INVESTIGATION REPORT
Detective-In-Charge spookybd1 Contact spookylaff
Assigned Detective Xotlkz Contact xotlkz
Date Assigned July 12, 2025 Date Finished July 16, 2025
INITIAL INFORMATION
Date of Incident July 11, 2025 Time 10:54 PM PST
Date of Tip Submission July 12, 2025
Location of Incident Car Dealership, Sterling Heights, Ridgeway County
Complainant Santa_Security Contact santa_security
SUSPECTS
Suspect #1 shaunatha_n ID 2824701332
ASSOCIATED PERSONS
Witness CheerfulForeverpink Contact marceloflaco
Witness NunoGoofed Contact nuno_13
Witness Laaaaannnnnnaa Contact llllaaannnaa
Witness SL8YYTER Contact lundyn_
PROPOSED CHARGES FOR [USERNAME]
3 S.C.C § 10
SECOND-DEGREE MURDER
(COUNTS x2)
The act of 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.
5 S.C.C § 01
UNLAWFUL POSSESSION OF A FIREARM
(COUNTS x1)
The act of possessing 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.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0009 07/16/25
PROBABLE CAUSE STATEMENT
Date Written July 16, 2025
Supporting the Case of STATE OF RIDGEWAY V. shaunatha_n
I, Xotlkz, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
[1] I am a Deputy in the Ridgeway County Sheriff’s Office and a Detective in the Criminal Investigations Division
(hereinafter “CID”). As a law enforcement officer, I am empowered to conduct investigations.
[2] I have been employed with the Sheriff’s Office since the 2nd of July, 2025.
[3] I have investigated a multitude of cases involving organized crime, homicides, firearms crime, and
distribution of illegal firearms and equipment.
[4] This affidavit is being submitted in support of a criminal information alleging that shaunatha_n, violated the
following state criminal laws:
a) 3 R.C.C § 10 (Second-Degree Murder)
b) 5 R.C.C § 01 (Unlawful Possession of a Firearm).
[5] 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.
[6] 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.
STATEMENT
[7] On July the 11th, of 2025, an incident located at the Car Dealership in Sterling Heights, Ridgeway County,
occurred.
[8] On the aforementioned date, the complainant, Santa_Security, approached the Sterling Car Dealership for
an unknown reason and approached a group of individuals, whereas the defendant, shaunatha_n, was present. It is
clear that the defendant was armed with a Stetson Cardiac-5, a firearm that can only be possessed if you have an
active AFL (Automatic Firearms License). As shown in Exhibit B, a screenshot derived from the Ridgeway State
Police AFL License database, the defendant does not possess any active AFL.
[9] As shown in Exhibit A, a video showing the entirety of the incident, at a timestamp of approximately
[00:16.5], with an in-game timestamp of approximately [22:54:38], the complainant, Santa_Security, was moving
around the group of people when the defendant unholstered their Stetson Cardiac-5 and intentionally caused the
death of the complainant for seemingly no reason at all.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0009 07/16/25
[10] In Exhibit A, at a timestamp of approximately [00:25] with an in game timestamp of approximately
[22:54:37], the complainant respawns with a new life, per the New Life Rule as described in the State of Ridgeway
Discord server, “#experience-rules” channel, and respawns at the Sterling Heights Car Dealership and approaches
the large group once again.
[11] As shown in Exhibit A, at a timestamp of approximately [00:31] and an in game timestamp of
approximately [22:54:51], approximately 14 seconds after the complainant respawns, the defendant, with their
illegal Stetson Cardiac-5 already unholstered, shoots and intentionally caused the death of the complainant the
complainant for a second time for no given reason.
[12] As shown in Exhibit A, at a timestamp of approximately [00:46.5] and an in game timestamp of
approximately [22:55:06], approximately 15 seconds after the complainant was murdered by the defendant, the
defendant is shown to be spamming “greatfull k” and starts to dance on the dead, rotting corpse, of the
complainant, Santa_Security.
[13] As a trained criminal investigator experienced with similar homicide cases, it is evident that shaunatha_n
acted with intent. The complainant posed no threat of bodily harm or death to the defendant, and there was no
lawful justification under state law for the use of deadly force. The defendant’s repeated use of the phrase “grvtfull
k” demonstrates clear intent to have caused the death of the complainant. The fact that he did it more than once
further solidifies the finding of probable cause regarding the intent element—after all, if the killing were
unintentional, there would be no reason to commit the same act twice. The totality of shaunatha_n’s actions
reflects a deliberate decision that resulted in the death of the complainant.
APPENDIX OF EVIDENCE
[14] The affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A Video evidence of the incident
Exhibit B Ridgeway State Police AFL Database
CONCLUSION
[15] Based on the foregoing, your affiant asserts that shaunatha_n violated 3 S.C.C § 10, which makes it a crime
to intentionally or knowingly cause 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.
[16] Based on the foregoing, your affiant asserts that shaunatha_n violated 5 S.C.C § 01, which makes it a crime
to possess 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.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0009 07/16/25
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant Xotlkz
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
07/16/2025
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Username
Position
State of Ridgeway Department of Justice
Executed:
mm/dd/yyyy
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0009 07/16/25