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SUPERIOR COURT OF THE STATE OF RIDGEWAY
DOCKET NO. RSC-CV-607
CIVIL COMPLAINT
HONORABLE JUDGE
KOALAMEDVEDEVA PRESIDING
afellowrobloxplayer2
Plaintiff
v.
jacob_destroyer2
Defendant
CIVIL COMPLAINT
The Plaintiff Afellowrobloxplayer2 hereby brings this civil action before the Superior
Court of the State of Ridgeway, listing below the torts against the Defendant jacob_destroyer2.
This civil action attempts to litigate the events that occurred on the 27th of July, 2022.
PARTIES
1. Plaintiff Afellowrobloxplayer2 is a resident of the State of Ridgeway.
2. Defendant jacob_destroyer2 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 27th, 2022;
1. The Plaintiff was driving within Sterling Heights delivering packages as a Studs Per
Second (SPS) employee.
2. Whilst doing so a red vehicle driven by the Defendant drove by at high rates of speed and
drifted stopping shortly after.
3. The Defendant and a third party, slippery830flan, both exited the red vehicle and both
immediately withdrew and pointed firearms at the Plaintiff without any legal justification
to do so.
4. The Defendant and the third party began illegally firing at the Plaintiff, and in the process
hit and killed the Plaintiff.
FIRST CAUSE OF ACTION
Battery
1. Plaintiff repeats and affirms the allegations set forth in all preceding paragraphs of this
complaint.
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2. The Defendant, without consent, brought harmful contact against the Plaintiff by
shooting the Plaintiff.
3. These actions constitute Battery under 1 R. Stat. § 302.
SECOND CAUSE OF ACTION
Wrongful Death
1. Plaintiff repeats and affirms the allegations set forth in all preceding paragraphs of this
complaint.
2. The Defendant caused the death of the Plaintiff without legal justification to do so.
3. These actions constitute Wrongful Death under 1 R. Stat. § 309.
THIRD 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 reasonable apprehension of an
immediate harmful contact by drifting in front of the Plaintiff's vehicle and jumping out.
3. The Defendant intentionally and voluntarily caused reasonable apprehension of an
immediate harmful contact by shooting in the Plaintiff's direction.
4. These actions constitute Assault under 1 R. Stat. § 303.
PRAYER FOR RELIEF
1. Plaintiff prays the Court find Defendant liable for the aforementioned torts.
2. Plaintiff seeks monetary relief amounting to $6500 in punitive damages;
a. $1500 for Assault
b. $2500 for Wrongful Death
c. $2500 for Battery
EVIDENCE
1. Exhibit A - Clip of the incident in question.
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Date: 8/7/2022
Respectfully Submitted
Plaintiff afellowrobloxplayer2
By their Attorney,
/s/ gbuttisnotmyname
gbuttisnotmyname
Gbutt Law Managing Partner
R.W. Bar # 17152
gbutt#0629
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Document record
File size
117.7 KB
Uploaded
Aug 5, 2022 12:00 PM
Filed
Aug 5, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
afellowrobloxplayer2
Notes
CC - afellowrobloxplayer2 v. jacob_destroyer2.pdf.PDF — archived from the Trello docket (https://trello.com/c/CdibgxtF)