IN THE SUPERIOR COURT
FOR THE
STATE OF RIDGEWAY
THE STATE OF RIDGEWAY,
Plaintiff,
v.
NAHHIMDIFF,
Defendant.
Docket No. RCS-CM-4992
AFFIDAVIT OF PROBABLE CAUSE
I, Deputy Attorney General Detachment_Result, acknowledge that this is a statement
made in support of the summons or arrest warrant of nahhimdiff, pursuant to Rid. R. Crim. P.
3(6)(1). The facts and information in this statement are based upon my training, experience,
personal knowledge, and observations. This statement contains the information necessary to
support probable cause for an Information and is not intended to include every fact and matter
observed by me.
I. INTRODUCTION
1. I am currently employed as the Deputy Attorney General of the Department of Justice. I
originally joined the Department of Justice on August 10, 2025. I have prosecuted nearly
80 criminal cases before this Court.
2. Previously, I was employed by the Palmer Police Department between March 10, 2026 to
June 17, 2026.
3. I have been a certified police officer through the Law Enforcement Training Center since
March 1, 2026, and have received training on identifying probable cause.
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4. Based on the information and my observations, I have probable cause to believe that
nahhimdiff has committed:
a. R.C.C. § 2.06 - Aiding Escape
II. PROBABLE CAUSE
5. On August 3, 2026, I was in the area of 4000 Majellan Way in Sterling Heights when I
observed a person walking away from an unmarked police vehicle. The vehicle was
unoccupied, but had its emergency lights on. I observed that the person walking away
was in handcuffs. I know this because they walked with a slower pace, had their hands
behind their back, and had a red handcuff symbol above their head. Based on my training
and experience, this is consistent with someone who has been detained by the police.
6. I walked up to the detainee, and could identify them as protoevolutionary based on their
visible username above, and consistent with their name being on the playerlist.
7. Shortly thereafter, I observed a blue golf cart stop on the sidewalk nearby, and observed a
person run towards protoevolutionary. I identified this person as nahhimdiff based on
their visible username above, and consistent with their name being on the playerlist.
8. I observed nahhimdiff approach protoevolutionary while simultaneously equipping a
fire-axe.
9. I watched nahhimdiff repeatedly swing the fire-axe at protoevolutionary while repeatedly
asking “should i kill you”? I saw protoevolutionary respond with “yes”.
10. nahhimdiff struck protoevolutionary with the fire-axe multiple times until
protoevolutionary was dead. In the process of doing so, protoevolutionary told
nahhimdiff “thank you nephew”.
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11. Immediately after killing protoevolutionary, nahhimdiff put away the fire-axe and ran
away.
III. STATUTORY DEFINITIONS
12. R.C.C. § 2.06 - Aiding Escape is defined by State law as any person who willfully assists
another in the escape from a state penitentiary, county jail, or the custody of a law
enforcement officer.
a. Based on my training and experience, I know that peace officers will only place
someone in handcuffs when they are either being detained, or arrested. It is
uncommon for a peace officer to have any other reason to place another person in
handcuffs.
b. It is also uncommon for a detainee to be able to freely walk away from a police
cruiser, and when there is no other peace officer in the area. Based on my
observations and experience, I have reason to believe the arresting officer was
killed during the arrest.
c. I have reason to believe that nahhimdiff knew protoevolutionary was in custody
of a law enforcement officer based on the fact he was handcuffed, walked away
from a police cruiser, and consented to being killed by nahhimdiff.
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d. I believe that nahhimdiff had intent to aid in his escape by approaching
protoevolutionary with a fire-axe already equipped, and repeatedly asking if they
should kill him.
e. Accordingly, I have probable cause to believe that nahhimdiff aided in the escape
of protoevolutionary from the custody of law enforcement.
IV. EVIDENCE
(S) Exhibit A
Link to evidence—
https://medal.tv/games/roblox/clips/nf4w5WHCz
Ex2EQf7-?invite=cr-MSw1U24sODQwNjA3Mz
k
Provided by—
Detachment_Result
Recording of the search.
V. CONCLUSIONS AS TO PROBABLE CAUSE FOR A CRIMINAL COMPLAINT
13. Based on the above factual allegations, it is the belief of the undersigned affiant that
probable cause exists that nahhimdiff has violated:
a. R.C.C. § 2.06 - Aiding Escape
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Affiant declares under penalty of perjury that everything stated in this document is
true and correct.
Affiant Detachment_Result
Deputy Attorney General
Department of Justice
Executed:
08/09/2026
Being authorized to prosecute the offenses charged, I approve this information.
Prosecutor Wynneboy2010
State Attorney, Criminal Division
Ridgeway Department of Justice
Executed:
08/18/2026
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