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STATE OF RIDGEWAY
CIVIL COMPLAINT
afellowrobloxplayer2
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DOCKET NO. RSC-CV-338
Plaintiff
v.
SwoleOldFart
Defendant
CIVIL COMPLAINT
Plaintiff afellowrobloxplayer2 brings this civil action against Defendant SwoleOldFart, as a result of the facts
that follow.
GENERAL ALLEGATIONS
Plaintiff alleges:
1. The plaintiff while he was in his penthouse doing personal work, realized that suddenly multiple
individuals were attempting to break into his penthouse from the front window which was
blocked off by furniture.
2. The individuals then proceeded to attempt to glitch through the front door in order to gain entry
to the building but to no avail.
3. In a last ditch effort to gain entry, the defendant went to the back side of the penthouse where he
managed to break in.
4. After breaking into the building the defendant using his cline opened fire on the plaintif with
none of the shots fired being fatal.
5. The plaintiff then proceeded to leave the premises by leaving by the front door closing it right
after to make sure the defendant didn’t follow him.
JURISDICTION
1. The jurisdiction of the Court originates from Art. V, Sec. IV which states “There shall bea
Superior court which shall exercise original jurisdiction for all civil and criminal cases or
controversies…”
TORTS
1. Plaintiff prays the Court finds the Defendant liable for the tortious action of Civil conspiracy ,
see 5 R. Stat. Sec. 211.
a. The defendant unlawfully attempted to break in the plaintiff propriety by breaking the front
window with his friend in order to breach insde of the penthouse using a melee weapon
2. Plaintiff prays the Court finds the Defendant liable for the tortious action of Propriety Damage ,
see 5 R. Stat. Sec. 215.
a. The defendant wrongfully destroyed the front window of the plaintiff propriety.
3. Plaintiff prays the Court finds the Defendant liable for the tortious action of Trespassing , see 5
R. Stat. Sec. 201.
a. The defendant wrongfully entered the plaintiff propriety by using another means of entry which
was by breaking the back window of the plaintiff propriety.
4. Plaintiff prays the Court finds the Defendant liable for the tortious action of Assault, see 5 R.
Stat. Sec. 203.
a. The defendant unlawfully discharged his firearm and attempted to kill the plaintiff after he
trespassed onto his propriety.
PRAYERS FOR RELIEF
1. The Plaintiff requests that the relief for trespassing, civil conspiracy and propriety damage total
$1000 in punitive damages.
2. The Plaintiff requests that the relief for assault be $500 in punitive damages.
3. Plaintiff also seeks any additional relief as deemed appropriate by the Court that is notrequested
herein
Date: 6th of May
Respectfully Submitted,
Plaintiff afellowrobloxplayer2
By their Attorneys,
/s/ Tomskipetski5
Tomskipetski5, RSB#17142
Document record
File size
105.5 KB
Uploaded
May 4, 2022 12:00 PM
Filed
May 4, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
afellowrobloxplayer2
Notes
Civil complaint template - afellowrobloxplayer2 .pdf — archived from the Trello docket (https://trello.com/c/e81XqmWG)