All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
ADM F. 200 (Rev. 03/22) Summons in a Civil Action
SUPERIOR COURT OF THE STATE OF RIDGEWAY
Tripiafer23
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DOCKET NO. RSC-CV-8563
Plaintiff
v.
JE9SE
Defendant
SUMMONS
The plaintiff in the above-named civil action has commenced it by filing the complaint. If you are the
above-named defendant, you must appear and defend yourself. Failure to do so can result in the clerk entering
default, which begins default judgment being rendered upon the claims in the complaint. See generally Rid. R.
Civ. Pro. 36(a).
Because you shall file an answer pursuant to Rid. R. Civ. Pro. 7(a), you have five (5) days to file the
aforementioned answer pursuant to Id. at 5(e). A copy of the complaint has been provided alongside this
summons.
JUDGE / JUSTICE CLERK OF THE COURT
/s/ vonhagen123 /s/
EXECUTED ON 07/28/2026 EXECUTED ON 07/28/2026
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
TRIPIAFER23, an individual
Plaintiff,
-against-
JE9SE, an individual in his official capacity
as a Deputy First Class of the Ridgeway
County Sheriff's Office pursuant to 7 R. Stat.
§ 121.404
Defendant.
RSC-CV-8563
CIVIL COMPLAINT
Presiding Judge: Magistrate Hon.
vonhagen123
Plaintiff Tripiafter23, proceeding with his attorney, who is thr33six8 Esq., hereby files
this complaint to commence the above-titled civil action.
PARTIES
1. Defendant JE9SE is a resident of the State of Ridgeway. He is a deputy (rank: Deputy
First Class) of the Ridgeway County Sheriff's Office, which is "an agency of the County
of Ridgeway". 9 R. Stat. § 331.001. He has held his peace officer certification from the
Law Enforcement Training Center since 2026-06-19, which lets him act as a peace
officer. Id., at § 222.101. He has also held his Ridgeway State Bar license since
2026-03-03 (license no. 17120). His timezone is UTC–5:00.
a. He has also held his peace officer license from the Law Enforcement Training
Institute (of Clark County, LETI) since 2025-06-27, and he has been a deputy of
the Clark County Sheriff's Office since 2025-05-10, holding the rank of
Lieutenant. He is also a licensed attorney there, holding license no. 1019490 since
2025-07-31.
b. Furthermore, he has held his peace officer license from the Law Enforcement
Standards and Training Academy (LESTA) since 2026-07-05, and he has been a
deputy of the Harrison County Sheriff's Office since 2026-07-06.
2. Plaintiff Tripialfer23 is a resident of the State of Ridgeway.
JURISDICTION AND VENUE
1. This court, which is the Superior Court of the State of Ridgeway, shall "shall exercise
original jurisdiction for all civil and criminal cases or controversies under the rules as set
by the Supreme Court", R. Const. art. Ⅴ, § Ⅳ, and it shall have original jurisdiction over,
among other things, "any controversy not otherwise falling within the jurisdiction of the
Supreme Court, Administrative Court, or Magistrate Court as set forth by law". See
generally The Judiciary Act of 2026 § 302, S.B. 002, 11th Sen. (2026); 3 R. Stat. §
131.104(a–e). As the controversy is actionable here, jurisidiction is proper.
2. This court is the proper venue because civil actions shall only take place in the county
where the controversy occurs. See 7 R. Stat. §§ 131.001–131.003. Since this takes place
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Filed on 2026-07-28 (UTC+0:00)
within the County of Ridgeway, a county of the State of Ridgeway pursuant to 9 R. Stat.
§ 321.001, venue is proper.
STATEMENT OF FACTS
1. On 2026-07-27 (UTC+0:00), RCSO Deputy First Class and Defendant JE9SE, who was
on duty, and Plaintiff Tripiafter23 were in the State of Ridgeway.
2. Defendant had begun his patrol at around 16:17 and was patrolling in Sterling. Plaintiff
was in a black Rampart SUV with tinted windows and custom rims.
3. At 16:17:28, Plaintiff, who had a Stetson Cardiac-5, shot and killed Defendant in the
parking lot of the Sterling Gun Club.
4. Defendant's ridealong, who was Resident ghostOfprorproprooro, returned fire with his
Cline 2 seconds later, Plaintiff killed him.
5. Defendant JE9SE and the resident were in the same VC.
6. At 16:18:32, Plaintiff killed Defendant JE9SE again after JE9SE spotted him parked on
Opal Ave.
7. At 16:20:50, following a lag spike, Defendant JE9SE saw that he was shot and killed by
Plaintiff on that same avenue.
8. At 16:23, Defendant JE9SE saw Resident ThatOneChosenKen, who bore a Stetston
M2-A automatic rifle, Resident protoevolutionary, who also bore a Stetson M2-A
automatic rifle, and Plaintiff's black rampart. Defendant JE9SE was also not wearing a
duty belt.
9. ThatOneChosenKen and protoevolutionary were calmly signing to each with their protest
signs in the middle of Opal Ave. The black Rampart was parked in the median, stationary
and doing nothing.
10. Defendant JE9SE saw how chill the residents were as said in Compl. Statement of Facts ¶
9. Seemingly unbeknownst to JE9SE, the driver of the black Rampart was Plaintiff.
11. Despite that, Defendant JE9SE drove up to the right side of the black Rampart, stopped
his car such that the two lanes the deputy was in were blocked, got out, and ran to the
driver's door of the black Rampart.
12. Defendant JE9SE said in the voice channel, "It's this guy, is it not?"
13. As soon as JE9SE attempted to forcefully remove the driver (and therefore Plaintiff) of
the black Rampart from his vehicle, the vehicle began moving, and ThatOneChosenKen
opened fire, followed by protoevolutinary.
14. At 16:23:13, Defendant JE9SE was shot and killed.
15. At 16:23:39, Defendant JE9SE was shot and killed by ThatOneChosenKen as he came
out of the RCSO sub station.
16. At 16:25:13, Defendant JE9SE was bludgeoned to death by CadenzaBotticelli, who had a
pink bat.
17. At 16:29:31, Plaintiff killed Defendant JE9SE when both were on the roof of RCSO sub.
18. At 16:30:00, Defendant JE9SE shot and killed Plaintiff when Plaintiff opened fire on
them. Defendant JE9SE was shot to death by CadenzaBotticelli, who bore a Stetson
Cardiac-5, 2 seconds later.
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
19. At 16:43:55, Defendant JE9SE tased Plaintiff as Plaintiff opened fire on him. Defendant
JE9SE went back indoors while Plaintiff was still tased.
20. Defendant JE9SE said in the VC, "I'ma just keep tasing bro". Defendant JE9SE also
laughed in the VC, saying that he was keeping Plaintiff tased.
21. At 16:44:17, Plaintiff said, "this is abuse" and "clip it" while Resident 1uPlegacY was
nearby, sitting on him.
22. 3 seconds later, Defendant JE9SE unequipped his taser, which stopped tasing Plaintiff,
and came out to shoot at 1uPlegacY.
23. In the gunfire from Defendant JE9SE, Tripiafter23 was shot multiple times.
24. Defendant JE9SE was then shot and killed by resident SalvatoreBotticelli, who bore a
Stetson Cardiac-5.
25. At 16:47:59, Defendant was shot and killed by SalvatoreBotticelli.
26. At 16:48:39, in front of SalvatoreBotticelli, while Plaintiff was just standing, not doing
anything, on the roof of RCSO sub, Defendant mag dumped and killed Plaintiff
Tripiafer23 with his department-issued Stetson Cardiac-5.
27. Defendant later uploaded a video titled "The Lost Patrol", which depicts Compl.
Statement of Facts ¶¶ 1–26, on his YouTube channel, which is @JE9SE.
TORTS
Pursuant to Rid. Rule Civ. Proc. 8(a), the plaintiff includes these numbered statements which
show his entitlement of relief, and, as such, the plaintiff includes the following torts:
#1: Official Misconduct (7 R. Stat. § 121.404)
1. Plaintiff incorporates all facts and averments that were pled within this complaint.
2. Defendant was a public servant: he was on duty as a deputy of the Ridgeway County
Sheriff's Office. Compl. Statement of Facts ¶¶ 1–2; see also Compl. Parties ¶ 1.
3. Defendant committed an unauthorized act of his office/authority: he killed Plaintiff when
he was doing nothing. Compl. Statement of Facts ¶ 26. See, e.g., Tennessee v. Garner,
471 U.S. 1, 25 (O'Connor, J., dissenting) ("For purposes of Fourth Amendment analysis, I
agree with the Court that Officer Hymon 'seized' Gamer by shooting him."); See also Id.,
at 11 ("A police officer may not seize an unarmed, nondangerous suspect by shooting
him dead.") (emphasis added). Defendant knows that such an act is unauthorized per
policy, statuatory authority, as well as common law from being a licensed attorney in
Ridgeway and Clark. See Ridgeway County Sheriff's Office Department Handbook § 303
(all RCSO deputies are "capable and responsible for applying varying levels of force in
the course of your duties" and are also expected "to be reasonable in this application and
the force applied should be proportional to the actions that resulted in force being
taken."); see, e.g., Ridgeway County Sheriff's Office Code of Conduct § 2.03 (making
use of force violations a high severity offence and defining them as "inappropriate
deployment of force on an individual in a manner that escalates the situation or is not
in-line with the teachings of the Law Enforcement Training Center or the
regulations outlined in Section 303 of the Department Handbook.") (emphasis
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Filed on 2026-07-28 (UTC+0:00)
added); see generally 9 R. Stat. § 331.201 (statute(s) outlining the statuatory authority of
a RCSO deputy).
4. Therefore, there is a cause of action for the tort of Official Misconduct, of which
Defendant JE9SE is the tortfeasor.
5. Plaintiff need not argue more. E.g., Rid. Rule Civ. Proc. 8(a); Ashcroft v. Iqbal, 556 U.S.
662 (2009) (sufficient factual matter is enough to plead); see also Fed. Rule. Civ. Proc.
8(a)(2).
#2: Deprivation of Rights under Color of Law (7 R. Stat. § 121.403)
1. Plaintiff incorporates all facts and averments that were pled within this complaint.
2. Defendant JE9SE was acting under state statute as he was on duty as a deputy of the
Ridgeway County Sheriff's Office. Compl. Statement of Facts ¶¶ 1–2; see also Compl.
Parties ¶ 1.
3. Defendant JE9SE unreasonbly deprived Plaintiff of his life, Compl. Statement of Facts ¶
26, therefore depriving Plaintiff of his Fourth Amendment right to be free from
unreasonable seizure and his Rid. Const. art. Ⅰ § Ⅴ right "to be protected in the
enjoyment of life". See also Garner, at 25.
RELIEF
Plaintiff is entitled to and requests the following:
1. $10,000 in puntitive damages. 7 R. Stat. § 121.404.
2. Pursuant to Id., at § 121.403, an injunction refraining Defendant JE9SE from being an on
duty RCSO deputy for 7 days, effectively suspending him.
Respectfully submitted,
/s/ Tripiafter23
Plaintiff of the above-titled civil action
/s/ thr33six8
Timezone UTC–5:00;
The Attorney of Plaintiff/Client Tripiafter23;
Licensed Attorney in the State of Ridgeway
since July 23rd, 2026 (R.S.B. License
#19302).
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
TRIPIAFER23, an individual
Plaintiff,
-against-
JE9SE, an individual in his official capacity
as a Deputy First Class of the Ridgeway
County Sheriff's Office pursuant to 7 R. Stat.
§ 121.404
Defendant.
RSC-CV-8563
PLAINTIFF'S INITIAL DOCUMENT OF
DISCLOSURES
Presiding Judge: Magistrate Hon.
vonhagen123
Plaintiff hereby files this initial document disclosing evidence and witnesses.
EXHIBITS
# PREVIEW + URL DESCRIPTION
1. Defendant JE9SE's aforementioned YouTube video. See Compl.
Statement of Facts ¶ 27.
2. The Ridgeway County Sheriff's Office Department Handbook.
3. The Ridgeway County Sheriff's Office database, which contains
their code of conduct.
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
4. The Standard Operating Procedures of the Clark County Sheriff's
Office, where Defendant JE9SE is employed.
5. The Code of Conduct and Policy of the Harrison County Sheriff's
Office, where Defendant JE9SE is employed.
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
WITNESSES
WITNESS DESCRIPTION
JE9SE:56219988
Eyewitness.
ghostOfprorproprooro:10680473631
Eyewitness.
BostonTrigger
(@SalvatoreBotticelli:4647269356)
Eyewitness. See Compl. Statement of Facts ¶ 26.
TizianoBascetti (@Tripiafer23:1263682765)
Eyewitness.
Respectfully submitted,
/s/ Tripiafter23
Plaintiff of the above-titled civil action
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-07-28 (UTC+0:00)
/s/ thr33six8
Timezone UTC–5:00;
The Attorney of Plaintiff/Client Tripiafter23;
Licensed Attorney in the State of Ridgeway
since July 23rd, 2026 (R.S.B. License
#19302).