SUPERIOR COURT OF THE STATE OF RIDGEWAY
DOCKET NO. RSC-CV-508
CIVIL COMPLAINT
HONORABLE RIDING JUSTICE
SITEOWNER PRESIDING
Lukestout1
Plaintiff
v.
Proceed101
Defendant
CIVIL COMPLAINT
The Plaintiff Lukestout1 hereby brings this civil action before the Superior Court of the
State of Ridgeway, listing below the torts against the Defendant Proceed101. This civil action
attempts to litigate the events that occurred on the 3rd of July, 2022.
PARTIES
1. Plaintiff Lukestout1 is a resident of the State of Ridgeway.
2. Defendant Proceed101 is a resident of the State of Ridgeway.
JURISDICTION & VENUE
This Court has jurisdiction to hear this case pursuant to Article V, Section IV of the
Constitution of the State of Ridgeway. Venue is proper in this Court because this incident took
place within Ridgeway County.
ALLEGATIONS
On or about the date of July 3rd, 2022;
1. The Plaintiff was riding in a Studs Per Second delivery truck with driver coolrhorace in
Sterling Heights.
2. The Defendant, riding in a blue Cavela out of the vehicle displaying an axe unlawfully
and began running to the passenger side of the vehicle where the Plaintiff was seated, but
shortly after got back in the Cavela after the delivery truck began to move.
3. The driver of the Cavela, potcaike, then attempted to block the now moving delivery
vehicle, and in doing so caused the delivery vehicle to flip on its side.
4. Coolrhorace successfully corrected the vehicle onto its wheels, but shortly after was
blocked by the blue Cavela.
5. Both passengers of the blue Cavela got out of the vehicle and began chasing the now
reversing delivery truck, while unlawfully displaying axes, which was attempting to
evade them.
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6. Coolrhorace attempted to switch from reverse to drive, but before he could do so the
Defendant and his accomplice took multiple swings with their axes at the Plaintiff while
in close proximity to the delivery truck.
7. Potcaike was able to land a hit on the Plaintiff, but the Defendant was not.
8. The Plaintiff responded by firing his legally owned Cline 911 in the attackers direction
whilst Coolrhorace began driving the delivery truck away.
9. The two attackers returned to the blue Cavela.
10. Coolrhorace then drove the delivery truck into a driveway, but shortly after the blue
Cavela pulled up behind them.
11. Both passengers got out of the blue Cavela, and potcaike got inside the delivery truck and
began striking both the Plaintiff and the driver of the delivery vehicle.
12. The Defendant is seen unlawfully displaying his axe attempting to close the distance
between the now moving delivery truck and himself, but failed to board the vehicle.
13. The plaintiff fired multiple shots in potcaike’s direction.
14. After a short while of driving away from the Defendant, the Plaintiff got out of the
delivery vehicle to protect himself from potcaike, who had still been inside the delivery
vehicle attacking him.
15. Potcaike exited the delivery truck and chased the Plaintiff outside of the vehicle swinging
his axe, so the Plaintiff continued firing in his direction.
16. Soon after, a Ridgeway State Police trooper detained the Plaintiff, and both attackers
were able to escape.
FIRST CAUSE OF ACTION
(Assault)
1. Plaintiff repeats and affirms the allegations set forth in all preceding paragraphs of this
complaint.
2. The Defendant intentionally and voluntarily caused Plaintiff reasonable apprehension of
an immediate harmful or offensive contact by swinging his axe in the direction of the
Plaintiff in close proximity to him.
3. The Defendant intentionally and voluntarily caused Plaintiff reasonable apprehension of
an immediate harmful or offensive contact by running in the direction of the Plaintiff
while unlawfully displaying an axe.
4. The Defendant intentionally and voluntarily caused Plaintiff reasonable apprehension of
an immediate harmful or offensive contact by attempting to board the vehicle the Plaintiff
was in while unlawfully displaying an axe.
5. These actions constitute Assault under 1 R. Stat. § 203.
PRAYER FOR RELIEF
1. Plaintiff prays the Court find Defendant liable for the aforementioned torts.
2. Plaintiff seeks monetary relief amounting to $1500 in punitive damages;
a. $1500 for Assault under 1 R. Stat. § 203
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EVIDENCE
1. Exhibit A - Video of the events that occurred on July 3rd, 2022.
Date: 7/13/2022
Respectfully Submitted
Plaintiff Lukestout1
By their Attorneys,
/s/ gbuttisnotmyname
gbuttisnotmyname,
Gbutt Law Managing Partner
R.W. Bar # 17152
gbutt#0629
/s/ WithinCode
WithinCode
Gbutt Law Associate
R.W. Bar # 17112
WithinCode#7251
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