PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. ammunation2004
DATE
06/26/2024
CASE REF. NUMBER
5-04-0269-S-RSP
I, Special Agent Arvantise, RI06
(Name and identification of law enforcement officer, investigator, or person having information as probable cause)
knowing that false statements on this form are punishable by law, state that the facts contained herein
are true. Your affiant has probable cause to believe that on 06/21/2024 at Sterling Docks in Ridgeway
County, State of Ridgeway, defendant ammunation2004 committed one or more criminal offense(s):
CODE AND CHARGES COUNT(S)
3 R.S.C. § 9 FIRST-DEGREE MURDER
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
discharging a lawful and official duty, with the knowledge of the person being a peace officer; or
of committing murder with malice aforethought.
1
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IN SUPPORT OF CRN 5-04-0269-S-RSP STATE BUREAU OF INVESTIGATIONS
5 R.S.C. § 4 BRANDISHING
The act, 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. 1
5 R.S.C. § 5 UNLAWFUL DISCHARGE OF A FIREARM
The act of discharging a firearm while within city limits / residential areas without legal means to
do such as a proper permit or for self defense. 1
4 R.S.C. § 8 ARSON
The act of deliberately setting fire to property. 1
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. ammunation2004
DATE
06/26/2024
CASE REF. NUMBER
5-04-0269-S-RSP
Your affiant, being duly sworn, depose and state that the facts supporting this belief are as follows:
1. I have been employed within the Ridgeway State Police since August 2022. I’ve been a law
enforcement officer in Ridgeway for over a year now. I’m currently a Second Lieutenant within the
Ridgeway National Guard, Military Police Battalion. I am a former Ridgeway County Sheriff’s Office
Internal Affairs Investigator. I was formerly employed in the Ridgeway Parks Service as a full-time
ranger. I am a graduate of LETC Class 5 and a known and experienced law enforcement officer.
2. This statement is made in support of a criminal complaint against ammunation2004 for violations
of the aforementioned statutes
3. On 06/21/2024, complainant Velothrak who was a civilian attempting to escape individuals
attempting to murder him recorded the incident of two individuals using Stetson Cardiacs.
4. On the 26th of June, the Ridgeway State Police State Bureau of Investigations was made aware of
the actions of the defendant via the State Bureau of Investigations Tipline. As a result, the case
was then assigned to Special Agent Arvantise to investigate the incident.
5. A statement within the tipline attached from the complainant, Velothrak, stating that his vehicle
was destroyed and was murdered attempting to exit the Sterling Docks. During an interview
conducted with the complainant, he has stated that before he started recording he was being
pursued by a different group of individuals in a grey sedan. He had then entered the Sterling Docks
to lose them. After he had lost them, he had decided to make his way out of the docks and he had
then seen a black cavela turn around. As a result, two individuals had jumped out of their vehicle
and decided to use their firearms to murder the complainant and blow his vehicle.
6. In addition to the statement provided by the complainant, he also attached a video clip, which is
Exhibit A. After your affiant has investigated and examined the video properly, here are the facts of
the case: The complainant was inside the Sterling Docks, after he had managed to escape a red
sedan looking for him, when the defendant (ammunation2004) had jumped out of his vehicle, a
black cavela equipping a Stetson Cardiac with his accomplice, vintagepurp.
7. Based on the evidence provided to your affiant and after an interview (Exhibit B) conducted
between your affiant and the complainant, a final analysis was conducted by your affiant, which
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IN SUPPORT OF CRN 5-04-0269-S-RSP STATE BUREAU OF INVESTIGATIONS
PROBABLE CAUSE STATEMENT FORM - STATE BUREAU OF INVESTIGATIONS
SUPPORTING THE CASE OF
State of Ridgeway v. ammunation2004
DATE
06/26/2024
CASE REF. NUMBER
5-04-0269-S-RSP
makes him believe that defendant ammunation2004 committed first-degree murder, brandishing,
unlawful discharge of a firearm and arson according to the Ridgeway State Code.
The evidence of which were referenced in the aforementioned statement are as follows.
# Exhibit Identification
1 Exhibit A Film identified as “Complainant POV”
2 Exhibit B Film identified as “Complainant Interview”
Affiant declares under penalty of perjury that everything stated in this document is true and correct.
Affiant Arvantise
Special Agent, State Bureau of Investigations
Ridgeway State Police
Executed:
06/27/2024
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Username
Position
State of Ridgeway Department of Justice
Executed:
mm/dd/yyyy
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IN SUPPORT OF CRN 5-04-0269-S-RSP STATE BUREAU OF INVESTIGATIONS