SUPERIOR COURT OF RIDGEWAY
RIDGEWAY COUNTY
MR.
definednotX
PLAINTIFF
AGAINST
MR. HxgoNix
DEFENDANT(s)
Docket NO ___________
CIVIL COMPLAINT
Plaintiff, definednotX, files this civil complaint against the aforementioned defendant(s), alleging the following;
NATURE OF THE COMPLAINT
(8)
Introduction
This is a civil action for damages arising from the reckless endangerment encountered from
the defendant, whilst the defendant was in contact with the plaintiff, in his vehicle. Hxgonix
a law enforcement officer acting under the color of law in the State of Ridgeway.
Plaintiff alleges that Defendant arrested him legally, although when entering the holding
cells the defendant drove very recklessly and endangering the plaintiff.
Parties
Plaintiff, definednotX is a citizen of the State of Ridgeway, hoping to join Law Enforcement
in the future.
Defendant, HxgoNix is a law enforcement officer with the Ridgeway Sheriff’s Office, acting
in his official capacity. He was responsible for the reckless endangerment.
Jurisdiction
The Superior Court of Ridgeway has jurisdiction over the action under the laws of the State
of Ridgeway.
Venue is correct in this Court because of the events rising to this action occurred within
Ridgeway County.
(9)
Statement of Facts
On the 7th of July 2025, Plaintiff was participating in a robbery at Pizza Shack by Bloxmart in
Palmer, the Defendant acted accordingly and arrived on scene.
Hxgonix arrived on scene and the plaintiff started shooting him, Hxgonix then decided to taze in a
gun fight.
The Defendant, Hxgonix took the Plaintiff to the station accordingly as the defendant is meant to,
to process the Plaintiff.
The Defendant was recklessly driving, and endangering the public - with the Defendant’s
Emergency Light System activated, this does not mean the Defendant can endanger the public,
and the Plaintiff.
The Defendant had drove down to the Palmer Police Department to book the Plaintiff; upon
driving down the Defendant had crashed into the parking lot walls hurting the Plaintiff.
As a result of the Defendant’s reckless driving and subsequent arrest, Plaintiff suffered from,
emotional distress.
Cause of Action
All SBs are in Vehicle Code
First Cause of Action: Failure to Maintain Lane (VCODE) x2
§ 7.09
Second Cause of Action: Unsage Operation of an Emergency Vehicle
§ 7.16
Third Cause of Action: Reckless & Careless Driving
§ 7.02
§ 7.01
The arrest was truthful although the driving and the pain the Plaintiff suffered is not legal.
Plaintiff seeks damages for the careless driving and misuse of a emergency vehicle, including
compensatory and punitive damages.
Prayer for Relief:
WHEREFORE, Plaintiff definednotX prays for judgment against Defendant HxgoNix as follows:
For compensatory damages in an amount to cover property damage, emotional distress, and
other economic and non-economic damages;
For punitive damages in an amount up to the statutory maximum;
For an order declaring the arrest false and expunging the arrest record;
For reasonable attorney’s fees and court costs;
For such other, further, or different relief as the Court may deem just and proper.
DATED the 7th DAY of July, 2025 PLAINTIFF
/s/ definednotX