SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. RSC-CM-2490
Plaintiff
v.
BOOSTA_Z
Defendant
DEFERRED PROSECUTION AGREEMENT
1. I, BOOSTA_Z (hereinafter “individual”), do hereby enter this deferred prosecution
agreement with the State of Ridgeway this 1st of April, 2024.
CRIMINAL INFORMATION AND ACCEPTANCE OF RESPONSIBILITY
2. The individual acknowledges and agrees that the Department of Justice will file the
criminal information within the Superior Court of the State of Ridgeway charging the
individual with the following: 3 S.C.C § 10 (Second-Degree Murder), 5 S.C.C § 03
(Unlawful Display of a Deadly Weapon), and 5 S.C.C § 05 (Unlawful Discharge of a
Firearm). In doing so, the individual, (a) knowingly waives his right to a speedy trial as
pursuant to the Sixth Amendment to the United States Constitution; (b) waives any rights
afforded by a statute of limitations, and grants the ability for the Department of Justice to
file at any time under noncompliance.
3. The individual acknowledges that he is responsible for the Statement of Facts alleged in
this document and the allegations described in the information are true and accurate.
Should the Department of Justice pursue the prosecution that is deferred by this
Agreement, the individual stipulates to the admissibility of the attached Statement of
Facts in any proceeding, including any trial, guilty plea, or sentencing proceeding, and
will not contradict anything in the attached Statement of Facts at any such proceeding.
TERMS OF DEFERRED PROSECUTION
4. The individual must not be arrested on probable cause or charged by the State with any
crimes for a term of 90 days.
STATEMENT OF FACTS
5. On or about the 30th of January, 2024, in Sterling Heights, State of Ridgeway, the
defendant intentionally and knowingly shot and killed iiKoalaXXS without a lawful
reason.
6. On or about the 30th of January, 2024, in Sterling Heights, State of Ridgeway, the
defendant displayed a firearm in the plain view of iiKoalaXXS without being holstered
while in the parking lot of Sterling Gun Club.
7. On or about the 30th of January, 2024, in Sterling Heights, State of Ridgeway, the
defendant discharged a firearm while within city limits without legal means to do so.
I hereby agree to all stipulations of the above agreement
Defendant /s/boosta_z Executed:
4/4/2024
Defendant’s
Counsel
/s/acerxtro
Senior Associate
Cohn, Cicero, & Goodrich
Executed:
4/4/2024
The Department of Justice agrees to all stipulations of the above agreement
Prosecutor /s/gbuttisnotmyname
State Attorney
Criminal Division
Ridgeway Department of Justice
Executed:
4/1/2024