INVESTIGATION REPORT
Detective-In-Charge ghostbleed Contact @kingers
Assigned Detective atlantxic Contact @atlantxic
Date Assigned July 22, 2026 Date Finished July 26, 2026
INITIAL INFORMATION
Date of Incident July 7, 2026 Time 9:30 PM GMT
Date of Tip Submission July 8, 2026
Location of Incident 4 Sapphire Street, Milton, Ridgeway County
Complainant lmBigPoe, RCSO SRT Contact @sleepdeprived8377
SUSPECTS
Suspect #1 rawequals ID 74290368
ASSOCIATED PERSONS
Person Interviewed lmBigPoe Contact @sleepdeprived8377
PROPOSED CHARGES FOR RAWEQUALS
2 R.C.C § 30
UNLAWFUL POSSESSION OF A FIREARM
WITH INTENT TO SELL
(COUNT x1)
Whoever possesses a combined ten (10) or more firearms which are illegal
for that person to be in possession of.
2 R.C.C § 37
UNLAWFUL POSSESSION OF A MILITARY
RECORD
(COUNTS x76)
Whoever possesses a military record, military file, or other confidential
military documentation without the authorization of the Defense
Department.
NOTES
Suspect not interviewed prior to completion of AOPC; evidence seized, digital recording and officer statements
independently establish sufficient PC to support CI.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0717 07/26/2026
AFFIDAVIT OF PROBABLE CAUSE
Date Written July 26, 2026
Supporting the Case of STATE OF RIDGEWAY V. RAWEQUALS
I, ATLANTXIC, being duly sworn, hereby depose and state as follows:
I. PURPOSE OF THE AFFIDAVIT AND BACKGROUND OF AFFIANT
1. This affidavit is being submitted in support of a criminal information in the above-entitled matter alleging the
following defendant(s) to have violated these provision(s) of the state criminal code (collectively, “Alleged
Offences”):
a. RAWEQUALS
i. one (1) count of 2 R.C.C § 30 (Unlawful Possession of a Firearm with Intent to Sell)
ii. seventy-six (76) counts of 2 R.C.C § 37 (Unlawful Possession of a Military Record)
2. I am a deputy with the Ridgeway County Sheriff’s Office (“RCSO”), and assigned to the Criminal Investigations
Division (“CID”) as a Detective. Pursuant to 9 R. Stat. §§ 331.201-203 and 331.405, I am duly empowered with
peace officer authority to conduct criminal investigations within the corporate limits of Ridgeway County. I have
held a valid and active peace officer certification as prescribed by 9 R. Stat. § 222.101 since June 2021. Across
my career, I have accumulated over three (3) years of sworn law enforcement experience across the following
agencies:
a. Ridgeway Park Service, between–
i. 06/25/2021 and 05/14/2022.
b. Ridgeway County Sheriff’s Office, between–
i. 04/11/2022 and 06/25/2022;
ii. 01/27/2024 and 03/07/2026; and
iii. 06/24/2026 and present.
3. I have completed specialised criminal investigations training by the CID regarding criminal justice, surveillance,
and interviewing witnesses. I was also a Field Training Officer with the Training Division, where I was
responsible for instructing and evaluating personnel in law enforcement protocols, knowledge of state law,
tactical awareness, threat perception, and use of force doctrines. During my law enforcement career, I have
effected numerous lawful arrests throughout Ridgeway County. Through my experience and training as a peace
officer, I have become familiar with the establishment of probable cause, elements of a criminal investigation,
review of evidence, and the judicial process.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0717 07/26/2026
4. Unless stated otherwise, the facts set forth in this affidavit is either my personal knowledge and my experience
and training, has been provided to me by other law enforcement officers and their experience and training, has
been provided to be by other individuals including but is not limited to witnesses or confidential informant, or is
based on a review of various law enforcement reports, records and documents. Because this affidavit is being
submitted for the limited purpose of establishing probable cause in support of the criminal information, I have
not included every fact known to me or the State regarding this ongoing investigation.
II. PROBABLE CAUSE
5. On July 22, 2026, I received access to a digital video recording (Exhibit A) and a search warrant receipt (Exhibit
B) pertaining to a search of RAWEQUALS (“Raw”) executed by the Complainant, lmBigPoe (“Poe”).
6. Your affiant is aware that Poe is a Deputy First Class with the RCSO and is assigned to the Special Response
Team. Pursuant to 9 R. Stat. § 331.201, Deputy Poe is duly empowered with peace officer authority to execute
search warrants within the corporate limits of Ridgeway County, including the City of Milton.
7. I made the following observations from Exhibit A, which I am aware was recorded by Deputy Poe on or about
July 7, 2026, at approximately 9:30 PM GMT. I observed from Exhibit A a dialogue between Deputy Poe and
ToxiEzPz, who is a member of Moderation. From this dialogue, I am aware that the moderator instructed Deputy
Poe to conduct a search of Raw’s residence, vehicles, and his person.
8. I observed from Exhibit A that forty-one (41) Para 17 firearms and seventy-six (76) Military Files were recovered
from a secured house vault at 4 Sapphire Street, Milton, Ridgeway County. I am aware that at the time of the
search, Raw was the legal owner of the property.
9. From my experience and training, as well as knowledge of game mechanics, I am aware that the standard
Ridgeway Firearm Licence (RFL) or Advanced Firearm Licence (AFL) appears in a person's inventory if the
person is a valid holder of the respective licences.
10. I observed from Exhibit A, during the search of Raw’s person at 4 Sapphire Street, Raw had no RFL or AFL on his
person.
11. From my experience and training, as well as knowledge of game mechanics, I am aware that RAWEQUALS
maintained exclusive care, custody and control over the house vault and its contents.
12. From my experience and training, I am aware that the Para 17 is a semi-automatic pistol firearm with a
maximum bullet capacity of seventeen (17). The volume of contraband seized, specifically the forty-one (41)
identical high-capacity semi-automatic pistols, is inconsistent with personal use. Due to the placement of these
items in a restricted-access vault inside Raw’s primary residence, it can be reasonably inferred that he had
actual knowledge of both the presence and the illicit nature of these items.
13. As prescribed by Section 4 of The Firearm Licences Act of 2026, any weapon with a magazine capacity of more
than fifteen (15) bullets is defined as high capacity. Section 6 of the Act criminalises ownership or usage of
these weapons without an AFL.
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0717 07/26/2026
14. A search receipt (Exhibit B) produced by Deputy Poe confirmed the recovery and seizure of the items described
by paragraph 8 in this affidavit.
15. On or about July 24, 2026, I conducted an interview with Deputy Poe (Exhibit C), during which he confirmed the
following key facts regarding the search. The search was executed as a ban search warrant following Raw
leaving during a prior search warrant. Under direction of a moderator, Raw was instructed to purchase a house,
and the scope authorised searching all vehicles, the residence and his person in accordance with his previous
search warrant.
16. Deputy Poe stated to me that he did not check law enforcement records whether Raw had possession of an RFL
because the Para 17 pistols are weapons that remain illegal to possess regardless of an RFL due to their high
capacity.
17. Deputy Poe confirmed that Raw presented no authorisation from the Department of Defense nor claimed any
legal justification to possess the seventy-six (76) seized Military Files.
18. Deputy Poe confirmed serving a copy of Exhibit B directly to Raw via Direct Messages to Discord username
@Plegged.
III. JURISDICTION AND VENUE
19. The Alleged Offences set forth by paragraph 1 in this affidavit occurred within the City of Milton, which is
subject to the laws of the State of Ridgeway.
20. Pursuant to 9 R. Stat. § 331.203, the RCSO holds jurisdiction to exercise peace officer authority within the
corporate limits of Ridgeway County. Furthermore, pursuant to 9 R. Stat. § 331.405, the CID is empowered to
conduct this criminal investigation.
21. Your affiant is aware that this court has jurisdiction of the criminal case to “exercise original jurisdiction for all
civil and criminal cases or controversies” under Rid. Const. art. V, § 4. Additionally, this court holds territorial
and subject matter jurisdiction over the Alleged Offences, and venue is proper for the issuance of the requested
criminal process in the above-entitled matter.
IV. CONCLUSION
22. Based on the evidence seized, digital recording evidence and officer statements as detailed above, your affiant
submits there is probable cause to believe that RAWEQUALS violated 2 R.C.C § 30, Unlawful Possession of a
Firearm with Intent to Sell; and seventy-six (76) counts of 2 R.C.C § 37, Unlawful Possession of a Military
Record. At 4 Sapphire Street, Milton, Ridgeway County, he was in constructive possession of forty-one (41) Para
17 firearms without an RFL or AFL, and seventy-six (76) Military Files without Department of Defense
authorisation or other legal justification.
APPENDIX OF EVIDENCE
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0717 07/26/2026
ID SOURCE / DESCRIPTION
Exhibit A Digital Video Recording from youtube.com.
(https://youtu.be/hphL2v7XkVo)
Exhibit B Search warrant receipt
(https://docs.google.com/document/d/1jnJ7vDtKrchVNA
rr6UT4m1-e0maVn5rmzvx0ox4KeoY/view)
Exhibit C Digital Recording / Transcript of CID Interview with DFC
lmBigPoe
(https://drive.google.com/file/d/1FLGEXSn8KS5-LPOUv76
UUGnAAQQkObl8/view?usp=sharing)
Your affiant declares under penalty of perjury that everything stated in this document is true and correct to the best of
my knowledge and belief.
Affiant /s/ atlantxic
Detective, Criminal Investigations Division
Ridgeway County Sheriff’s Office
Executed:
07/26/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor /s/ Wynneboy2010
State Attorney
State of Ridgeway Department of Justice
Executed:
08/11/2026
CRIMINAL INVESTIGATIONS DIVISION RIDGEWAY COUNTY SHERIFF’S OFFICE
CASE NUMBER INVESTIGATION REPORT DATE
CID-0717 07/26/2026