STATE OF RIDGEWAY SUPERIOR COURT
State of Ridgeway
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Docket No. RSC-CM-3309
CRIMINAL INFORMATION
Plaintiff
v.
mrspedisnick, GotR_oot, abbyrose16
Defendant
Come forth the State of Ridgeway to seek justice and preserve the dignity of the state and therein charge
defendant mrspedisnick;
Count One - 3 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Colonel Mattcern, whilst
knowing that he was a state official, using a Cline 911.
Count Two - 3 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Sgt Maj bohbazinga, whilst
knowing that he was a state official, using a Cline 911.
Count Three - 5 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Lieutenant RangeetKumar, whilst
knowing that he was a state official, using a Cline 911.
Count Four - 5 R.S.C § 10 Second-Degree Murder
Offense Type - Felony
Max Sentence - 25 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed tjvwxhwyq using a Cline 911.
Come forth the State of Ridgeway to seek justice and preserve the dignity of the state and therein charge
defendant GotR_oot;
Count Five - 3 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Colonel Mattcern, whilst
knowing that he was a state official, using a Solami.
Count Six - 3 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Sgt Maj bohbazinga, whilst
knowing that he was a state official, using a Solami.
Count Seven - 5 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Lieutenant RangeetKumar, whilst
knowing that he was a state official, using a Solami.
Come forth the State of Ridgeway to seek justice and preserve the dignity of the state and therein charge
defendant abbyrose16;
Count Eight - 3 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Colonel Mattcern, whilst
knowing that he was a state official, using a Stetson M2-A.
Count Nine - 3 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Sgt Maj bohbazinga, whilst
knowing that he was a state official, using a Stetson M2-A.
Count Ten - 5 R.S.C § 09 First-Degree Murder
Offense Type - Felony
Max Sentence - 30 Minutes
On or about May 22nd, 2024, the Defendant intentionally fired upon and killed Lieutenant RangeetKumar, whilst
knowing that he was a state official, using a Stetson M2-A.
Count Eleven- 5 R.S.C § 09 Unlawful Possession of Government Issued Equipment
Offense Type - Felony
Max Sentence - 20 Minutes
On or about May 22nd, 2024, the Defendant possessed a Stetson M2-A without lawful excuse or permission.
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor Commander1567
Assistant Attorney General
State of Ridgeway Department of Justice
Executed:
07/26/2024
INVESTIGATION REPORT
Detective-In-Charge CheezIt110 Contact @cheezit110
Assigned Detective Azap634 Contact @azap634
Date Assigned June 19, 2024 Date Finished June 26, 2024
INITIAL INFORMATION
Date of Incident May 22, 2024 Time 21:47 (UTC-04)
Date of Tip Submission April 21, 2024
Location of Incident Small Bridge, Palmer, Ridgeway County, State of Ridgeway
Complainant Jay_McClau Contact @jay_mcclau
SUSPECTS
Suspect #1 mrspedisnick ID 221335168
Suspect #2 GotR_oot ID 529973343
Suspect #3 Sk_illitz (previously abbyrose16) ID 4284809
PROPOSED CHARGES FOR MRSPEDISNICK
3 S.C.C § 09
FIRST-DEGREE MURDER
(COUNTS x3)
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.
3 S.C.C § 08
SECOND-DEGREE MURDER
(COUNTS x1)
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.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0256 06/26/24
PROPOSED CHARGES FOR GOTR_OOT
3 S.C.C § 09
FIRST-DEGREE MURDER
(COUNTS x3)
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.
PROPOSED CHARGES FOR SK_ILLITZ
3 S.C.C § 09
FIRST-DEGREE MURDER
(COUNTS x3)
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.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0256 06/26/24
PROBABLE CAUSE STATEMENT
Date Written JUNE 26, 2024
Supporting the Case of STATE OF RIDGEWAY V. MRSPEDNICK, ET AL.
I, Azap634, hereby depose and state as follows:
I. INTRODUCTION AND OFFICER BACKGROUND
1. Your affiant is a Deputy First Class 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 the Deputy Chief with the
Ridgeway County Fire Department, and as a Private First Class 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 MRSPEDNICK
(hereinafter referred to as “NICK”), GOTR_OOT (hereinafter referred to as “ROOT”), and SK_ILLITZ (hereinafter
referred to as SKILL) (collectively “defendants” or “the defendants”) violated the following state criminal laws.
MRSPEDNICK
A) 3 S.C.C § 09 First-Degree Murder; AND
B) 3 S.C.C § 08 Second-Degree Murder.
GOTR_OOT
A) 3 S.C.C § 09 First-Degree Murder;
SK_ILLITZ
A) 3 S.C.C § 09 First-Degree Murder; AND
B) 5 S.C.C § 01 Unlawful Possession of Government-Issued Equipment
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.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0256 06/26/24
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.
6. One defendant named in the complaint is SK_ILLITZ, whose prior username – and the username that can
be seen in the presented exhibits – was ABBYROSE16.
7. The clip showing the evidence had been posted by a Medal account owned by GOTR_OOT. It is common
knowledge that Medal clips must be recorded from the user’s computer directly rather than being able to be uploaded
from a saved file. As such, GOTR_OOT was determined to be the only individual able to have uploaded the recording
and, in turn, is the only possible person to have been in the video (as the username is not displayed).
8. This incident took place during the Ridgeway vs. Firestone war, in which both parties made attempts to
create propaganda for their respective states in an attempt to bolster their public’s opinion in regards to the ongoing war
and to attempt to prove that their respective state was winning. Two individuals, with one being an expected alternative
account, are all known and respected members of the Firestone community.
9. The complainant, Jay_McClau, despite not having involvement in the case, had come across the evidence
while searching in the Firestone Discord server and had found this video that had been released as propaganda. As such,
despite having no involvement, the evidence was reported.
II. SUMMARY OF OFFENSE CONDUCT
10. On or about May 22nd, 2024, Colonel Mattcern was acting his job as a certified peace officer while in a
semi-marked capacity, wearing a jacket clearly displaying the words “STATE INVESTIGATOR,” “RSP” (a publicly
known and recognized abbreviation of the “Ridgeway State Police”), with a badge and RSP insignia clearly displayed on
his jacket (see exhibit A). Additionally, Mattcern was utilizing a black actilla with clearly displayed lights known to only
be accessible to law enforcement.
11. In discharging his official duties as a peace officer certified by the state, Mattcern was utilizing his taser –
a piece of equipment only accessible by law enforcement – to attempt to detain ROOT for possessing an unlawful firearm,
a Solami which is only sourced by an illegal firearms dealer and not sold by any firearms dealer certified by the Sheriff,
which was determined through a clear display of the firearm on his person.
12. While attempting to do such, all three defendants exited their vehicle and began to fire upon Mattcern,
with abbyrose16 (following a Roblox name change, the defendant’s username is now SK_ILLITZ) utilizing a M2-A, an
automatic weapon only provided to on-duty law enforcement and illegal for civilians as the firearm had been sourced
from an unlawful dealer. Mattcern was quickly killed by the defendants.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0256 06/26/24
13. During the shootout between Mattcern and the three defendants, Sergeant Major bohbazinga of the
Ridgeway National Guard, while in a clearly marked and approved National Guard uniform, exited his vehicle and
engaged in a firefight with the defendants in an attempt to neutralize the present threat that had killed Mattcern.
14. The defendants proceeded to kill the Sergeant Major.
15. Following the firefight, ROOT proceeded to take one round of 9 millimeter and one round of 5.56
millimeter munitions off of Mattcern’s body. NICK then proceeded to kill a bystander who had no involvement in the
shooting, tjvwxhwyq. He was quickly killed and ROOT proceeded to take his Cline 911 off his body.
16. The defendants proceeded to flee the scene, with ROOT stating “tommy guns illegal lol,” showing clear
recognition that Mattcern was a peace officer attempting to detain him for his possession of his unlawful firearm (“tommy
gun” being another name for the Solami).
17. The defendants proceeded to flee to the correctional facility, with Lieutenant RangeetKumar of the
Ridgeway County Sheriff’s Office responding in a marked patrol vehicle with his lights activated while utilizing a marked
uniform issued by the Sheriff’s Office.
18. RangeetKumar pulled out in front of the defendants’ vehicle, with RangeetKumar and SKILLS
proceeding to exit their vehicles. SKILLS proceeded to equip her firearm and fired a few times at RangeetKumar before
being killed by him.
19. The other two defendants proceeded to exit their vehicle and kill RangeetKumar.
III. APPENDIX OF EVIDENCE
10. Your affiant submits the following pieces of documentary evidence:
EXHIBIT ID SUMMARY
Exhibit A medal.tv clip showing incident described in Section II
Exhibit C Interview with Mattcern
Exhibit D Interview with Jay_McClau
Exhibit E Interview with RangeetKumar
Exhibit F Interview with bohbazinga
Exhibit G Uniform worn by Mattcern
Exhibit H Username change from ABBYROSE16 to SK_ILLITZ
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0256 06/26/24
IV. CONCLUSIONS AS TO PROBABLE CAUSE FOR A CRIMINAL COMPLAINT
11. 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 the following individuals under the following state criminal statutes:
MRSPEDNICK
A) 3 S.C.C § 09 First-Degree Murder; AND
B) 3 S.C.C § 08 Second-Degree Murder.
GOTR_OOT
A) 3 S.C.C § 09 First-Degree Murder;
SK_ILLITZ
A) 3 S.C.C § 09 First-Degree Murder; AND
B) 5 S.C.C § 01 Unlawful Possession of Government-Issued Equipment
V. CRIMINAL COMPLAINT REQUESTED
12. Based on all the foregoing, I respectfully request Criminal Complaints be issued on MRSPEDNICK,
GOTR_OOT, and SK_ILLITZ 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 /s/ Azap634
Detective II, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
06/26/24
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0256 06/26/24