ADMINISTRATIVE COURT
State of Ridgeway
IN RE
CANYOUDROWN
Petitioner
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ADMINISTRATIVE CLAIM
CLAIM NO. RSC-AD-2386
CLAIM INFORMATION
Agency: RIDGEWAY PARK SERVICE
Type of Action DISHONORABLE DISCHARGE / APA § 1.3
IA Reference No. N/A
STATEMENT OF FACTS
1. On January 31st, 2021, canyoudrown gained his Law Enforcement Training Center
Certification to become a law enforcement officer in the State of Ridgeway.
2. canyoudrown then proceeded to join the Ridgeway Park Service, where he became an
exemplary Park Ranger, a role model for all.
3. Around the date of June 20th, 2021, canyoudrown was placed under investigation by the
Ridgeway Park Service.
4. On June 20th, 2021, canyoudrown was dishonorably discharged from the Ridgeway Park
Service for “dealing” by OmniGalaxy. This action was respectively logged in #rps-logs
by at the time Superintendent YomotsuMikoto (now known as japan_2s).
5. Shortly thereafter, on June 21st, 2021, canyoudrown’s Law Enforcement Training
Certification was revoked and blacklisted.
6. Throughout and after the investigation, canyoudrown maintained his innocence that he
was not an alleged dealer.
7. On January 27th, 2024, canyoudrown appealed his certification revoke and blacklist to
Law Enforcement Training Center Director Dominic8u.
8. canyoudrown maintained his innocence throughout the appeals process and after fighting
hard, Director Dominic8u determined that canyoudrown was innocent of the allegations
and acquitted him fully, reinstating his Law Enforcement Training Certificate and
unblacklisting him.
9. Shortly thereafter, canyoudrown joined the Palmer Police Department, where he is an
exemplary Patrol Officer in Patrol Unit II.
10. Before applying for the Palmer Police Department, on January 28th, 2024, canyoudrown
attempted to contact now Superintendent robloxwolf123 to remove his dishonorable
discharge which is on the Ridgeway Park Service roster, as it might affect him in future
employment opportunities.
11. Superintendent robloxwolf123 said “Ofc I’ll verify that but otherwise i see no issues”.
12. canyoudrown’s dishonorable discharge was never removed, and he did not receive a
further response from Superintendent robloxwolf123 in regards to removing his
dishonorable discharge, even after reaching out again on February 4th, 2024.
ARGUMENT
13. The Courts of Ridgeway have noted that “[a] dishonorable discharge has certain statutory
disabilities [...] such as the fact they will get looked at unfavorably in all future hiring
decisions[.]” In Re SteKing2008 RSC-AD-268
14. §1.3(b) of the Administrative Procedures Act (“APA”) states that “[a] dishonorable
discharge may be only issued following an internal affairs investigation and review by
the administrative court[.]” (emphasis added).
15. canyoudrown was never given his right to review by an administrative court.
16. This dishonorable discharged issued by the Ridgeway Park Service gives grounds for any
agency to deny canyoudrown’s background check.
17. If the Ridgeway Park Service wants to keep the dishonorable discharge, then they must
only do so upon recommendation of a hearing by the administrative court.
18. Although the dishonorable discharge was issued pre-APA, there must still be a hearing to
determine whether the dishonorable discharge may stand. See In Re JamesVanchetti
RSC-AD-631 (“If the Sheriff’s Office intends to keep the dishonorable discharge then
there’ll need to be a hearing.)
19. canyoudrown is to this date, continuously suffering as a result of his dishonorable
discharge, and his statutory rights are being violated every second when the Ridgeway
Park Service, in essence, refuses to remove his dishonorable discharge.
PRAYERS FOR RELIEF
20. The Petitioner seeks declaratory relief, declaring that his statutory rights are being
violated as a result of the dishonorable discharge.
21. The Petitioner seeks immediate reversal of his dishonorable discharge from the Ridgeway
Park Service, to be changed to a general or honorable discharge, or a hearing to determine
whether the dishonorable discharge should stand.
22. The Petitioner seeks additional relief of which the Court may grant that is not requested
through this claim.
Respectfully submitted.
Date: 03/03/2024
JamesGardai
ATTORNEY FOR PETITIONER
Bar No. 24101
Counsel of Record
APPENDIX OF EVIDENCE
A) https://cdn.discordapp.com/attachments/966530140479823944/1212963810269466645/3
92bbc1f981a04eeb807db05e5228003.png?ex=65f3bf94&is=65e14a94&hm=d22b5a5e71
a968a0ba8fcf0584312d988bec09bd17734c378e88402d313243b9&
B) https://cdn.discordapp.com/attachments/966530140479823944/1212963953219473408/4
cdeb0611c71cb22be95b203a0ae9ec9.png?ex=65f3bfb6&is=65e14ab6&hm=773f693edcc
716143f3134ddc31f14711e8385244ddeba7ac2e13eed15d44f56&
C) https://cdn.discordapp.com/attachments/966530140479823944/1214001716639305758/e
1bb78c7081324e61a86b027cf1a5c6a.png?ex=65f78634&is=65e51134&hm=5ba2ccdbeb
9d20eb317be503ff61d10828a8f7da8bc0c38afc2878aa3e38ad39&
D) https://cdn.discordapp.com/attachments/966530140479823944/1214001853126152273/a
c36816dbca98384c31f3c143af8603d.png?ex=65f78654&is=65e51154&hm=2ff37fffc029
dc447b402d9dd1922b862eafea8d6cf699e9b17ac6fb885bc50c&
E) https://cdn.discordapp.com/attachments/966530140479823944/1214001965286162462/6
3784311b409ae6fc6455866fbe22ec2.png?ex=65f7866f&is=65e5116f&hm=61e0ccd10e6
ca030a1cb5c77f9575c2aee0116d2a862bee4df8e5bcd1e6c9e63&
F) https://cdn.discordapp.com/attachments/966530140479823944/1214002040351752262/d
1c5057f82de1a373bb611134a66585d.png?ex=65f78681&is=65e51181&hm=ad6afe0bee
74e11264227e76eb878fe648ca8f3d7b61fdcef8ac9cf5bd76f9c3&