PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. burritobrawler222
DATE
06/1/2026
Your affiant, being duly sworn, depose and state that the facts supporting this belief are as follows:
1. Your affiant is a sworn law enforcement officer with the Ridgeway State Police, holding the rank of
Corporal, and is trained and certified in the identification of contraband, illegal firearms, and the
establishment of probable cause in support of criminal complaints.
2. This statement is made in support of a criminal complaint against burritobrawler222 for violations
of the statutes set forth above, arising from the execution of a search warrant authorized by Judge
AdamStratton on 06/01/2026.
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IN SUPPORT OF PROBABLE CAUSE RIDGEWAY STATE POLICE
I, Corporal sibli57,
(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 or about 06/01/2026 in Ridgeway County,
State of Ridgeway, defendant burritobrawler222 committed the following criminal offense(s):
CODE AND CHARGES COUNT(S)
R.S.C. § 2.29 UNLAWFUL POSSESSION OF A FIREARM (AMMUNITION)
Whoever possesses any firearm or ammunition without being in possession of a valid Ridgeway
Firearms License, or who possesses a weapon, firearm, or ammunition that was sourced from an
illegal dealer.
1
R.S.C. § 2.30 UNLAWFUL POSSESSION OF A FIREARM WITH INTENT TO SELL
Whoever possesses a combined ten (10) or more firearms which are illegal for that person to be in
possession of.
1
R.S.C. § 2.25 UNLAWFUL POSSESSION OF AN EXPLOSIVE DEVICE
Whoever unlawfully possesses an explosive device. 2
R.S.C. § 2.37 UNLAWFUL POSSESSION OF A MILITARY RECORD
Whoever possesses a military record, military file, or other confidential military documentation
without the authorization of the Defense Department.
1
R.S.C. § 4.08 POSSESSION OF BURGLARY TOOLS
Whoever possesses any tool, instrument or other article adapted, designed or commonly used for
committing or facilitating offenses involving forcible entry into premises, or offenses involving
larceny by a physical taking, or offenses involving theft, under circumstances evincing an intent to
use or knowledge that some person intends to use the same in the commission of an offense of
such character.
3
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. burritobrawler222
DATE
06/1/2026
3. On 06/01/2026, your affiant, Corporal sibli57, executed a search warrant authorized by Judge
AdamStratton at the location and vehicles associated with the defendant, burritobrawler222. The
search yielded contraband across twelve (12) separate vehicles, as documented in the attached
Search Warrant Receipt (Exhibit B) and corroborated by officer body-worn film of the search
(Exhibit A).
4. Recovered from the defendant’s vehicles were a combined total of forty-seven (47) firearms of
models classified as illegal under State of Ridgeway law (Solami, Komrad, Para/Para-17,
Stetson-M2A, and Wesler variants), distributed across the Red Lancelot [NFJ997], White Lancelot
[LTK297], Blue Gridlock [LX0634], White Gridlock [DDH212], Grey Lancelot [XTR359], Blue
Lancelot [PHX958], Light Grey Gridlock [TYP765], Grey Gridlock [AYR123], Red Gridlock [LJF467],
Grey Gridlock [VMR155], and Grey Gridlock [KSI706]. As this quantity well exceeds the ten (10)
firearm threshold set forth in § 2.30, the defendant’s possession of these illegal firearms
constitutes Unlawful Possession of a Firearm with Intent to Sell, rather than mere simple
possession.
5. Additionally, large quantities of 5.56, .45 ACP, and 9mm ammunition were recovered from the
defendant’s vehicles bearing no record of a valid Ridgeway Firearms License (marked “NO RFILD”
on the Search Warrant Receipt), in violation of § 2.29, Unlawful Possession of a Firearm, as that
statute extends to ammunition possessed without a valid license.
6. Two (2) explosive charges were recovered, one from the Lancelot Taxi [ANY296] and one from the
Grey Gridlock [GBJ024]. The defendant held no authorization to possess such devices, in violation
of § 2.25, Unlawful Possession of an Explosive Device.
7. Thirteen (13) Lockpicks were recovered from the White Lancelot [LTK297] (in a quantity of one), the
Lancelot Taxi [ANY296] (in a quantity of ten), and the Grey Gridlock [GBJ024] (in a quantity of two),
under circumstances evincing an intent to use the same for forcible entry, in violation of § 4.08,
Possession of Burglary Tools.
8. Two (2) military files were recovered from the Lancelot Taxi [ANY296], which the defendant
possessed without authorization of the Defense Department, in violation of § 2.37, Unlawful
Possession of a Military Record.
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IN SUPPORT OF PROBABLE CAUSE RIDGEWAY STATE POLICE
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. burritobrawler222
DATE
06/1/2026
The evidence referenced in the aforementioned statement is as follows:
# Exhibit Identification
1
Exhibit A Film identified as “Search warrant Officer bodycam”
2
Exhibit B Document identified as “Search Warrant Receipt”
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant /s/ sibli57
Corporal
Ridgeway State Police
Executed:
06/30/2026
Being authorized to prosecute the offenses charged, I approve this affadavit.
Prosecutor
Arthur_Chen
Assistant Attorney General
Ridgeway Department of Justice
Executed:
06/30/2026
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IN SUPPORT OF PROBABLE CAUSE RIDGEWAY STATE POLICE