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IN THE SUPERIOR COURT OF THE STATE OF RIDGEWAY
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SNIPERALLSTAR1,
Plaintiff,
v.
PRINZBAKYL,
Defendant,
CASE NO. RSC-CV-3297
PLEADING: HON. BOOMES
COMPLAINT IN A CIVIL ACTION PACKAGE
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COMPLAINT IN A CIVIL ACTION PACKAGE
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LAW OFFICES OF SAYWERIEZ, P.A.
Sawyeriez, Esq.
Managing Partner
R. Bar No. 25105
Counsel of Record
LAW OFFICES OF SAWYERIEZ, P.A.
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TABLE OF CONTENTS
SUMMONS FOR DEFENDANT.................................................................................................... 3
COMPLAINT IN A CIVIL ACTION
PARTIES .......................................................................................................................................5
JURISDICTION AND VENUE ............................................................................................................. 5
FACTS...........................................................................................................................................6
A. IN THE EVENTS OF JULY 24TH, 2024 AT 15:42 EST........................................................... 6
B. IN THE EVENTS OF JULY 24TH, 2024 AT 15:49-15:50 EST................................................. 7
C. IN THE EVENTS OF JULY 24TH, 2024 AT 16:46-16:47 EST................................................. 7
COUNT ONE ................................................................................................................................. 8
COUNT TWO .................................................................................................................................9
COUNT THREE ..............................................................................................................................9
COUNT FOUR ............................................................................................................................. 10
COUNT FIVE ...............................................................................................................................10
RELIEF........................................................................................................................................11
PLAINTIFF’S INITIAL DISCLOSURES
INITIAL DISCLOSURES................................................................................................................... 13
INITIAL DISCOVERY...................................................................................................................... 13
WITNESSES..................................................................................................................................13
LAW OFFICES OF SAWYERIEZ, P.A.
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ADM F. 200 (Rev. 03/22) Summons in a Civil Action
SUPERIOR COURT OF THE STATE OF RIDGEWAY
SNIPERALLSTAR1
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DOCKET NO. RSC-CV-3297
Plaintiff
v.
PRINZBAKYL
Defendant
SUMMONS IN A CIVIL ACTION
THIS SUMMONS IS DIRECTED TO PRINZBAKYL
A civil action has been brought forth against you. The Plaintiff(s) named above has started a
lawsuit against you. A copy of the Plaintiff’s Complaint filed against you is provided in the service of this
summons and the original complaint has been filed in the Superior Court of the State of Ridgeway. You
must act promptly to protect your rights.
Within five (5) days after service of this summons on you (not counting the day you received it) —
or seven (7) days if you are the State of Ridgeway, the County of Ridgeway, a municipality, or an agency
thereof as described in Rid. R. Civ. P. 4 (d)(2) — you must appear before the court communications
program and file a motion or answer to the complaint before the aforementioned. If you need time to
respond, you may request an extension of time in writing from the Court.
An answer is a way in which you may respond to the attached Complaint. Your answer must state
whether you agree or disagree with the fact(s) alleged in each paragraph of the Complaint. Some defenses,
called affirmative defenses, must be stated in your answer or you may lose your right to use them in court. If
you have any claims against the Plaintiff (referred to as counterclaims) that are based on the same facts
described in the Complaint, then you must include those claims in your answer. Otherwise, you may lose
your right to sue the Plaintiff about anything related to the lawsuit.
You may also respond to the Complaint by filing a “Motion to Dismiss”, if you believe that the
complaint is legally invalid or legally insufficient. A Motion to Dismiss must be based on one of the legal
deficiencies or reasons listed under Rid R. Civ. P. 12.
LAW OFFICES OF SAWYERIEZ, P.A.
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You may wish to get legal assistance from an attorney. If you are unable to obtain legal assistance,
you may request referral to an attorney by the Ridgeway State Bar and appointment of counsel by the court.
If you fail to respond, judgment by default will be entered against you for the relief demanded in the
complaint.
JUDGE / JUSTICE CLERK OF THE COURT
/s/ boomes /s/ xXBoomblast339Xx
EXECUTED ON 07/26/2024 EXECUTED ON 07/26/2024
LAW OFFICES OF SAWYERIEZ, P.A.
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IN THE RIDGEWAY STATE SUPERIOR COURT
OF THE STATE OF RIDGEWAY
SNIPERALLSTAR1,
Plaintiff,
v.
PRINZBAKYL,
Defendant,
CASE NO. RSC-CV-3297
PLEADING: HON. BOOMES
COMPLAINT IN A CIVIL ACTION
COME NOW, Plaintiff SniperAllStar1, by and through counsel, alleges, for their
complaint against the defendant, as follows:
PARTIES
1. SniperAllStar1 (“Plaintiff”) is a resident of Ridgeway County. He is also a citizen of the
State of Ridgeway.
2. PrinzBakyl (“Defendant”) is a resident of Ridgeway County. He is also a citizen of the
State of Ridgeway.
JURISDICTION AND VENUE
3. Plaintiff invokes the jurisdiction of the Superior Court contained in Article V, Section
IV of the state Constitution, giving jurisdiction for “all civil or criminal cases.”
4. Venue is proper as the conduct involved relates to a contractual obligation with
choice of law provisions indicating that the State of Ridgeway shall be the relevant
venue for the agreement, and the agreement was executed within the State of
Ridgeway.
LAW OFFICES OF SAWYERIEZ, P.A.
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FACTS
IN THE EVENTS OF JULY 24TH, 2024 AT 15:42 EST
5. On July 24th, 2024 at 15:42 EST, Plaintiff SniperAllStar was present in the residential
housing in the back of Sterling Heights, Ridgeway. Alongside the Defendant.
6. Mr. SniperAllStar1, in fear of his life, drew his Cline 911 firearm in self-defense due to
the Defendant drawing their lightsaber and attempting to use their lightsaber to take
the life of the Plaintiff.
7. The Plaintiff had a reasonable apprehension that the Defendant's act of drawing their
lightsaber would result in imminent harmful or offensive contact towards to his life.
8. Defendant stood by the Plaintiff’s Cavela Taxi, awaiting for the Plaintiff to go towards
his vehicle.
9. The Defendant walked away from the Plaintiff’s vehicle, prompting the Plaintiff to
quickly enter their own vehicle in an attempt to flee. The Plaintiff questioned the
Defendant residence, believing that the Defendant was in the process of selling his
house..
10. Defendant quickly ran towards Mr. SniperAllStar1’s vehicle and struck him with their
lightsaber, unjustly and unlawfully; ultimately killing the Plaintiff. This action
occurred without any inquiry or response regarding whether the house was for sale.
11. Defendant used their lightsaber to injure, and eventually kill Plaintiff without legal
justification.
12. The Defendant dispossessed the Plaintiff of their Cline 911 firearm and five (5) boxes
of 9mm ammunition. All possessions purchased from Sterling Gun Club, located in
Sterling Heights, Ridgeway. Totalling to four hundred dollars ($400).
LAW OFFICES OF SAWYERIEZ, P.A.
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IN THE EVENTS OF JULY 24TH, 2024 AT 15:49-15:50 EST
13. On July 24th, 2024 from 15:49 to 15:50 EST, the Plaintiff and Defendant were both
present in the residential housing in the back of Sterling Heights, Ridgeway.
14. Defendant used their Purple Cavela to block the Plaintiff from leaving the hood of
Sterling Heights. Plaintiff was driving their Silver Actila Sport.
15. Plaintiff was caught by surprise and announced to the Defendant that he’ll be taking
legal action for the earlier events at 15:42 EST, for the Defendant taking the Plaintiff’s
life without legal justification and cause.
16. The Defendant swiftly jumped out of the vehicle and stood on the roof of the
Plaintiff’s vehicle. Defendant drew their illegally owned Stetson M2-A and discharged
their firearm towards the Plaintiff.
17. Defendant used their firearm to injure, and eventually kill Plaintiff without legal
justification.
18. Defendant continued to discharge their firearm towards the Plaintiff unjustly and
unlawfully; ultimately killing the Plaintiff before given the chance to flee.
19. Defendant then continued to discharge their firearm towards the Plaintiff’s vehicle,
ultimately destroying the Plaintiff’s Silver Actila Sport. Dispossessing the Plaintiff of
his chattel.
20. Defendant dispossessed the Mr. SniperAllStar1 of his Silver Actila Sport. Totaling to
one thousand two hundred dollars ($1200).
IN THE EVENTS OF JULY 24TH, 2024 AT 16:46-16:47 EST
21. On July 24th, 2024 from 16:46 to 16:47 EST, the Plaintiff and Defendant were both
present in the residential housing in the back of Sterling Heights, Ridgeway.
22. Plaintiff was within their Yellow Cavela Taxi.
LAW OFFICES OF SAWYERIEZ, P.A.
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23. Defendant immediately drew their illegally owned Stetson M2-A and discharged their
firearm towards the Plaintiff and the Plaintiff’s vehicle. Striking the Plaintiff numerous
times.
24. Defendant used their firearm to present unconsented harm and offensive contact to
the Plaintiff.
25. Plaintiff did not provide consent to any harm or offensive contact inflicted by the
Defendant.
26. Defendant began to lag, Plaintiff believed the Defendant was discharging their firearm
towards the Blue Cavela driving away.
27. Defendant, without hesitation, discharged their firearm towards Mr. SniperAllStar1’s
vehicle, destroying his Yellow Cavela Taxi. Dispossessing the Plaintiff of his chattel.
28. Defendant continued to discharge their firearm towards the Plaintiff unjustly and
unlawfully; ultimately killing the Plaintiff.
29. Defendant used their firearm to injure, and eventually kill Plaintiff without legal
justification.
30. Defendant dispossessed the Plaintiff Yellow Cavela Taxi. Totaling to four hundred ten
dollars ($410).
COUNT ONE
WRONGFUL DEATH - 1 R. STAT. § 3109
The statute cited above this paragraph states the following:
(In the events of July 24th, 2024 at 15:42 EST)
31. All prior paragraphs within this complaint are incorporated as if they were fully set
forth herein.
32. Wrongful Death is defined as “Any individual who causes the death of another without
LAW OFFICES OF SAWYERIEZ, P.A.
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legal cause or justification shall be wrongful death”.
33. Defendant committed the act of Wrongful Death when he brutally took the life of the
Plaintiff, without legal cause or legal justification such as self-defense, while the
Plaintiff was sitting in their vehicle.
COUNT TWO
ASSAULT - 1 R. STAT. § 3103
The statute cited above this paragraph states the following:
(In the events of July 24th, 2024 at 15:42 EST)
34. All prior paragraphs within this complaint are incorporated as if they were fully set
forth herein.
35. Assault is defined as “Any individual who intentionally and voluntarily caused
reasonable apprehension of an immediate harmful or offensive contact is assault”.
36. Defendant committed the act of Assault when the Defendant intentionally and
voluntarily drew their lightsaber, giving the Plaintiff reasonable apprehension that the
Defendant would use their lightsaber to cause immediate harmful or offensive contact
to the Plaintiff.
COUNT THREE
WRONGFUL DEATH - 1 R. STAT. § 3109
The statute cited above this paragraph states the following:
(In the events of July 24th, 2024 at 15:49-15:50 EST)
37. All prior paragraphs within this complaint are incorporated as if they were fully set
forth herein.
38. Wrongful Death is defined as “Any individual who causes the death of another without
legal cause or justification shall be wrongful death”.
39. Defendant committed the act of Wrongful Death when he brutally took the life of the
LAW OFFICES OF SAWYERIEZ, P.A.
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Plaintiff, without legal cause or legal justification such as self-defense, while the
Plaintiff stating he’ll be taking legal action for the Defendant’s previous actions, while
sitting in his vehicle.
COUNT FOUR
WRONGFUL DEATH - 1 R. STAT. § 3109
The statute cited above this paragraph states the following:
(In the events of July 24th, 2024 at 16:46-16:47 EST)
40. All prior paragraphs within this complaint are incorporated as if they were fully set
forth herein.
41. Wrongful Death is defined as “Any individual who causes the death of another without
legal cause or justification shall be wrongful death”.
42. Defendant committed the act of Wrongful Death when he brutally took the life of the
Plaintiff, without legal cause or legal justification such as self-defense, while the
Plaintiff was standing still. After the Defendant blew up the Plaintiff’s vehicle.
COUNT FIVE
BATTERY - 1 R. STAT. § 3102
The statute cited above this paragraph states the following:
(In the events of July 24th, 2024 at 16:46-16:47 EST)
43. All prior paragraphs within this complaint are incorporated as if they were fully set
forth herein.
44. Battery is defined as “Any individual who brings unconsented harmful or offensive
contact against another person is battery”.
45. Defendant committed the act of Battery by striking the Plaintiff numerous times with
their Stetson M2-A nonconsensually and presenting harmful and offensive contact to
the Plaintiff.
LAW OFFICES OF SAWYERIEZ, P.A.
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RELIEF
WHEREFORE, Plaintiff requests the court to grant relief to redress the injury as follows:
46. Declaratory relief declaring that Defendant PrinzBakyl wrongfully took the life of
Plaintiff SniperAllStar1 in the events July 24th, 2024 at 15:42 EST;
47. Declaratory relief declaring that Defendant PrinzBakyl assaulted Plaintiff
SniperAllStar1 in the events July 24th, 2024 at 15:42 EST;
48. Declaratory relief declaring that Defendant PrinzBakyl wrongfully took the life of
Plaintiff SniperAllStar1 in the events July 24th, 2024 at 15:49-15:50 EST;
49. Declaratory relief declaring that Defendant PrinzBakyl wrongfully took the life of
Plaintiff SniperAllStar1 in the events July 24th, 2024 at 16:46-16:47 EST;
50. Declaratory relief declaring that Defendant PrinzBakyl battered Plaintiff
SniperAllStar1 in the events July 24th, 2024 at 16:46-16:47 EST;
51. Award Plaintiff’s compensatory damages in the total amount of two thousand ten
dollars ($2010) dollars;
52. Award Plaintiff’s punitive damages in the total amount of twenty three thousand
dollars ($23000);
53. Award Plaintiff’s cost of court of one hundred twenty five dollars ($125);
54. Award Plaintiff’s legal fees;
55. Award such other, further, or different relief as may be just and proper.
July 26th, 2024
LAW OFFICES OF SAWYERIEZ, P.A.
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Respectfully submitted,
/s/ Sawyeriez
Sawyeriez, Esq.
R. Bar No. 25105
Counsel of Record
Managing Partner
Law Offices of Sawyeriez, P.A.
975 Dana St
Oakland, Ridgeway
Discord:
@ski019
Attorney for Plaintiff
LAW OFFICES OF SAWYERIEZ, P.A.
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IN THE RIDGEWAY STATE SUPERIOR COURT
OF THE STATE OF RIDGEWAY
SNIPERALLSTAR1,
Plaintiff,
v.
PRINZBAKYL,
Defendant,
CASE NO. RSC-CV-3297
PLEADING: HON. BOOMES
PLAINTIFF’S INITIAL DISCLOSURES
INITIAL DISCLOSURES
COME NOW, Plaintiff SniperAllStar1, by and through counsel, hereby pursuant to
Ridgeway Rule of Civil Procedure 19, discloses the following material–
INITIAL DISCOVERY
Plaintiff submits the following articles as initial discovery as to the tortious claims
listed within the civil complaint, pursuant to Ridgeway Rule of Civil Procedure 19
Evidence
★ Exhibit A - Video of the Incident of the Events of July 24th, 2024 at 15:42 EST
★ Exhibit B - Video of the Incident of the Events of July 24th, 2024 at 15:49-15:50 EST
★ Exhibit C - Video of the Incident of the Events of July 24th, 2024 at 16:46-16:47 EST
WITNESSES
Plaintiff submits the following articles as their witnesses as to the tortious claims
listed within the civil complaint:
Witnesses
★ SniperAllStar1 - Lay Witness
LAW OFFICES OF SAWYERIEZ, P.A.
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★ PrinzBakyl - Lay Witness
July 26th, 2024
Respectfully submitted,
/s/ Sawyeriez
Sawyeriez, Esq.
R. Bar No. 25105
Counsel of Record
Managing Partner
Law Offices of Sawyeriez, P.A.
975 Dana St
Oakland, Ridgeway
Discord:
@ski019
Attorney for Plaintiff
LAW OFFICES OF SAWYERIEZ, P.A.
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