IN THE SUPERIOR COURT OF RIDGEWAY
FOR THE STATE OF RIDGEWAY
HALO4ASIN,
Plaintiff,
v.
RIDGEWAY COUNTY SHERIFF’S
OFFICE,
Defendant.
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Case No. RSC-CV-5191
DISCOVERY
PLAINTIFF’S FIRST REQUESTS FOR PRODUCTION, PURSUANT TO THE
COURT’S ORDER OF JULY 26, 2026
Pursuant to the Court’s order of July 26, 2026 granting Plaintiff’s Motion for Discovery in part,
Plaintiff requests that Defendants produce the following on or before August 9, 2026.
REQUEST 1. The complete background investigation file concerning Plaintiff’s application for
appointment as Deputy, including all worksheets, notes, scoring sheets, checklists, entries, and
determinations, in whatever form maintained.
REQUEST 2. The identity of the Criminal Investigations Division detective who conducted the
screening and entered the screening result on Plaintiff’s application, together with any record
reflecting the assignment of that screening to that detective.
REQUEST 3. A complete identification of each factor deemed indicative of Plaintiff being an
alternative account, as referenced by Defendant Azap634 (“all but about two factors were
deemed indicative,” Exhibit H), together with the evidence relied upon for each such factor, and
an identification of the factors that were not deemed indicative. This Request does not seek
information concerning the internal operation of any automated system.
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REQUEST 4. All records reflecting any review or reconsideration of Plaintiff’s application,
including the review described by Defendant errcore as a “third review,” together with any
record reflecting who conducted it, when, and on what materials.
REQUEST 5. A statement identifying which of the records responsive to Requests 1 through 4
remain in existence, and, as to any responsive record that no longer exists, the date it was
deleted, altered, or destroyed, the person who did so, and the reason.
Plaintiff notes for the record the Court’s statement that the Defendants may not spoliate records,
and requests that all responsive material be preserved pending resolution of this action.
CERTIFICATE OF SERVICE
I certify that on this date a true copy of these Requests was served on counsel for the Defendants
by electronic means through the case channel and e-filing system.
Respectfully Submitted,
_________________________
/s/ Halo4asin
HALO4ASIN
Plaintiff, Pro Se
Ridgeway State Bar License No. 18110
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