INVESTIGATION REPORT
Detective-In-Charge PEEPGPT Contact PEEP
Assigned Detective GHOSTBLEED Contact KINGERS
Date Assigned JULY 6TH, 2026 Date Finished JULY 6TH, 2026
INITIAL INFORMATION
Date of Incident JUNE 21ST, 2026 Time 22:50 EST
Date of Tip Submission JUNE 21ST, 2026
Location of Incident RCSO SUB STATION, STERLING
Complainant JYYVZNN Contact JYYY._
SUSPECTS
Suspect #1 AMPLI ID 43603187
PROPOSED CHARGES FOR Ampli
R.C.C. § 2.29
UNLAWFUL POSSESSION OF A FIREARM
(COUNTS x2)
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.
R.C.C. § 2.26
UNLAWFUL POSSESSION OF
GOVERNMENT-ISSUED EQUIPMENT
(COUNTS x5)
Whoever possesses any government-issued equipment in any off-duty or
civilian storage device, capacity, or other inventory, when that possession is
not authorized by State law or departmental policy.
NOTES
Information obtained via a search warrant issued by Judge AdamStratton.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0704 07/06/26
PROBABLE CAUSE STATEMENT
Date Written JULY 6TH, 2026
Supporting the Case of STATE OF RIDGEWAY V. AMPLI
I, ghostbleed, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
[1] I am a Sergeant in the Ridgeway County Sheriff’s Office and a Supervisory Detective in the Criminal
Investigations Division (hereinafter “CID”). As a law enforcement officer, I am empowered to conduct
investigations.
[2] I have been employed with the Sheriff’s Office since April 24th, 2026.
[3] I have been trained by the Department of Justice and CID in the investigative methods approved within the
State of Ridgeway under its laws.
[4] This affidavit is being submitted in support of a criminal information alleging that Ampli, violated the
following state criminal laws: R.C.C. § 2.26 (Unlawful Possession of Government-Issued Equipment), R.C.C. § 2.29
(Unlawful Possession of a Firearm), and R.C.C. § § 4.08 (Possession of Burglary Tools).
[5] Because this affidavit is being submitted for the limited purpose of establishing probable cause in support
of a criminal information, I have not included each and every fact known to me concerning this investigation. I have
only set forth the facts that I believe are necessary to establish probable cause that the suspect violated the state
criminal laws set forth herein.
STATEMENT
[6] R.C.C. § 2.29, Unlawful Possession of a Firearm, is defined as: 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.
a. At approximately 0:01 in Exhibit A, in a Grey Gridlock [JQS166], Ampli had 2 Para 17 pistols without being
an off-duty law enforcement officer or guardsman.
[7] R.C.C. § 2.26, Unlawful Possession of Government-Issued Equipment, is defined as: Whoever possesses
any government-issued equipment in any off-duty or civilian storage device, capacity, or other inventory, when that
possession is not authorized by State law or departmental policy.
a. At approximately 0:01 in Exhibit A, in a Grey Gridlock [JQS166], Ampli had 2 boxes of PI .45 ACP ammo
without being an on-duty law enforcement officer or guardsman.
b. At approximately 4:03 in Exhibit A, in a Maroon Actila Sport [GIE494], Ampli had 1 box of PI 9mm ammo
without being an on-duty law enforcement officer or guardsman.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0704 07/06/26
c. At approximately 4:42 in Exhibit A, in a Storm blue Actila Sport [BBK376], Ampli had 2 boxes of PI 9mm
ammo without being an on-duty law enforcement officer or guardsman.
APPENDIX OF EVIDENCE
[8] The affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A YouTube video of a search warrant being executed.
Exhibit B Search Warrant Receipt of Ampli
CONCLUSION
[9] Based on the foregoing, your affiant asserts that Ampli violated R.C.C. § 2.29 (Unlawful Possession of a
Firearm), which makes it a crime to possess AFL/RLFID, weapons, and/or ammunition without holding the required
licenses.
[10] Based on the foregoing, your affiant asserts that Ampli violated R.C.C. § 2.26 (Unlawful Possession of
Government-Issued Equipment), which makes it a crime to possess any government-issued equipment as a
non-government employee outside of department policies.
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant /s/ ghostbleed
Supervisory Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
07/06/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor /s/ Gamer80sStyle
State Attorney
State of Ridgeway Department of Justice
Executed:
07/06/2026
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0704 07/06/26