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IN THE RIDGEWAY SUPERIOR COURT
FOR THE COUNTY OF RIDGEWAY
CARTELENTHUSIAST,
Plaintiff,
v.
MESII_10ISTHEBEST,
Defendant.
CIVIL ACTION NO. _____
CIVIL COMPLAINT
Plaintiff CartelEnthusiast (“Cartel”) hereby brings this civil action in the State of
Ridgeway and for their complaint against mesii_10isthebest (“Mesi”) alleges as follows:
JURISDICTION AND VENUE
1. The Ridgway Superior Court is the court of competent jurisdiction over this
matter pursuant to Article V, Section IV of the Ridgeway State Constitution.
2. Venue is correct in Ridgeway County as the alleged actions occurred within the
city of Milton.
3. This is an action brought under 1 Ridg. Stat. § 3102, 3103, 3109, and 3113 to
recover damages for this instance of unconsented harm, offensive contact, wrongful death, and
loss of personal property.
4. Venue is proper in this county because a substantial part of the events or omission
giving rise to the claims occurred here.
5. Jurisdiction of this court is invoked pursuant to Ridg. Const. Art. V, § IV.
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PARTIES
6. Plaintiff Cartel is a resident of Ridgeway County, State of Ridgeway.
7. Defendant Mesi are, upon information and belief, residents of Ridgeway County,
State of Ridgeway.
STATEMENT OF FACTS
8. On the afternoon of July 21, 2025, Mr. Cartel was operating a personally owned
lawn mower, mowing the grass directly in front of the Racine Manor.
9. At this same time, on the afternoon of July 21, 2025, Defendant Mr. Mesi was
operating a semi truck without load and drove past Mr. Cartel on the road adjacent to where the
plaintiff was operating a lawn mower.
10. Defendant Mr. Mesi suddenly and without warning stops his vehicle in the right
lane of passage, briefly reversed his vehicle, then exited his vehicle to equip a firearm and shoot
Mr. Cartel numerous times while on his lawn mower.
11. This violent action from Mr. Mesi resulted in the wrongful death of Mr. Cartel.
12. Despite the death of Mr. Cartel due to the actions of the Defendant, Mr. Mesi then
approached the body, lawn mower, and surrounding area of Mr. Cartel, taking all money in his
wallet, his personally owned firearm, and two boxes of ammunition for that firearm.
FIRST CAUSE OF ACTION
1 R. Stat. § 3102—Battery
13. Mr. Cartel incorporates and realises all prior paragraphs as if they were fully set
forth herein.
14. Defendant Mr. Mesi acted intentionally by stopping his vehicle and shooting Mr.
Cartel.
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SECOND CAUSE OF ACTION
1 R. Stat. § 3103—Assault
15. Mr. Cartel incorporates and realises all prior paragraphs as if they were fully set
forth herein.
16. Defendant Mr. Mesi acted intentionally by voluntarily causing immediate harmful
contact to Mr. Cartel by shooting him numerous times.
THIRD CAUSE OF ACTION
1 R. Stat. § 3109—Wrongful Death
17. Mr. Cartel incorporates and realises all prior paragraphs as if they were fully set
forth herein.
18. Defendant Mr. Mesi acted intentionally by exiting his vehicle and shooting Mr.
Cartel numerous times at close range, causing his immediate death.
FOURTH CAUSE OF ACTION
1 R. Stat. § 3113—Theft/Trover
19. Mr. Cartel incorporates and realises all prior paragraphs as if they were fully set
forth herein.
20. Defendant Mr. Mesi acted intentionally by voluntarily taking the items dropped
by Mr. Cartel after his death, being all cash in his wallet, his personally owned firearm, and two
boxes of ammunition.
PRAYER FOR RELIEF
Plaintiff respectfully prays for and requests that the Court issue the following relief:
21. Punitive damages in the amount of $18,000;
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22. Compensatory damages in an amount to be determined at trial, including but not
limited to damages for physical injuries, wrongful death, pain and suffering, loss of time,
inconvenience, loss of work time, and other economic and non-economic losses;
23. Pre-judgment and post-judgment interest; and
34. Such other and further relief as the Court deems just and proper.
Dated: July 21, 2025 Respectfully submitted:
___________________________
CartelEnthusiast, Attorney at Law
Counsel of Record
Lic. #: 11107
Palmer, RW 82939
[email protected]
Plaintiff Pro Se
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Document record
File size
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Uploaded
Jul 21, 2025 11:06 PM
Filed
Jul 21, 2025 11:06 PM
Filing code
TEMP-20250721-146
Uploaded by
CartelEnthusiast
Notes
Civil Complaint for CartelEnthusiast v. mesii_10tishebest