PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. s6hotz
DATE
08/07/2025
CASE REF. NUMBER
25RI0028
I, Operations Director mistypro2, R4
(Name and identification of law enforcement officer, investigator, or person having information as probable cause)
knowing that false statements on this form are punishable by law, state that the facts contained herein
are true. Your affiant has probable cause to believe that on 08/02/2025, outside the Sterling Gun Club
in Ridgeway County, State of Ridgeway, defendant s6hotz committed one or more criminal offense(s):
CODE AND CHARGES COUNT(S)
3 R.S.C § 10 Second-Degree Murder
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 an in furtherance of the commission or
attempt, or in immediate flight from commission or attempt, he commits or attempts to
commit an act clearly dangerous to human life.
1
4 R.S.C § 07 Vandalism
The act of deliberate destruction of, or damage to, public or private property. 1
Your affiant, being duly sworn, depose and state that the facts supporting this belief are as follows:
1. I have been employed with the Ridgeway State Police since May 24th, 2024. I’ve been a Law
Enforcement Officer in Ridgeway for over four years now. I am a former Captain of the Ridgeway
County Sheriff’s Office Investigations Bureau. I’m a former Sergeant Major within the Ridgeway
National Guard, 127th Combat Support Brigade. I was formerly employed in the Ridgeway Parks
Service as a Full-Time Ranger. I am a graduate of LETC Class 4, a known and experienced Law
Enforcement Officer.
2. This statement is made in support of a criminal complaint against s6hotz (“Defendant”) for
violations of the aforementioned statutes.
3. On 08/02/2025, at approximately 19:33 hours, RepoAllegiance observed the defendant shoot and
kill him with a firearm, then blow up their vehicle outside the gun club.
4. Attached to the information of the events was Exhibit A. This clip was provided by the complainant,
RepoAllegiance, which was taken on August 2nd, 2025. The clip starts with the complainant
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IN SUPPORT OF CRN 25RI0028 STATE BUREAU OF INVESTIGATIONS
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. s6hotz
DATE
08/07/2025
CASE REF. NUMBER
25RI0028
observing a stolen RCSO vehicle. Moments later, the complainant is shot and killed by the
defendant. At 00:04 of Exhibit A, the defendant continues opening fire on the complainant's
vehicle, destroying it.
5. Your affiant interviewed with RepoAllegiance, the complainant, which is attached as Exhibit B.
During this interview, the complainant was asked to explain their perspective on the incident. They
mentioned that before the situation occurred, there was a police shootout with multiple other
individuals. When the situation had died down, the complainant noticed a stolen RCSO vehicle.
While the complainant was observing the stolen vehicle, the defendant, s6hotz, appeared out of
nowhere, opening fire and eventually killing the complainant. The complainant mentions that there
was a witness at the scene. Witness spothu04, an off-duty law enforcement officer, was there
during the scene. When asked if the complainant had any altercation or contact with the
defendant, they stated that they had not before the incident. The complainant affirmed that the
incident in question occurred on August 2nd, 2025, outside Sterling Gun Club. Additionally, the
complainant verified that a rifle was the firearm involved in this incident.
6. In Exhibit C, your affiant interviewed spothu04, a witness to the RepoAllegiance shooting.
spothu04 stated that before the incident happened, there was a police involved shooting, and that
the witness had died before the RepoAllegiance shooting occurred. Moments later, the witness
states that as the complainant was being shot at, there was a stolen RCSO vehicle. Witness
spothu04 confirmed that the shooter involved in this incident is s6hotz. The witness states that the
incident occurred at the Sterling Gun Club at 7:34 PM EST (19:34 hours) on August 2nd, 2025.
When asked what weapon was used, the witness states that it was a Cadillac.
7. Your affiant attempted to contact the Defendant, which is attached as Exhibit D. The Defendant is
not in the main Ridgeway discord server.
8. As a trained criminal investigator, it is your affiant’s opinion that on August 2, 2025, outside the
Sterling Gun Club, the Defendant deliberately used a rifle to fatally shoot the complainant,
RepoAllegiance. As documented in Exhibits A and B, the Defendant approached and opened fire
without provocation, striking the complainant and causing their death. The Defendant’s conduct
demonstrates a clear and purposeful intent to inflict serious bodily injury or even death. Based on
the Defendant’s deliberate use of deadly force and the resulting death of the complainant, your
affiant finds sufficient probable cause to charge the Defendant with one (1) count of 3 R.S.C § 10 –
Second-Degree Murder.
9. Your affiant also finds s6hotz committed one (1) count of 4 R.S.C § 07 Vandalism due to the fact
that immediately after killing the complainant, the Defendant directed gunfire toward the
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IN SUPPORT OF CRN 25RI0028 STATE BUREAU OF INVESTIGATIONS
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. s6hotz
DATE
08/07/2025
CASE REF. NUMBER
25RI0028
complainant’s vehicle, continuing to shoot until it was destroyed. The targeted nature of this
gunfire indicates that the Defendant wanted to damage the property well beyond any necessity
connected to the shooting. The destruction was willful and without lawful justification.
The evidence of which were referenced in the aforementioned statement are as follows.
# Exhibit Identification
1 Exhibit X Document identified as “25RI0028 PC - State of Ridgeway v. s6hotz”
2
Exhibit A Film identified as "Untitled”
1. Timestamp (0:02) - Defendant opens fire on the complainant.
2. Timestamp (0:07)- Defendant continues to open fire on vehicle, destroying.
3 Exhibit B Film identified as “RepoAllegiance Interview”
4 Exhibit C Film identified as “Witness spothu04 Interview”
5 Exhibit D Document identified as “s6hotz not in the Main server/DOJ”
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant mistypro2
Operations Director, State Bureau of Investigations
Ridgeway State Police
Executed:
08/07/2025
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Username
Position
State of Ridgeway Department of Justice
Executed:
mm/dd/yyyy
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IN SUPPORT OF CRN 25RI0028 STATE BUREAU OF INVESTIGATIONS
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. s6hotz
DATE
08/07/2025
CASE REF. NUMBER
25RI0028
Page 4 of 4
IN SUPPORT OF CRN 25RI0028 STATE BUREAU OF INVESTIGATIONS