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THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
Wynneboy2010,
Plaintiff
-against-
Kenzodownload,
Defendant.
Case No.
CIVIL COMPLAINT
Presiding Judge:
Wynneboy2010, proceeding without outside counsel hereby brings this civil action and
for their allegations against the Defendant, it is alleged as follows:
STATEMENT OF FACTS
1. On the 7th of July, the defendant proceeded to leave the Palmer Gas station while holding
his M2A in his hands and ran into the road.
2. Then the defendant proceeded to open fire on the plaintiff for no reason at all.
3. The defendant then jumped on top of the Plaintiffs vehicle and shot the plaintiff through
the windshield.
4. The Plaintiff then died losing $6,500 in Cash, a Salvo Snub and a box of 9mm Ammo.
5. The Plaintiff’s vehicle was also damaged by gunfire from the defendant.
VENUE
1. Venue is proper in this Court because the alleged actions took place in the City of Palmer,
which is an In-game subject to the laws of Ridgeway County.
PARTIES
1. Wynneboy2010 is a citizen of the United States of America.
2. Kenzodownload is a citizen of the United States of America.
TORTS AND PRAYERS FOR RELIEF
1. The Plaintiff is suing the defendant for the following torts:
a. Tort 1: 7 R. Stat. § 121.001 ASSAULT—Any individual who intentionally and
voluntarily causes reasonable apprehension of an immediate harmful or offensive
contact commits assault and shall be liable…
b. Tort 2: 7 R. Stat. § 121.002 BATTERY—Any individual who brings unconsented
harmful or offensive contact against another person commits battery and shall be
liable for compensatory damages; and may be liable…
c. Tort 3: 7 R. Stat. § 121.004 WRONGFUL DEATH—Any individual who causes
the death of another without legal cause or justification commits wrongful death
and shall be liable for compensatory damages; and may be liable…
2. The Plaintiff requests that the relief for Tort 1 be as follows:
a. $4,000 in ingame currency in punitive/actual/compensatory/monetary damages
b. The plaintiff also requests an order of protection spanning from August 1st, 2026
to August 1st, 2027
3. The Plaintiff requests that the relief for Tort 2 be as follows:
a. $5,000 in ingame currency in punitive/actual/compensatory/monetary damages
b. The plaintiff also requests an order of protection spanning from August 1st, 2026
to August 1st, 2027
4. The Plaintiff requests that the relief for Tort 3 be as follows:
a. $15,000 in ingame currency in punitive/actual/compensatory/monetary damages
b. The plaintiff also requests an order of protection spanning from August 1st, 2026
to August 1st, 2027
DATED: July 7th, 2026
Respectfully submitted,
Wynneboy2010, Esq.
Attorney for the Plaintiff
WYNNEBOY2010
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Wynneboy2010
Plaintiff
Wynneboy2010