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520 Third Street, Suite 330 • Mersea, MF 10007
(123) 456-7890 • [email protected]
250 Farley Street • Palmer, RW 90025
(123) 456-7890 • [email protected]
NICKLAUS_S, Partner
NOTSFEELINGS, Partner
July 26th, 2025
Sensitive
Subj: Discovery Requests in Regards to RSC-CV-2876
To whom it may concern,
Plaintiff RichardLennox, represented by the undersigned counsel, hereby submits their
response to the Defendant’s discovery requests, which include:
- Requests for Production
- Requests for Admission
- Interrogatories
Requests for Production
1. All documents related to the incident that gave rise to this lawsuit
a. N/A - lawsuit originated from the recorded provided in line 3.
2. All written or recorded communications between RichardLennox and Andrew_DeRosa
a. https://gyazo.com/5d9b833463d51d7f78e1678d5def8019
b. https://medal.tv/games/roblox/clips/kLzt1HIW3-9dA7iDV?invite=cr-MSxsdW4s
MjQ1Mzg2Njg (Drive Link here)
3. All photographs, videos, or recordings related to the alleged incident
a. https://medal.tv/games/roblox/clips/kGy2E8KlDBkC_bdBy?invite=cr-MSxlRW4
sMjQ1Mzg2Njg (Drive Link here)
4. All documents showing any injuries or damages related to the incident
a. https://medal.tv/games/roblox/clips/kGy2E8KlDBkC_bdBy?invite=cr-MSxlRW4
sMjQ1Mzg2Njg (Drive Link here)
5. All documents supporting any claimed damages
a. https://court-documents.85e540751a02b36bb1cba5595cfcdff0.r2.cloudflarestorag
e.com/cases/RSC-CV-2876/documents/complaint-1752495064850-Andrew_DeR
osa_-_CIVL_COMPLAINT.pdf?X-Amz-Algorithm=AWS4-HMAC-SHA256&X-
Amz-Content-Sha256=UNSIGNED-PAYLOAD&X-Amz-Credential=5aae9f6e6f
a048bb16acf496a72f1a4a%2F20250726%2Fauto%2Fs3%2Faws4_request&X-A
mz-Date=20250726T143640Z&X-Amz-Expires=3600&X-Amz-Signature=e6f75
da0f3366345e9675c9b7b02da1c18bb24a211e070db45dd470a221d529f&X-Amz-
SignedHeaders=host&x-amz-checksum-mode=ENABLED&x-id=GetObject
6. Any witness statements obtained by RichardLennox or on RichardLennox’s behalf
a. N/A
7. Any police or incident reports related to the alleged occurrence
a. N/A
8. Any expert witness reports or findings intended for use at trial
a. SheIbyy1 (shelby2743) will testify as an expert witness.
b. SheIbyy1 is a Park Ranger I with the Ridgeway Park Service and a certified
police officer.
c. SheIbyy1’s expected testimony will be in-regards to the malicious intent and
conduct that Andrew_DeRosa expressed during the incident.
d. SheIbyy1’s testimony is relevant because of their background in dealing with
incidents involving firearms, deaths. They also may testify to their personal
knowledge and experience with Andrew_DeRosa in relation to past incidents
involving firearms and death.
9. Any social media posts, Discord messages, or public statements relating to the incident
a. https://gyazo.com/5d9b833463d51d7f78e1678d5def8019
10. Any documents previously provided to the other shooter involved in the incident
a. Objection. Vague. It is unclear what documents are being requested.
Requests for Admissions
1. Admit
2. Admit
3. Deny
4. Objection. Vague. There is no such thing as permanent injuries in Roblox wrongful death
cases because of respawns. An injury did occur, which was caused by Andrew_DeRosa.
5. Deny
6. Admit
7. Admit
8. Deny
9. Admit
10. Deny
11. Deny
12. Deny
13. Objection - Relevance?
Interrogatories
1. RichardLennox
2. Myself, the Defendant, SoupRokossovsky, AfricaFarmer
3. On 7/13/2025 at approximately 17:21 EST, I was responding to gunshots I heard at
Palmer Car Dealership. When I arrived to the scene, I questioned the only individual
present regarding the incident that I had heard. Before I was able to gain a complete
understanding of the situation, defendant drove up behind me and fired his weapon at me,
killing me, despite my clear presentation as a Law Enforcement Officer.
4. Suffering caused by the conduct of the defendant and their use of a firearm against me. It
caused me distress.
5. https://gyazo.com/5d9b833463d51d7f78e1678d5def8019
6. My recording of the shooting and the Civil Action that has been filed.
7. I have not
8. SoupRokossovsky: they will testify that I was murdered by the defendant. AfricaFarmer:
they will testify that defendant intended to and did murder me.
9. https://medal.tv/games/roblox/clips/kGy2E8KlDBkC_bdBy?invite=cr-MSxlRW4sMjQ1
Mzg2Njg
10. I believe that Andrew_DeRosa is liable for my wrongful death because they were the first
to shoot me. In my recording, you can see that Andrew_DeRosa got out of the car first,
and shot me first. Andrew_DeRosa continued shooting at me, causing significant harm.
Whereas it may be difficult to determine who fired the last bullet, Andrew_DeRosa is
definitely liable for causing my wrongful death. By being the first to shoot, continuing to
shoot until I was dead, makes him liable.
11. I chose to sue Andrew_DeRosa primarily because at the time of the incident,
AfricaFarmer was a tourist to the State of Ridgeway, whereas Andrew_DeRosa was a
resident. Additionally, I strongly believe that Andrew_DeRosa is liable for causing my
wrongful death.
12. $5000
13. I spoke in a voicechat where Andrew_DeRosa may have been a participant of. I did make
a statement similar to that. I have no knowledge of how much money Andrew_DeRosa
owns, and when you compare to my relief sought after of $5,000, I would be unable to
make such a valid claim. That statement was not valid or truthful. It does not change the
fact that Andrew_DeRosa is liable for my wrongful death, which is why I have brought
this suit against him.
Sincerely,
RICHARDLENNOX
Plaintiff
DETACHMENT_RESULT
Summer Associate
NOTSFEELINGS
Partner