THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
thr33six8,
Plaintiff
-against-
PeakEffect
Defendant.
RSC-CV-2553
CIVIL COMPLAINT
Presiding Judge: koala4life
thr33six8, proceeding without counsel hereby brings this civil action and for their
allegations against the Defendants, it is alleged as follows:
STATEMENT OF FACTS
1. On March 27th, 2024, I, the plaintiff thr33six8, was chased by law enforcement, and the
pursuit reached Alder Mountain.
2. There, I fatally shot two troopers–a trooper whose name I forgot and Senior Trooper
Im_Thunderr.
3. Then, I traveled to the car dealership in Sterling.
4. I obtained a Stetson M2-A and hid in a car, but Deputy IraqiTaxiDriver arrived to
investigate the car I was in.
5. I feared arrest, so I fatally shot that deputy with the M2-A.
6. Next, I drove to Palmer in my Actila. Lieutenant dzdreams chased me while I was in my
Actila.
7. I stopped near US-395, then I shot dzdreams.
8. IraqiTaxiDriver saw me repair my car, then he chased me. During this pursuit, I was on
US-395.
9. This pursuit had multiple officers chasing me. Rangers from the Ridgeway Parks Service
were chasing me, so were troopers and deputies from the Ridgeway State Police and the
county sheriff's respectively.
10. Nearing the end of this pursuit, the passenger of a deputy sheriff's Actila was shooting at
me with a M2-A and Para 17. This passenger would switch from those guns, but they
mainly used their M2-A. Trooper Im_Thunderr was driving in a blue unmarked Actila,
and the trooper's car was in front of that Actila during that point in the pursuit.
11. The shots from that Actila damaged my Actila, and the damage was a point where my
Actila was smoking, so I got off of the US-50 freeway and repaired my Actila at Rafael's
Auto Care in Sterling. This repair cost $335.
12. After I repaired my Actila, I saw that the person who had shot at me was defendant
PeakEffect. The defendant was the passenger of IraqiTaxiDriver's Actila.
13. Finally, I drove to the sheriff's headquarters, and I was intending to surrender.
14. I accidentally crashed into the fence of the headquarters' parking lot, then I got out of my
Actila and surrendered. My Actila was damaged at that point.
15. Troopers smashcans, dzdreams, PeakEffect, ConstantlyVerbal, SOURCED_V, and other
troopers in ConstantlyVerbal's unmarked Cavela were at the scene of my surrender.
Deputy IraqiTaxiDriver and Chief Ranger domieisok were also there. domieisok had a
ranger in his slicktop Madrigal.
16. Im_Thunderr arrested me, then brought me to IraqiTaxiDriver. IraqiTaxiDriver booked
me at the RCSO headquarters.
17. The charges that I was arrested for were felony evasion, first-degree murder, and
unlawful possession of a firearm. The arrest record is 2024327fdbba5b19, and the
description is this:
a. "RCSOHQ, During patrol, multiple officers were shot and killed by the subject,
upon locating the individual, a cross county pursuit began, was apprehended
without incident, Within Palmer City Limits."
18. After my arrest, I repaired my Actila, and the cost was $283.
VENUE
1. Venue is proper in this Court because the alleged actions took place in the State and
respective discords, which are subject to the laws of the State and County of Ridgeway.
PARTIES
1. thr33six8 is a citizen of the State of Ridgeway & has residency in CoV.
2. Defendant PeakEffect is a citizen of the State of Ridgeway and is a Senior Trooper of the
Ridgeway State Police. They are being sued in their official and individual capacity.
TORTS ALLEGED
FIRST CAUSE OF ACTION
(1 R. Stat. § 3114 - Official Misconduct)
1. The statute cited above this paragraph states the following:
a. Any individual who is a public servant and commits an act relating to his office
but constitutes an unauthorized exercise of his official functions, knowing that
such act is unauthorized; or refrains from performing a duty which is imposed
upon him by law or is clearly inherent in the nature of his office.
2. I interpret that the prongs for this tort are the following:
a. the individual is a public servant;
b. that individual commits an act relating to their office;
c. that act was an "unauthorized exercise of [their] official functions;"
d. the actor knew the act was unauthorized, or the actor "refrains from performing a
duty which is imposed upon him by law or is clearly inherent in the nature of his
office."
3. I claim that in the moments during that pursuit where the defendant applied lethal force at
me, he had used excessive force.
4. The defendant is a trooper, so the 1st prong is satisfied.
5. The defendant shot at me with a M2-A and Para 17 issued from the Ridgeway State
Police, so the 2nd prong is satisfied as the defendant has shot at me.
6. The defendant used excessive force on me, and the Ridgeway State Police disallows
excessive force, so the 3rd prong is satisfied.
7. The defendant knows that excessive force is disallowed in his department, so the 4th
prong is satisfied.
8. Since all of the prongs of this tort have been satisfied, the defendant had committed
official misconduct.
RELIEF REQUESTED
For Official Misconduct:
1. Pursuant to subsection ⅱ of 1 R. Stat. § 3114, the plaintiff requests that $126 in punitive
damages be paid to the plaintiff.
2. The plaintiff also asks that the court declares the defendant's lethal force application on
me as excessive.
DATED: Month 3rd, 2024
Respectfully submitted,
——―――――――――――――
thr33six8
Plaintiff
/s/ thr33six8