Rendered from the court's authenticated repository
Searchable full text
4,099 characters extracted
—
STATE OF RIDGEWAY SUPERIOR COURT
SubtractFunds
Plaintiff,
v.
MedinaLUV
Defendant.
PETITION FOR WRIT OF HABEAS
CORPUS
Docket No. ____
PARTIES
1. Mr. SubtractFunds, the Plaintiff, is a citizen of the State of Ridgeway.
2. Mr. MedinaLUV, the Defendant, in his official capacity as a Trooper of the Ridgeway
State Police.
JURISDICTION
1. Article V, Section IV of the Ridgeway State Constitution empowers this Court to
“provide writ of habeas corpus”.
2. Section 2.5(a) of the Judiciary Act empowers any person to “at any time, over any arrest,
… petition the Superior Court for a writ of habeas corpus.”
ALLEGATIONS
On or about the date of 24 April, 2022;
1. Plaintiff was peacefully and civilly conducting his business as a citizen of the State of
Ridgeway.
2. Plaintiff was assaulted with a weapon by Mr. icyslider2, a citizen of the State of
Ridgeway.
3. Plaintiff acted in self defense out of fear for his life and shot and killed Mr. icyslider2
with a Cline 911 pistol. (See Exhibit A).
4. Defendant, in his official capacity as a Trooper of the Ridgeway State Police, arrested
Plaintiff for R. Crim. Code § 3.06 - Involuntary Manslaughter, stating in the arrest report
“####### City Limits; Subject was being hit with a bat; the acaliant retreated and this
guy continued to shoot kxilling the acaliant. ##### Penthouse.” (See Exhibit B).
5. Involuntary Manslaughter as defined by R. Crim. Code § 3.06 is “The act of ignoring a
known or obvious risk, or disregards the life and safety of others and causes the death of
another.”
6. Plaintiff’s actions do not meet the legal requirements for him to be arrested for
Involuntary Manslaughter; namely that charge of Involuntary Manslaughter is only
applicable when one’s actions are negligent and unintentional to such a degree that they
result in the death of another.
7. Plaintiff acted with intent and did not disregard the life and safety of Mr. icyslider2 when
Plaintiff shot and killed the assailant of Mr. icyslider2, fully understanding the
consequences of his actions in service of his own self defense.
8. Defendant acknowledged in the arrest report he filed that Plaintiff intentionally shot and
killed Mr. icyslider2 in self defense.
9. The Legislature created the separate charges of Involuntary Manslaughter, Voluntary
Manslaughter, and Second Degree Murder to punish criminals according to their actions.
10. If Plaintiff’s arrest is upheld, any person will be guilty of Involuntary Manslaughter if
they intentionally kill another, regardless of whether they acted in self defense or not.
11. If Involuntary Manslaughter is the appropriate charge in this incident, the Legislature’s
separation of the charges of Involuntary Manslaughter and Second Degree Murder is
effectively rendered useless as when one causes the death of another, it will be officer and
prosecutorial discretion as to whether to charge a defendant with Involuntary
Manslaughter or Second Degree Murder.
12. In the eyes of the court, Involuntary Manslaughter and Second Degree Murder will have
the same effective definition of purposefully causing the death of another, regardless of
any self defense claims.
13. Plaintiff is an upstanding citizen of the State of Ridgeway and only has one traffic
infraction on his record in addition to the aforementioned Involuntary Manslaughter
charge.
14. Plaintiff plans to apply for the Ridgeway Parks Service upon expungement of his record.
REMEDY REQUESTED
1. Plaintiff prays the Court find Defendant at fault for the aforementioned arrest.
2. Plaintiff seeks immediate expungement of the arrest in question.
3. Plaintiff also seeks any additional relief as deemed appropriate by the Court that is not
requested herein.
EVIDENCE
1. Exhibit A - Plaintiff acting in self defense killing Mr. icyslider2 and Defendant arresting
Plaintiff for R. Crim. Code § 3.06 - Involuntary Manslaughter.
2. Exhibit B - Plaintiff’s arrest record for the charge in question as filed by Defendant.
Date: 4/26/22
/s/Techiey
Attorney for Plaintiff
Mytrius & Associates
Counsel of Record
/s/Commander1567
Attorney for Plaintiff
Mytrius & Associates
Document record
File size
76.3 KB
Uploaded
Apr 28, 2022 12:00 PM
Filed
Apr 28, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
subtractfunds
Notes
Archived from the Trello docket (https://trello.com/c/6qC4cdO9)