INVESTIGATION REPORT
Detective-In-Charge rainqg Contact rainqg
Assigned Detective Marinify Contact marinify
Date Assigned May 24th, 2026 Date Finished June 7th, 2026
INITIAL INFORMATION
Date of Incident May 16th, 2026 Time 10:26 AM EDT
Date of Tip Submission May 16th, 2026
Location of Incident RNG Headquarters, Alder, Ridgeway County
Complainant patothe1st Contact patothe1st
SUSPECTS
Suspect #1 AmiraAlBurqa ID 8777250463
PROPOSED CHARGES FOR AMIRAALBURQUA
3 R.C.C § 01
MURDER IN THE FIRST DEGREE
(COUNTS x1)
Whoever kills another in the course of committing or attempting to commit
kidnapping, burglary, robbery, arson, obstruction, or retaliation; or who is a
peace officer or civil service employee discharging a lawful duty, with the
knowledge that said person is a peace officer or civil service employee;
with malice aforethought.
3 R.C.C § 02
MURDER IN THE SECOND DEGREE
(COUNTS x1)
Whoever intentionally or knowingly causes the death of an individual; or
intentionally causes serious bodily injury and commits an act clearly
dangerous to human life which causes the death of an individual; or while
committing or attempting to commit a felony, other than manslaughter, and
in the course of and in furtherance of the commission or attempt, or in
immediate flight from the commission or attempt, commits or attempts to
commit an act clearly dangerous to human life.
2 R.C.C § 29
UNLAWFUL POSSESSION OF A FIREARM
(COUNTS x1)
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.
5 R.C.C § 09
ENTERING NATIONAL GUARD PROPERTY
(COUNTS x1)
Whoever, within the jurisdiction of the State of Ridgeway, goes upon any
National Guard reservation, post, fort, arsenal, yard, station, or installation,
for any purpose prohibited by law or lawful regulation; or whoever reenters
or is found within any such reservation, post, fort, arsenal, yard, station, or
installation, after having been removed therefrom or ordered not to reenter
by any officer or person in command or charge thereof.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-007-0518 06/07/26
PROBABLE CAUSE STATEMENT
Date Written JUNE 7th, 2026
Supporting the Case of STATE OF RIDGEWAY V. AmiraALBurqua
I, Marinify, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
[1] I am a Deputy First Class in the Ridgeway County Sheriff’s Office and a 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 the 11th of March, 2026.
[3] I have investigated a multitude of cases involving organized crime, homicides, firearms crime, and
distribution of illegal firearms and equipment.
[4] This affidavit is being submitted in support of a criminal complaint alleging that AmiraAlBurqa violated the
following state criminal law:
a. x1 3 R.C.C § 01 (First-Degree Murder),
b. x1 3 R.C.C § 02 (Second-Degree Murder),
c. x1 2 R.C.C § 29 (Unlawful Possession of a Firearm),
d. x1 5 R.C.C § 09 (Entering National Guard Property).
[5] This affidavit is based on my personal knowledge, information provided to me by other law enforcement
agents, witness interviews, and my training and experience, as well as the training and experience of other law
enforcement agents.
[6] Because this affidavit is being submitted for the limited purpose of establishing probable cause in support
of a criminal complaint, 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 defendant violated the
state criminal laws set forth herein.
SUMMARY OF OFFENSE CONDUCT
[7] On the 16th of May 2026, an incident occurred within the boundaries of the National Guard Headquarters
involving the defendant AmiraAlBurqua (hereinafter “defendant”) and the complainant Patothe1st.
[8] On the aforementioned date, Patothe1st was on-duty as a guardsman for the Ridgeway National Guard
(RNG), stationed at the RNG Headquarters. At approximately 10:26 AM EDT, Patothe1st caught and detained a
trespasser, identified as Bright_Slerra and brought her to the booking room.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-007-0518 06/07/26
[9] At approximately seven [00:07] minutes into Exhibit A, an individual identified as AmeriaAlBurqua, the
defendant, entered the booking room after lockpicking the door. The defendant then draws a Solami rifle, opens
fire, and murders Patothe1st.
[10] Immediately after, the defendant aims their rifle at the detainee, Bright_Slerra, opens fire, and murders her.
The defendant keeps discharging the rifle even after Bright_Slerra had already been killed and continues to do so
until the end of Exhibit A.
[11] The complainant, Patothe1st, was contacted and asked to conduct an interview as part of the
investigation. However, the complainant did not respond to my request after being given a period of 48 hours.
[12] As part of the investigation, both the defendant and Bright_Slerra were to be interviewed. However, I was
unable to locate either of their Discord accounts.
PROBABLE CAUSE
[13] Murder in the First Degree (3 R.C.C § 01) is defined as: “Whoever kills another in the course of committing
or attempting to commit kidnapping, burglary, robbery, arson, obstruction, or retaliation; or who is a peace officer or
civil service employee discharging a lawful duty, with the knowledge that said person is a peace officer or civil
service employee; with malice aforethought.”
a. On the aforementioned date, as shown by Exhibit A, the defendant did intentionally shoot and kill
Patothe1st. At the time of the incident, Aspenfun was on-duty as a civil service employee of the Ridgeway
National Guard, clearly identifiable by his department-issued uniform, their red playername, and the team
on the playerlist. The defendant shows clear malice aforethought, as the defendant went out of their way
to break into the RNG Headquarters and lockpick secured doors, to enter the booking room where the
murder took place.
[14] Murder in the Second Degree (3 R.C.C § 02) is defined as: “Whoever intentionally or knowingly causes the
death of an individual; or intentionally causes serious bodily injury and commits an act clearly dangerous to human
life which causes the death of an individual; or while committing or attempting to commit a felony, other than
manslaughter, and in the course of and in furtherance of the commission or attempt, or in immediate flight from
the commission or attempt, commits or attempts to commit an act clearly dangerous to human life.”
a. On the aforementioned date, as shown by Exhibit a, the defendant did intentionally shoot and kill
Bright_Slerra. At the time of the incident, the defendant was actively trespassing on National Guard
property, a felony per 2 R.C.C § 09.
[15] Unlawful Possession of a Firearm (2 R.C.C § 29) 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. On the aforementioned date and time, as shown by Exhibits A and B, the defendant was in possession of
a firearm, which was identified to be a Solami. Such a firearm is only obtainable by sourcing it from an
illegal dealer.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-007-0518 06/07/26
[16] Entering National Guard Property (5 R.C.C § 09) is defined as: “Whoever, within the jurisdiction of the State
of Ridgeway, goes upon any National Guard reservation, post, fort, arsenal, yard, station, or installation, for any
purpose prohibited by law or lawful regulation; or whoever reenters or is found within any such reservation, post,
fort, arsenal, yard, station, or installation, after having been removed therefrom or ordered not to reenter by any
officer or person in command or charge thereof.”
a. On the aforementioned date, as shown by Exhibit A, the defendant entered the National Guard
Headquarters, a restricted National Guard installation, which is clearly marked by multiple signs and a
fence surrounding the base. In addition, the defendant bypassed multiple secure doors using lockpicks to
gain access to the booking room.
APPENDIX OF EVIDENCE
[17] The affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A Incident video
Exhibit B Firearm identification
CONCLUSION
[18] Based on the foregoing, your affiant asserts that AmiraAlBurqa violated the following state criminal law:
a. x1 3 R.C.C § 01 (First-Degree Murder),
b. x1 3 R.C.C § 02 (Second-Degree Murder),
c. x1 2 R.C.C § 29 (Unlawful Possession of a Firearm),
d. x1 5 R.C.C § 09 (Entering National Guard Property).
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant Marinify
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
06/07/26
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Username
Position
State of Ridgeway Department of Justice
Executed:
mm/dd/yyyy
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-007-0518 06/07/26