IN THE SUPERIOR COURT
FOR THE
STATE OF RIDGEWAY
THE STATE OF RIDGEWAY,
Plaintiff,
v.
SASHA_ROSLYAKOVA,
GAGASMAYHEM,
Defendants.
Docket No. RSC-CM-4300
AFFIDAVIT OF PROBABLE CAUSE
I, Lieutenant smashpears, acknowledge that this is a statement made in support of the
summons or arrest warrant of GagasMAYHEM & Sasha_Roslyakova, pursuant to Rid. R. Crim.
P. 3(f)(2). The facts and information in this statement are based upon my training, experience,
participation in investigations, personal knowledge and observations, and the observation of
other investigators involved in this investigation. This statement contains the information
necessary to support probable cause for criminal information and is not intended to include every
fact and matter observed by me.
I. INTRODUCTION
1. I am a Lieutenant with the Palmer Police Department, and I have been employed as such
since August 10, 2021.
2. I have been a certified police officer through the Law Enforcement Training Center since
April 22, 2021, and have received training on identifying probable cause.
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3. Based on the information and evidence gathered during the course of this investigation, I
have probable cause to believe that GagasMAYHEM & Sasha_Roslyakova hae both
committed the following offenses:
a. R.C.C. § 5.12 - Unlawful Possession of a Firearm in a Restricted Area;
b. R.C.C. § 5.05 - Unlawful Discharge of a Firearm;
c. R.C.C. § 3.09 - Murder in the first-degree;
d. R.C.C. § 6.04 - Aiding and abetting
II. PROBABLE CAUSE
4. On 4/26/2026, the Ridgeway Department of Justice received a criminal tip by Chief
Judge Arthur_Chen, who handed over a Youtube video.
5. I reviewed this video, and observed the following:
a. Arthur_Chen was on the State Court’s team, in official robes, and was sitting at
the front desk inside the Palmer County Hall. He was sitting beside
OfficerJClover, an on-duty firefighter also wearing a department uniform.
b. At some point, the defendants entered the front doors and approached the front
desk with rifles.
c. I observed Sasha_Roslyakova approaching OfficerJClover, and reloading a rifle.
d. Immediately after reloading, Sasha_Roslyakova pointed the firearm directly at
OfficerJClover and fired rapidly, immediately killing him.
e. At the same time, GagasMAYHEM entered the lobby and pointed a rifle at
Arthur_Chen.
f. GagasMAYHEM immediately pointed their rifle at Arthur_Chen and fired
repeatedly, also killing him instantly.
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g. The pair then proceeded to carry their firearms and run further into the County
Hall.
III. STATUTORY DEFINITIONS
6. R.C.C. § 5.05 - Unlawful discharge of a firearm is defined by State law as any person
who discharges a firearm within city limits or in residential areas without legal reason to
do so such as a permit or for self-defense.
a. The defendants used their firearms while inside the Palmer County Hall, a place
within the Palmer city limits.
b. The defendants approached the victims, who were unarmed and idle, and
immediately discharged repeatedly at them from a close range before running
away.
c. Based on the facts of this investigation, the defendants were not lawfully justified
in discharging firearms at the two victims.
d. Accordingly, there is probable cause to believe the defendants unlawfully
discharged a firearm within city limits, in violation of R.C.C. § 5.05.
7. R.C.C. § 5.12 - Unlawful possession of a firearm in a restricted area is defined by
State law as any person who possesses a firearm in a firearms-free zone, having
been informed of the restriction on firearms within the property or where a sign has
been visibly posted announcing such a rule.
a. The front pillars of the Palmer County Hall have multiple posted signs
indicating the building is a firearms-free zone.
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b. Based on where the defendants entered, I have reason to believe they knew,
or should have known that the building is a firearms free-zone, because the
prohibition signs are posted directly at the doors where they both entered
through.
8. R.C.C. § 3.09 - Murder in the first-degree is defined by State law as any person
who: (1) in the course of committing or attempting to commit kidnapping, burglary,
robbery, arson, obstruction, or retaliation; (2) who is a peace officer or civil
department employee discharging a lawful duty, with knowledge that said person is
a peace officer or civil department employee; or (3) with malice aforethought.
a. In the video evidence, Arthur_Chen is seated at the front desk of Palmer County
Hall wearing official judicial robes, and OfficerJClover is seated beside him in a
clearly identifiable firefighter uniform. Both individuals were visibly unarmed,
stationary, and engaged in official duties inside a public government building.
b. The defendants entered Palmer County Hall together while armed with rifles and
immediately approached the front desk.
c. Sasha_Roslyakova approached OfficerJClover, reloaded a rifle, deliberately
raised the firearm, and fired multiple rounds at close range, killing OfficerJClover
instantly.
d. At the same time, GagasMAYHEM approached Arthur_Chen, raised a rifle, and
fired multiple rounds at close range, killing Arthur_Chen instantly.
e. Based on my training and experience, the coordinated entry into a government
building while armed with rifles, followed by the immediate execution-style
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killing of two visibly unarmed and stationary victims, is consistent with a
deliberate and premeditated intent to kill.
f. Accordingly, there is probable cause to believe the defendants intentionally
caused the deaths of Arthur_Chen and OfficerJClover with malice
aforethought.
9. R.C.C. § 6.04 - Aiding and abetting is defined by State law as any person who aids
or abets another person in the commission of a crime.
a. The video evidence shows that both defendants entered Palmer County Hall
together, armed with rifles, and advanced toward the front desk in concert.
b. Upon entering, the defendants simultaneously targeted separate victims and
opened fire at nearly the same time, with Sasha_Roslyakova shooting
OfficerJClover and GagasMAYHEM shooting Arthur_Chen.
c. The defendants’ coordinated entry, simultaneous armed assault, and joint flight
deeper into the building demonstrate that they were acting together in a
coordinated and mutually supportive manner.
d. Based on these facts, I believe each defendant knowingly aided, encouraged, and
facilitated the other in the commission of the murders and related firearm
offenses.
IV. EVIDENCE
(S) Exhibit A
Link to evidence—
Original Link
Provided by—
Arthur_Chen
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Video of the shooting
V. CONCLUSIONS AS TO PROBABLE CAUSE FOR A CRIMINAL COMPLAINT
10. Based on the above factual allegations, it is the belief of the undersigned affiant that
probable cause exists that GagasMAYHEM & Sasha_Roslyakova have both violated:
a. R.C.C. § 5.12 - Unlawful Possession of a Firearm in a Restricted Area;
b. R.C.C. § 5.05 - Unlawful Discharge of a Firearm;
c. R.C.C. § 3.09 - Murder in the first-degree;
d. R.C.C. § 6.04 - Aiding and abetting
Affiant declares under penalty of perjury that everything stated in this document is
true and correct.
Affiant smashpears
Lieutenant, Special Investigations
Palmer Police Department
Executed:
26/04/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Detachment_Result
State Attorney, Criminal Division
Ridgeway Department of Justice
Executed:
26/04/2026
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