SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. RSC-CM-3323
CRIMINAL INFORMATION
Plaintiff
v.
CYBERPHILIAC
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 R.C.C. § 09 - FIRST-DEGREE MURDER
OFFENSE TYPE - FELONY
On June 5TH, 2024, the complainant, a volunteer Park Ranger for the Ridgeway Parks Service was doing
a patrol at the houses located in the West Intersection of a Demilitarized Zone (DMZ) of the Ridgeway
National Guard. The volunteer Park Ranger pulled up behind the Defendant’s vehicle when the
Defendant got out of the vehicle, approached the volunteer’s vehicle, got on its hood, and shot at the
Ranger with a Stetson Cardiac-5, killing the Ranger, a civil department employee.
COUNT TWO - 5 R.C.C. § 01 - UNLAWFUL POSSESSION OF A FIREARM
OFFENSE TYPE - MISDEMEANOR
On June 5TH, 2024, the complainant, a volunteer Park Ranger for the Ridgeway Parks Service was doing
a patrol at the houses located in the West Intersection of a Demilitarized Zone (DMZ) of the Ridgeway
National Guard. The volunteer Park Ranger pulled up behind the Defendant’s vehicle when the
Defendant got out of the vehicle, approached the volunteer’s vehicle, got on its hood, and shot at the
Ranger with a Stetson Cardiac-5, killing the Ranger, a civil department employee.
STATEMENT OF PROBABLE CAUSE
Your affiant, being duly sworn, depose and state that the facts supporting this belief are as
follows:
1. My name is domieisok, I am currently a Senior Special Agent within the Ridgeway
State Police’s State Bureau of Investigations. I have been employed with the
Ridgeway State Police since February 15th, 2022, and also serve in the Firearms
Licensing and Tactical Support units, both in secondary positions. I am the
Lieutenant Colonel for the Ridgeway National Guard’s Combat Support Brigade and
a Chief Ranger for the Ridgeway Park Service as the Operations Command Ranger. I
am an experienced police officer graduating from the Law Enforcement Training
Center in Class 5 where I am employed as an Instructor in the Instruction Division.
2. This statement is made in support of a criminal complaint against Cyberphiliac for
violations of the aforementioned statutes
3. On 06/05/2024, at approximately 2132 hours, c_hvrlievx, otherwise referred to as
the complainant, observed the defendant pull out an automatic firearm and begin
shooting the complainant until they were killed.
4. Exhibit A is a video from the point of view of Volunteer Park Ranger c_hvrlievx who is
conducting a patrol at the housing next to the Ridgeway National Guard’s DMZ
Intersection West where a maroon Cavela with white windows in front of them comes
to an immediate halt. The defendant can be seen exiting the car saying “lets touch
hm\/” and “sto”, which can be implied he was telling his acquaintance who was
driving to stop the vehicle. The defendant can be seen jumping onto the volunteer
ranger’s vehicle and pulling out an automatic firearm and discharging it through
their windshield. As the ranger retreated to the back of their vehicle, they were shot
and killed.
5. Exhibit B is a video of an interview with the defendant conducted by your affiant.
Before any questions were asked, the defendant was Mirandized by your affiant.
Once the defendant was shown Exhibit A, he stated “thats the vid that got one of my
rflids revoked”. In order for an RFLID to be revoked, a crime must be done with a
firearm or you lose your residency. The defendant still maintains their residency
within the State of Ridgeway. Once asked more about the questions of the
complainant’s death, he started to say that he did not do the shooting and that it was
“stray bullets”. The defendant was then questioned about his actions in the footage,
as he was seen holding a firearm and shooting it, where he claimed it was a
“skinwalker”. Due to the defendant’s unprofessionalism and unseriousness during
questioning, the interview was concluded there.
6. Exhibit C is an interview with the complainant conducted by your affiant. In the
interview, the complainant affirmed that while they were patrolling, they were
attacked by three individuals who were in possession of automatic firearms who shot
and killed them. The automatic firearms used were AFL weaponry, which can be
accessed by an AFL endorsement.
7. First-degree Murder is defined by the State of Ridgeway as, “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.”. The complainant was on-duty as a
member of the Ridgeway Park Service, a civil department within the state at the time
of their death. This constitutes that the type of murder against the complainant is
first degree.
8. Unlawful possession of a firearm is defined by the State of Ridgeway as, “The act of
possessing any firearm or ammunition without being a holder of a valid RFLID; or
possessing a weapon, firearm, or ammunition that was sourced from an illegal
dealer.” The defendant, Cyberphiliac, was in possession of a firearm only acquired by
having an AFL endorsement. The defendant has never been an AFL holder and was
illegally dealt that weapon from a dealer, meaning that he was unlawfully possessing
a weapon at the time of the crime.
I swear that all statements made in this statement of probable cause are true and correct to the
best of my knowledge under the pains and penalties of perjury.
Affiant /s/ domieisok
Senior Special Agent
State Bureau of Investigations
Ridgeway State Police
Executed:
07/23/2024
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor /s/ insertreality
Attorney General
Office of the Attorney General
Ridgeway Department of Justice
Executed:
07/27/2024