RIDGEWAY SUPERIOR COURT
MITHUANGEL,
Plaintiff,
v.
MONICACULTURE; SWEETDISSING,
Defendants.
Case No. RSC-CV-2516
Hon. EnforcementBeyond
CIVIL COMPLAINT
COMES NOW mithuangel, proceeding with counsel, for their complaint against MonicaCulture and
SweetDissing, alleges:
INTRODUCTION
1. On March 20, 2024 at 23:39 UTC-07, the Plaintiff in operation of a Black Tremor Cobral at an
intersection located between Laguna Avenue and Palmer Boulevard.
2. While stopped at the aforementioned intersection, a White Actilla operated and occupied by both
defendants respectively, impeded the casual travel of the Black Tremor Cobral operated by the Plaintiff.
3. This impediment caused the Plaintiff to tell the obstructive vehicle to “move,” to which the White
Actilla (hereinafter referred to as “Obstructive Vehicle” or “Defendant’s Vehicle”) operated and occupied
by both defendants respectively, inched forward and got out of the Obstructive Vehicle.
4. Upon both Defendants’ exit of the Obstructive Vehicle, both defendants collectively opened fire
on the Plaintiff’s Black Tremor Cobral, causing the Plaintiff to make a right turn towards Palmer
Boulevard.
5. Upon the Plaintiff’s entry into Palmer Boulevard, with both Defendants still firing, the Black
Tremor Cobral owned and operated by the Plaintiff exploded, with the Plaintiff automatically exiting their
vehicle.
6. Upon the Plaintiff’s automatic exit of the vehicle in lieu of the explosion, the Plaintiff attempted
to avoid gunfire by jumping up and down in different directions, only to succumb to the sheer gunfire
being produced by both defendants collectively.
PARTIES
7. Plaintiff, mithuangel is a Citizen of the State of Ridgeway.
8. Defendant, MonicaCulture is a Citizen of the State of Ridgeway.
9. Defendant, SweetDissing is a Citizen of the State of Ridgeway.
JURISDICTION AND VENUE
10. This court is empowered with the ability to hear all civil or criminal cases or controversies
pursuant to Article V, Section IV of the Ridgeway State Constitution.
11. Venue is proper because the alleged offenses took place in Palmer, a city under Ridgeway County,
Ridgeway.
FACTS
12. On March 20, 2024 at 23:39 UTC-07, the Plaintiff in operation of a Black Tremor Cobral at an
intersection located between Laguna Avenue and Palmer Boulevard.
13. While stopped at the aforementioned intersection, a White Actilla operated and occupied by both
defendants respectively, impeded the casual travel of the Black Tremor Cobral operated by the Plaintiff.
14. This impediment caused the Plaintiff to tell the obstructive vehicle to “move,” to which the White
Actilla (hereinafter referred to as “Obstructive Vehicle” or “Defendant’s Vehicle”) operated and occupied
by both defendants respectively, inched forward and got out of the Obstructive Vehicle.
15. Upon both Defendants’ exit of the Obstructive Vehicle, both defendants collectively opened fire
on the Plaintiff’s Black Tremor Cobral, causing the Plaintiff to make a right turn towards Palmer
Boulevard.
16. Upon the Plaintiff’s entry into Palmer Boulevard, with both Defendants still firing, the Black
Tremor Cobral owned and operated by the Plaintiff exploded, with the Plaintiff automatically exiting their
vehicle.
17. Upon the Plaintiff’s automatic exit of the vehicle in lieu of the explosion, the Plaintiff attempted
to avoid gunfire by jumping up and down in different directions, only to succumb to the sheer gunfire
being produced by both defendants collectively.
FIRST CAUSE OF ACTION
(Wrongful Death - 1 R. Stat. § 3109)
18. Wrongful Death, pursuant to 1 R. Stat. § 3109, is the act of causing the death of another person
without a legal justification.
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19. When the Plaintiff told the Obstructive Vehicle to move, the Defendants obliged, but only by a
little bit before opening fire, eventually killing the Plaintiff and exploding their vehicle. See complaint,
paras. 3-6, see also paras. 14-17.
20. Those actions warrant relief under the aforementioned Wrongful Death statute because the
Defendants had no legal justification to murder the Plaintiff.
SECOND CAUSE OF ACTION
(Battery - 1 R. Stat. § 3102)
21. Battery, pursuant to 1 R. Stat. § 3102, is the act of bringing unwanted harmful or offensive
contact against another person.
22. When the Plaintiff told the Obstructive Vehicle to move, the Defendants obliged, but only by a
little bit before opening fire, eventually killing the Plaintiff and exploding their vehicle. See complaint,
paras. 3-6, see also paras. 14-17.
23. These actions warrant relief under the aforementioned Battery statute because by opening fire
against the plaintiff, there is an infliction of unwanted harmful contact against the Plaintiff.
THIRD CAUSE OF ACTION
(Civil Conspiracy - 1 R. Stat. § 3111)
24. Civil Conspiracy, pursuant to 1 R. Stat. § 3111, is the act of conspiring or colluding between one
or more persons to deprive a third party of a legal right, or deceive a third party to obtain an illegal
objective.
25. When the Plaintiff told the Obstructive Vehicle to move, the Defendants obliged, but only by a
little bit before opening fire, eventually killing the Plaintiff and exploding their vehicle. See complaint,
paras. 3-6, see also paras. 14-17.
26. These actions warrant relief under the aforementioned Civil Conspiracy statute because both
defendants colluded with each other in a civil conspiracy to deprive a third party, the Plaintiff in this
matter, of a legal right.
27. The right to life, liberty, and property are legal rights secured by Article I, Section V of the
Ridgeway State Constitution.
Intentionally left blank, see next page
RELIEF
WHEREFORE, Plaintiff requests that the court grant relief as follows:
A. $16,000 in punitive damages.
❖ $8,000 in punitive damages to be paid by MonicaCulture to the Plaintiff, and
❖ $8,000 in punitive damages to be paid by SweetDissing to the Plaintiff.
B. Any such other relief deemed necessary by the court.
Respectfully Submitted.
IICRYPTIC_LAWMD
Senior Associate
COHN, CICERO, & GOODRICH, LLC
Suite 3B, Palmer Apartments
Palmer, RW 33328
D: cryptic2733
Counsel of Record
Counsel for Plaintiffs