RIDGEWAY DEPARTMENT OF JUSTICE
AFFIDAVIT OF CRIMINAL INFORMATION
PLAINTIFF The State of Ridgeway
DOCKET # 0000-00000Z
DEFENDANT Epidermisgupta69
CHARGES BROUGHT FORTH FOR THE 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 R.S.C. 9 FIRST-DEGREE MURDER FELONY 35 MINUTES
First-Degree Murder fits as a charge for the defendant, because the defendant, using a Salvo, murdered MedinaLUV outside
of the Palmer Courthouse with malice aforethought.
COUNT TWO
4 R.S.C. 6 ARMED ROBBERY FELONY 25 MINUTES
Armed Robbery fits as a charge for the defendant, because the defendant, using a Salvo, kills MedinaLUV and takes the cash
from their dead body.
COUNT THREE
5 R.S.C. 4 BRANDISHING MISDEMEANOR 15 MINUTES
Brandishing fits as a charge for the defendant, because the defendant, using a Salvo, unlawfully uses a firearm in a fight or
quarrel or exhibits or draws their firearm in a threatening manner outside of the Palmer Courthouse against MedinaLUV.
COUNT FOUR
5 R.S.C. 5 UNLAWFUL DISCHARGE OF A FIREARM MISDEMEANOR 20 MINUTES
Unlawful Discharge of a Firearm fits as a charge for the defendant, because the defendant, using a Salvo, without proper
permit, or in the acts of self defense, discharges their firearm within City Limits without legal means to do so.
CI CRIMINAL COMPLAINT - REV. 07/12
RIDGEWAY DEPARTMENT OF JUSTICE
AFFIDAVIT OF CRIMINAL INFORMATION
STATEMENT OF PROBABLE CAUSE
I, domleisok, being duly sworn, depose and state that:
1. I have been employed within the Ridgeway State Police since April 2022. I’ve been a Law
Enforcement Officer in Ridgeway for over a year now. I’m currently a Sergeant within the
Ridgeway National Guard, Military Police Detachment. I am a former Ridgeway County Sheriff’s
Office, Criminal Investigations Division Detective. During my career in the Sheriff’s Office, I was
also in the Special Response Team as an Operative II. I’m currently the Chief Ranger within the
Ridgeway Park Service, and a former Police Officer within the Palmer Police Department. I am a
graduate from LETC Class 4, known and experienced Law Enforcement Officer.
2. This statement is made in support of a criminal complaint against epidermisgupta69 for violations
of the aforementioned statutes
3. On July 24th, 2022, the Ridgeway State Police was notified that defendant epidermisgupta69 had
shot and killed a civilian who was campaigning for Governor at the County Hall located within the
City of Palmer. After conducting a thorough investigation into the matter, the State Bureau of
Investigations can hereby corroborate the following statements.
Initially, the complainant filed a Department of Justice complaint, and provided us with Exhibit A, a
video of the incident. In Exhibit A, we hear a salvo being reloaded at the start of the clip. At
approximately 30 seconds into the video, you can see the defendant, epidermisgupta69 run
towards MedinaLUV who is campaigning in front of the County Hall doors. The defendant then
immediately unholsters their Salvo and aims it at the civilian, and proceeds to shoot and kill
MedinaLUV. The defendant is then seen running in a few circles, and walking over his body, and
then proceeds to run away from the scene that took place.
With the little context given with the evidence that was provided, the agent assigned to this case
set out to gain statements from the witness, as well as the defendant in the case. The first person
that was contacted was the witness, MedinaLUV. According to MedinaLUV, he was tabbed out on
his second monitor setting up his campaign discord server for the Governor elections. He had
stated once he had tabbed back into the game, he was shot and killed by the defendant,
epidermisgupta69 whilst campaigning for the Governor elections outside the County Hall located
within Palmer.
The second person that was contacted was the defendant, epidermisgupta69. According to
epidermisgupta69, he had stated that Deputies of the Ridgeway County Sheriff’s Office have
harassed him in the past, and then he had heard that the Governor, MedinaLUV had pardoned
ShadowCulture for his actions in a case that he was involved in. With the defendant hearing this,
he was frustrated, and had strongly disliked MedinaLUV for his actions with ShadowCulture, he
RIDGEWAY DEPARTMENT OF JUSTICE
AFFIDAVIT OF CRIMINAL INFORMATION
had then stated he wanted to kill MedinaLUV for pardoning ShadowCulture for his actions
because the Governor does not have a “green card.”
APPENDIX OF EVIDENCE
The following exhibits of evidence were referenced in the aforementioned statement of probable cause.
# Exhibit Identification
1 Exhibit A Film identified as “County Hall Shooting Incident”
2 Exhibit B Film identified as “Witness Interview”
3 Exhibit C Film identified as “Defendant Interrogation”
AFFIANT AND PROSECUTOR SIGNATURES
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant domleisok
State Bureau of Investigations
Ridgeway State Police
Executed:
07/25/2022
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor Techiey
Assistant Attorney General, ATF
State of Ridgeway Department of Justice
Executed:
08/10/2022