SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. RSC-CM-____
CRIMINAL INFORMATION
Plaintiff
v.
AGENTMANKILLER1
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. § 10 - SECOND-DEGREE MURDER
OFFENSE TYPE - FELONY
On May 25th, 2024, agentmankiller1 intentionally and knowingly caused the death of
ThatRandomUser2015 by repeatedly shooting him with a salvo.
COUNT TWO - 5 S.C.C. § 04 - BRANDISHING
OFFENSE TYPE - MISDEMEANOR
On May 25th, 2024, agentmankiller1 displayed a salvo in a threatening manner in the presence of
ThatRandomUser2015.
COUNT THREE - 5 S.C.C. § 05 - UNLAWFUL DISCHARGE OF A FIREARM
OFFENSE TYPE - MISDEMEANOR
On May 25th, 2024, agentmankiller discharged a salvo within Palmer city limits without legal reason to
do so.
PROBABLE CAUSE STATEMENT
Date Written JUNE 25, 2024
Supporting the Case of STATE OF RIDGEWAY V. agentmankiller1
I, sul_z, being duly sworn, state as follows:
INTRODUCTION AND OFFICER BACKGROUND
[1] 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.
[2] I have been employed with the Sheriff’s Office since January 27th, 2024.
[3] I have received training to conduct investigations on all types of criminal offenses.
[4] This affidavit is being submitted in support of a criminal information alleging that
agentmankiller 1 violated the following state criminal laws: 3 S.C.C § 10 (Second-Degree Murder), 5
S.C.C § 04 (Brandishing), and 5 S.C.C § 05 (Unlawful Discharge of a Firearm).
[5] This affidavit is based on my personal knowledge, information provided to me by other law
enforcement agents, complainant interviews, and my training and experience, as well as the
training and experience of other law enforcement agents.
[6] 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
[7] On May 25th, 2024, at the Altee Road Apartments, ThatRandomUser2015 approached
agentmankiller1’s car, stating that he could go to court if he wanted to express a grievance.
ThatRandomUser2015’s statement was about him going to Sterling as he had received reports of
“firestonians” in Sterling, and as he was going to Sterling, he cut off agentmankiller1 at a yellow
light which subsequently made agentmankiller1 started to follow ThatRandomUser2015, and
ThatRandomUser2015 drove to the apartments to discuss with agentmankiller1. After
ThatRandomUser2015 asked agentmankiller1 if he wanted to express a grievance, agentmankiller1
exited his vehicle and drew his firearm in a public area. agentmankiller1 then pointed his firearm at
ThatRandomUser2015 in a threatening manner shortly before discharging rounds from his firearm.
[8] After agentmankiller1 pointed his firearm at ThatRandomUser2015, agentmankiller1
discharged numerous rounds into the direction of agentmankiller1 whilst being in the city limits of
Palmer which had struck ThatRandomUser2015 numerous times, leading to
ThatRandomUser2015’s death.
[9] An interview was conducted with ThatRandomUser2015. In the interview,
ThatRandomUser2015 mentions going to Sterling as he had heard there was “firestonians” in
sterling, and whilst ThatRandomUser2015 was going to Sterling, he had cut off agentmankiller1. He
mentions that as a result of cutting off agentmankiller1, he had started to following
ThatRandomUser2015 which lead up to ThatRandomUser2015 asking if agentmankiller1 wanted to
express a grievance as shown in exhibit B.
[10] An interview request was attempted with agentmankiller1, however, agentmankiller1 did
not respond within 48 hours as shown in exhibit C.
APPENDIX OF EVIDENCE
[11] The affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A Video capturing the incident.
Exhibit B Interview with the complainant.
Exhibit C Attempted interview with the suspect
CONCLUSION
[12] Based on the foregoing, your affiant submits there is probable cause to believe that
agentmankiller1 violated 3 S.C.C § 10, which makes it a crime to 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.
[13] Based on the foregoing, your affiant submits there is probable cause to believe that
agentmankiller1 violated 5 S.C.C § 04, which makes it a crime, 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.
[14] Based on the foregoing, your affiant submits there is probable cause to believe that
agentmankiller1 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.
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant sul_z
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
06/25/2024
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor CheezIt110
State Attorney
State of Ridgeway Department of Justice
Executed:
07/21/2024