IN THE RIDGEWAY STATE SUPERIOR COURT
OF THE STATE OF RIDGEWAY
TIMBOWALK13
Plaintiff,
v.
EMILIOACASTILLO,
Defendant,
Case No.: RSC-CV-3046
PLEADING: HON. NOTSFEELINGS
DEFAULT JUDGMENT PACKAGE
Plaintiff Timbowalk13 ("Timbo or "Plaintiff"), by and through their undersigned attorney, hereby files
this default judgment package pursuant to Rid. R. Civ. P. 37(a). This action is taken due to the failure of Defendant
EmilioACastillo to file a pleading, make an appearance, or otherwise defend against the civil complaint within the
allocated time frame.
A declaration in support is attached hereto
June 23rd, 2024
Respectfully submitted,
/s/ Sawyeriez
Sawyeriez, Esq.
Counsel of Record
Toby & Sawyer LLP.
Managing Partner
Ridgeway Bar No. 25105
Discord: @ski019
Attorney for Plaintiff
LAW OFFICES OF TOBY & SAWYER LLP.
IN THE RIDGEWAY STATE SUPERIOR COURT
OF THE STATE OF RIDGEWAY
TIMBOWALK13
Plaintiff,
v.
EMILIOACASTILLO,
Defendant,
Case No.: RSC-CV-3046
PLEADING: HON. NOTSFEELINGS
MOTION FOR ENTRY OF DEFAULT
Plaintiff Timbowalk13 ("Timbo" or "Plaintiff"), Nz0t, by and through their undersigned counsel, submits
this motion for entry of default.
1. DEMAND - Punitive. $5000 in damages from Defendant EmilioACastillo
2. DEMAND - Declaratory Judgement. Declaratory Judgement that Defendant EmilioACastillo
wrongfully took the life of Plaintiff Timbowalk13
3. DEMAND - Compensatory. $358 in damages from Defendant EmilioACastillo
4. DEMAND - Cost of Court. $125 in cost of Plaintiff filing this civil complaint.
June 23rd, 2024
Respectfully submitted,
/s/ Sawyeriez
Sawyeriez, Esq.
Counsel of Record
Toby & Sawyer LLP.
Managing Partner
Ridgeway Bar No. 25105
Discord: @ski019
Attorney for Plaintiff
LAW OFFICES OF TOBY & SAWYER LLP.
IN THE RIDGEWAY STATE SUPERIOR COURT
OF THE STATE OF RIDGEWAY
TIMBOWALK13
Plaintiff,
v.
EMILIOACASTILLO,
Defendant,
Case No.: RSC-CV-3046
PLEADING: HON. NOTSFEELINGS
AFFIDAVIT
I, Sawyeriez, do hereby swear under the pains and penalties of perjury that the statement contained within
this affidavit is, to the best of my knowledge, the truth, the whole truth and nothing but the truth.
1. I am of sound mind and capable of making this statement. I understand if I lie in this statement, I may be
criminally liable. This statement is accurate to the best of my knowledge and belief.
2. On the 15th of May 2024, Plaintiff filed suit against Defendant EmilioACastillo.Defendant was served with
a summons and a copy of the civil complaint on the same day.
3. A response to the complaint was due on the 20th of May 2024 - as set by His Honor notsfeelings.
4. Defendant EmilioACastillo jointly failed to plead to the civil complaint within the allocated time and are
therefore in default.
5. Plaintiff hereby incorporates all prior pleadings in support of this affidavit and motion.
June 23rd, 2024
LAW OFFICES OF TOBY & SAWYER LLP.
Respectfully submitted,
/s/ Sawyeriez
Sawyeriez, Esq.
Counsel of Record
Toby & Sawyer LLP.
Managing Partner
Ridgeway Bar No. 25105
Discord: @ski019
Attorney for Plaintiff
LAW OFFICES OF TOBY & SAWYER LLP.