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This document is a document filed in a mock court in the State of Ridgeway on Roblox.com. I am a notary public of
the State of Texas in real life. A notary public cannot give legal advice or accept fees for legal advice. See Tex. Gov't
Code § 406.017. This document does not constitute legal advice in any way, shape, or form.
SUPERIOR COURT OF THE STATE OF RIDGEWAY
BETATHEWOLFGAMER,
Plaintiff,
v.
MXRLSX,
Defendant.
No. RSC-CV-657
PARTY’S INITIAL DISCLOSURES
Plaintiff BetaTheWolfGamer, by and through undersigned counsel, hereby,
pursuant to Ridgeway Rule of Civil Procedure 19, discloses the following
material–
1. Video Evidence. Plaintiff discloses the following video evidence–
Exhibit Description Link
A
Video of the incident from
BetaTheWolfGamer’s
perspective
https://medal.tv/games/robl
ox/clips/zunNfA_5c6WOp/
d1337tjQaVL3?invite=cr-
MSxKZjUsMTQzNDIzM
DAs
B
Video of
BetaTheWolfGamer
booking Mxrlsx for
disorderly conduct
https://medal.tv/games/robl
ox/clips/zukH1ctxOhhZg/d
1337rQx1REe?invite=cr-M
SxiZDEsMTQzNDIzMDA
s
2. Documents & Objects. Plaintiff has no documents and/or objects to disclose
at this time.
3. Reports of Tests or Examinations. Plaintiff has no reports of tests or
examinations to disclose at this time.
4. Expert & Lay Witnesses. Plaintiff intends to call at trial and/or depose before
trial the following witnesses–
Name & Contact Information Type of Witness
BetaTheWolfGamer, REDACTED#4510 Eyewitness
Mxrlsx, Josh.#6596 Eyewitness
PLAINTIFF’S
INITIAL DISCLOSURES - 1 - DorkJacob Law
1B Palm View
Palmer, Ridgeway
This document is a document filed in a mock court in the State of Ridgeway on Roblox.com. I am a notary public of
the State of Texas in real life. A notary public cannot give legal advice or accept fees for legal advice. See Tex. Gov't
Code § 406.017. This document does not constitute legal advice in any way, shape, or form.
TaxesArentAwesome,
CasuallyMental#3344 Eyewitness and expert witness
5. Computation of Damages. Plaintiff has suffered the following damages–
Tort Damage Amount
Assault
Pain, suffering,
inconvenience, and
annoyance
$1,000
Assault Punitive damages $2,000
Battery
Pain, suffering,
inconvenience, and
annoyance
$1,000
Battery Punitive damages $2,000
6. Other Material. Plaintiff has no other material to disclose at this time.
7. Preservation of Evidence. Plaintiff will preserve all physical and
electronically stored information (ESI) that relates to the Complaint or the events
leading to the Complaint.
Respectfully submitted.
Dated: September 5th, 2022
Palmer, Ridgeway
/s/ DorkJacob
———————————————————————————
DORKJACOB
Ridgeway Bar No. 17135
Counsel of Record
DorkJacob Law
1B Palm View
Palmer, Ridgeway
JacobInAustin#0001
[email protected]
Attorney for Plaintiff
PLAINTIFF’S
INITIAL DISCLOSURES - 2 - DorkJacob Law
1B Palm View
Palmer, Ridgeway
Document record
File size
101.2 KB
Uploaded
Sep 5, 2022 12:00 PM
Filed
Sep 5, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
betathewolfgamer
Notes
Plaintiff's Initial Disclosures.pdf — archived from the Trello docket (https://trello.com/c/BlagqouY)