SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. 0000-00000Z
CRIMINAL INFORMATION
Plaintiff
v.
Njthan
Defendant
CRIMINAL INFORMATION
Comes forth the State of Ridgeway to seek justice and preserve the dignity of the state and
therein charge the defendant as follows;
COUNT ONE - 3 R.S.C § 10 Second-Degree Murder
OFFENSE TYPE - FELONY
The act of intentionally or knowingly causing death of an individual; or of causing, with intent, serious
bodily injury and commits an act clearly dangerous to human life that causes death of an individual; or
of committing or attempts 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, he
commits or attempts to commit an act clearly dangerous to human life. On or about February 19, 2024,
the Defendant knowingly caused the death of ReedDom by causing serious bodily injury using a Cline
911 pistol by shooting dead the Defendant.
COUNT TWO - 5 R.S.C § 05 Unlawful Discharge of a Firearm
OFFENSE TYPE - MISDEMEANOR
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 or about February 19, 2024, the Defendant discharged
their Cline 911 firearm in Palmer City Limits without legal means to do so and not while in self defense.
STATEMENT OF PROBABLE CAUSE
Your affiant, being duly sworn, depose and state that the facts supporting this belief are as
follows:
My name is UnKnownHoooman, I am currently a Supervisory Special Agent within the Ridgeway State
Police’s State Bureau of Investigations. I have been employed with the State Police since April 24th,
2022. I am a certified peace officer by the Law Enforcement Training Center.
This statement is made in support of a criminal complaint against Njthan for violations of the
aforementioned statutes
On 02/19/2024, Complainant ReedDom was sitting in their unlocked White Sport Actilla when the
defendant hopped into the front passenger seat. The defendant then proceeded to pull out their Cline 911
and open fire, killing the complainant.
On 02/20/2024, the Ridgeway State Police’s State Bureau of Investigations was made aware of the
actions of the defendant. As a result, Supervisory Special Agent UnKnownHoooman was assigned to
investigate the incident.
To investigate further, the complainant and the defendant were contacted for questioning, however, only
the complainant responded. In the interview with the complainant, they explained that the defendant
hopped into their unlocked vehicle and murdered them with a Cline 911. When asked if they believed
there was a reason behind the attack, they stated that they believed it was a random incident as they saw
the defendant kill others who were AFK. Additionally, the complainant also stated that they did not have
any previous or future encounters with the defendant. A full transcript of the interview with the
complainant can be found in Exhibit B.
I swear that all statements made in this statement of probable cause are true and correct to the
best of my knowledge under the pains and penalties of perjury.
Affiant UnKnownHoooman
Supervisory Special Agent, State Bureau of Investigations
Ridgeway State Police
Executed:
03/06/2024
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor /s/ Techiey
Attorney General
Ridgeway Department of Justice
Executed:
03/06/2024