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This is a document filed in a mock court in the State of Ridgeway on Roblox.com, and does not constitute
real-life legal advice in any way, shape, or form.
SUPERIOR COURT OF THE STATE OF RIDGEWAY
RIDGEWAYFARMING_ALT,
Petitioner,
v.
RRADITUDE,
Respondent.
No. RSC-CV-2208
PETITION TO PERPETUATE TESTIMONY
RidgewayFarming_Alt, by and through undersigned counsel, hereby, pursuant to
Ridgeway Rule of Civil Procedure 20(a) and 1 R.S. § 2201, respectfully requests to perpetuate
the testimony of Petitioner RidgewayFarming_Alt and Respondent rraditude, and submits that–
THE INCIDENT
1. On or about January 27, 2024 at 14:01 Coordinated Universal Time (UTC), Petitioner
RidgewayFarming_Alt (hereinafter “Farming”) was arrested by Respondent rraditude, in their
official capacity as a Sergeant of the Ridgeway County Sheriff’s Office (hereinafter “Rad”) at the
Palmer Car Dealership for assault, in violation of R.P.C. § 3.02,1 for allegedly telling a firefighter
to “count his days” after Farming asked the firefighter for money and the firefighter said no.
INFORMATION ABOUT THE EXPECTED ACTION
2. Farming intends to petition this Court for relief in the nature of habeas corpus to
challenge the arrest and have it expunged, and potentially commence a civil action against Rad
for official misconduct.
FACTS TO PERPETUATE
Farming intends to perpetuate the following facts–
3. That Rad arrested Farming for assault as described in the arrest report (Ex. A);
4. That Rad received the report of threats from a certain firefighter;
5. That Farming did not intend to genuinely threaten the firefighter;
6. That Rad falsely arrested Farming;
7. That Rad, or the firefighter or a third party has a video of the incident;
8. Any and all other facts that may come to light as a result of the testimony of the
Petitioner and/or the Respondent.
1 “The act of intentionally or knowingly threatening another with imminent bodily injury or apprehension.”
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This is a document filed in a mock court in the State of Ridgeway on Roblox.com, and does not constitute
real-life legal advice in any way, shape, or form.
JURISDICTION AND VENUE
9. This Court has jurisdiction pursuant to Article V, Section IV of the Constitution of the
State of Ridgeway and Ridgeway Rule of Civil Procedure 20(a).
10. Venue is proper in this Court because the Respondent resides within Ridgeway County,
and the incident leading to this petition occurred within Ridgeway County.
PARTIES
11. Petitioner RidgewayFarming_Alt is a resident of the State of Ridgeway.
12. Respondent rraditude is a Sergeant of the Ridgeway County Sheriff’s Office and a
resident of the State of Ridgeway.
PRAYER FOR RELIEF
Wherefore, Petitioner prays that the Court allow them to perpetuate their own testimony,
and the testimony of the Respondent for use in the expected action(s), and to award such other,
further, or different relief as may be just and proper.
Respectfully submitted.
Dated: January 28, 2024
Palmer, Ridgeway
DORKJACOB LAW, PLLC
/s/ DorkJacob
—————————————————————————————————————————————
DorkJacob
Ridgeway Bar No. 17135
Counsel of Record
1B Atlee Road
Palmer, Ridgeway
Discord: izzardizzard
[email protected]
Attorney for Petitioner
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This is a document filed in a mock court in the State of Ridgeway on Roblox.com, and does not constitute
real-life legal advice in any way, shape, or form.
EXHIBIT A
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Document record
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Jan 28, 2024 12:00 PM
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Jan 28, 2024 12:00 PM
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COMPLAINT
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dorkjacob
Notes
Petition to Perpetuate Testimony.pdf — archived from the Trello docket (https://trello.com/c/LWArdYk0)