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THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
MatthewSandringham
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DOCKET NO. RSC-CV-334
Plaintiff
v.
NebulousCloud
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, I was being followed and harassed by the defendant’s
friend, warchad. I had attempted to get to my vehicle, using the RNG building for
cover from Mr. warchad.
2. I went around to my vehicle to find the defendant destroying my vehicle,
specifically its windows. The defendant spotted me and began to attack me.
3. The defendants actions lead directly to my death. As per the Code of Statutes, any
person who causes the death of another is liable for wrongful death. Did the
defendant cause the death of the plaintiff without legal justification? Yes!
4. On the second instance, I was being followed by the Defendant, and the
Defendant’s friend, Mr warchad, outside the Palmer Police District. Due to the
defendant already attacking me previously, I feared another attack from the
defendant. As per the Code of Statutes, any person who puts another in reasonable
apprehension of physical harm is liable for Assault.
5. I was walking towards the Palmer Car Dealership to despawn my vehicle. I
despawned my vehicle and left the dealership. As I left, I was attacked by the
Defendant once again, which the defendant killed me without legal justification,
which makes the defendant liable for a second count of wrongful death.
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 3 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
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Uploaded
May 3, 2022 12:00 PM
Filed
May 3, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
MatthewSandringham
Notes
Civil Complaint MatthewSandringham v. NebulousCloud.pdf — archived from the Trello docket (https://trello.com/c/zh2GqrgA)