Rendered from the court's authenticated repository
Searchable full text
2,730 characters extracted
—
STATE OF RIDGEWAY
SUPERIOR COURT
JEPALOON
Plaintiff,
v.
CRIMZOH
Defendant.
CIVIL COMPLAINT
Docket No. RSC-CV-2214
PARTIES
1. Mr. Jepaloon, the Plaintiff, is a citizen of the State of Ridgeway.
2. Mr. Crimzoh, the Defendant, is a citizen of the State of Ridgeway.
JURISDICTION
1. Article V, Section IV of the Ridgeway State Constitution empowers this Court to hear
“all civil or criminal cases or controversies”.
CAUSES OF ACTION
(5 R. Stat. § 202 - Battery)
On or about the date of 29 January 2024;
1. Plaintiff was peacefully and civilly conducting his business as a citizen of the State of
Ridgeway and was detained by Officer AdamAxer33 of the Palmer Police Department
during this situation in question.
2. The defendant, Crimzoh, can be seen approaching the Palmer Police Department and
parking his gray Gridlock van at the entrance of the building.
3. The defendant swiftly exits his vehicle and equips an Stetson M2-A rifle and began open
firing at the crowd of people surrounding the plaintiff and Officer Axer.
4. Due to the gunfire coming from the defendant, Officer AdamAxer33 and a nearby
bystander are killed. Shortly after, the defendant discharges his firearm at the plaintiff,
who is still in handcuffs, causing unconsented harmful contact to his person.
(5 R. Stat. § 209 - Wrongful Death)
1. Plaintiff repeats and realleges the allegations contained in Line 1 (one) through 4 (four)
on page 1 (one) of this complaint.
2. As of a result of the unconsented harmful contact brought to the plaintiff by the
defendant, Mr. Crimzoh, the plaintiff was almost immediately killed.
(5 R. Stat. § 213 - Trover)
3. Plaintiff repeats and realleges the allegations contained in Line 1 (one) through 4 (four)
on page 1 (one) of this complaint.
4. Shortly after the defendant had shot and killed the plaintiff, the defendant can be seen
picking up his previously held Barrage 1014 shotgun off the ground, along with two
boxes of 9mm and 12 guage ammunition. As well as a coffee that the plaintiff had on his
person that was dropped after he had died.
PRAYERS FOR RELIEF
1. Plaintiff prays the Court finds Defendant liable for the aforementioned torts.
2. Plaintiff seeks monetary relief amounting to $538 in compensatory damages and $1,500
in punitive damages.
a. $500 for 5 R. Stat. § 202 - Battery
b. $1000 for 5 R. Stat. § 209 - Wrongful Death
c. $413 for 5 R. Stat. § 213 - Trover.
d. $125 for the Plaintiff’s legal fees.
3. Plaintiff also seeks any additional relief as deemed appropriate by the Court that is not
requested herein.
EVIDENCE
1. Exhibit A - Defendant killing and looting his personal belongings
2. Witnesses will be presented during the discovery phase.
Date: 01/29/24
/s/ Jepaloon
Plaintiff
Counsel of Record
Document record
File size
84.5 KB
Uploaded
Jan 29, 2024 12:00 PM
Filed
Jan 29, 2024 12:00 PM
Filing code
COMPLAINT
Uploaded by
jepaloon
Notes
Loon v. Zoh CIVIL COMPLAINT.pdf — archived from the Trello docket (https://trello.com/c/Q5GCwOif)