STATE OF RIDGEWAY
STATE OF RIDGEWAY
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DOCKET NO. RSC-CM-260
CRIMINAL INFORMATION
Plaintiff
v.
ILLUSIONALMONKEY1
Defendant
Come forth the State of Ridgeway to seek justice and preserve the dignity of the state and therein
charge the defendant;
COUNT ONE - 3 S.C.C. § 09 - FIRST-DEGREE MURDER
OFFENSE TYPE - FELONY
MAX SENTENCE - 35 MINUTES
On March 12nd, 2022, approximately at 11:37 PM (UTC+3), I was attempting to stop the defendant in
front of their house in the Sterling residential area, when they pulled out a Stetson M2-A and shot me
dead.
COUNT TWO - 5 S.C.C. § 07 - UNLAWFUL POSSESSION OF POLICE-GRADE EQUIPMENT
OFFENSE TYPE - FELONY
MAX SENTENCE - 20 MINUTES
As a result of the incident on March 12nd and an investigation concluded by the Criminal Investigations
team, a total of 131 Stetson M2 police-grade rifles were found in the defendant’s possession on April 1st,
2022.
COUNT THREE - 5 S.C.C. § 02 - UNLAWFUL POSSESSION OF FIREARMS WITH INTENT TO
SELL
OFFENSE TYPE - FELONY
MAX SENTENCE - 20 MINUTES
On April 1st, the defendant was found in possession of 131 Stetson M2-A police-grade rifles as a result
of a search warrant on the defendant’s vehicles and housing.
COUNT FOUR - 5 S.C.C. § 05 - UNLAWFUL DISCHARGE OF A FIREARM
OFFENSE TYPE - MISDEMEANOR
MAX SENTENCE - 20 MINUTES
On March 12nd, 2022, the defendant fired shots at me with a Stetson M2 police-grade rifle, resulting in
my death. I was attempting to stop the suspect for possessing the said weapon in the Sterling residential
area, which is within Sterling city limits.
STATEMENT OF PROBABLE CAUSE
My name is e_lzu, I am currently employed as a Detective within the Ridgeway County Sheriff’s Office’s
Criminal Investigations Division. I have been employed within the Sheriff’s Office since December 25th,
2020. I am a certified peace officer by the Law Enforcement Training Center and a licensed attorney
within Ridgeway County. Based on personal knowledge and evidence provided to the Criminal
Investigations Division, I have probable cause to believe the following:
On March 12nd, 2022, approximately at 11:37 PM Eastern European Time, I was at the Sterling school
parking lot due to a large number of shootings in that area, and the presence of the notorious criminal
organization known as Gangster Disciple Killers. The defendant is a member of this organization. In
Exhibit A, at 0:01, as I look at the houses in the Sterling residential area, I notice the defendant in their
house with a Stetson M2-A. Seconds after, at 0:05, the defendant is also seen jumping in their yard,
which catches the attention of other peace officers on the scene. I then made the decision to go
investigate further and drive in front of the house. At 0:12, as I park my vehicle and get out, the
defendant immediately opens fire and kills me. At this point, I could confirm that the defendant was
indeed in possession of a Stetson M2 police variant. As I lay on the ground, two Deputies from the
Sheriff’s Offices Special Response Team return fire immediately. The defendant then rushes into their
house but is soon killed by the Deputies inside (0:19). I was driving a marked Sheriff’s Office Lancelot
and I had a uniform identifying me as a peace officer.
Due to the incident on March 12nd, and prior encounters with the defendant, I initiated an investigation
on the defendant as a part of a larger-scale operation. After an investigation, I sent a search warrant
application on the defendant’s person, vehicles, and housing. The Sheriff’s Office’s Special Response
Team executed the search warrant on April 1st, 2022, and found a total of 131 Stetson M2 police
variants along with legal 5.56 ammunition.
The defendant is a known and active member of the notorious criminal organization known as
“Gangster Disciple Killers”. The organization often referred to as “GDK”, is known for causing chaos
and conducting mass murders of citizens, especially peace officers. The members of the organization
own multiple houses in the Sterling residential area and often refer to the whole Sterling area as their
territory. I have personally had tens, if not hundreds of encounters with the defendant and their
companies, this case is just about one of them. Almost all the encounters have been some kind of
shootings, where the defendant and other members of GDK have been involved in shootouts around
Sterling, and Ridgeway County. The murders the defendant has committed add up to hundreds, just
within the span of a couple of months. The unlawful weaponry found during the search warrant supports
the claims of organized crime and the utilization of such weaponry for illegal activities.
APPENDIX OF EVIDENCE
Exhibit A - Shooting incident in Sterling residential area, in front of the defendant’s house.
Exhibit B - Search warrant receipt of the warrant executed on the defendant on April 1st.
Exhibit C - Confirmed Roblox group of GDK, the defendant is ranked “Capo”, indicating they
are a full-time member of the organization.
Affiant declares under penalty of perjury that everything stated in this document is true and
correct.
Affiant e_lzu
Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
04/04/2022
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor LouisMontagu
Assistant Attorney General
State of Ridgeway Department of Justice
Executed:
09/04/2022