RIDGEWAY SUPERIOR COURT
State of Ridgeway,
Plaintiff
v.
JimmyMastronardi,
Defendant
CRIMINAL COMPLAINT
RSC-CM-
CRIMINAL COMPLAINT
Plaintiff, by and through the undersigned counsel, does file this criminal complaint
against Defendant JimmyMastronardi to seek justice and to perserve the dignity of the
State, alleging at all times the following:
COUNT ONE
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess
Stetson M2-M Rifle in violation of State law and department policy as Defendant was not
a national guardsman nor on-duty as such.
COUNT TWO
R.S.C. § 5.09 - Unlawful Distribution of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally
distribute a Stetson M2-M Rifle in violation of State law and/or department policy by
dropping said rifle on the ground for Laaaaannnnnnaa to pick up and store.
COUNT THREE
R.S.C. § 6.04 – Aiding and Abetting
A MISDEMEANOR, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally aid
Laaaaannnnnnaa in the commission of a crime—Unlawful Possession of Government-
Issued Equipment in violation of R.S.C. § 5.08(a)—by distrubution to them a Stetston M2-
M rifle.
COUNT FOUR
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT FIVE
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT SIX
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT SEVEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT EIGHT
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT NINE
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT TEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT ELEVEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT TWELVE
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT THIRTEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT FOURTEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT FIFTEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT SIXTEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT SEVENTEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT EIGHTEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT NINETEEN
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT TWENTY
R.S.C. § 5.08(a) - Unlawful Possession of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
through storage in their personal vehicle, an civilian storage device unauthorized for
government-issued equipment storage under both State law and department policy,
plated TJS966, a box of police-issued 5.56 rounds, an item Defendant knew or should’ve
known that he was not authorized to possess.
COUNT TWENTY-ONE
R.S.C. § 5.08(b) – Unlawful Stockpile of Government-Issued Equipment
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
seventeen (17) boxes of police-issued 5.56 rounds, through storage in their personal
vehicle plated TJS966, an civilian storage device unauthorized for government-issued
equipment storage under both State law and department policy, plated TJS966.
COUNT TWENTY-TWO
R.S.C. § 5.01 – Unlawful Possession of a Firearm
A MISDEMEANOR, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess,
stored in their personal vehicle plated TJS966, a Stetson M1 Rifle while their Ridgeway
Firearm License Indentification (RFLID) was revoking, knowing such revocation had
occurred.
COUNT TWENTY-TWO
R.S.C. § 5.02 – Unlawful Possession of a Firearm With Intent to Sell
A FELONY, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally possess
seventeen (17) boxes of ammunition in their personal vehicle plated TJS966 when such
ammunition was illegal for Defendant to possess as he did not have a valid RFLID and/or
the ammunition was government-issued, police-grade equipment.
COUNT TWENTY-THREE
R.S.C. § 7.06 – Failure to Yield to a Traffic Control Device
AN INFRACTION, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally
disregard a traffic control device while in operation of a motor vehicle, namely a stop
sign, by failing to come to a complete stop.
COUNT TWENTY-FOUR
R.S.C. § 7.18(a) – Illegal Parking
AN INFRACTION, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally operate
a motor vehicle, parking in such a manner as to obstruct the normal flow of traffic and in
an invalid manner as the two left wheels were not on the road while the two right wheels
were neither off the road nor on the sidewalk facing the same direction fo traffic.
COUNT TWENTY-FIVE
R.S.C. § 7.02 – Reckless Driving
A MISDEMEANOR, against Defendant JimmyMastronardi.
On or about the 15th of July, 2025, Defendant did knowingly and/or intentionally operate
a vehicle in such a manner that disregards the safety of persons and property by driving
at an excessive speed in a residential area, failing to yield to a stop sign, applying the
motor vehicle’s handbreak to come to a ‘drifting stop,’ and parking illegally.
Respectfully Submitted, 7/31/2025
HolyRomanRyan
Counsel of Record
Asisstant Attorney General
Ridgeway Department of Justice