STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
IN THE SUPERIOR COURT OF
THE STATE OF RIDGEWAY
IMTJMAT,
Plaintiff(s),
v.
REMAININGNAMELESS,
Defendant(s).
Case Number: RSC-CV-2979
Presiding: Hon. Arthur_Chen
CIVIL COMPLAINT
CIVIL COMPLAINT
PLAINTIFF, ImTjMat, by and through the undersigned counsel, alleges the following:
JURISDICTION & VENUE
1. The court has jurisdiction to hear “all civil and criminal cases or controversies.”
Ridgeway State Constitution Article V, Section IV.
2. Venue is proper as the tortious actions alleged herein took place in Ridgeway County,
Ridgeway.
PARTIES
3. ImTjMat (“Plaintiff”) is a resident of Ridgeway County. He is also a citizen of the State
of Ridgeway—his place of business is the Ridgeway National Guard and personal home
address is unknown; but it is understood that he resides within the applicable jurisdiction
as hereinafter referenced and applied in this case.
4. RemainingNameless (“Defendant”) is a resident of Ridgeway County. He is also a citizen
of the State of Ridgeway—his personal home address is unknown; but it is understood
that he resides within the applicable jurisdiction as hereinafter referenced and applied in
this case.
FACTS
I. Events on the 20th of April 2024
5. On or about 20th April 2024, Plaintiff was involved in an active shooter situation at the
Palmer Car Dealership. Plaintiff was responding to a shootout in the Palmer Car
Dealership, in which multiple shots were exchanged between the plaintiff, shooter and
other Law Enforcement Officers.
6. The Shooter was shot and killed by Plaintiff & Law Enforcement Officers. Defendant
then proceeded to go into the exact location of where the Shooter was - moments after the
shooter died.
7. Plaintiff, fearing for his life, continued shooting in this direction as he did not know if the
shooter had died. This resulted in Defendant becoming shot and later killed. Defendant
knowingly entered a volatile environment, and as was responsible for his safety, however
due to his disregard for his safety and the job of law enforcement, he was shot.
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8. On or about 20th April 2024, Plaintiff was at the Palmer RNG Recruitment Center,
conducting routine activities per RNG Operational Regulations. Whilst at the
Recruitment Center, RNG Guardsmen became under fire.
9. Plaintiff began exercising his right to self defense, and in an effort to protect the public he
began to open fire at the shooter. Whilst firing at the shooter, another National guardsman
walked in front of the Plaintiff whilst he was firing his weapon. RNG Second Lieutenant
ITHURIEL was killed as a result of him walking in front of Plaintiff’s line of fire.
II. Complaint to the National Guard
10. On the 21st of April 2024, Plaintiff was placed on administrative leave as a result of the
Military Police Intelligence Unit receiving a complaint from Defendant about Plaintiff’s
Conduct in game on the 20th of April.
11. This complaint alleged Plaintiff had wrongfully caused the death of Defendant and
Second Lieutenant ITHURIEL in two separate incidents.
12. On the 22nd of April 2024, the Military Police Investigator (Sergeant First Class
SolitarySins) reached out to Plaintiff to interview him regarding the two incidents on the
20th April 2024. This interview concluded on the 23rd April 2024.
13. Plaintiff remained on Administrative Leave until 24th April 2024, when the investigation
was concluded. Throughout his administrative leave
14. This complaint was declared exonerated by the National Guard MPI on the basis that the
complaint lacked foundation, or merit.
FIRST CAUSE OF ACTION
ABUSE OF AN ADMINISTRATIVE PROCEEDING - 1 R. STAT. § 3112
15. All prior paragraphs within this complaint are incorporated as if they were fully set forth
herein.
16. Abuse of an Administrative Proceeding is defined as the following “Any individual who
abuses a legal process such as a court proceeding or administrative proceeding by means
of providing vexatious, fraudulent, or frivolous complaints to get another in trouble”.
17. Defendant provided a vexatious complaint to the Ridgeway National Guard in order to
get plaintiff in trouble. Plaintiff became party to an administrative proceeding, as defined
in 1 R. Stat. § 3112(i), this administrative proceeding was initiated by
RemainingNameless - through his roblox Alternative Account Baxter4268 - upon a
complaint being submitted to the MPI tip line.
18. This administrative complaint was submitted without proper justification and for an
improper objective, in order to get the Plaintiff in trouble without just cause. Defendant
was targeting Plaintiff in order to get him in trouble.
19. As a result of Defendants improper actions, Plaintiff lost out on earnings when he was put
on Administrative Leave for 3 days.
RELIEF
WHEREFORE, Plaintiff requests the court to grant relief to redress the injury as follows:
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a. Declaratory relief declaring that Defendant submitted a vexatious administrative
complaint to the Ridgeway National Guard against Plaintiff;
b. Injunctive relief restraining Defendant from submitting administrative complaints;
c. Punitive relief in the amount of $5,000 paid to the plaintiff;
d. Granting Plaintiff such other further relief as the court finds just and proper.
June 03, 2024 Respectfully submitted,
MatthewSandringham
Counsel of Record
Clarke, Feelings & Associates, LLP.
Managing Partner
R. Bar. No. 16103
Attorney for Plaintiff
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STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
IN THE SUPERIOR COURT OF
THE STATE OF RIDGEWAY
IMTJMAT,
Plaintiff(s),
v.
REMAININGNAMELESS,
Defendant(s).
Case Number: RSC-CV-2979
Presiding: Hon. Arthur_Chen
INITIAL DISCLOSURE
INITIAL DISCLOSURE
PLAINTIFF, ImTjMat, by and through the undersigned counsel, submits this document in the
above-entitled matter, pursuant to Rid. Civ. P. 19 and Fed. R. Civ. P. 25.
INITIAL DISCOVERY
Plaintiff submits the following articles as initial discovery as to the tortious claims listed within
the civil complaint, pursuant to Rid. Civ. P. 19:
a. Exhibit A - MPI Investigation Summary
b. Exhibit B - Plaintiff being put on Admin Leave
c. Exhibit C - Submitted Complaint
d. Exhibit D - RemainingNameless’ discord account
e. Exhibit E - Palmer Dealership Shooting
f. Exhibit F - Recruitment Center Shooting
Witnesses:
- ImTjMat - Lay Witness
- SolitarySins - Lay Witness
- RemainingNameless - Lay Witness
- ITHURlEL - Lay Witness
June 03, 2024 Respectfully submitted,
MatthewSandringham
Counsel of Record
Clarke, Feelings & Associates, LLP.
Managing Partner
R. Bar. No. 16103
Attorney for Plaintiff
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