IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
ASPENFUN,
Plaintiff,
v,
VK2D,
Defendant.
PLAINTIFF’S MOTION FOR DEFAULT
JUDGEMENT
PROVE-UP PACKAGE; AFFIDAVIT IN
SUPPORT OF MOTION FOR DEFAULT
JUDGEMENT; INDEX OF EXHIBITS AND
SUPPORT FOR AMOUNTS OF CLAIMED
Hon. AlbertWellesley
Docket Number: RSC-CV-7400
PLAINTIFF’S DEFAULT JUDGEMENT PROVE-UP PACKAGE
COMES NOW the Plaintiff, Mr. aspenfun, by and through the undersigned attorney,
respectfully submits to this Honorable Court their package for default judgement, which
contains a supporting affidavit, pursuant to Rule 37 of the Ridgeway Rules of Civil
Procedure and authenticated exhibits supporting every amount claimed, per Rule 11 of
the Ridgeway Rules of Evidence.
PROCEDURAL BACKGROUND
1. On July 27, 2026, the Court issued a public summons for the Defendant and was required
to answer, appear, or otherwise defend by July 31, 2026 at 11:59pm EST.
2. To date, the defendant has failed to appear before the Court and file a response.
3. By virtue of the default, well-pleaded allegations of the Complaint establishing
Defendant’s liability are taken as true, and there remains only the proving-up of damages,
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CIVIL COMPLAINT
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which Plaintiff makes by the sworn affidavit and authenticated Exhibits submitted
herewith.
SUMMARY OF DAMAGES SOUGHT
CATEGORY AMOUNT
Compensatory damages (itemized below and in the Declaration) $2,950.00
Total compensatory $2,950.00
Punitive — First Cause of Action, Assault (7 R. Stat. § 121.001) $4,000.00
Punitive — Second Cause of Action, Battery (7 R. Stat. § 121.002) $5,000.00
Punitive — Third Cause of Action, Negligence (7 R. Stat. §
121.301)
$5,000.00
Punitive — Fourth Cause of Action, Wrongful Death (7 R. Stat. §
121.004)
$15,000.00
Total Punitive $29,000.00
Total judgement sought $31,950.00
Date: August 1, 2026
Respectfully submitted,
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CIVIL COMPLAINT
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IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
ASPENFUN,
Plaintiff,
v,
V8K5R,
Defendant.
PLAINTIFF’S MOTION FOR DEFAULT
JUDGEMENT
PROVE-UP PACKAGE; AFFIDAVIT IN
SUPPORT OF MOTION FOR DEFAULT
JUDGEMENT
Hon. AlbertWellesley
Docket Number: RSC-CV-7400
AFFIDAVIT IN SUPPORT OF DEFAULT JUDGEMENT
I, Detachment_Result, declare under penalty of perjury under the laws of the State of Ridgeway
that the following is true and collect of my own personal knowledge, and that if called to testify I
could and would competently testify thereto:
Liability
1. I am the attorney representing aspenfun, who is the Plaintiff in this action and a resident
of the State of Ridgeway.
2. On or about July 18, 2026, Plaintiff was sitting in his work-truck as an on-duty transit
operator of the Ridgeway Department of Transportation in Palmer City. Plaintiff was
stopped at a red light.
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CIVIL COMPLAINT
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3. At some point, Plaintiff observed Defendant pull up beside him at the intersection and
exit his car with a firearm in hand. Plaintiff watched the Defendant point the gun in his
direction.
4. This caused Plaintiff to immediately fear for his life, and he jumped out of his truck in an
attempt to run away from Defendant.
5. At the same time, Defendant opened fire upon Plaintiff, striking him numerous times and
killing Plaintiff.
6. At no time prior to this incident was Plaintiff posing any kind of threat to the Defendant
or anyone else. He was not trespassing, committing a crime, and gave no contest to the
contact, the shooting, or to being killed by the Defendant.
7. Defendant was not a peace officer, was not acting in the discharge of any official duty
and was not acting in self-defense of himself or any other person. There was no
justification or lawful excuse for what he did.
8. Defendant’s killing of Plaintiff was deliberate, willful, and malicious.
9. Plaintiff lost his personally owned firearm, a Stetson Cardiac-5 submachine gun as a
result of the killing.
Punitive Damages
10. Plaintiff seeks punitive damages, in the following amounts, stated separately by cause of
action:
a. First Cause of Action — Assault (7 R. Stat. § 121.001), for knowingly and
voluntarily pointing a loaded firearm at Plaintiff and firing in his direction
numerous times: $4,000.00;
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b. Second Cause of Action — Battery (7 R. Stat. § 121.002), for shooting Plaintiff
multiple times with a firearm without consent and causing bodily injury:
$5,000.00;
c. Third Cause of Action — Negligence (7 R. Stat. § 121.301), for owing Plaintiff a
duty of care as a firearm user, but breaching that duty and causing serious injury
to Plaintiff as a result: $5,000.00.
d. Fourth Cause of Action — Wrongful Death (7 R. Stat. § 121.004), for shooting
Plaintiff to death with a firearm without any justification: $15,000.00
11. For a punitive total of: $29,000.00
Compensatory Damages
12. As a direct result of Defendant’s conduct, Plaintiff was killed while he lawfully possessed
a Stetson Cardiac-5 submachine gun, and lost the gun when he was killed.
13. As supported by Exhibit B, the Stetson Cardiac-5 submachine gun costed Plaintiff
$2,950.00.
14. The total compensatory damages Plaintiff seeks is: $2,950.00.
I declare under the penalty of perjury that the foregoing is true and correct.
Date: August 1, 2026
Respectfully submitted,
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CIVIL COMPLAINT
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IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
ASPENFUN,
Plaintiff,
v,
V8K5R,
Defendant.
PLAINTIFF’S MOTION FOR DEFAULT
JUDGEMENT
PROVE-UP PACKAGE; AFFIDAVIT IN
SUPPORT OF MOTION FOR DEFAULT
JUDGEMENT
Hon. AlbertWellesley
Docket Number: RSC-CV-7400
AUTHENTICATED EXHIBITS
I, Detachment_Result, declare under penalty of perjury under the laws of the State of Ridgeway
that the following exhibits are authenticate and accurately represent the facts as they are alleged
in the complaint.
Exhibit A: Video of the incident, captured by aspenfun
Exhibit B: Video of Stetson Cardiac-5 submachine gun price, captured by Detachment_Result
Date: August 1, 2026
Respectfully submitted,
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CIVIL COMPLAINT
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