
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Cheezit110
Senior State Attorney
State of Ridgeway Department of Justice
Executed:
07/23/2025