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INVESTIGATION REPORT
Detective-In-Charge SemperBeyond Contact winterbeyond
Assigned Detective iiDark_Law Contact .darkk__
Date Assigned 20/03/2026 Date Finished 03/04/2026
INITIAL INFORMATION
Date of Incident 20/03/2026 Time 4:18 PM EST
Date of Tip Submission 20/03/2026
Location of Incident RDOT Impound Lot
Complainant Vulmony Contact vulmony
SUSPECTS
Suspect #1 zygnuI ID 885617161
ASSOCIATED PERSONS
Person Interviewed N/A Contact N/A
PROPOSED CHARGES FOR zygnul
§ 6.05d
Obstruction of Transit Authority
Personnel
(COUNTS x1)
§ 3.09
First-Degree Murder
(COUNTS x1)
NOTES
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MAJOR CASE UNIT MILTON CITY POLICE DEPARTMENT
CASE NUMBER INVESTIGATION REPORT DATE
MCU-0326-0010 20/03/2026
PROBABLE CAUSE STATEMENT
Date Written 03/04/2026
Supporting the Case of State of Ridgeway v. zygnul
I, iiDark_Law,, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
[1] I am a Sergeant in the Milton City Police Department and the Case Supervisor of the Major Case Unit
(hereinafter “MCU”). As a law enforcement officer, I am empowered to conduct investigations.
[2] I have been with MCU since December 10th, 2024. Prior to my employment in MCPD, I was employed at the
Palmer Police Department where I was the Deputy Chief of Police. Prior to my promotion to Deputy Chief, I was
assigned the Special Investigations Unit.
[3] I have been employed with the Law Enforcement Training Center as a Misconduct Investigator since
07/27/2021.
PROBABLE CAUSE
[4] On March 20th, 2026, at 6:40 PM EST, the Major Case Unit received a tipline submission from a
complainant alleging that the defendant had desynced them by ramming their vehicle while they were attempting to
impound a vehicle. The complainant also alleged that the defendant murdered them after they arrived at the RDOT
Impound Lot.
[5] Exhibit A shows the defendant ramming the complainant’s tow truck at 00:00, causing them to loose
control of the tow truck.
[6] Exhibit A shows the defendant murdering the complainant at 00:31 with the use of a Salvo Snub.
APPENDIX OF EVIDENCE
[7] The affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit [Embed Link] A The defendant, zygnuI, is seen obstructing the Transit Authority employee by
repeatedly ramming into their vehicle. At 00:29, the defendant exits a red percival
and pulls out a Salvo Snub before firing multiple shots at the Transit Authority. As a
result, the Transit Authority employee died.
CONCLUSION
[8] Based on the foregoing, your affiant submits there is probable cause to believe that zygnuI violated § 3.09,
which makes it a crime to commit murder of a peace officer or civil department employee discharging a lawful or
official duty; or of committing murder with malice aforethought; and § 6.05d, which makes it a crime to interfere
with a transit authority operator conducting division-specific duties.
MAJOR CASE UNIT MILTON CITY POLICE DEPARTMENT
CASE NUMBER INVESTIGATION REPORT DATE
MCU-0326-0010 20/03/2026
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant iiDark_Law
Sergeant, Major Case Unit
Milton City Police Department
Executed:
03/04/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Detachment_Result
State Attorney, Criminal Division
Ridgeway Department of Justice
Executed:
12/04/2026
MAJOR CASE UNIT MILTON CITY POLICE DEPARTMENT
CASE NUMBER INVESTIGATION REPORT DATE
MCU-0326-0010 20/03/2026