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SUPERIOR COURT OF THE STATE OF RIDGEWAY
HAPPY_LIVE89, Plaintiff,
v.
TOBOORACC, Defendant.
No. RSC-CV-2514
DEPOSITION OF TOBOORACC
Wednesday, April 3, 2024
6:27 PM – 7:42 PM Central Time
DorkJacob Law, PLLC
1B Palm View, Palmer, Ridgeway
PURSUANT TO NOTICE the above-entitled deposition was
taken on behalf of the Defendant at DorkJacob Law,
PLLC’s Discord server, in the “#tobooracc_4_other”
channel of said Discord server. This deposition was
transcribed by Ticket Tool and reduced to writing by
DorkJacob, Attorney and Counselor at Law.
APPEARANCES:
FOR HAPPY_LIVE89:
Arthur_Chen (262857046)
Ridgeway Bar No. 20104
Palmer, Ridgeway
Discord: arthur_chen (412736210985943060)
[email protected]
FOR TOBOORACC:
DorkJacob Law, PLLC
By: DorkJacob (33576796)
Ridgeway Bar No. 17135
1B Palm View
Palmer, Ridgeway
Discord: sovorijacob (1078056405250080808)
discord.gg/czepa27uNj
[email protected]
TABLE OF CONTENTS
Examination by DorkJacob 1
Examination by Arthur_Chen 8
Certificate 11
TABLE OF EXHIBITS
A Video of the incident
https://streamable.com/5vtltv
B Declaration of Just_Dapper
C Ridgeway Credit Union Corporate Security
Handbook
Door Access Policy
https://trello.com/c/PbtBLynR/52-door-access-p
olicy
D Shirt and Pants
https://i.imgur.com/rmKpqz3.png
E Vest
https://i.imgur.com/AB0kQlx.png
F Belt
https://i.imgur.com/XBZvz8C.png
G Ballcap
https://i.imgur.com/qLjv9iz.png
H Title 4, Section 5, Ridgeway Criminal Code
(Trespassing)
I Image extracted from Exhibit A
https://i.imgur.com/fhHEs4X.jpeg
1
PROCEEDINGS
TobooRacc, having been duly sworn, was deposed and
testified as follows–
EXAMINATION BY DORKJACOB
1 Q: What is your Roblox username?
2 A: TobooRacc.
3 Q: Have you used any other Roblox usernames?
4 A: tobooawesomebahom and Toboo_Racc.
5 Q: What is your Discord username?
6 A: TobbyRacc.
7 Q: Have you used any other Discord usernames?
8 A: No.
9 Q: Are there any potential interruptions that
you may experience during this deposition?
10 A: No.
11 Q: Are you experiencing any interruptions
right now during this deposition?
12 A: No.
13 Q: Are you paying full attention to this
deposition?
14 A: Yes.
15 Q: Will you let me know if you do not
understand any of my questions?
16 A: Yes.
17 Q: Will you let me know if you need a break?
18 A: Yes.
19 Q: Have you ever been arrested?
2
20 A: No.
21 Q: Have you ever been convicted?
22 A: No.
23 Q: Have you ever seen Happy_live89 before the
events related to this lawsuit?
24 A: No.
25 Q: Have you ever seen TheDiamondTDD before the
events related to this lawsuit?
26 A: No.
(Exhibit A marked for identification.)
27 Q: Are you familiar with Exhibit A?
28 A: Yes.
(Exhibit B marked for identification.)
29 Q: Are you aware of Exhibit B?
30 A: No.
31 Q: Can you read it?
32 A: Yes. I have fully read and I am now aware
of Exhibit B.
33 Q: Can you read aloud the text in quotation
marks in Paragraph 3 of Exhibit B?
34 A: “The clip starts with TobooRacc in the
drivers seat of a black Lancelot.Tobooracc drives
the black Lancelot out of the Ridgeway Credit
Union garage, while TheDiamondTDD leaps in front
of the vehicles path. The clip then ends.”
35 Q: Referring to your previous answer, is that
your recollection of the incident?
3
36 A: Yes.
37 Q: Do you know if the black Lancaster shown in
Exhibit A belongs to Happy_live89?
38 A: No.
39 Q: Why did you drive the truck out of the
Ridgeway Credit Union garage?
40 A: It was intentionally put there by
Happy_live89 and TheDiamondTDD to block RCU’s
spawners, so I moved it out of the garage.
41 Q: What exactly did you observe Happy_live89
and TheDiamondTDD do with the truck before you
moved it?
42 A: They were trying to gain entry to the
garage and driving up to the garage, they gained
entry with the truck and abandoned it there.
43 Q: Are you a security guard at the Ridgeway
Credit Union?
44 A: Yes.
45 Q: In your experience as a Ridgeway Credit
Union (RCU) security guard, do unauthorized
individuals often try to drive up to the garage
and gain entry?
46 A: Yes, plenty.
47 Q: Referring to your previous answers, did you
move the truck because the truck was blocking
RCU’s ability to spawn vehicles?
48 A: Yes.
4
49 Q: Do you know if RCU policy allows you to
remove trespassers and their property?
50 A: No.
(Exhibit C marked for identification.)
51 Q: Referring to Exhibit C, can you read aloud
what it says?
52 A: “As an employee, you will have access to
the building and its doors even while you are off
team. When you are off team, you are not allowed
to enter the reception area, locker room, vault,
or the garage. The credit union building is
private property beyond the lobby and only on-duty
personnel are allowed. If you are caught in the
back area off team it is considered trespassing.
If you are caught abusing door permissions to
commit crimes while off team (i.e. getting into
the garage by opening the door yourself to steal
moneybags) you be immediately discharged and
blacklisted from the group.”
53 Q: Did you move the truck because it's implied
as a result of your duties to protect RCU property
from trespassers?
54 A: Yes.
55 Q: Where did you move the truck to?
56 A: I moved it to the Sterling Gym.
57 Q: How far is the Sterling Gym from the
Ridgeway Credit Union?
5
58 A: Right next door to RCU.
59 Q: How long did you have the truck in your
possession and control?
60 A: Seven (7) seconds.
61 Q: Are you confident in that answer?
62 A: Yes.
63 Q: Do you have a recording of the incident
within your possession, control, or knowledge,
except the one I've shown you?
64 A: No.
(Exhibit D marked for identification.)
65 Q: What were you wearing at the time of the
incident?
66 A: My standard RCU Class A uniform.
67 Q: Are the shirt and pants depicted in Exhibit
D what you were wearing?
68 A: With RCU’s standard duty belt and vest,
yes.
(Exhibit E marked for identification.)
69 Q: Is the vest depicted in Exhibit E the vest
you were wearing?
70 A: Yes.
(Exhibit F marked for identification.)
71 Q: Is the belt depicted in Exhibit F the duty
belt you were wearing?
72 A: Yes.
73 Q: What headgear were you wearing, if any?
6
74 A: My standard RCU ballcap.
(Exhibit G marked for identification.)
75 Q: Is the hat depicted in Exhibit G the
ballcap you were wearing?
76 A: Yes.
77 Q: What equipment did you have on your person
at the time of the incident?
78 A: The Barrage.
79 Q: What is a barrage?
80 A: The M1014.
81 Q: What is a M1014?
82 A: The M1014 is a semi-auto shotgun, capable
of holding up to seven (7) shells.
83 Q: Okay. Do you know if RCU security personnel
usually get any other equipment?
84 A: Yes.
85 Q: Did you have any other equipment on your
person?
86 A: An RCU standard-issued clipboard.
87 Q: Do you know who drove the truck into the
RCU garage in the first place?
88 A: No.
89 Q: Referring to a previous question where I
had asked you "what exactly did you observe
Happy_live89 and TheDiamondTDD do with the truck
before you moved it?", you responded with "they
were trying to gain entry to the garage and
7
driving up to the garage, they gained entry with
the truck and abandoned it there", are you
confident that either TheDiamondTDD or
Happy_live89 drove said truck into the RCU garage
in the first place?
90 A: Yes.
(Exhibit H marked for identification.)
91 Q: Can you read aloud Title Four (4), Section
Five (5) of the Ridgeway Criminal Code?
92 A: “The act of unlawfully gaining entry to
property without the consent of the proprietor,
having been informed that they shall not enter the
property or where a sign has been visibly posted
announcing that the property must not be entered
without authorization.”
(Exhibit I marked for identification.)
93 Q: Referring to Exhibit I and your knowledge
of the RCU building and garage, what does the
orange sign with black lettering depicted in
Exhibit I state?
94 A: It says “warning” inside the diamond shape
within the sign, and under said shape it says “no
trespassing”.
95 Q: Is that sign constantly posted near the RCU
garage doors?
96 A: Yes.
97 Q: Do you warn people not to trespass on RCU
8
property?
98 A: Yes.
99 Q: Was the truck unlocked at the time of the
incident?
100 A: Yes.
101 Q: Do you believe that the truck belongs to
either Happy_live89 or TheDiamondTDD?
102 A: Yes.
103 Q: Did TheDiamondTDD jump in front of the
truck when you moved it?
104 A: On my screen, no.
105 Q: Was TheDiamondTDD in front of the truck at
any time after you had started driving it out of
the RCU garage?
106 A: No.
107 DORKJACOB: Thank you for answering my
questions. One moment.
108 DORKJACOB: Mr. Chen, do you have any
questions?
109 ARTHUR_CHEN: Yes.
EXAMINATION BY ARTHUR_CHEN
110 Q: Did you have explicit authorization or
permission to operate the pickup truck at the time
of the incident?
111 A: No.
112 Q: Did you contact the police before driving
9
off in the pickup truck?
113 A: Yes.
114 Q: Who did you contact?
115 A: I attempted to speak with a deputy sheriff
present at RCU who was away from the keyboard, and
AllyCoretti.
116 Q: After contacting these members of law
enforcement, did they give you any instructions as
to how to resolve the truck blocking the spawn
pad?
117 A: No.
118 Q: Did these members of law enforcement say
anything to you at all?
119 A: No.
120 Q: As an RCU Security Guard, are you a police
officer?
121 A: No.
122 Q: As an RCU Security Guard, do you have the
authorization to drive civilian vehicles?
123 A: No.
124 Q: Did you have a good-faith fear of imminent
life-or-death at the time of the incident in
question?
125 A: No.
126 Q: At the time of the incident, did
Happy_live89, TheDiamondTDD, or anyone in the near
vicinity of RCU threaten you with imminent bodily
10
injury or apprehension?
127 A: No.
128 ARTHUR_CHEN: Thank you. No further questions
at this time.
129: DORKJACOB: We are adjourned. Off the record.
(Whereupon, the deposition was adjourned at
7:42 PM Central Time.)
11
CERTIFICATE
THE STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
I, DorkJacob, declare as follows–
I am of sound mind and capable of making this
statement. I have personal knowledge of the facts
written in this statement. I understand that I may be
held criminally responsible if I lie in this
statement. This statement is accurate to the best of
my knowledge and belief.
I am DorkJacob. I am counsel of record for the
Defendant in Happy_live89 v. TobooRacc, No.
RSC-CV-2514.
The foregoing transcript to which this declaration
is attached is a true, correct, exact, complete, and
accurate transcript of the deposition of TobooRacc
(the “deponent”) taken on April 3, 2024, according to
the transcript produced by Ticket Tool and the
stipulations of counsel.
I certify that the deponent was first duly sworn
to tell the truth, the whole truth, and nothing but
the truth.
Reading and signing of the transcript was not
requested by the deponent or any parties involved upon
completion of the deposition.
12
I declare under penalty of perjury that the
foregoing is true and correct. Executed on April 3,
2024.
DORKJACOB LAW, PLLC
/s/ DorkJacob
———————————————————————————————————————————————————————————————————————
DorkJacob
Ridgeway Bar No. 17135
1B Palm View
Palmer, Ridgeway
discord.gg/czepa27uNj
[email protected]
Document record
File size
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Uploaded
Mar 20, 2024 12:00 PM
Filed
Mar 20, 2024 12:00 PM
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COMPLAINT
Uploaded by
happy_live89
Notes
TobooRacc Deposition Transcript.pdf — archived from the Trello docket (https://trello.com/c/R9NvKSCy)