THE STATE OF RIDGEWAY
RIDGEWAY COUNTY COURT
LILGUYJOKER,
Plaintiff.
-against-
FRISTAPET,
Defendant.
Case No. RSC-CV-839
CIVIL COMPLAINT
Presiding Judge: Hecxtro
Lilguyjoker, 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 31st of December, 2022 the plaintiff was driving along the road, not bothering
anyone, with business they needed to tend to in Sterling.
2. The Defendant appears to stop their vehicle in the middle of the road, directly ahead of
the Plaintiff and begins to seek cover behind their vehicle, seemingly drawing their
weapon.
3. The Plaintiff, in an attempt to get around this “roadblock” tried swerving around the
Defendant’s vehicle.
4. As the Plaintiff is driving by, not causing any threat to the public, the defendant, or
anyone else in the surrounding area, the Defendant opens fire on the Plaintiff with a
Micro.
5. At this point in time, the Plaintiff has reasonable cause to believe his life is in danger as
the weapon was pointed at the Plaintiff and the bullets from said weapon had actually
struck the Plaintiff, causing damage.
6. The Plaintiff jumped out of their vehicle, in fear for their life, at which point the Plaintiff
is shot dead by the Defendant.
7. At no point did the Plaintiff ever draw, or fire their weapon.
JURISDICTION AND VENUE
8. 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.
9. This Court has jurisdiction to hear this case pursuant to Article V, Section IV of the
Constitution of the State of Ridgeway.
10. The alleged violations are common law and statutory law violations against the plaintiff.
See 1 R. Stat. §3103 and §3109.
PARTIES
11. Lilguyjoker is a citizen of the State of Ridgeway.
12. FristaPet is a citizen of the State of Ridgeway.
CAUSES OF ACTIONS
First Cause of Action
1 R. Stat. § 3103 — Assault
13. Plaintiff re-alleges the allegations set forth in Paragraphs 2, 4&5 above and incorporates
the same herein by reference.
14. Defendant FristaPet, intentionally pointed their Micro at the Plaintiff causing the Plaintiff
to fear that he would be killed or seriously injured by the Defendant’s firearm.
15. 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
16. Plaintiff re-alleges the allegations set forth in Paragraphs 5-6 above and incorporates the
same herein by reference.
17. Defendant, FristaPet, shot and killed the Plaintiff with his Micro 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.
TORTS AND PRAYERS FOR RELIEF
18. The Plaintiff is suing the defendant for the following torts:
a. 1 R. Stat. § 3103 - Assault
b. 1 R. Stat. § 3109 - Wrongful Death
19. The Plaintiff requests that the relief for 1 R. Stat. § 3103 be as follows:
a. $1,500 in in-game currency in punitive damages.
20. 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.
DATED: January 1st, 2023
Respectfully submitted,
Matrix_oc
Counsel for the Plaintiff