THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
thr33six8,
-against-
wateraero,
Defendant.
TEMP-20260330-599
CIVIL COMPLAINT
Presiding Judge: N/A
thr33six8, proceeding without counsel hereby brings this civil action and for their
allegations against the Defendant, it is alleged as follows:
STATEMENT OF FACTS
1. On the 22nd of March 2026 (UTC), I, the plaintiff, was in Sterling Heights, Ridgeway.
2. I was driving my black Actila while Nikkov_1 was a passenger in the car.
3. Defendant wateraero, who is a corporal of the Ridgeway State Police, was on-duty, and
he was pursuing us.
4. Defendant was driving a ghost Actila from the Ridgeway State Police.
5. At or around 11:52:40 PM UTC, Defendant and Plaintiff both collided into each other at
the gas station in Sterling Heights.
6. Plaintiff began to drive away as Defendant left their vehicle, unholstered his taser, and
tried to drag Plaintiff out of the car while pursuing Plaintiff.
7. Plaintiff got out of his Actila to get in one of the passenger seats, and Defendant
discharged his taser at Plaintiff.
8. The taser shot did not connect.
9. Plaintiff unholstered his Para 17, and he and Nikkov_1 shot at Defendant.
10. Defendant died at or around 11:52:52 PM UTC.
11. At or around 11:52:54 PM UTC, Plaintiff had shot at another Actila 5 times that was
driven by an unrelated individual, thinking that the occupants of the Actila were on
Defendant's side.
12. Plaintiff holstered his Para 17 and began to drive away from the scene at or around
11:52:54 PM UTC.
13. Defendant respawned at or around 11:52:57 PM UTC.
14. At or around 11:53:34 PM UTC, Plaintiff stopped driving on Sterling Memorial Bridge,
got out of his Actila, and communicated the following message to Nikkov_1 with a sign:
"bruh hes gonna LFA us so badly now lol".
15. At or around 11:53:46 PM UTC, Defendant, who was driving the same Actila with
emergency lights activated, was driving on the wrong side of Sterling Memorial Bridge.
16. At 11:53:50 PM UTC, Defendant ran over Plaintiff, who was not in the middle of the
bridge and was communicating "let's drive legal" to Nikkov_1.
17. At 11:53:54 PM UTC, Defendant was killed, but the agent was not Plaintiff.
18. At 11:54:00 PM UTC, Defendant respawned.
19. uhKiwuu, who is a corporal in the Ridgeway County Sheriff's Office, and c4j2y, who is a
police officer of the Milton City Police Department, were on-duty and were engaged in a
pursuit with an unrelated individual after Defendant respawned.
20. Both uhKiwuu and c4j2y broke off from the pursuit to engage Plaintiff.
21. uhKiwuu opened fire on Plaintiff, who was driving his Actila, with her Stetson Cardiac-5.
22. Both uhKiwuu at c4j2y were killed after engaging Plaintiff and Nikkov_1.
23. Plaintiff used the complaint form of the Ridgeway State Police to report wateraero to the
Ridgeway State Police using a video that depicts the facts from 1 to 22 in this complaint.
VENUE
1. Venue is proper in this Court because the alleged actions took place in Sterling Heights,
which is a part of the State Of Ridgeway, and it is therefore subject to the laws of
Ridgeway County as well as the State of Ridgeway.
2. This court, which is the Superior Court of the State of Ridgeway, "shall exercise original
jurisdiction for all civil and criminal cases or controversies under the rules as set by the
Supreme Court" pursuant to Article Ⅴ, Section Ⅳ of the State of Ridgeway's
constitution.
3. Plaintiff is also entitled to remedies for injuries and wrongs to his person under Article
Ⅴ, Section Ⅰ of the State of Ridgeway's constitution.
PARTIES
1. Plaintiff thr33six8 is a citizen of the State of Ridgeway.
2. Defendant wateraero is a citizen of the State of Ridgeway. He is the corporal of the
Ridgeway State Police's Special Weapons and Tactics division, and he has had a
certification from the Law Enforcement Training Institute, which is often abbreviated as
LETC.
a. Defendant is being sued in their official capacity as a corporal of the Ridgeway
State Police.
TORTS AND PRAYERS FOR RELIEF
1. Plaintiff accuses Defendant of the following torts:
a. Official Misconduct
i. Defendant is a public servant, for he is a corporal of the Ridgeway State
Police.
ii. Defendant has committed an act that is related to their office, for he has
attempted to arrest/seize Plaintiff as an officer of the law.
iii. Defendant knows how he did such act/exercise is unauthorized, for
Defendant:
1. has violated the use of force model by running Plaintiff (who was
not a lethal threat there) over, which counts as deadly force, and
therefore violating the use of force model as deadly force is to only
be used by police officers on subjects who the police have
probable cause to be a lethal threat.
2. Plaintiff requests that the relief for the tort be as follows:
a. Defendant be held liable for committing this tort, and
b. $125 in punitive damages or $1 in nominal damages.
DATED: March 30th, 2026 at 3:28 AM UTC
Respectfully submitted,
———————————————
thr33six8
Plaintiff
/s/ thr33six8