IN THE SUPERIOR COURT
FOR THE
STATE OF RIDGEWAY
THE STATE OF RIDGEWAY,
Plaintiff,
v.
ILLUSIONALMONKEY1,
Defendant.
Docket No. RSC-CM-9362
AFFIDAVIT OF PROBABLE CAUSE
I, Captain c4j2y, acknowledge that this is a statement made in support of the summons or
arrest warrant of IllusionalMonkey1, 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 Captain with the Ridgeway County Sheriff’s Office, and I have been employed as
such since 03/25/2026.
2. I have been a certified police officer through the Law Enforcement Training Center since
2/25/2026, 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 IllusionalMonkey1 has committed the following
offenses:
a. R.C.C. § 5.02 - Unlawful possession of firearms with intent to sell;
II. PROBABLE CAUSE
4. On May 22, 2026, I detained the defendant in-game for having a judicial search warrant
for their person and all vehicles belonging to them.
5. I transported the defendant to the RCSO Headquarters in Palmer and executed the search
warrant in accordance with State law and departmental policy.
6. During the search of all vehicles belonging to the defendant, I discovered approximately
sixty-four (64) Stetson Cardiac-5 submachine guns.
7. During the search, I confirmed that the defendant had an RFLID, but did not have an
Advanced Firearms License at the time.
III. STATUTORY DEFINITIONS
8. R.C.C. § 2.27 - Unlawful Possession of a Firearm with Intent to Sell is defined by State
law as any person who possesses a combined ten (10) or more firearms which are illegal
for that person to be in possession of.
a. During the search, I discovered that the defendant had sixty-four (64) Stetson
Cardiac-5 submachine guns in three different personal vehicles belonging to the
defendant.
b. These firearms are capable of automatic fire, and therefore require an Advanced
Firearm License to be possessed or used.
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c. During the search, I conducted a background check through the radio and
confirmed that the defendant only had an RFLID, and not a full Advanced
Firearm License.
d. After the search was conducted, I further confirmed through the Ridgeway State
Police database that the defendant does not hold an AFL license.
e. Therefore, there is probable cause to believe the defendant knowingly had in their
control and custody more than ten (10) illegal firearms.
IV. EVIDENCE
(S) Exhibit A
Link to evidence—
Original Link
Provided by—
c4j2y
Recording of the search.
(S) Exhibit B
Link to evidence—
Search Warrant Receipt -- IllusionalMonke…
Provided by—
c4j2y
Search warrant receipt.
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V. CONCLUSIONS AS TO PROBABLE CAUSE FOR A CRIMINAL COMPLAINT
9. Based on the above factual allegations, it is the belief of the undersigned affiant that
probable cause exists that IllusionalMonkey1 violated:
a. R.C.C. § 5.02 - Unlawful possession of firearms with intent to sell
Affiant declares under penalty of perjury that everything stated in this document is
true and correct.
Affiant c4j2y
Captain, Special Response Team
Ridgeway County Sheriff’s Office
Executed:
05/22/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Detachment_Result
First State Attorney, Criminal Division
Ridgeway Department of Justice
Executed:
05/22/2026
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