STATE OF RIDGEWAY
STATE OF RIDGEWAY
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DOCKET NO. 0000-00000Z
CRIMINAL INFORMATION
Plaintiff
v.
THE1MEGA
Defendant
Come forth the State of Ridgeway to seek justice and preserve the dignity of the state and therein
charge the defendant;
COUNT ONE - 3 S.C.C § 10 - SECOND-DEGREE MURDER
OFFENSE TYPE - FELONY
MAX SENTENCE - 20 MINUTES
On or about March 22nd, 2024, in the municipality of Palmer, specifically Palmer Car Dealership, the
defendant the1mega, unlawfully drew their firearm and placed multiple accurate shots into the victim
[Jamz0Jamz] killing them.
The charge of Second-Degree Murder is appropriate for the defendant as he intentionally discharged his
firearm at, and caused the death of Jamz0Jamz.
COUNT TWO - 3 S.C.C § 10 - SECOND-DEGREE MURDER
OFFENSE TYPE - FELONY
MAX SENTENCE - 20 MINUTES
On or about March 22nd, 2024, in the municipality of Palmer, specifically Palmer Car Dealership, the
defendant the1mega, unlawfully drew their firearm and placed multiple accurate shots into the victim
[SynapticsAdvanced] killing them.
The charge of Second-Degree Murder is appropriate for the defendant as he intentionally discharged his
firearm at, and caused the death of SynapticsAdvanced.
AFFIDAVIT IN SUPPORT OF CRIMINAL INFORMATION
I, spookybd1, a detective within the Special Investigations Unit (SIU), and a Patrol Officer in the Palmer Police
Department (PPD), being duly sworn on oath, state the following:
1. I currently serve as a Patrol Officer in the Palmer Police Department. In addition, I hold the position of
Detective within the Special Investigations Unit, where I am responsible for tracking down and investigating
crimes within my jurisdiction. My role as a Law Enforcement Officer grants me the power and authority to
uphold the State’s Statutes and conduct investigations into any violations of these laws.
2. In the past, I have held a position within the Palmer Police Department between the dates of April 24th,
2021, to January 14th, 2023. During this time, I was a member of the Special Investigations Unit and reached
the rank of Lieutenant. During this period, I conducted my duties to the best of my abilities and assisted in the
investigations of many major cases within the state, taking down numerous corrupt high-ranking, and notable
individuals in the Ridgeway community. As a result of the work of my fellow detectives and myself, the Special
Investigations Unit earned the District Attorney’s Commendation, and I was able to earn many decorations
within the department as well. Additionally, I conducted background checks for the Palmer Police Department,
and was responsible for these background checks in all of the department’s intakes during my time within the
unit. I also worked on and completed many investigations, many of which resulted in the filing of Criminal
Informations and Search Warrant Applications to the District Attorney’s Office.
3. The information provided in this Affidavit is not each and every fact known to me, but rather, sufficient
information to establish probable cause regarding criminal violations of state statutes.
STATEMENT OF PROBABLE CAUSE
On March 22, 2024, resident SynapticsAdvanced was located outside the Palmer Car Dealership, where
he was walking to his vehicle. Once approaching his vehicle, SynapticsAdvanced opened the trunk and
retrieved a crowbar. As this was happening, the defendant withdrew a Stetson M1, and walked toward
tourist Jamz0Jamz. Upon reaching Jamz0Jamz, the defendant began to intentionally discharge his
firearm at him, discharging five shots in total.
These five shots, intentionally discharged by the defendant toward tourist Jamz0Jamz, would result in
his death.
After murdering Jamz0Jamz, the defendant then got into the passenger seat of a vehicle and began to
flee the scene. Before the vehicle could leave the Palmer Car Dealership parking lot, the defendant
spotted another individual, SynapticsAdvanced, and began to approach him. Soon after exiting the
vehicle, the defendant withdrew his Stetson M1 again and began to intentionally discharge it at
SynapticsAdvanced. SynapticsAdvanced would then attempt to flee and even defend himself against the
defendant with an aforementioned crowbar, but these attempts would be unsuccessful. As a result of the
continued and intentional shots by the defendant, SynapticsAdvanced would be murdered. The
defendant then picked up the items dropped by SynapticsAdvanced and fled the scene.
APPENDIX OF EVIDENCE
Exhibit A
Affiant declares under penalty of perjury that everything stated in this document is true and
correct.
Affiant spookybd1
Special Investigations Unit
Palmer Police Department
Executed:
04/14/2024
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor /s/
State Attorney
State of Ridgeway Department of Justice
Executed:
05/09/2024