All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-08-05 (UTC+0:00)
THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
RA4ZERR, an individual
Plaintiff,
-against-
DJNISNN, an individual in his official capacity
as an officer of the Milton City Police
Department
Defendant.
RSC-##-####
CIVIL COMPLAINT
Presiding Judge: Hon. N/A
Plaintiff RA4ZERR, proceeding with his attorney, who is thr33six8 Esq., hereby files this
complaint to commence the above-titled civil action.
PARTIES
1. Defendant djnisnn is a resident of the State of Ridgeway. His timezone is UTC–5:00. He
is a detective of the Milton City Police Department ("MCPD"), an "agency of the City of
Milton" and therefore an agency of the State of Ridgeway. 9 R. Stat. § 361.001. He has
held his peace officer certification from the Law Enforcement Training Center since
2026-05-09.
2. Plaintiff RA4ZERR is a resident of the State of Ridgeway.
JURISDICTION AND VENUE
1. This court, which is the Superior Court of the State of Ridgeway, shall "shall exercise
original jurisdiction for all civil and criminal cases or controversies under the rules as set
by the Supreme Court", R. Const. art. Ⅴ, § Ⅳ, and it shall have original jurisdiction over,
among other things, "any controversy not otherwise falling within the jurisdiction of the
Supreme Court, Administrative Court, or Magistrate Court as set forth by law". See
generally The Judiciary Act of 2026 § 302, S.B. 002, 11th Sen. (2026); 3 R. Stat. §
131.104(a–e). As the controversy is actionable here, jurisidiction is proper.
2. This court is the proper venue because civil actions shall only take place in the county
where the controversy occurs. See 7 R. Stat. §§ 131.001–131.003. Since this takes place
within the County of Ridgeway, a county of the State of Ridgeway pursuant to 9 R. Stat.
§ 321.001, venue is proper.
STATEMENT OF FACTS
1. Hon. smashcans, who is a magistrate judge of the Superior Court of the State of
Ridgeway, accepted an application for a search warrant made by an unknown police
officer (hereinafter named under the pseudonym "Officer PasDeNom"), and the
magistrate judge issued a search warrant for Plaintiff RA4ZERR.
2. On 2026-08-04, in the State of Ridgeway, Plaintiff was put under arrest.
3. Plaintiff was taken to the One Police Plaza in Milton, where he was protected by MCPD
Emergency Services Unit operatives and other peace officers such as MCPD Deputy
Chief FrankXReagan, who was wearing the MCPD ESU BDU as well as that unit's gear.
4. Defendant djsinn, who was on duty as a MCPD ESU operative, went ahead and executed
search warrant.
5. As a part of the search warrant, Defendant had police officers search Plaintiff's home,
which was 3250 Majellan Way.
6. Plaintiffs vehicles were burned by Defendant and assisting peace officers as a part of the
search warrant.
7. After the execution of the search warrant, Defendant arrested Plaintiff for R.C.C. §§ 2.30
(Unlawful Possession of a Firearm with Intent to Sell, a felony), 2.26 (Unlawful
Possession of Goverment-Issued Equipment, a felony), 2.27 (Unlawful Stockpile of
Government-Issued Equipment, a felony).
8. After the execution of the search warrant Defendant gave Plaintff neither the search
warrant nor the return/receipt thereof.
TORTS
#1: Official Misconduct (7 R. Stat § 121.404)
1. Plaintiff incorporates all pled facts and all pled averments.
2. Defendant was a public servant, as he was on duty as a detective of the Milton City
Police Department. See Compl. Parties ¶ 1.
3. Defendant did refrain from doing a duty imposed on him: he did not give Plaintiff the
search warrant and the receipt thereof after its execution, which is a duty put on
Defendant pursuant to 6 R. Stat. § 131.014.
4. Therefore, there is a cause of action for the tort of Official Misconduct, of which
Defendant djsinn is the tortfeasor.
#2: Deprivation of Rights under Color of Law (7 R. Stat § 121.403)
1. Plaintiff incorporates all pled facts and all pled averments.
2. Defendant was acting under statute, as he was on duty as a detective of the Milton City
Police Department and was therefore acting under its statutory authorities/office. Compl.
Parties ¶ 1; 9 R. Stat. § 361.301(a–f) (statutes defining MCPD's authority); Id., at §
361.303 (statute defining MCPD's jurisdiction).
3. Defendant did deprive Plaintiff of a right: he did not give Plaintiff the search warrant and
the receipt thereof after its execution, which is a duty put on Defendant pursuant to 6 R.
Stat. § 131.014. Since this is a duty put upon Defendant, and Defendant is a part of the
government, it is a right of the Plaintiff.
4. Therefore, there is a cause of action for the tort of Deprivation of Rights under Color of
Law, of which Defendant djsinn is the tortfeasor.
RELIEF
Plaintiff is entitled to and requests the following:
1. $10,000 in puntitive damages. 7 R. Stat. § 121.404.
2. Pursuant to Id., at § 121.403, an injunction enjoining Defendant djsinn from being on
duty as an officer of the Milton City Police Department e for 10 days, effectively
suspending him.
Respectfully submitted,
/s/ RA4ZERR
Plaintiff of the above-titled civil action
/s/ thr33six8
Timezone UTC–5:00;
The Attorney of /Plaintiff/Client RA4ZERR;
Licensed Attorney in the State of Ridgeway
since July 23rd, 2026 (R.S.B. License
#19302).
THE STATE OF RIDGEWAY
RIDGEWAY SUPERIOR COURT
RA4ZERR, an individual
Plaintiff,
-against-
DJNISNN, an individual in his official capacity
as an officer of the Milton City Police
Department
Defendant.
RSC-##-####
CIVIL COMPLAINT
Presiding Judge: Hon. N/A
Plaintiff hereby files this document disclosing evidence and witnesses.
EXHIBITS
# PREVIEW + URL DESCRIPTION
1. Plaintiff's arrest record for the search warrant. Screeenshot
produced by Plaintiff himself.
2. Cropped screenshot showing Plaintiff in Defendant's hands. Taken
by thr33six8 and shared with Plaintiff himself.
3. Screenshot showing Plaintiff (who is handcuffed in the Executor) in
the garage. Taken by thr33six8.
WITNESSES
WITNESS DESCRIPTION
Norton
(@RA4ZERR:110
922864)
Eyewitness.
satchmo
(@thr33six8:157
724843)
Eyewitness.
noahbadnolie:1683
129530
Eyewitness.
certdom:27582862
02
Eyewitness.
boys1284:1030212
816
Eyewitness.
vader
(@Vader0201:1201
84813)
Eyewitness.
djsinn:1140403071
Eyewitness.
Francis
(@FrankXReagan:
44546775)
Eyewitness.
Eyewitness.
Adam Stratton
(@AdamStratton:1
7311250)
Galaxydro:275828
6202
Eyewitness.
Respectfully submitted,
/s/ RA4ZERR
Plaintiff of the above-titled civil action
/s/ thr33six8
Timezone UTC–5:00;
The Attorney of /Plaintiff/Client RA4ZERR;
Licensed Attorney in the State of Ridgeway
since July 23rd, 2026 (R.S.B. License
#19302).