STATE OF RIDGEWAY
SUPERIOR COURT
HAPPY_LIVE89;
Plaintiff;
-against-
TOBOORACC;
Defendant.
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Case No.: RSC-CV-2514
CIVIL COMPLAINT
Presiding Judge: Hon. EnforcementBeyond
CIVIL COMPLAINT
I. The Parties to This Complaint
A. The Plaintiff(s)
1. The Plaintiff is HAPPY_LIVE89, a citizen of the State of Ridgeway.
B. The Defendant(s)
2. The Defendant is TOBOORACC, a Ridgeway Credit Union Security Guard and a citizen
of the State of Ridgeway.
II. Jurisdiction and Venue
3. Pursuant to Article V, Section IV of the Constitution of the State of Ridgeway, this
Honorable Court is vested with the authority to entertain and adjudicate “all civil or
criminal cases or controversies.”
4. Venue is proper as the incidents giving rise to the present litigation occurred within the
geographical bounds of Sterling Heights, a municipality in Ridgeway County subject to
the jurisdiction and laws of the State of Ridgeway.
III. Statement of Facts
5. On or about the 5th of March, HAPPY_LIVE89 was in and around the Ridgeway Credit
Union in Sterling Heights when they got lost and parked their black lancaster near the
Credit Union.
6. TOBOORACC, a working security guard, without any legal cause or justification, and
without saying a word to HAPPY_LIVE89, got into the truck and drove it out of the
Credit Union.
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CIVIL COMPLAINT
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7. TOBOORACC unlawfully moved the black pickup, which belonged to
HAPPY_LIVE89, from its parked location near the Credit Union.
IV. Allegations
FIRST CAUSE OF ACTION - TROVER
(1 R. Stat. § 3113)
1. All preceding Paragraphs of this Complaint are hereby incorporated by reference.
2. Trover is defined as “Any individual who wrongfully takes another's personal property
without legal reason or justification.” 1 R. Stat. § 3113
3. Defendant, TOBOORACC, unlawfully entered and drove the personal vehicle of the
Plaintiff, HAPPY_LIVE89, without any legal cause or justification.
V. Relief
WHEREFORE, Plaintiffs prays for judgment, against Defendants, each of them, that the relief
for all cause(s) of action be as follows:
1. To order the payment of $2500, by the Defendant to the Plaintiff for punitive damages;
2. To order the payment of $1,000 in for attorney’s and court filing fees by the Defendant;
3. To provide a judgment from this court providing that the Defendants violated the laws of
the State of Ridgeway by unlawfully driving HAPPY_LIVE89’s vehicle;
4. For such or other reliefs as the court may deem just and proper.
DATED: March 26th, 2024
Respectfully submitted,
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Arthur_Chen, Esq.
R. Bar. No. 20104
Attorney for the Plaintiff
Counsel of Record
/s/ Happy_live89
Happy_live89
Plaintiff
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