PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. Migrational
DATE
07/12/2026
CASE REF. NUMBER
001-0712-SBI-RSP
I, Special Agent ArezCm, RI06
(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 06/28/2026, at the RCSO Sub Station in
Ridgeway County, State of Ridgeway, defendant migrational committed one or more criminal offense(s):
CODE AND CHARGES COUNT(S)
2 S.C.C § 15 Official Misconduct
Whoever, being a public servant, commits an act relating to their office but
constitutes an unauthorized exercise of their official functions, knowing that such an
act is unauthorized; or refrains from performing a duty which is imposed upon them or
which is clearly inherent in the nature of their office. Charge utilized by the courts.
X 1
3 S.C.C § 09c Assault
Whoever intentionally or knowingly threatens another with imminent bodily injury
or apprehension.
X 1
[Section Left Intentionally Blank, See Next Page]
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IN SUPPORT OF CRN 001-0712-SBI-RSP STATE BUREAU OF INVESTIGATIONS
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. Migrational
DATE
07/12/2026
CASE REF. NUMBER
001-0712-SBI-RSP
Your affiant, being duly sworn, depose and state that the facts supporting this belief are as follows:
1. Your affiant is a Special Agent of the Ridgeway State Bureau of Investigation (SBI), badge RI06.
Your affiant has received training in use-of-force investigations, law enforcement misconduct, and
crimes against persons. As a result of this training and experience, your affiant is familiar with the
conduct expected of sworn law enforcement personnel under departmental policy and state law,
and is empowered to conduct investigations into violations thereof.
2. This statement is made in support of a criminal complaint against migrational (hereinafter
“defendant”) for violations of 3 S.C.C § 09c (Assault) and 2 S.C.C § 15 (Official Misconduct).
3. On June 28, 2026, at the Ridgeway County Sheriff’s Office (“RCSO”) Sub Station in Ridgeway
County, DannyDoesApprove (hereinafter “victim”), a Correctional Officer, observed an excessive
number of barriers and traffic cones placed throughout the spawn lot and parking lot of RCSO Sub
Station. The victim stated that the volume of barriers was so extreme as to render the Sub Station
entirely unusable and caused significant in-game lag.
4. Multiple on-duty officers present at the scene observed the victim arrive and directed the victim to
break the barriers. The victim began carrying out this lawful directive when the defendant, Deputy
migrational of the RCSO, deployed a department-issued taser against the victim. The defendant
spam-deployed the taser to such a degree that the victim’s game client was rendered
non-functional — the victim was unable to use in-game chat, radio, or any other function.
Effectively apprehending the victim and not allowing free movement. The victim stated that no
justification was provided for the tasing, and that the defendant appeared to be associated with
the placement of the barriers, and fled the area following the incident. The defendant's knowing
and intentional repeated use of a department-issued taser against a Correctional Officer
performing a lawful task at the direction of other officers, who posed no threat, constitutes an
unauthorized exercise of official authority and assault satisfying the elements of 2 S.C.C § 15 and 3
S.C.C § 09c.
5. The victim’s statement was provided voluntarily and is incorporated as Exhibit C to this complaint.
The video footage referenced as Exhibit B corroborates the victim’s account of the repeated tasing.
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IN SUPPORT OF CRN 001-0712-SBI-RSP STATE BUREAU OF INVESTIGATIONS
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. Migrational
DATE
07/12/2026
CASE REF. NUMBER
001-0712-SBI-RSP
The evidence of which were referenced in the aforementioned statement are as follows.
# Exhibit Identification
1 Exhibit A Ridgeway County Sheriff’s Office Internal Affairs Report: (IA-1455-0630)
2
Exhibit B Film — RCSO Sub Station Tasing Incident, 06/28/2026
1. Timestamp (0:02) - Initial tasing of DannyDoesApprove occurs
2. Timestamp (0:09) - Deputy Migrational seen and heard spamming the taser, keeping
DannyDoesApprove on the ground
3 Exhibit C Statement of victim DannyDoesApprove
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant ArezCm
Special Agent
Ridgeway State Police
Executed:
07/12/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor eothyu
State Attorney
Ridgeway Department of Justice
Executed:
07/16/2026
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IN SUPPORT OF CRN 001-0712-SBI-RSP STATE BUREAU OF INVESTIGATIONS