IN THE SUPERIOR COURT OF THE
STATE OF RIDGEWAY
ASPENFUN,
Plaintiff,
v,
MASTERQV,
Defendant.
PLAINTIFF’S FIRST SET OF DISCOVERY
REQUESTS
Hon. Mytrius
Docket Number: RSC-CV-8952
INTRODUCTION
COMES NOW the Plaintiff, Mr. aspenfun, by and through the undersigned attorney,
respectfully requests Defendant to produce, admit, or otherwise answer the following,
pursuant to Rule 19 of the Civil Rules of Procedure.
DEFINITIONS AND INSTRUCTIONS
1. The majority of definitions are derived from Rule 102 of the Ridgeway Rules of
Evidence.
2. “Concerning” or “relating to” means referring to, describing, evidencing, mentioning,
discussing, analyzing, evaluating, supporting, contradicting, or bearing upon the specified
subject.
3. “Defendant” means masterqv.
4. “Plaintiff” means aspenfun.
5. “Exhibit A” means the Medal.TV of the incident which was recorded by aspenfun.
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6. Defendant must supplement or amend responses if Defendant later obtains information
showing that a prior response was materially incomplete or incorrect.
7. “You” or “Your” refers to Plaintiff.
8. “Identify” means to provide, where applicable, full name, contact, and relationship to the
case.
9. Responses must be full and complete. If any interrogatory is objected to, state the reason
and respond to the extent the question is not objectionable.
REQUESTS FOR ADMISSION
RFA No. 1: Admit that on the date of the incident, you were near the Palmer Police
department.
RFA No 2: Admit that you approached Plaintiff while Plaintiff was operating a tow
truck.
RFA No 3: Admit that you exited your vehicle.
RFA No 4: Admit that you climbed onto Plaintiff’s tow truck.
RFA No 5: Admit that you possessed a firearm.
RFA No 6: Admit that the firearm was loaded.
RFA No 7: Admit that you discharged the firearm.
RFA No. 8: Admit that Plaintiff discharged a firearm after you discharged yours (if that’s
consistent with your version of events).
RFA No. 9: Admit that Plaintiff attempted to flee.
RFA No. 10: Admit that you pursued Plaintiff.
RFA No. 11: Admit that Plaintiff died during the incident.
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RFA No. 12: Admit that you entered another vehicle after the shooting.
RFA No. 13: Admit that you left the area immediately afterward.
RFA No. 14: Admit that you denied liability in your Answer.
RFA No. 15: Admit that you possess at least one recording of the incident.
RFA No. 16: Admit that you communicated with at least one other person concerning the
incident.
RFA No. 17: Admit that the incident described in Plaintiff’s Complaint occurred on July
12, 2026.
RFA No. 18: Admit that you have no evidence showing Plaintiff initiated the encounter.
RFA No. 19: Admit that Plaintiff was wearing a Ridgeway Department of Transportation
uniform.
RFA No. 20: Admit that Plaintiff was engaged in towing a vehicle immediately before the
incident.
RFA No. 21: Admit that your actions resulted in Plaintiff sustaining injuries.
RFA No. 22: Admit that you caused Plaintiff’s death.
INTERROGATORIES
1. State in complete detail your version of the events that occurred on July 12, 2026, from
the time you first observed Plaintiff until you left the area.
2. Identify every person whom you contend witnessed any portion of the incident, including
a summary of the information each person possesses.
3. Identify every firearm or weapon you possessed during the incident, including the make
or type and whether it was discharged.
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4. If you contend you discharged any firearm, identify:
a. The firearm;
b. The approximate number of rounds fired; and,
c. The reason for firing.
5. Identify every recording, screenshot, photograph, livestream, or other ESI depicting any
portion of the incident known to you.
6. Identify every communication you had regarding the incident, including communications
made through Discord and Roblox chat.
7. State every fact supporting your denial that you intentionally shot Plaintiff.
8. State every fact supporting your denial that your conduct caused Plaintiff’s death.
9. State whether you contend Plaintiff fired first. If so, identify every fact supporting that
contention.
10. State whether your actions were legally justified. If so, identify every factual basis for
that contention.
11. Identify every document, photograph, recording, or ESI that you intend to rely upon in
support of your defenses.
12. Identify every statement you have made concerning this incident, whether written,
recorded, or communicated through Discord or Roblox.
13. Identify which witness whom you presently intend to call at trial, together with the
subject matter of their anticipated testimony.
14. Describe every factual basis upon which you contend Plaintiff is not entitled to recover
damages.
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REQUESTS FOR PRODUCTION
RFP No. 1: Produce every video recording depicting any portion of the incident.
RFP No. 2: Produce every screenshot depicting any portion of the incident.
RFP No. 3: Produce every recording made before, during, or within 5 minutes after the
incident.
RFP No. 4: Produce every Discord message concerning: (a) Plaintiff; (b) the incident; (c)
“rawequals”; (d) this lawsuit.
RFP No. 5: Produce every Roblox chat log concerning the incident.
RFP No. 6: Produce every written or recorded statement made by you concerning the
incident.
RFP No. 7: Produce every communication between you and any witness regarding the
incident.
RFP No. 8: Produce every document you intend to introduce at trial.
RFP No. 9: Produce every document supporting any affirmative defense or factual
defense you intend to assert.
Date: August 4, 2026
Respectfully submitted,
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