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RIDGEWAY SUPERIOR COURT
FOR THE COUNTY OF RIDGEWAY
Detachment_Result,
Plaintiff,
v.
AlexanderLuthorJr,
Defendant.
AFFIDAVIT IN SUPPORT OF
MOTION FOR TEMPORARY
RESTRAINING ORDER
I, Detachment_Result, being duly sworn, do hereby declare and state as follows:
1. I am a resident and citizen of the State of Ridgeway and a Security
Personnel employed by RCU Corporate Security. I am competent to make
this affidavit.
2. I make this affidavit in support of my request for a Temporary Restraining
Order and Preliminary Injunction against AlexanderLuthorJr, pursuant to
Rid. R. Civ. P. 47.
3. On or about the 16th of July, 2025, I was returning from a delivery run.
When I approached the garage at the RCU building in Sterling Heights, I
observed AlexanderLuthorJr waiting outside. When the garage opened,
AlexanderLuthorJr walked inside with a shotgun, appearing to wait for me.
I called the police, who responded and attempted to detain
AlexanderLuthorJr. AlexanderLuthorJr then proceeded to shoot at the
police officers. I believe AlexanderLuthorJr had been waiting for me
specifically, and intended on causing harm.
4. Immediately after this incident, AlexanderLuthorJr took to the RCU
Discord. See Exhibit A for the message they sent.
5. AlexanderLuthorJr also sent more threatening messages in other Discords,
such as this one in Exhibit B.
6. I did not provoke these encounters and have not engaged in any conduct
that would justify such behaviour from AlexanderLuthorJr.
7. I believe that unless restrained by this Court, AlexanderLuthorJr will
continue to approach, threaten, harass, or harm me. I am in fear for my
safety.
8. Because of these repeated assaults, I avoid areas where AlexanderLuthorJr
may be present and have fear of attending work-related duties.
9. I believe that immediate and irreparable harm will occur if the Court does
not intervene to prohibit AlexanderLuthorJr from contacting or approaching
me.
10. I request that the Court issue a Temporary Restraining Order and set a
hearing for a Preliminary Injunction.
I declare under penalty of perjury that the foregoing is true and correct to the best
of my knowledge.
Dated: July 16th, 2025
Palmer, Ridgeway County
Respectfully submitted,
Detachment_Result
Detachment_Result (State Bar No. 11103)
Counsel of Record
Nicklaus, Popplewell & Associates LLP
Lander Civic Center, Suite 324
Lander, Mayflower 19000
Tel: (212) 558-4000
Fax: (212) 558-3588
Email: [email protected]
Attorney for Plaintiff