STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
THENOIRAVIATOR,
Plaintiff(s),
v.
THENAMESCOOL08,
Defendant(s).
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Case Number: RSC-CV-3135
Presiding: Hon. Arthur_Chen
MOTION FOR ENTRY OF
DEFAULT
MOTION FOR ENTRY OF DEFAULT
PLAINTIFF, TheNoirAviator, by and through the undersigned counsel, submits
this motion in the above-entitled matter, pursuant to Rid. R. Civ. P. 37(a). Plaintiff
respectfully moves the court to enter default because Defendant has failed to enter a
response to the complaint.
July 13, 2024 Respectfully submitted,
Nicklaus_s
Counsel of Record
Derogatoryyy & Associates
Partner
R. Bar. No. 23102
Attorney for Plaintiff
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STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
THENOIRAVIATOR,
Plaintiff(s),
v.
THENAMESCOOL08,
Defendant(s).
)
)
)
)
)
)
)
)
)
)
)
Case Number: RSC-CV-3135
Presiding: Hon. Arthur_Chen
MOTION FOR DEFAULT
JUDGMENT
MOTION FOR DEFAULT JUDGMENT
PLAINTIFF, TheNoirAviator, by and through the undersigned counsel, submits
this motion in the above-entitled matter, pursuant to Rid. R. Civ. P. 37(b). Plaintiff
respectfully moves the court to enter default judgment, granting the following relief:
a. Declaratory relief declaring that Defendant unlawfully deprived Plaintiff of
his constitutional rights; and
b. Injunctive relief restraining Defendant from engaging in the conduct
complained of; and
c. Monetary relief amounting to $2,500.00 in punitive damages; and
d. Monetary relief awarding Plaintiff the fees, costs, and expenses incurred in
prosecuting this action, including applicable attorney and filing fees.
July 13, 2024 Respectfully submitted,
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Nicklaus_s
Counsel of Record
Derogatoryyy & Associates
Partner
R. Bar. No. 23102
Attorney for Plaintiff
3
STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
THENOIRAVIATOR,
Plaintiff(s),
v.
THENAMESCOOL08,
Defendant(s).
)
)
)
)
)
)
)
)
)
)
)
Case Number: RSC-CV-3135
Presiding: Hon. Arthur_Chen
AFFIDAVIT IN SUPPORT
AFFIDAVIT IN SUPPORT
I, Nicklaus_s, 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 that
if I lie in this statement, I may be held criminally liable.
2. On or about July 2, 2024, I served Defendant TheNamesCool08 a summons
and civil complaint concerning the above-entitled matter.
3. As of July 13, 2024, Defendant TheNamesCool08 has failed to appear,
plead, or otherwise defend himself within the time allowed and, therefore, is in
default.
4. The amounts owed in punitive damages is $2,500.00.
5. The amounts owed in monetary damages for incurring this action is
$125.00.
6. Defendant TheNamesCool08 is also to be declared liable for battery and
deprivation of rights.
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7. Defendant TheNamesCool08 is also to be held enjoined from engaging in
any other unlawful conduct which is of the nature complained in the above-entitled
matter.
July 13, 2024 Respectfully submitted,
Nicklaus_s
Counsel of Record
Derogatoryyy & Associates
Partner
R. Bar. No. 23102
Attorney for Plaintiff
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STATE OF RIDGEWAY
COUNTY OF RIDGEWAY
IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
THENOIRAVIATOR,
Plaintiff(s),
v.
THENAMESCOOL08,
Defendant(s).
)
)
)
)
)
)
)
)
)
)
)
Case Number: RSC-CV-3135
Presiding: Hon. Arthur_Chen
CERTIFICATE OF SERVICE
CERTIFICATE OF SERVICE
I, Nicklaus_s, do hereby certify that a copy of this document and the contents
thereof has, on July 13, 2024, been served, by electronic means, upon the opposing
parties of the above-entitled matter.
July 13, 2024
Palmer, Ridgeway
Beneath my hand,
Nicklaus_s
Counsel of Record
Derogatoryyy & Associates
Partner
R. Bar. No. 23102
Attorney for Plaintiff
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