INVESTIGATION REPORT
Detective-In-Charge CheezIt110 Contact @cheezit110
Assigned Detective Azap634 Contact @azap634
Date Assigned March 13, 2024 Date Finished March 19, 2024
INITIAL INFORMATION
Date of Incident March 8, 2024 Time 10:25 PM EST
Date of Tip Submission March 8, 2024
Location of Incident Sterling Memorial Bridge, Sterling, RW
Complainant TaxesArentAwesome Contact @casuallymental
SUSPECTS
Suspect #1 Vexnorah ID 337928849
ASSOCIATED PERSONS
Person Interviewed TaxesArentAwesome Contact @casuallymental
Person Interviewed Vexnorah Contact @vexnorah
PROPOSED CHARGES FOR VEXNORAH
3 S.C.C § 09
FIRST-DEGREE MURDER
(COUNTS x1)
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.
4 S.C.C § 09
EVIDENCE THEFT
(COUNTS x2)
The act of picking up evidence on an active crime scene, with the exception
of the individual being an on-duty peace officer taking evidence with the
intent to not allow others to pick up.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0192 03/19/24
PROBABLE CAUSE STATEMENT
Date Written March 19, 2024
Supporting the Case of STATE OF RIDGEWAY V. VEXNORAH
I, Azap634, hereby depose and state as follows:
I. INTRODUCTION AND OFFICER BACKGROUND
1. Your affiant is a Deputy for the Ridgeway County Sheriff's Office (“RCSO”) with the position of
Detective with the assignment to the Criminal Investigations Division (“CID”) and have been so employed since October
of 2023. In addition to my employment history relevant to the case, I serve as a Lieutenant with the Ridgeway County
Fire Department, and as a Sergeant with the Ridgeway National Guard.
2. As a result of my employment, I am an officer of the State of Ridgeway who is empowered by law to
conduct investigations and make arrests for offenses enumerated in titles one through six of the Ridgeway County
Criminal Code. In addition, as a result of my employment, I have received training on various matters pertaining to crimes
involving firearms within Ridgeway County, and I continue to receive training as investigative techniques continue to
evolve.
3. This affidavit is being submitted in support of a criminal complaint alleging that VEXNORAH
(hereinafter referred to as “VEX”) violated the following state criminal laws:
A) 3 S.C.C § 09 First-Degree Murder ON 1 Count; AND
B) 4 S.C.C § 09 Evidence Theft ON 2 Counts.
4. 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.
5. Because this affidavit is being submitted for the limited purpose of establishing probable cause in support
of a criminal complaint, I have not included 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 defendant violated the state criminal laws set
forth herein.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0192 03/19/24
II. SUMMARY OF OFFENSE CONDUCT
6. On or about March 8, 2024, TaxesArentAwesome, a Deputy with the Ridgeway County Sheriff’s Office,
was performing duties in a marked Ridgeway Sheriff’s Office vehicle with his proper uniform.
7. While on patrol, TaxesArentAwesome observed an individual, ROLESTOLES, killing a Trooper with the
Ridgeway State Police. TaxesArentAwesome immediately responded to the gunfire and a short gunfight ensued, in which
TaxesArentAwesome killed ROLESTOLES.
8. Following the incident, VEX, a Ridgeway resident, arrived and, with no provocation, opened fire on
Deputy TaxesArentAwesome, killing him. VEX then proceeded to steal one flashlight as well as traceable cash from the
Deputy’s body.
III. APPENDIX OF EVIDENCE
9. Your affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A medal.tv clip showing outlined incident
Exhibit B Interview of defendant
Exhibit C Interview of complainant
IV. CONCLUSIONS AS TO PROBABLE CAUSE FOR A CRIMINAL COMPLAINT
10. Based on the above facts and circumstances, it is your affiant’s belief that probable cause exists to
warrant a Criminal Complaint to be filed against VEXNORAH in violation of:
A) 3 S.C.C § 09 First-Degree Murder ON 1 Count; AND
B) 4 S.C.C § 09 Evidence Theft ON 2 Counts.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0192 03/19/24
V. CRIMINAL COMPLAINT REQUESTED
11. Based on all the foregoing, I respectfully request a Criminal Complaint be issued on VEXNORAH for the
charges described in the immediately foregoing section of this affidavit.
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant Azap634
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
03/19/24
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor
andysofun
Assistant Attorney General
State of Ridgeway Department of Justice
Executed:
04/13/2024
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0192 03/19/24