THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
Supsunny99,
-against-
Beatspill,
Defendant.
Case No. RSC-CV-874
CIVIL COMPLAINT
Presiding Judge: Hon. Cabot
Supsunny99, proceeding with counsel hereby brings this civil action and for their
allegations against the Defendant, it is alleged as follows:
STATEMENT
1. On the 11th of January, the defendant entered Bloxmart, armed with a rifle, and shot the
plaintiff multiple times, resulting in his death.
2. On the 11th of January, the plaintiff was located in Sterling Gas Station, fueling his
vehicle. The defendant parked his own vehicle in front of the plaintiff’s, exited and shot
the plaintiff multiple times with a rifle, resulting in his death.
3. On the 11th of January, the plaintiff entered Bloxmart and then proceeded to access the
ATM inside. The defendant was concurrently inside the building. He took an automatic
weapon out, and shot the plaintiff multiple times, resulting in his death.
4. On the 11th of January, the plaintiff was standing in the Sterling Car Dealership parking,
when the defendant approached him from behind, got out of his vehicle and shot him
multiple times with an automatic weapon, resulting in his death.
5. On the 12th of January, the defendant, stationed at Sterling Gun Club, got out of his
vehicle and murdered another citizen with an automatic weapon, then got on the
plaintiff’s vehicle as he tried to drive away, firing multiple shots, which resulted in his
death.
6. On the 12th of January, the defendant stationed his vehicle in the vicinity of Palmer Car
Dealer, then exited his vehicle and shot multiple times at the defendant with an automatic
weapon, resulting in his death.
7. On the 11th of January, the defendant and two other passengers were shooting towards a
vehicle in which the plaintiff was seated as a passenger. The driver was trying to
eliminate the threat by driving away, although he crashed and the other vehicle
desynchronized the vehicle that Supsunny99 was in. Beatspill and the two other
passengers in his vehicle exited, then proceeded to shoot the vehicle.
VENUE
1. This Court has jurisdiction to hear this case pursuant to Article V, Section IV of the
Constitution of the State of Ridgeway.
2. Venue is proper in this Court because the alleged actions took place in the Ridgeway
County.
PARTIES
1. Supsunny99 is a citizen of the United States of America.
2. Beatspill is a citizen of the United States of America.
3.
CAUSES OF ACTIONS
First Cause of Action
1 R. Stat. § 3109 - Wrongful Death
1. Plaintiff re-alleges the allegations set forth in Paragraph 1 and incorporates the same
herein by reference.
2. Defendant, having entered the same venue as the plaintiff, Bloxmart commercial store,
proceeded to murder the plaintiff by firing multiple rifle shots. See Exhibit A
3. Defendant had no legal justification to murder the plaintiff.
Second Cause of Action
1 R. Stat. § 3109 - Wrongful Death
4. Plaintiff re-alleges the allegations set forth in Paragraph 2 and incorporates the same
herein by reference.
5. Defendant, stationing his vehicle in front of the plaintiff’s at Sterling Gas Station, exited
from the driver’s seat and murdered the plaintiff by firing multiple times with a rifle. See
Exhibit B
6. Defendant had no legal justification to murder the plaintiff.
Third Cause of Action
1 R. Stat. § 3109 - Wrongful Death
7. Plaintiff re-alleges the allegations set forth in Paragraph 3 and incorporates the same
herein by reference.
8. Plaintiff, who entered the Bloxmart venue and accessed the ATM, was shot at by the
defendant with an automatic weapon, which resulted in his death. See Exhibit C
9. Defendant had no legal justification to murder the plaintiff.
Fourth Cause of Action
1 R. Stat. § 3109 - Wrongful Death
10. Plaintiff re-alleges the allegations set forth in Paragraph 4 and incorporates the same
herein by reference.
11. Plaintiff, who was standing in the Sterling Car Dealership parking space, was shot at by
the defendant, who stationed his vehicle behind him, with an automatic weapon, which
resulted in his death. See Exhibit D
12. Defendant had no legal justification to murder the plaintiff.
Fifth Second Cause of Action
1 R. Stat. § 3109 - Wrongful Death
13. Plaintiff re-alleges the allegations set forth in Paragraph 5 and incorporates the same
herein by reference.
14. Defendant, having exited his stationed vehicle at the Sterling Gun Club venue, murdered
another citizen, then jumped on the plaintiff’s vehicle, who was trying to drive away and
proceeded to murder him by firing shots with an automatic weapon. See Exhibit E
15. Defendant had no legal justification to murder the plaintiff.
Sixth Cause of Action
1 R. Stat. § 3109 - Wrongful Death
16. Plaintiff re-alleges the allegations set forth in Paragraph 6 and incorporates the same
herein by reference.
17. Defendant, stationing his vehicle in front of the Palmer Car Dealer venue, exited his
vehicle, then proceeded to shoot the plaintiff multiple times with an automatic weapon,
which resulted in his death. See Exhibit F
18. Defendant had no legal justification to murder the plaintiff.
Seventh Cause of Action
1 R. Stat. § 3103 - Assault
19. Plaintiff re-alleges the allegations set forth in Paragraph 7 and incorporates the same
herein by reference.
20. Defendant, chasing a vehicle in which the plaintiff was a passenger, shot at it with an
automatic weapon. When the vehicle stopped, the defendant exited his own vehicle, then
proceeded to shoot at the vehicle and in the plaintiff’s direction. See Exhibit G
21. Defendant intentionally and voluntarily caused immediate harmful and offensive contact
towards the plaintiff.
PRAYERS FOR RELIEF
Pursuant to Rid. R. Civ. 8(a), Plaintiff prays for awardment of the following relief:
1. On the first cause of action, the Plaintiff requests that the relief be as follows:
● $2.500 in-game currency in punitive damages.
2. On the second cause of action, the Plaintiff requests that the relief be as follows:
● $2.500 in-game currency in punitive damages.
3. On the third cause of action, the Plaintiff requests that the relief be as follows:
● $2.500 in-game currency in punitive damages.
4. On the fourth cause of action, the Plaintiff requests that the relief be as follows:
● $2.500 in-game currency in punitive damages.
5. On the fifth cause of action, the Plaintiff requests that the relief be as follows:
● $2.500 in-game currency in punitive damages.
6. On the sixth cause of action, the Plaintiff requests that the relief be as follows:
● $2.500 in-game currency in punitive damages.
7. On the seventh cause of action, the Plaintiff requests that the relief be as follows:
● $1.500 in-game currency in punitive damages.
DISCOVERY TURNOVER
Exhibit A - Videographic Material
https://medal.tv/games/roblox/clips/QfskJiZv0Zut5/d1337tfOY3X0?invite=cr-MSx4NXksMTYy
NTAzNjUwLA
Exhibit B - Videographic Material
https://medal.tv/games/roblox/clips/QfqH1_YyVFEpK/d1337yPCFDN2?invite=cr-MSx6b3Ms
MTYyNTAzNjUwLA
Exhibit C - Videographic Material
https://medal.tv/games/roblox/clips/Qfu1lDhqjZNqu/QyjTKw7eXM1q?invite=cr-MSxNekQsM
TYyNTAzNjUwLA%60
Exhibit D - Videographic Material
https://medal.tv/games/roblox/clips/QfwiOCHU7IMYG/kKkLbOUcYvTQ?invite=cr-MSxMaH
MsMTYyNTAzNjUwLA
Exhibit E - Videographic Material
https://medal.tv/games/roblox/clips/QkRZWYdqukMIG/hujvZ9a9GbIM?invite=cr-MSx1aUYs
MTYyNTAzNjUwLA
Exhibit F - Videographic Material
https://medal.tv/games/roblox/clips/QkSK5cSnKljjh/CW9q2vcEFJBY?invite=cr-MSx6QjcsMT
YyNTAzNjUwLA
Exhibit G - Videographic Material
https://medal.tv/games/roblox/clips/QfncXDHiJ-ToV/d13375gCCd1u?invite=cr-MSxqYkYsMT
YyNTAzNjUwLA
Witnesses the plaintiff intends to call to testify at trial:
Supsunny99 - https://www.roblox.com/users/442127333/profile
In agreement to the Scope of Discovery, the plaintiff formally enters a request incentivizing the
defense to present any discoverable matter that they intend to use at trial, as stipulated by Rid. R.
Civ. 19(a)(b).
Pursuant to Rid. R. Civ. 11(a), signing this pleading constitutes a certificate that I, as the filing
attorney, have read the pleading; that to the best of my knowledge, information, and belief there
is a good ground to support it; and that it is not interposed for delay.
DATED: January 20th, 2023
Respectfully submitted,
kafkadelrey, Esq.
Attorney for the Plaintiff
Ridgeway State Bar License #11110
Cohn, Cicero & Goodrich
Senior Associate
/s/ kafkadelrey
―――――――――――――――
Beatspill
Plaintiff
/s/ Beatspill