RIDGEWAY SUPERIOR COURT
FOR THE COUNTY OF RIDGEWAY
Detachment_Result,
Plaintiff,
v.
ol1ievia,
Defendant.
CIVIL ACTION
COMPLAINT
Plaintiff Detachment_Result (“Plaintiff”), by and through the undersigned counsel,
seeking all available relief, in their complaint against Defendant ol1ievia (“Defendant”),
alleges the following:
INTRODUCTION
1. On July 13th, 2025, Plaintiff had observed Defendant’s vehicle turn right
onto RNG Island road in Oakland towards the base, with their headlights off and at speed.
It was unusual and made Plaintiff curious.
2. Plaintiff observed Defendant’s vehicle enter the water beside the bridge.
Plaintiff accelerated towards the car, in hopes of recusing them.
3. As Plaintiff pulled up at the scene, Defendant walked out from the water,
immediately shooting into the windshield of Plaintiff’s vehicle. Defendant striked
Plaintiff a number of times.
4. Plaintiff got out of their car, to show they were unarmed and not a threat.
Defendant reloaded, and continued to shoot Plaintiff until they died.
5. Defendant then walked towards Plaintiff’s car, getting into it, and driving it
directly into the water.
6. Defendant swam out of Plaintiff’s now submerged vehicle, walking away
saying only “xd”.
JURISDICTION
7. This court has original jurisdiction over “all civil and criminal cases or
controversies." Rid. Const. art. 5, § 4.
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8. Venue is proper in this court because the actions and omissions alleged in
this complaint took place in the State of Ridgeway.
PARTIES
9. Detachment_Result (“Plaintiff”) is an individual, resident, and citizen of the
State of Ridgeway. Detachment_Result is a Security Personnel with RCU Corporate
Security, and is suing in their individual capacity.
10. ol1ievia (“Defendant”) is an individual, resident, and citizen of the State of
Ridgeway.
FIRST CAUSE OF ACTION
Wrongful Death - 1 R. Stat. § 3109
11. All prior paragraphs within this complaint are incorporated as if they were
fully set forth herein.
12. Defendant did cause the death of another individual without legal cause or
justification by shooting and killing them with a handgun.
FIRST CAUSE OF ACTION
Trover - 1 R. Stat. § 3113
13. All prior paragraphs within this complaint are incorporated as if they were
fully set forth herein.
14. Defendant did wrongfully take Plaintiff’s vehicle without legal reason or
justification by entering their car and driving it into the water.
RELIEF
WHEREFORE, Plaintiff prays that the court enter judgment in their favor and
against Defendant as follows:
a. Awarding compensatory damages to Plaintiff in an amount to be
determined at trial;
b. Awarding punitive damages to Plaintiff not to exceed the statutory limit;
c. Awarding the costs of this action, including attorney fees, to Plaintiff;
d. Such further relief as the court deems just and proper.
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Dated: July 13th, 2025
Respectfully submitted,
/s/Detachment_Result
Detachment_Result (State Bar No. 11103)
Counsel of Record
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