IN THE
SUPERIOR COURT OF THE STATE OF RIDGEWAY
ARMAXNII,
Plaintiff,
v.
OMNIGALAXY, in their official capacity as
a Lieutenant of the Ridgeway County
Sheriff’s Office,
Defendant.
Case No. RSC-CV-2922
COMPLAINT
COME NOW, Armaxnii, by and through the undersigned counsel does file suit against
the above captioned party and alleges the following:
PARTIES
1. Plaintiff Armaxnii is a resident of the State of Ridgeway.
2. Defendant OmniGalaxy is a resident of the State of Ridgeway and a Lieutenant of the
Ridgeway County Sheriff’s Office sued in their official capacity pursuant to 1 R. Stat. §
3114.
JURISDICTION & VENUE
1. The jurisdiction of the Court originates from Art. V, Sec. IV which states “There shall be
a Superior court which shall exercise original jurisdiction for all civil and criminal cases
or controversies…”
2. Venue is proper because the incident that took place as alleged occurred within
Ridgeway County, specifically in Palmer.
GENERAL ALLEGATIONS
Plaintiff alleges:
1. On or about the date of May 23rd, 2024, the plaintiff was enjoying his life as a resident
of the State of Ridgeway at the Bloxmart store.
2. Plaintiff was on the sidewalk near the Bloxmart store when he was approached by
multiple Ridgeway County Sheriff’s Office deputies, one of them being Lieutenant
OmniGalaxy.
3. Lieutenant OmniGalaxy proceeded to command the plaintiff to “stop moving.”
4. The plaintiff complied with this request and did not run anywhere and stood where he
was.
5. Lieutenant OmniGalaxy then ordered the plaintiff to present his RFLID and proceeded to
count at an extremely fast rate from 1 to 3 in a span of less than 2 seconds.
6. Plaintiff, even on such a short notice and with little to no time to react, presented his
RFLID before Lieutenant OmniGalaxy reached to 3.
7. Plaintiff, with his RFLID out, was then cuffed by Lieutenant OmniGalaxy and given a
citation by him for the crime of failure to identify.
CAUSE OF ACTION
(1 R. Stat. § 3114 – Official Misconduct)
8. The allegations in the previous paragraphs are incorporated as reference as if fully set
forth herein.
9. Lieutenant OmniGalaxy is an extremely experienced law enforcement officer. He is an
active serving Lieutenant of the Ridgeway County Sheriff’s Office Special Response
Team, a former Military Police Officer in the Ridgeway National Guard, and a former
Deputy Director and Senior Instructor of the Law Enforcement Training Center.
10. Lieutenant OmniGalaxy has a law enforcement training center certification and has an
extensive amount of specialized training in law enforcement. Indeed, he previously even
issued or assisted in the issuing of law enforcement training certifications to candidates
who successfully completed and passed the rigorous Law Enforcement Training Center
Curriculum during his tenure as the Deputy Director and more recently Senior Instructor
of the Law Enforcement Training Center.
11. There is no law or statute that requires civilians to present an RFLID when asked to do
so by a law enforcement officer.
12. Pursuant 1 R. Stat. § 3114, “[a]ny 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” is liable to the
party injured for the tort of Official Misconduct.
13. OmniGalaxy knew that no law exists that requires the plaintiff to present his RFLID. The
plaintiff, not being required to present his RFLID to Lieutenant OmniGalaxy, regardless,
still within the timeframe Lieutenant OmniGalaxy set, did do so right in front of
OmniGalaxy’s face where he visibly saw the RFLID presented.
14. Lieutenant OmniGalaxy, by commanding the plaintiff to present his RFLID, knowing
that the plaintiff legally is not required to do so, and still regardless, issuing a citation on
the plaintiff for not doing so even when he saw the RFLID presented, knew that such an
act of issuing a citation for that reason was unauthorized, and as a result has
“commit[ted] an act relating to his office but [has] constitute[d] an unauthorized exercise
of his official functions, knowing that such act is unauthorized” and as such, is liable for
the tort of Official Misconduct.
PRAYERS FOR RELIEF
1. The plaintiff seeks declaratory relief declaring that the defendant is liable for the tort of
Official Misconduct.
2. The plaintiff seeks declaratory relief declaring that the citation issued by the defendant is
unlawful.
3. The plaintiff seeks the expungement of the citation from his record.
4. The plaintiff seeks punitive damages in the amount of $6,000.
5. The plaintiff seeks all attorney costs and fees.
6. The plaintiff also seeks additional relief of which the Court may grant that is not
requested through this complaint.
Date: 05/24/2024
/s/ JAMESGARDAI
Associate
RIDGEWAY CIVIL LIBERTIES ASSOCIATION
2A Altee Rd
Palmer, Ridgeway
Discord: fishfromocean
Counsel of Record