THE STATE OF RIDGEWAY
RIDGEWAY COUNTY COURT
REACHMASTERABLE,
Plaintiff.
-against-
IICald_LawII,
Defendant.
Case No. RSC-CV-813
CIVIL COMPLAINT
Presiding Judge: Hecxtro
Reachmasterable, proceeding with counsel, hereby brings this civil action and for their
allegations against the Defendant, it is alleged as follows:
STATEMENT OF FACTS
1. On the 27th of November, 2022 the plaintiff was standing outside with a crowd of people,
seemingly minding his own business, not bothering anyone, but simply being.
2. The defendant appears at Bloxmart within the city of Palmer after the plaintiff is seen
there.
3. The defendant thereafter took this opportunity to pull out a Wesler Shotgun and shoot a
peace officer dead.
4. After killing the police officer, the Defendant then turns and points his firearm at the
Plaintiff before the Plaintiff is able to draw his weapon.
5. Out of fear for his life, and the lives of those around him, the plaintiff draws a weapon of
their own, to aid the officer before he is shot dead. At this point in time, the Plaintiff also
has reasonable cause to believe his life is in danger as the weapon was pointed at the
Plaintiff before the direct death of the peace officer.However, once the plaintiff realizes
that he can be of no help to the already dead officer, and not wanting to be harmed
themselves, the plaintiff puts their weapon away.
6. At no point did the Plaintiff fire their weapon.
7. The defendant then turns his firearm towards the Plaintiff and fires at the Plaintiff until he
is shot dead.
8. The defendant then steals the plaintiff’s ammo and shotgun off of the plaintiff’s dead
body.
JURISDICTION AND VENUE
9. Venue is proper because this Court has jurisdiction over where the alleged tortuous
actions took place; the State of Ridgeway. Of which is an in-game jurisdiction
subject to the laws of the State Of Ridgeway.
10. This Court has jurisdiction to hear this case pursuant to Article V, Section IV of the
Constitution of the State of Ridgeway.
11. The alleged violations are common law and statutory law violations against the plaintiff.
See 1 R. Stat. §3103, §3109, and §3113.
PARTIES
12. Reachmasterable is a citizen of the State of Ridgeway, a member of the Ridgeway
County Sheriff’s Office and Ridgeway County Transit Authority.
13. IICald_LawII is a citizen of the State of Ridgeway.
CAUSES OF ACTIONS
First Cause of Action
1 R. Stat. § 3103 — Assault
14. Plaintiff re-alleges the allegations set forth in Paragraphs 3-4 above and incorporates the
same herein by reference.
15. Defendant IICald_LawII, intentionally pointed their shotgun at the Plaintiff causing the
Plaintiff to fear that he would be killed or seriously injured by the Defendant’s firearm.
16. The Defendant had no legal justification to point a deadly weapon directly at the Plaintiff
as he posed no threat, and had no legal justification to do so.
Second Cause of Action
1 R. Stat. § 3109 — Wrongful Death
17. Plaintiff re-alleges the allegations set forth in Paragraphs 4-5 above and incorporates the
same herein by reference.
18. Defendant, IICald_LawII, shot and killed the Plaintiff with his shotgun when the Plaintiff
posed no threat to life or threatened the Defendant in any regard. The Defendant lacked
any legal justification to kill the Plaintiff.
Third Cause of Action
1 R. Stat. § 3113 — Trover
19. Plaintiff re-alleges the allegations set forth in Paragraph 8 above and incorporates the
same herein by reference.
20. Defendant, IICald_LawII, after shooting and killing the Plaintiff, took the personal
property of the Plaintiff that included a civilian Barrage 1014 and a box of shell ammo.
The Defendant did this without legal justification and never returned such property to the
Plaintiff.
TORTS AND PRAYERS FOR RELIEF
21. The Plaintiff is suing the defendant for the following torts:
a. 1 R. Stat. § 3103 - Assault
b. 1 R. Stat. § 3113 - Trover
c. 1 R. Stat. § 3109 - Wrongful Death
22. The Plaintiff requests that the relief for 1 R. Stat. § 3103 be as follows:
a. $1,500 in in-game currency in punitive damages.
23. The Plaintiff requests that the relief for 1 R. Stat. § 3109 be as follows:
b. $2,500 in in-game currency in punitive and compensatory damages.
21. The Plaintiff requests that the relief for 1 R. Stat. § 3113 be as follows:
a. $500 in in-game currency in compensatory and punitive damages.
DATED: December 21th, 2022
Respectfully submitted,
Matrix_oc
Counsel for the Plaintiff
EffortlessBrit
EffortlessBrit
Counsel for the Plaintiff