DISTRICT COURT OF THE STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
0xSyns,
-against-
xStephanieisabaddiex,
Defendant.
Case No. tbd
COMPLAINT
Plaintiff 0xSyns, brings this action for damages against Defendant and alleges as
follows:
JURISDICTION AND VENUE
1. This court has original jurisdiction over “all civil and criminal cases or
controversies.” Rid. Const. art. 5, § 4.
2. Venue is proper in this Court as the events giving rise to this Complaint occurred
within the State of Ridgeway.
PARTIES
3. Plaintiff 0xSyns is an individual and a citizen and resident of the State of Ridgeway.
4. Defendant xStephanieisabaddiex is, upon information and belief, an individual
residing within the State of Ridgeway.
FACTUAL ALLEGATIONS
5. On or about July 14, 2025, Plaintiff was lawfully situated inside his vehicle
6. At that time, Defendant arrived at the location in another vehicle, exited, and
approached the Plaintiff.
7. Without provocation or legal justification, Defendant brandished a firearm and
intentionally caused Plaintiff to experience a reasonable apprehension of imminent
and fatal harmful contact.
8. Immediately thereafter, Defendant intentionally and without legal justification
discharged the said firearm multiple times at the Plaintiff.
9. The Defendant's shots struck the Plaintiff, constituting an unconsented, harmful,
and offensive contact.
10. Defendant continued this assault until her actions were the direct and proximate
cause of the death of 0xSyns.
FIRST CAUSE OF ACTION (Assault - 1 R. Stat. § 3104)
11. Plaintiff realleges and incorporates by reference the preceding paragraphs.
12. Defendant’s act of brandishing and then firing a firearm at 0xSyns intentionally
and voluntarily caused 0xSyns the reasonable apprehension of an immediate and
fatal harmful contact.
13. This act constitutes the tort of assault, and as a direct and proximate result,
0xSyns suffered extreme emotional distress and fear of imminent death.
SECOND CAUSE OF ACTION (Battery - 1 R. Stat. § 3102)
14. Plaintiff realleges and incorporates by reference the preceding paragraphs.
15. Defendant’s act of shooting 0xSyns constituted an unconsented, harmful, and
offensive contact with 0xSyns's person.
16. As a direct and proximate result of Defendant's battery, 0xSyns suffered injury
culminating in death.
THIRD CAUSE OF ACTION (Wrongful Death - 1 R. Stat. § 3109)
17. Plaintiff realleges and incorporates by reference the preceding paragraphs.
18. Defendant’s wrongful act of shooting and killing 0xSyns without consent or legal
justification directly resulted in the death of 0xSyns.
19. As a direct and proximate result of Defendant's wrongful act, 0xSyns has
suffered damages, including the loss of life.
WHEREFORE, Plaintiff, 0xSyns, respectfully requests that this Court enter judgment
in his favor and against Defendant, xStephanieisabaddiex, and grant the following
relief:
a. Compensatory damages in an amount to be determined at trial;
b. Punitive damages for the act of assault in an amount up to the maximum allowed
by law, Three Thousand Five Hundred Dollars ($3,500);
c. Punitive damages for the act of battery in an amount up to the maximum allowed
by law, Two Thousand Five Hundred Dollars ($4,500);
d. Punitive damages for the act of wrongful death in an amount up to the maximum
allowed by law, Five Thousand Dollars ($5,000);
e. Any and all other relief that this Court deems just and proper.
Respectfully submitted,
Dated: July 14, 2025
/s/0xSyns
0xSyns