Rendered from the court's authenticated repository
Searchable full text
4,931 characters extracted
—
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
REMOVELUNGS,
Plaintiff,
v.
PEAKEFFECT,
Defendant.
No. RSC-CV-678
FIRST AMENDED COMPLAINT
removelungs, by and through undersigned counsel, hereby brings this civil
action and alleges as follows–
INTRODUCTION
1. On or about September 18th, 2022, Plaintiff removelungs was at their house
located at 1 Cyrus Acres in Milton, Ridgeway, when suddenly a person in a grey
Sedan came flying through the trailer park and crashed into 4 Cyrus Acres.
2. Soon after law enforcement arrived and removelungs walked over to ask
“what the hell is going on”. removelungs was detained by PeakEffect for no
obvious reason besides daring to ask what was going on.
3. removelungs was eventually released in the midst of some confusion over
“who was taking him”.
JURISDICTION AND VENUE
4. This Court has jurisdiction pursuant to Article V, Section IV of the
Constitution of the State of Ridgeway.
5. Venue is proper in this Court because the incident took place within
Ridgeway County.
PARTIES
6. Plaintiff removelungs is a resident of the State of Ridgeway.
7. Defendant PeakEffect is a Deputy of the Ridgeway County Sheriff’s Office
(RCSO) and is sued in their official and individual capacity.
FIRST AMENDED
COMPLAINT - 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.
FIRST CAUSE OF ACTION
(False Imprisonment – 1 R.S. § 304)
8. Plaintiff repeats and realleges the allegations contained in all preceding
paragraphs as if fully set forth herein.
9. Defendant restrained and restricted Plaintiff’s movement against Plaintiff’s
will and without legal cause, authority, or justification to do so.
SECOND CAUSE OF ACTION
(Official Misconduct – 1 R.S. § 314)
10. Plaintiff repeats and realleges the allegations contained in all preceding
paragraphs as if fully set forth herein.
11. Defendant is a public servant and falsely detained Plaintiff, in violation of
Section 2.02 of the RCSO Code of Conduct, and knew that such act was
unauthorized as a consequence of their training from the Law Enforcement
Training Center (LETC) and RCSO, and thus committed official misconduct.
THIRD CAUSE OF ACTION
(Deprivation of Rights Under Color of Law – 1 R.S. § 315)
12. Plaintiff repeats and realleges the allegations contained in all preceding
paragraphs as if fully set forth herein.
13. Defendant, under color of law, subjected Plaintiff to the deprivation of their
Fourth Amendment right to be free from arbitrary detainment.
PRAYER FOR RELIEF
Wherefore, Plaintiff prays that the Court–
ON THE FIRST CAUSE OF ACTION
a. Declare that Defendant falsely detained Plaintiff;
b. Award Plaintiff actual and punitive damages;
c. Order Defendant to apologize for their conduct;
d. Award Plaintiff attorneys’ fees;
e. Award such other, further, or different relief as may be just and proper.
FIRST AMENDED
COMPLAINT - 2 - 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.
ON THE SECOND CAUSE OF ACTION
f. Declare that Plaintiff committed official misconduct;
g. Award Plaintiff actual and punitive damages;
h. Order Defendant to apologize for their conduct;
i. Award Plaintiff attorneys’ fees;
j. Award such other, further, or different relief as may be just and proper.
ON THE THIRD CAUSE OF ACTION
k. Declare that Defendant deprived Plaintiff of their right to be free from
arbitrary detention, in violation of the Fourth Amendment;
l. Award Plaintiff actual and punitive damages;
m. Order Defendant to apologize for their conduct;
n. Award Plaintiff attorneys’ fees;
o. Award such other, further, or different relief as may be just and proper.
Respectfully submitted.
Dated: September 21st, 2022
Palmer, Ridgeway
/s/ DorkJacob
———————————————————————————
DORKJACOB
Ridgeway Bar No. 17135
Counsel of Record
DorkJacob Law
1B Palm View
Palmer, Ridgeway
JacobInAustin#0001
[email protected]
HOLYROMANRYAN
Ridgeway Bar No. 17105
Palmer, Ridgeway
Ryan!#8903
Attorneys for Plaintiff
FIRST AMENDED
COMPLAINT - 3 - DorkJacob Law
1B Palm View
Palmer, Ridgeway
Document record
File size
101.9 KB
Uploaded
Sep 18, 2022 12:00 PM
Filed
Sep 18, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
removelungs
Notes
First Amended Complaint.pdf — archived from the Trello docket (https://trello.com/c/pOVXbCAP)