True Bill of Indictment
STATE OF RIDGEWAY
SUPERIOR COURT
STATE OF RIDGEWAY
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CASE NO. 25-261
TRUE BILL OF INDICTMENT
Plaintiff
v.
CHICKEN10135
Defendant
CRIMINAL INDICTMENT
The Grand Jurors for the State of Ridgeway for the body of Ridgeway County do on their Oath
present the following:
INFORMATION AND BACKGROUND
On July 24th, 2024, Defendant (“hereinafter Chicken10135”), was employed within the
Ridgeway County Sheriff’s Office. Chicken10135 unlawfully discharged their firearm whilst
inside the Ridgeway County Sheriff’s Office Headquarters. Attempting to take the lives of
Trooper domieisok of the Ridgeway State Patrol and Undersheriff ShadowCulture of the
Ridgeway County Sheriff’s Office. Undersheriff ShadowCulture attempted to conduct the
Defendant’s exit search, due to their termination from the department.
COUNT ONE
3 R.S.C. § 08 - Attempted Murder
The act of attempting to kill another individual.
On July 24th, 2024, in Ridgeway County, State of Ridgeway, the Defendant,
Chicken11035, committed the act of attempted murder by deliberately attempting to take the life
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of Trooper domieisok. The Defendant’s actions were not only a direct and intentional effort to
kill, but they also placed the Trooper in immediate danger of death, with the attack nearly
costing his life.
(R.C.C. § 3.08 | Felony | 20 Minutes of Imprisonment)
COUNT TWO
3 R.S.C. § 08 - Attempted Murder
The act of attempting to kill another individual.
On July 24th, 2024, in Ridgeway County, State of Ridgeway, the Defendant,
Chicken11035, committed the act of attempted murder by deliberately attempting to take the life
of Undersheriff ShadowCulture. The Defendant’s actions were not only a direct and intentional
effort to kill, but they also placed the Undersheriff in immediate danger of death, with the attack
nearly costing his life.
(R.C.C. § 3.08 | Felony | 20 Minutes of Imprisonment)
COUNT THREE
5 R.S.C. § 05 - Unlawful Discharge of a Firearm
The act of discharging a firearm while within city limits / residential areas without legal
means to do such as a proper permit or for self defense.
On July 24th, 2024, in Ridgeway County, State of Ridgeway, the Defendant,
Chicken11035, unlawfully discharged their firearm within city limits without legal means
such as self defense. Defendant discharged their Stetson M2-A, standard rifle issued for
law enforcement officers within Ridgeway County, State of Ridgeway, towards Trooper
domieisok and Undersheriff ShadowCulture at the Ridgeway County Sheriff’s Office
Headquarters. Located within the City of Palmer, Ridgeway. Defendant did not discharge
his firearm within self defense, nor was there any imminent threat that would have
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warranted the use of such force. The Defendant’s reckless and unlawful action
demonstrated a blatant disregard for public safety and the law.
(R.C.C. § 5.05 | Misdemeanor | 15 Minutes of Imprisonment)
COUNT FOUR
6 R.S.C. § 06 - Official Misconduct
Any individual who is a public servant and commits an act relating to his office but
constituting an unauthorized exercise of his official functions, knowing that such act is
unauthorized or refrains from performing a duty which is imposed upon him by law or is
clearly inherent in the nature of his office.
On July 24th, 2024, in Ridgeway County, State of Ridgeway, the Defendant,
Chicken11035, a public servant entrusted with law enforcement duties under the Ridgeway
County Sheriff’s Office, violated both the law and the public trust in a series of actions that not
only jeopardized the lives of Trooper domieisok and Undersheriff ShadowCulture but also
directly undermined the integrity of his office. The Defendant attempted to take the lives of
Trooper domieisok and Undersheriff Shadowculture. The Defendant committed the felony
offense of attempted murder under 3 R.S.C. § 08. This act characterized an intentional and
disregard for the safety and lives of those he was sworn to protect and serve. The Defendant then
unlawful discharged their firearm, a Stetson M2-A rifle, within city limits as outlined in 5 R.S.C.
§ 05. The Defendant violated departmental regulations designed to maintain public safety by
using their weapon in an unauthorized and reckless manner. This act was committed without
legal justification or self-defense claim. As a sworn law enforcement officer, the Defendant's
actions reflect a complete failure to perform the duties imposed upon him by law, constituting
clear official misconduct under 6 R.S.C. § 06. The Defendant knew that his actions were
unauthorized and directly contravened the responsibilities inherent in his position, thereby
betraying the public's trust and damaging the reputation of the office he was entrusted to uphold.
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(R.C.C. § 6.06 | Felony | 60 Minutes of Imprisonment)
A TRUE BILL
______________________________
FOREMAN OF THE GRAND JURY
Pursuant to the authority granted under 1 R. Stat. § 1508, I hereby certify that the Foreman of the
Grand Jury for the January 2025 term has personally appeared before me, is personally known to
me, and has signed the above.
Sworn to and subscribed to before me this 31st day of January, 2025.
xXBoomBlast339Xx
Clerk of Court
Superior Court for Ridgeway
County, Ridgeway
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