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This document is for roleplaying purposes only. I am a notary public of the State of Texas in real life. A notary
public cannot give legal advice. See Tex. Gov't Code § 406.017. This document does not constitute legal advice.
SUPERIOR COURT OF THE STATE OF RIDGEWAY
MATTJET25,
Petitioner,
v.
NICE_GUY1234567891, TALAN10101,
SUDFORTIA, YOUFOUNDSEAL,
Respondents.
No. RSC-CV-736
FIRST AMENDED PETITION TO PERPETUATE TESTIMONY
Mattjet25, by and through undersigned counsel, hereby, pursuant to
Ridgeway Rule of Civil Procedure 20(a) and 1 R.S. § 207, respectfully petitions
this Court to perpetuate the testimony of Mattjet25, Nice_guy1234567890,
TALAN10101, and SudFortia, and submits that–
THE INCIDENT
1. On or about November 4th, 2022, Petitioner Mattjet25 had parked their
vehicle on the roof of the Palmer Parking Garage, when Respondent
Nice_guy1234567891 (hereinafter the “officer”) put up blockades at the exit to
ensure that Matt couldn’t exit the parking garage.
2. The officer then pulled out a weapon and told Matt to stop and exit the
vehicle. Matt asked why and complied with the officer’s directions, eventually
putting his hands up at the behest of the officer.
3. Suddenly, the officer tased and arrested Matt, and placed them under arrest
for unlawful discharge of a weapon and failure to comply. Arrest Report (Nov. 4,
2022 9:49 PM). The officer explained to Matt that they had thought Matt had shot
their Salvo firearm (found in their vehicle by the officer) from the roof of the
garage, and that was the reason for the arrest.
4. At the Police Station, YouFoundSeal witnessed the booking of Matt.
FIRST AMENDED PETITION TO
PERPETUATE TESTIMONY - 1 -
This document is for roleplaying purposes only. I am a notary public of the State of Texas in real life. A notary
public cannot give legal advice. See Tex. Gov't Code § 406.017. This document does not constitute legal advice.
INFORMATION ABOUT THE EXPECTED ACTION
5. Matt intends to commence a civil action against the officer for official
misconduct (1 R.S. § 314) because the officer’s conduct violates Section 2.02(c) of
the RCSO Code of Conduct (false or inappropriate arrest).
FACTS TO PERPETUATE
Matt intends to perpetuate the following facts–
6. That the officer did not have probable cause to arrest Matt from Respondents
Nice_guy1234567891 and YouFoundSeal;
7. That the officer violated Section 2.02(c) of the RCSO Code of Conduct from
Respondents Nice_guy1234567891 and YouFoundSeal;
8. That the officer confiscated Matt’s pistol, from Respondent
Nice_guy1234567891;
9. That Matt did not shoot his pistol from the top of the parking garage, from
all Respondents;
10. That the officer arrested Matt from Respondents TALAN10101 and
SudFortia;
11. And such other, further, or different facts as may be just or proper, from all
Respondents.
JURISDICTION AND VENUE
12. This Court has jurisdiction pursuant to Article V, Section IV of the
Constitution of the State of Ridgeway, Ridgeway Rule of Civil Procedure 20(a),
and 1 R.S. § 207.
13. Venue is proper in this Court because Respondents reside within Ridgeway
County, and the incident leading to this petition occurred within Ridgeway County
PARTIES
14. Petitioner Mattjet25 is a resident of the State of Ridgeway.
FIRST AMENDED PETITION TO
PERPETUATE TESTIMONY - 2 -
This document is for roleplaying purposes only. I am a notary public of the State of Texas in real life. A notary
public cannot give legal advice. See Tex. Gov't Code § 406.017. This document does not constitute legal advice.
15. Respondent Nice_guy1234567891 is a Deputy of the Ridgeway County
Sheriff’s Office and is named as a Respondent in their official capacity.
16. Respondent TALAN10101 is a resident of the State of Ridgeway and
witnessed the incident.
17. Respondent SudFortia is a resident of the State of Ridgeway and witnessed
the incident.
18. Respondent YouFoundSeal is a Officer of the Palmer Police Department and
witnessed the incident. They are named as a Respondent in their official capacity.
PRAYER FOR RELIEF
Wherefore, Petitioner prays that the Court allow him to perpetuate their own
testimony, and the testimony of Respondents for use in the expected action, and to
award such other, further, or different relief as may be just and proper.
Respectfully submitted.
Dated: November 5th, 2022
Palmer, Ridgeway
/s/ DorkJacob
———————————————————————————
DORKJACOB
Ridgeway Bar No. 17135
Counsel of Record
DorkJacob Law
4100 Majellan Way
Sterling Heights, Ridgeway
JacobInAustin#0001
[email protected]
Attorney for Petitioner
FIRST AMENDED PETITION TO
PERPETUATE TESTIMONY - 3 -
Document record
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Uploaded
Nov 5, 2022 12:00 PM
Filed
Nov 5, 2022 12:00 PM
Filing code
COMPLAINT
Uploaded by
mattjet25
Notes
First Amended Petition to Perpetuate Testimony.pdf — archived from the Trello docket (https://trello.com/c/5YQFEWQW)