THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
THR33SIX8
Plaintiff,
-against-
DOMINODOWNLOAD, in his official capacity as a
corporal of the Ridgeway State Police
pursuant to The Torts And Civil Procedure
Act of 2026 § 205(d)(ⅱ)/7 R. Stat. §
121.404; NISICULT, in his official capacity as a
police officer of the Milton City Police
Department pursuant to The Torts And Civil
Procedure Act of 2026 § 205(d)(ⅱ)/7 R. Stat.
§ 121.404; the RIDGEWAY STATE POLICE; and
the MILTON CITY POLICE DEPARTMENT.
Defendants.
RSC-CV-6949
PLAINTIFF'S DOCUMENT OF
DISCLOSURES
Presiding Judge: Hon. EffortlessBrit
thr33six8, proceeding without counsel hereby files these disclosures of evidence and
witnesses.
MATERIAL EVIDENCE
# PREVIEW + URL DESCRIPTION
1 A video. I believe this does not show anything before Compl. ¶ 12.
It is also the video that I submitted at Compl. ¶ 26.
2 A video that depicts Plaintiff killing xJvmma as said in Compl. ¶ 3.
3 A longer video. Shows me driving to Sterling from Palmer after I
had killed xJvmma.
4 The department policy of the Ridgeway State Police.
5 The code of conduct of the Ridgeway State Police.
6 The code of conduct of the Milton City Police Department.
7 The database of individuals' peace officer certifications, provided
by the Law Enforcement Training Center.
Note that Dominodownload has had his peace officer certification
since 2021-01-31, and nisicult has had his since 2026-02-08.
8 A leaked copy of the Law Enforcement Training Center's
curriculum. States it was revised on 2022-11-13, and states it is
dated 2020-07-09.
Please see the attached brief.
9 The announcement of the graduation of LETC Class 2, which is the
class that Dominodownload graduated from. Roster:
https://drive.google.com/file/d/1gvDIXfUZZu96PSQa4aMjWukrY
wsw9zbD/view?usp=sharing
1
0
A video of all mentions of Domindownload in the #dept-actions
channel in the Ridgeway State Police's discord server. Note that no
recent ones state that he was put on administrative leave.
1
1
A .mp4 video of RSP Sergeant TheNoobykids and the plaintiff
having a conversation regarding the report of Dominodownload.
See. Compl. ¶ 27.
1
2
A video of the exchange of DMs between MCPD Bureau Chief
S_hadowRBLX regarding the investigation that followed Plaintiff's
report about nisicult.
1
3
The ridgeLOG message in the MCPD's Discord server. It has an
embed saying that nisicult was placed on administrative leave.
1
4
The ridgeLOG message in the MCPD's Discord server saying that
nisicult was no longer on administrative leave.
1
5
The ridgeLOG message in the MCPD's Discord server announcing
the subsequent promotion of nisicult.
1
6
Ridgeway's code of statutes before the 2026 code of statutes came
along.
1
7
8 R. Stat. § 2406. Please note Id. at § 2406(d) ("Sustained - The
preponderance of evidence shows that the alleged action did occur
and outweighs any justification or excuse.") (emphasis added).
WITNESSES
# NAME DESCRIPTION
1 Dominodownload:
35533400
Eyewitness.
2 nisicult:10283166
52
Eyewitness.
3 Jem
(@xJvmma:13545
2690)
Eyewitness. See Compl. ¶ 3.
4 Ghost
(@ghostbleed:197
99778)
Eyewitness. See Compl. ¶ 4.
5 spot
(@spothu:198908
5657)
Eyewitness. See Compl. ¶ 13.
6 Rath
(@Rathuzen:3057
7522)
Eyewitness. See Compl. ¶ 15.
7 masterqv:8506497 Eyewitness. See Compl. ¶ 1.
8 GrandmaGotBann
ed2:11056858049
Eyewitness. See Compl. ¶ 1.
9 Big Poe
(@lmBigPoe:1201
35413)
Eyewitness. See Compl. ¶ 19.
10 shmain123:95094
630
Admitted as eyewitness and expert witness. See Compl. ¶ 24.
For Rid. R. Evid. 42–46 purposes, I admit him as qualified in the
realm of law enforcement and use of force, and I admit that he is
an expert by knowledge and experience:
● Qualifications: PSP trooper from 2019-02-10 to
2020-08-18. MCSO major ~2020. Current RCSO
Lieutenant, been employed since 2023-09-26.
11 astrxl
(@TheNoobykids:
504541539)
Admitted as an eyewitness.
12 Shadow
(@S_hadowRBL
X:118369763)
Admitted as an eyewitness.
13 mattcern:4703535
0
Eyewitness. (Note that he is representing the Ridgeway State Police
as an individual defendant since he was served the complaint on the
record. See Rid. R. Civ. Pro. 4(d)(2).)
For Rid. R. Evid. 28 purposes, I believe he has personal
knowledge of facts like Compl. ¶ 19 (Dominodownload killing the
plaintiff) because of the report made on Dominodownload. Compl.
¶ 27.
14 Cephal
(@CephalGPT:
50546640)
For Rid. R. Evid. 42–46 purposes, I admit him as qualified in the
realm of law enforcement and use of force, and I admit that he is
an expert by knowledge and experience.
● Qualifications: LETC Director. Former sheriff of the
Ridgeway County Sheriff's Office from 2025-11-01 to
2026-06-22. Has held his peace officer certification since
2021-01-31.
15 Square
(@Squareheaddud
e:3088745)
Eyewitness. For Rid. R. Evid. 28 purposes, I believe he has
personal knowledge of facts like whether or not Defendant
Dominodownload was taught the Use of Force Model in the Law
Enforcement Training Center) because Squareheaddude was the
LETC director when Dominodownload graduated.
Squareheaddude's signature is also found on the Class 2 roster in
Pl. Mat. Ex. 9.
16 goodguywood:101
4205261
Eyewitness.
For Rid. R. Evid. 28 purposes, I believe he has personal
knowledge of facts like whether or not Defendant
Dominodownload was taught the Use of Force Model in the Law
Enforcement Training Center) because goodguywood was the
LETC associate director when Dominodownload graduated.
goodguywood's signature is also found on the Class 2 roster in Pl.
Mat. Ex. 9.
17 Aerium:7188299 Eyewitness.
For Rid. R. Evid. 28 purposes, I believe he has personal
knowledge of facts like whether or not Defendant
Dominodownload was taught the Use of Force Model in the Law
Enforcement Training Center) because Aerium was a senior
instructor when Dominodownload graduated. Aerium's signature is
also found on the Class 2 roster in Pl. Mat. Ex. 9.
DATED: 2026-07-19T15:37:00Z
Respectfully submitted,
———————————————
thr33six8
Plaintiff
/s thr33six8
THR33SIX8
Plaintiff,
-against-
DOMINODOWNLOAD, in his official capacity as a
corporal of the Ridgeway State Police
pursuant to The Torts And Civil Procedure
Act of 2026 § 205(d)(ⅱ)/7 R. Stat. §
121.404; NISICULT, in his official capacity as a
police officer of the Milton City Police
Department pursuant to The Torts And Civil
Procedure Act of 2026 § 205(d)(ⅱ)/7 R. Stat.
§ 121.404; the RIDGEWAY STATE POLICE; and
the MILTON CITY POLICE DEPARTMENT.
Defendants.
RSC-CV-6949
PLAINTIFF'S BRIEF IN SUPPORT OF
THE DISCLOSURE OF PL. MAT. EX. 8
Presiding Judge: Hon. EffortlessBrit
thr33six8, proceeding without counsel hereby files this brief in support of the disclosure
of the leaked copy of the Law Enforcement Training Center's curriculum in Pl. Mat. Ex. 8. The
plaintiff will not address relevancy within the brief's body: this is because the plaintiff believes
that Defendant Dominodownload (and potentially Defendant nisicult) have been taught the
material in this curriculum, which is an inherently relevant fact in order to determine the
"knowing that such act is unauthorized" part of the 7 R. Stat. § 121.404 claim.
GROUNDS FOR DISCLOSURE
1. Legally, it is not classified information.
The plaintiff would like to point out that the current state statutes on classified information
cannot be applied to the leak: the State cannot act on this disclosure, which is due to the U.S.
constitution outlawing state ex post facto laws. U.S. Const. Art. Ⅰ, § 10, cl. 1.
Furthermore, the plaintiff would also like to point out that the document states it is
"confidential": however, this document states that it was revised on November 13, 2022, which is
before the law regarding classification was passed. See Information Classification Act, S6-73,
6th Sen. (2024) (repealed); 8 R. Stat. §§ 8101–8304. The current one, the Classified Information
Act of 2026, shall also not apply since it was published on April 30th, 2026. S.B. 004, 11th Sen.
(2026). Using these laws would be ex post facto. See generally Landgraf v. USI Film Products,
511 U.S. 244 (1994) (affirming the lower court's ruling that the plaintiff was not entitled to relief
due to a law that was passed ex post facto.)
Therefore, the aforementioned copy of the Law Enforcement Training Center is not
classified information because (1) its "confidential" status was made before S6-73 and S.B.
004, therefore making an application of both laws ex post facto.
This conclusion also supports the proposition that protection of information is a right
afforded to the state (which includes all defendants); since this piece of evidence cannot be
confidential, the state does not have a right to exclude the evidence. See Rid. R. Evid. 2(a); see
also Id. at 12.
CONCLUSION
For the foregoing conclusions, the leaked copy of the Law Enforcement Training Center's
cirriculum, Pl. Mat. Ex. 8, is admissible.
DATED: 2026-07-19T15:37:00Z
Respectfully submitted,
———————————————
thr33six8
Plaintiff
/s thr33six8