INVESTIGATION REPORT
Detective-In-Charge PEEPGPT Contact PEEPFANZ
Assigned Detective GHOSTBLEED Contact KINGERS
Date Assigned JULY 5TH, 2026 Date Finished JULY 5TH, 2026
INITIAL INFORMATION
Date of Incident JUNE 6TH, 2026 Time 22:40 PDT
Date of Tip Submission JUNE 7TH, 2026
Location of Incident RCSO SUB STATION, STERLING
Complainant SIBLI57 Contact LEMONADESURPISE
SUSPECTS
Suspect #1 VADER0201 ID 120184813
PROPOSED CHARGES FOR VADER0201
R.C.C. § 2.29
UNLAWFUL POSSESSION OF A FIREARM
(COUNTS x308)
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. § 2.30
UNLAWFUL POSSESSION OF A FIREARM
WITH INTENT TO SELL
(COUNTS x1)
Whoever possesses a combined ten (10) or more firearms which are illegal
for that person to be in possession of.
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 Techiey.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0701 07/05/26
PROBABLE CAUSE STATEMENT
Date Written JULY 5TH, 2026
Supporting the Case of STATE OF RIDGEWAY V. VADER0201
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 Vader0201, 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. § 2.30 (Unlawful Possession of a Firearm with Intent to Sell.
[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 Green Gridlock [PIS396], Vader0201 had 40 boxes of 5.56 ammo,
without holding an RFLID.
b. At approximately 0:04 in Exhibit A, in a Green Gridlock [QCQ220], Vader0201 had 6 boxes of .45 ACP
ammo without holding an RFLID or AFL.
c. At approximately 0:04 in Exhibit A, in a Green Gridlock [MUS249], Vader0201 had 1 Stetson Cardiac-5 and
11 boxes of .45 ACP ammo without holding an RFLID or AFL.
d. At approximately 0:06 in Exhibit A, in a Green Gridlock [GSJ472], Vader0201 had 11 boxes of .45 ACP
ammo without holding an RFLID or AFL.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0701 07/05/26
e. At approximately 0:07 in Exhibit A, in a Purple Gridlock [AOT654], Vader0201 had 23 boxes of .45 ACP
ammo without holding an RFLID or AFL.
f. At approximately 0:09 in Exhibit A, in a Purple Gridlock [LXF110], Vader0201 had 40 boxes of .45 ACP
ammo without holding an RFLID or AFL.
g. At approximately 0:11 in Exhibit A, in a White Gridlock [HMI136], Vader0201 had 1 Stetson M2-A, and 18
Stetson Cardiac-5 without holding an RFLID or AFL.
h. At approximately 0:21 in Exhibit A, in a White Gridlock [UOI757], Vader0201 had 30 Stetson Cardiac-5
without holding an RFLID or AFL.
i. At approximately 0:27 in Exhibit A, within Vader0201’s safe at 3450 Majellan Way in Sterling Heights,
Vader0201 had 21 Stetson Cardiac-5 and 106 boxes of .45 ACP ammo without holding an RFLID or AFL.
[7] R.C.C. § 2.30, Unlawful Possession of a Firearm with Intent to Sell, is defined as: Whoever possesses a
combined ten (10) or more firearms which are illegal for that person to be in possession of.
a. At approximately 0:27 in Exhibit A, within Vader0201’s safe at 3450 Majellan Way in Sterling Heights,
Vader0201 had 21 Stetson Cardiac-5.
[8] 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 0:36 in Exhibit A, within Vader0201’s safe at 3450 Majellan Way in Sterling Heights,
Vader0201 had 4 radios and 1 cartridge pack.
APPENDIX OF EVIDENCE
[9] 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 Vader0201
CONCLUSION
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0701 07/05/26
[10] Based on the foregoing, your affiant asserts that Vader0201 violated R.C.C. § 2.29 (Unlawful Possession of
a Firearm), and R.C.C. § 2.30 (Unlawful Possession of a Firearm with Intent to Sell), which makes it a crime to have
AFL and RLFID and government-issued weapons/ammo without holding those licenses.
[11] Based on the foregoing, your affiant asserts that Vader0201 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 ghostbleed
Supervisory Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
07/05/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Gamer80sStyle
State Attorney, Major Crimes Division
State of Ridgeway Department of Justice
Executed:
07/20/2026
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0701 07/05/26