This is a document filed in a mock court in the State of Ridgeway on Roblox.com, and does not constitute
real-life legal advice in any way, shape, or form.
SUPERIOR COURT OF THE STATE OF RIDGEWAY
JIMMYKIMMAL,
Plaintiff(s),
v.
IRAQITAXIDRIVER,
Defendant(s).
No. RSC-CV-2633
ORIGINAL COMPLAINT
JimmyKimmal, by and through undersigned counsel, hereby bring(s) this civil action
against IraqiTaxiDriver and allege(s) as follows–
STATEMENT OF FACTS
1. On April 11th, 2024, Plaintiff JimmyKimmal was stopped on the side of the road,
alongside Defendant IraqiTaxiDriver. Monitoring the security personnel of the Ridgeway
Credit Union perform their duties.
2. Plaintiff JimmyKimmal accelerated his vehicle forward, leaving Rafael's Auto Care.
3. Defendant IraqiTaxiDriver forcibly removed Plaintiff JimmyKimmal from his vehicle,
without any form of detainment from Deputy IraqiTaxiDriver. Alleged by the Defendant,
the Plaintiff was restrained under the pretext of 'reckless driving'. Despite this, the
Plaintiff showed no form to warrant the definition of 7 R.V.C. § 02 - Reckless Driving.
JURISDICTION AND VENUE
4. This Court has jurisdiction pursuant to Article V, Section IV of the Constitution of the
State of Ridgeway.
5. Venue is proper in this Court because the events described in this Complaint took place
within Ridgeway County.
PARTIES
6. Plaintiff JimmyKimmal is a resident of the State of Ridgeway.
7. Defendant IraqiTaxiDriver is sued in his quasi-official capacity as a Deputy of the
Ridgeway County Sheriff’s Office.
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This is a document filed in a mock court in the State of Ridgeway on Roblox.com, and does not constitute
real-life legal advice in any way, shape, or form.
FIRST CAUSE OF ACTION
(1 R. Stat. § 3114) - Official Misconduct
8. Plaintiff(s) repeat(s) and reallege(s) the allegations contained in Paragraphs 1-3 as if fully
set forth herein.
9. Under state law, “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”
a) Defendant IraqiTaxiDriver functioned in an unauthorized way by depriving the
rights of the Plaintiff when the Plaintiff was forcibly removed from their vehicle.
b) Defendant IraqiTaxiDriver is therefore liable of Official Misconduct to the
damages set forth above the same.
SECOND CAUSE OF ACTION
(1 R Stat. § 3115) - Deprivation of Rights
10. Plaintiff(s) repeat(s) and reallege(s) the allegations contained in Paragraphs 1-3 as if fully
set forth herein.
11. Under state law, “Every person who, under color of any statute, ordinance, regulation,
custom, or usage, subjects, or causes to be subjected, any citizen of the State of Ridgeway
or other person within the jurisdiction thereof to the deprivation of any rights, privileges,
or immunities secured by the Constitution and laws, shall be liable to the party injured in
an action at law, suit in equity, or other proper proceeding for redress, except that in any
action brought against a judicial officer for an act or omission taken in such officer’s
judicial capacity, injunctive relief shall not be granted unless a declaratory decree was
violated or declaratory relief was unavailable.”
12. Everyone has the right to be free from unreasonable searches and seizures by way of the
Fourth Amendment.
a) Plaintiff was forcibly removed from his vehicle (or property) and was physically
restrained by the Defendant.
b) Plaintiff was unreasonably seized by the Defendant, who lacked reasonable
suspicion that the Plaintiff had committed a code violation.
c) Through the Defendant’s physical restraint of the Plaintiff, the Defendant violated
the Plaintiff’s Fourth Amendment right to an unreasonable seizure.
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This is a document filed in a mock court in the State of Ridgeway on Roblox.com, and does not constitute
real-life legal advice in any way, shape, or form.
PRAYER FOR RELIEF
Wherefore, Plaintiff(s) pray(s) that the Court–
a. Declare that Defendant IraqiTaxiDriver unlawfully took away the Plaintiff’s rights;
b. Award Plaintiff(s) actual damages;
c. Award Plaintiff(s) punitive damages;
d. Award Plaintiff(s) attorney’s fees;
e. Award Plaintiff(s) costs of court;
f. Award such other, further, or different relief as may be just and proper.
Dated: April 11, 2024 BETTER CALL SOLUS
—————————————————————————————————————————————
SolusXervanis
Ridgeway Bar No. 26101
Counsel of Record
Discord: https://discord.gg/GM3byEuR
Attorney(s) for Plaintiff(s)
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