STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT FOR THE COUNTY OF RIDGEWAY
Civil Division
Case No. RSC-CV-2876
DEFENDANT’S FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF
TO: Plaintiff
FROM: Defendant, Andrew_DeRosa, by and through counsel DJAMAF1, Esq. (Bar No. 11108)
Pursuant to the Ridgeway Rules of Civil Procedure, Defendant propounds the following
Requests for Production, Requests for Admission, and Interrogatories to be answered or
responded to fully and separately, under oath where applicable, within the time limits prescribed
by the Rules of Court.
I. REQUESTS FOR PRODUCTION OF DOCUMENTS
Please produce the following:
1. All documents related to the incident that gave rise to this lawsuit.
2. All written or recorded communications between you and Andrew_DeRosa.
3. All photographs, videos, or recordings related to the alleged incident.
4. All documents showing any injuries or damages related to the incident.
5. All documents supporting any claimed damages (receipts, invoices, pay stubs,
screenshot of inventory, etc.).
6. Any witness statements obtained by Plaintiff or on Plaintiff’s behalf.
7. Any police or incident reports related to the alleged occurrence.
8. Any expert witness reports or findings intended for use at trial.
9. Any social media posts, Discord messages, or public statements relating to the incident.
10. Any documents previously provided to the other shooter involved in the incident.
II. REQUESTS FOR ADMISSION
Please admit or deny the following statements:
1. Admit that you communicated with Andrew_DeRosa after the incident.
2. Admit that another individual besides Andrew_DeRosa was involved in the incident.
3. Admit that you did not see Andrew_DeRosa discharge a weapon during the incident.
4. Admit that you suffered no permanent injury as a result of the incident.
5. Admit that you have no physical evidence proving Andrew_DeRosa completely caused
your damages.
6. Admit that this is your first legal action involving the alleged incident.
7. Admit that you have posted about this incident on Discord or other platforms.
8. Admit that you have spoken to the other shooter since the incident.
9. Admit that Andrew_DeRosa was not the only armed individual present.
10. Admit that Andrew_DeRosa did not fully cause your damages.
11. Admit that you did not incur any monetary damage as a result of the incident.
12. Admit that you do not know who is individually responsible for your injuries/death.
13. Admit that you did claim you would drain Andrew_DeRosa’s bank account.
III. INTERROGATORIES
DEFINITIONS & INSTRUCTIONS
● “You” or “Your” refers to the Plaintiff and any agents, representatives, or persons
acting on their behalf.
● “Identify” means to provide, where applicable, full name, address, contact information,
and relationship to the case.
● Responses must be full and complete. If any interrogatory is objected to, state the
reason and respond to the extent the question is not objectionable.
INTERROGATORIES
1. State your full legal name, and any aliases used.
2. Identify all persons who witnessed or have knowledge of the events described in your
complaint.
3. Describe in detail the events that gave rise to this lawsuit, including date, time, and
location.
4. List and describe any damages (economic or non-economic) you are claiming as a result
of the alleged incident.
5. Identify any written or recorded communications (including Discord, email, or messages)
you had with the Defendant.
6. Identify all documents that support your claims in this case.
7. State whether you have been involved in any previous legal proceedings related to this
incident.
8. Identify all persons you intend to call as witnesses at trial and summarize their expected
testimony.
9. Identify any photographs, recordings, or other physical evidence you intend to introduce
at trial.
10. Explain in detail the reason(s) you believe Andrew_DeRosa is fully liable for your
damages and not the other shooter.
11. Explain in detail why you chose to sue Andrew_DeRosa instead of the other shooter.
12. What is the total personal monetary damages you faced?
13. Did you get into a voice chat with Andrew_DeRosa and claim that you would drain his
bank account as a result of this lawsuit?
IV. CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing Discovery Requests was served
upon the Plaintiff or Plaintiff’s counsel on this 25th day of July, 2025 via Discord.
Respectfully submitted,
DJAMAF1
DJAMAF1, Esq.
Bar No. 11108
Attorney for Defendant Andrew_DeRosa
Discord: DJAMAF2010
State of Ridgeway