SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. 0000-00000Z
CRIMINAL INFORMATION
Plaintiff
v.
ZhaoOng, WMMAdam, UmutTVSS
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 ZhaoOng knowingly and intentionally caused serious bodily injury and committed an act
clearly dangerous to human life that caused the death of sebubby by shooting him with a firearm.
COUNT TWO - 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 WMMAdam knowingly and intentionally caused serious bodily injury and committed an
act clearly dangerous to human life that caused the death of sebubby by shooting him with a firearm.
COUNT THREE - 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 UmutTVSS knowingly and intentionally caused serious bodily injury and committed an
act clearly dangerous to human life that caused the death of sebubby by shooting him with a firearm.
STATEMENT OF PROBABLE CAUSE
I have been employed within the Ridgeway State Police since August 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, Internal
Affairs Investigator. I was formerly employed in the Ridgeway Parks Service as a Full-Time Ranger. I
am a graduate from LETC Class 5, known and experienced Law Enforcement Officer.
This statement is made in support of a criminal complaint against UmutTVSS, WMMAdam, and
ZhaoOng for violations of the aforementioned statutes
On 02/19/2024, at approximately 10:48AM Eastern Standard Time, complainant sebubby was at
Bloxmart, in the City of Palmer attempting to purchase items after he had just withdrawn $200 from an
Automatic Teller Machine. While he was browsing for items to purchase the defendants had then
decided to take an opportunity by murdering the complainant taking his belongings.
On the 19th of February, the Ridgeway State Police State Bureau of Investigations was made aware of
the actions of the defendants via the State Bureau of Investigations Tipline. As a result, the case was
then assigned to Special Agent Arvantise to investigate the incident.
A statement within the tipline attached from the complainant, sebubby, a resident within Ridgeway
County, had stated he was at Bloxmart in Palmer when a group of three individuals had just ran in while
he was shopping and murdered him. In an interview he had stated that he believes he was shot due to
them taking an opportunity and looting everything off his corpse.
In addition to the statement provided by the complainant, he had also attached a video clip which is
Exhibit A. After your affiant had investigated and examined the video properly, here are the facts of the
case; The complainant was attempting to purchase some items at Bloxmart; whereas a few seconds later
three individuals had ran in and decided to take an opportunity immediately by murdering the
complainant and taking all his belongings as he was seen shopping in Exhibit A. After he was murdered
he had dropped $200.
During an interview with the complainant, he had stated that he notified a Law Enforcement Officer by
the name of “itsawarcrime” at 10:48AM Eastern Standard Time. While he was at Bloxmart shopping, a
group of individuals noticed that he was purchasing items. As a result they decided to take an
opportunity by murdering the complainant and taking whatever he may have had on his inventory.
Based on the evidence provided to your affiant and after an interview (Exhibit B) conducted between
your affiant and the complainant, a final analysis was conducted by your affiant which makes him
believe that defendant UmutTVSS committed Second Degree Murder. according to the Ridgeway State
Code.
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 Arvantise
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