SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. 0000-00000Z
CRIMINAL INFORMATION
Plaintiff
v.
ItzStarRBX
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 S.C.C § 09 - FIRST-DEGREE MURDER
OFFENSE TYPE - FELONY
The act of committing murder in the course of committing or attempting to commit kidnapping,
burglary, robbery, arson, obstruction or retaliation; or of committing murder of a peace officer or civil
department employee discharging a lawful and official duty, with the knowledge of the person being a
peace officer or civil department employee; or of committing murder with malice aforethought. On or
about February 29, 2024, the Defendant caused the death of RCFD civil department employee
ToastedPueri who was discharging his lawful and official duties while wearing a marked RCFD uniform
by shooting at him with a Micro firearm.
COUNT TWO - 3 S.C.C § 09 - FIRST-DEGREE MURDER
OFFENSE TYPE - FELONY
The act of committing murder in the course of committing or attempting to commit kidnapping,
burglary, robbery, arson, obstruction or retaliation; or of committing murder of a peace officer or civil
department employee discharging a lawful and official duty, with the knowledge of the person being a
peace officer or civil department employee; or of committing murder with malice aforethought. On or
about February 29, 2024, the Defendant caused the death of RCFD civil department employee Omnilius
who was discharging his lawful and official duties while wearing a marked RCFD uniform by shooting
at him with a Micro firearm.
COUNT THREE - 3 S.C.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 29, 2024,
the Defendant intentionally or knowingly caused the death of croman110 or caused with intent serious
bodily injury and committed an act clearly dangerous to human life that caused their death by shooting
at them with a Micro firearm.
COUNT FOUR - 5 S.C.C § 01 - UNLAWFUL POSSESSION OF A DEADLY WEAPON
OFFENSE TYPE - MISDEMEANOR
The act of possessing any civilian-grade firearm or ammunition without being a holder of a RFLID; or
being in possession of police-grade equipment without proper department / agency permission; or
possessing any weapon declared to be illegal under Subsection 4.1 of the State Firearms Act. On or
about February 29, 2024, the Defendant was in possession of a Micro firearm which is unlawful to
purchase and possess due to it being sold by an illegal firearms dealer in accordance with the State
Firearms Act and its associated amendments.
COUNT FIVE - 5 S.C.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 29, 2024, the Defendant discharged
their Micro firearm within Palmer City Limits without legal means to do so or while acting in self
defense.
COUNT SIX - 5 S.C.C § 04 - BRANDISHING
OFFENSE TYPE - MISDEMEANOR
The act, except in self-defense, of while in the presence of any other person, drawing or exhibiting any
firearm, whether loaded or unloaded, in a rude, angry, or threatening manner, or who in any manner,
unlawfully uses a firearm in any fight or quarrel. On or about February 29, 2024, the Defendant
unlawfully used their Micro firearm in a fight or quarrel against ToastedPueri, Omnilius, and croman110
without reason for self defense.
STATEMENT OF PROBABLE CAUSE
I, rainqg, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
I am a Deputy in the Ridgeway County Sheriff’s Office and a Detective in the Criminal Investigations
Division (hereinafter “CID”). As a law enforcement officer, I am empowered to conduct investigations.
I have been employed with the Sheriff’s Office since January 27th, 2024.
I have investigated a multitude of cases involving firearms crime.
This affidavit is being submitted in support of a criminal information alleging that ItzStarRBX violated
the following state criminal laws: 3 S.C.C § 09 (First-Degree Murder), 3 S.C.C § 10 (Second-Degree
Murder), 5 S.C.C § 01 (Unlawful Possession of a Deadly Weapon), 5 S.C.C § 05 (Unlawful Discharge
of a Firearm), and 5 S.C.C § 04 (Brandishing).
This affidavit is based on my personal knowledge, information provided to me by other law enforcement
agents, law enforcement records, witness interviews, and my training and experience, as well as the
training and experience of other law enforcement agents.
Because this affidavit is being submitted for the limited purpose of establishing probable cause in
support of a criminal information, I have not included each and every fact known to me concerning this
investigation. I have only set forth the facts that I believe are necessary to establish probable cause that
the suspect violated the state criminal laws set forth herein.
I, sul_z, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
I am a Deputy in the Ridgeway County Sheriff’s Office and a Detective in the Criminal Investigations
Division (hereinafter “CID”). As a law enforcement officer, I am empowered to conduct investigations.
I have been employed with the Sheriff’s Office since January 27th, 2024.
I have received training to conduct investigations on all types of criminal offenses.
This affidavit is being submitted in support of a criminal information alleging that ItzStarRBX violated
the following state criminal laws: 3 S.C.C § 09 (First-Degree Murder), 3 S.C.C § 10 (Second-Degree
Murder), 5 S.C.C § 01 (Unlawful Possession of a Deadly Weapon), 5 S.C.C § 05 (Unlawful Discharge
of a Firearm), and 5 S.C.C § 04 (Brandishing).
This affidavit is based on my personal knowledge, information provided to me by other law enforcement
agents, law enforcement records, witness interviews, and my training and experience, as well as the
training and experience of other law enforcement agents.
Because this affidavit is being submitted for the limited purpose of establishing probable cause in
support of a criminal information, I have not included each and every fact known to me concerning this
investigation. I have only set forth the facts that I believe are necessary to establish probable cause that
the suspect violated the state criminal laws set forth herein.
PROBABLE CAUSE
On the 29th of February, 2024 at 12:35 AM EST, ItzStarRBX was seen parking his Orange Actila Sport
on the side of the PPD Headquarters, exiting it and taking several steps towards the individuals standing
outside. He draws his Micro, an unlawful weapon, and opens fire at Omnilius, ToastedPueri, and
croman110. Fire department personnel Omnilius and ToastedPueri are killed alongside civilian
croman110. Following the deaths of these individuals, ItzStarRBX drives away from the scene in his
Orange Actila Sport. Refer to Exhibit A.
In an interview with the complainant, Omnilius stated he did not have any interactions with ItzStarRBX
shortly before this incident, though he had been attacked by the suspect in his home a week prior. The
killing of the individuals aforementioned seems to be random and not premeditated. Regardless, the
murder of fire personnel, civil department employees, would be classed as first-degree murder. Refer to
Exhibit B.
When contacting suspect ItzStarRBX, he conveyed he had killed the individuals to “test the weapon out
[to] see if that or the m2 was better”. Given this statement, only second-degree murder would be
warranted for the death of croman110. Refer to Exhibit C.
CONCLUSION
Based on the foregoing, your affiant submits there is probable cause to believe that ItzStarRBX violated
3 S.C.C § 09, which makes it a crime to commit murder in the course of committing or attempting to
commit kidnapping, burglary, robbery, arson, obstruction or retaliation; or of committing murder of a
peace officer or civil department employee discharging a lawful and official duty, with the knowledge of
the person being a peace officer or civil department employee; or of committing murder with malice
aforethought.
Based on the foregoing, your affiant submits there is probable cause to believe that ItzStarRBX violated
3 S.C.C § 10, which makes it a crime to intentionally or knowingly cause 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.
Based on the foregoing, your affiant submits there is probable cause to believe that ItzStarRBX violated
5 S.C.C § 01, which makes it a crime to possess any civilian-grade firearm or ammunition without being
a holder of an RFLID; or being in possession of police-grade equipment without proper department /
agency permission; or possessing any weapon declared to be illegal under Subsection 4.1 of the State
Firearms Act.
Based on the foregoing, your affiant submits there is probable cause to believe that ItzStarRBX violated
5 S.C.C § 05, which makes it a crime to discharge a firearm while within city limits / residential areas
without legal means to do such as a proper permit or for self defense.
Based on the foregoing, your affiant submits there is probable cause to believe that ItzStarRBX violated
5 S.C.C § 04, which makes it a crime to, except in self-defense, of while in the presence of any other
person, draw or exhibit any firearm, whether loaded or unloaded, in a rude, angry, or threatening
manner, or who in any manner, unlawfully uses a firearm in any fight or quarrel.
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 rainqg
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
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