Rendered from the court's authenticated repository
Searchable full text
2,571 characters extracted
—
THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
MatthewSandringham
)
)
)
)
)
)
)
)
)
)
DOCKET NO. RSC-CV-333
Plaintiff
v.
warchad
Defendant
MatthewSandringham, proceeding without counsel hereby brings this civil action and
for their allegations against the Defendant, it is alleged as follows:
STATEMENT
1. On the 3rd of May 2022, the plaintiff was at the Sterling Gun Club buying a
firearm and some ammunition for said firearm.
2. During this encounter, the defendant was sitting outside.
3. The Defendant then entered the gun club, and shot the plaintiff dead.
4. The Defendant had no legal justification for killing the plaintiff in this encounter,
thus making this a wrongful and illegal killing, which entitles the plaintiff to the
damages and relief as requested.
5. On the second encounter, I was being followed by the defendant by the Palmer car
dealership. I had used the National Guard building as a sort of cover to try and get
to my vehicle and escape quickly. When I got to my vehicle, the defendant's
friend, NebulousCloud, was destroying my vehicle. The defendant’s friend then
began chasing me and attacking me, whilst this happened the defendant shot and
killed me.
6. On the third encounter with the defendant, I was being followed by the defendant
in his vehicle with his friend, NebulousCloud. Due to the fact that the defendant
had previously killed me, I was expecting physical harm from the defendant. As
per the Civil Assault statute, anyone who puts another in reasonable apprehension
of physical harm is assault.
JURISDICTION
1. The jurisdiction of the Court originates from Art. V, Sec. IV which states “There
shall be a Superior court which shall exercise original jurisdiction for all civil and
criminal cases or controversies...”
TORTS AND PRAYERS FOR RELIEF
1. The Plaintiff is suing the defendant for the following torts:
a. 1. R. Stat. §202 - Battery
b. 1. R. Stat. §203 - Assault
c. 1. R. Stat. §209 - Wrongful Death
d. 1. R. Stat. §209 - Wrongful Death
2. The Plaintiff requests that the relief for Tort 1 be as follows:
a. $1,500 in punitive damages
3. The Plaintiff requests that the relief for Tort 2 be as follows:
a. $1,000 in punitive damages
4. The Plaintiff requests that the relief for Tort 3 be as follows:
a. $1,500 in punitive damages
5. The Plaintiff requests that the relief for Tort 4 be as follows:
a. $1,500 in punitive damages
6. The Plaintiff also seeks a temporary restraining order against the Defendant due to this
being a common occurrence.
DATED: May 03rd, 2022
Respectfully submitted,
MatthewSandringham
Plaintiff
Document record
File size
87.7 KB
Uploaded
May 3, 2022 12:00 PM
Filed
May 3, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
MatthewSandringham
Notes
CIVIL COMPLAINT - RSC-CV-333 — archived from the Trello docket (https://trello.com/c/TJdjNZ2p)