SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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CASE NO. RSC-CM-3433
CRIMINAL INFORMATION
Plaintiff
v.
KABUNGAKILLER
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. § 3.09 - FIRST DEGREE MURDER
OFFENSE TYPE - FELONY
On the 20th of June, 2024 the defendant utilized a Stetson M2A to willingly and maliciously shoot and
kill Jepaloon, who was an on-duty Law Enforcement ranger.
COUNT TWO - 3 R.C.C. § 3.09 - FIRST DEGREE MURDER
OFFENSE TYPE - FELONY
On the 20th of June, 2024 the defendant utilized a Stetson M2A to willingly and maliciously shoot and
kill UhKiwuu, who was an on-duty Law Enforcement Officer.
COUNT THREE - 3 R.C.C. § 3.09 - FIRST DEGREE MURDER
OFFENSE TYPE - FELONY
On the 20th of June, 2024 the defendant utilized a Stetson M2A to willingly and maliciously shoot and
kill PendingMonterruh, who was an on-duty National Guardsman.
STATEMENT OF PROBABLE CAUSE
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.
[1] I have been employed with the Sheriff’s Office since January 27th, 2024.
[2] I have received training to conduct investigations on all types of criminal offenses.
[3] This affidavit is being submitted in support of a criminal information alleging that
KabungaKiller violated the following state criminal laws: 3 S.C.C § 09 (First-Degree Murder) ON 3
counts, 5 S.C.C § 04 (Brandishing) ON 1 count, 5 S.C.C § 05 (Unlawful Discharge of a Firearm) ON 1
count, and 5 S.C.C § 01 (Unlawful Possession of a Deadly Weapon) ON 1 count.
[4] 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.
[5] 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
[6] On June 20th, 2024, at approximately 13:02 (UTC -05), Jepaloon, a Park Ranger I of the
Ridgeway Park Service, was pursuing a pink cavela that crashed on the freeway to the Palmer
International Airport. After crashing, a white cavela arrived at the scene and the occupants of the
white cavela started to open fire on law enforcement units. One of the occupants in the white
cavela was KabungaKiller who was holding a Stetson M2-A and was pointing it at law enforcement
units in a threatening manner, intending to open fire upon them.
[7] After KabungaKiller pointed his illegal Stetson M2A at law enforcement units, he
discharged rounds in the direction of the law enforcement officers whilst being in a public area.
[8] After KabungaKiller had opened fire upon law enforcement units, Jepaloon was one of the
officers who was hit and died by the bullets that were discharged out of KabungaKiller’s firearm.
[9] Shortly after KabungaKiller had killed Jepaloon, KabungaKiller also opened fire on uhKiwuu,
who is a Deputy of the Ridgeway County Sheriff’s Office and had responded to the pursuit. uhKiwuu
and KabungaKiller had lead on an exchange of gunfire, however, uhKiwuu had died due to the
rounds that were discharged out of KabungaKiller’s firearm and had hit her.
[10] After KabungaKiller had killed uhKiwuu, KabungaKiller had also opened fire on
PendingMonterruh who was a national guardsman who had seen the scene as it was occurring and
wanted to help law enforcement units. After PendingMonterruh had responded to the scene,
KabungaKiller had opened fire on PendingMonterruh which had also lead to his death due to being
struck by the bullets that were discharged out of KabungaKiller’s firearm.
[11] An interview was conducted with PendingMonterruh. PendingMonterruh mentions not
originally engaging in the chase, however saw the shots fired and decided to help the law
enforcement officers that were engaged in the shootout but ended up dying.
[12] An interview was conducted with zaneleo. In the interview, zaneleo mentions that
KabungaKiller plays Ridgeway with the other dead residents in the clip and likely utilizes a “dealt
MP5” and has a dealer for it.
[13] An interview was conducted with Jepaloon. In the interview, Jepaloon mentions that he
was originally involved in a pursuit with a Pink Cavela that ended up crashing and dying from
gunfire. He then mentions that a third party, KabungaKiller, had joined the incident and had started
opening fire on law enforcement units and killed a total of 3 people.
[14] An interview was conducted with UhKiwuu. In the interview, uhKiwuu mentions that she
was originally responding code 3 to a pursuit and upon arriving, she saw KabungaKiller opening fire
on the park ranger. UhKiwuu mentions not having any previous interactions with KabungaKiller and
mentions that KabungaKiller seems like an alt and mentions that KabungaKiller seemed to be using
a civ grade M2A.
[15] Based on the foregoing, your affiant submits there is probable cause to believe that
KabungaKiller violated 3 S.C.C § 09 on 3 counts, which makes it a crime to commit 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.
[16] Based on the foregoing, your affiant submits there is probable cause to believe that
Haunntings 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.
[17] Based on the foregoing, your affiant submits there is probable cause to believe that
Haunntings 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.
[18] Based on the foregoing, your affiant submits there is probable cause to believe that
Haunntings violated 5 S.C.C § 01, which makes it a crime to possess 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.
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/ sul_z
Detective
Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
07/03/2024
Being authorized to prosecute the offenses charged, I approve this information
Prosecutor /s/ OperatorTaxi
Acting Assistant Attorney General
Criminal Division
Ridgeway Department of Justice
Executed:
08/17/2024