RIDGEWAY SUPERIOR/DISTRICT COURT
FOR THE DISTRICT OF RIDGEWAY COUNTY
RADIANCEOF_THOUGHT,
Plaintiffs,
v.
OPPBLOC,
Defendant.
Case No.
CIVIL COMPLAINT
PLAINTIFF, RADIANCEOF_THOUGHT for their complaint against the OPPBLOC, alleges:
INTRODUCTION
1. On the twenty-first (21st) of January 2023, Plaintiff RadianceOf_Thought (hereinafter,
Plaintiff) was in front of the Sterling Gun Club in Sterling, standing outside their RNN
Van
2. Defendant Oppbloc (hereinafter, Defendant) pulled out a Micro and began to shoot the
Plaintiff.
3. Plaintiff entered their car after being shot, and the Defendant continued to shoot them
until they died in their car.
PARTIES
4. Plaintiff is a Citizen of the State of Ridgeway
5. Defendant is a Citizen of the State of Ridgeway
JURISDICTION
6. The jurisdiction of this case resides in the Superior Court of the State of Ridgeway, as
this case is a civil action filed against a citizen of the State of Ridgeway; the court’s
jurisdiction is established under Article V, Section IV of the State Constitution.
VENUE
7. Venue is proper in this Court because the alleged actions took place in the City of
Sterling, which is a Discord/In-game subject to the laws of Ridgeway County.
FACTS
8. Defendant intentionally caused an unjustified death to Plaintiff, and as such, according to
the prerequisites set out by the State Code of Statutes, Defendant has caused a Wrongful
Death.
FIRST CAUSE OF ACTION
1 R. Stat. § 3109, WRONGFUL DEATH
9. Defendant Oppbloc caused a wrongful death to the Plaintiff, RadianceOf_Thought, by
shooting them unprovoked and killing them. They had no reason or justification for this
act. Under 1 R. Stat. § 3109, it states “Any individual who causes the death of another
without legal cause or justification shall be wrongful death and liable for compensatory
damages and punitive damages up to $2,500.” The actions by the Defendant meet the
requirements for Wrongful Death.
RELIEF
WHEREFORE, Plaintiff requests that the court grant relief as follows:
A. $850 in punitive damages for Wrongful Death.
B. Any such other relief deemed necessary by the court.
Respectfully Submitted.
SAMAGONOUS
Counsel of Record
COHN, CICERO, & GOODRICH, LLC
Suite 3B, Palmer Apartments
Palmer, RW 33328
D: subtitle#3862
E: N/A
Counsel for Plaintiffs
APPENDICES
APPENDIX A - https://www.youtube.com/watch?v=ODbkkoATeHI