All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-08-05 (UTC+0:00)
ADM F. 200 (Rev. 03/22) Summons in a Civil Action
SUPERIOR COURT OF THE STATE OF RIDGEWAY
TheUnknownSavagx
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DOCKET NO. RSC-CV-3946
Plaintiff
v.
ShadowCulture and goodbugggatti
Defendant
SUMMONS
To also be served to the Attorney General, who is AdamStratton, and/or the solicitor generals pursuant to Rid. Rule Civ. Proc. 4(4)(4)
The plaintiff, whose attorney is thr33six8 esq., in the above-named civil action has commenced it by
filing the complaint. If you are one of the above-named defendants, you must appear and defend yourself. Both
defendants are sued in their official capacities: Defendant ShadowCulture is being sued in his official capacity
as a corporal of the Ridgeway County Sheriff's Office, and Defendant goodbugggatti is being sued in his official
capacity as a senior trooper of the Ridgeway State Police.
Failure to defend can result in the clerk entering default, which begins default judgment being rendered
upon the claims in the complaint. See generally Rid. Rule Civ. Proc 37.
Because (1) the defendants are sued in their official capacities, pursuant to Rid. Rule Civ. Proc. 12(4)(2),
there is 96 hours/4 days to file the aforementioned answer: it shall be filed by 2026-08-09. A copy of the
complaint has been provided alongside this summons.
CHIEF JUSTICE CLERK OF THE COURT
/s/ imnotRummy /s/
EXECUTED ON 2026-08-05 EXECUTED ON 2026-08-05
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
THEUNKNOWNSAVAGX, an individual
Plaintiff,
-against-
SHADOWCULTURE, an individual in his official
capacity as a corporal of the Ridgeway
County Sheriff's Office; GOODBUGGGATTI, an
individual in his official capacity as a senior
trooper of the Ridgeway State Police
Defendant.
RSC-CV-3946
CIVIL COMPLAINT
Presiding Judge: Hon. N/A
Plaintiff, proceeding with his attorney, who is thr33six8 Esq., hereby files this complaint
to commence the above-titled civil action.
PARTIES
1. Defendant ShadowCulture is a resident of the State of Ridgeway. His timezone is
UTC–4:00. He is a corporal of the Ridgeway County Sheriff's Office ("RCSO"),
employed since 2020-12-25. He has held his peace officer certification from the Law
Enforcement Training Center ("LETC") since 2020-12-20.
2. Defendant goodbugggatti is a resident of the State of Ridgeway. His timezone is
UTC–4:00. He is a senior trooper of the Ridgeway State Police, which is an "agency of
the state" pursuant to 9 R. Stat. § 223.001. He has held his LETC peace officer
certification since 2022-07-30.
3. Plaintiff TheUnknownSavagx 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. On 2026-07-25T20:30:31-07:00 (13:30 UTC), Plaintiff TheUnknownSavagx and on duty
RCSO Cpl. WGT05 were at the EnforcementBeyond Memorial Courthouse.
2. WGT05 began recording the conversation at 13:30:30-00:00.
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-08-05 (UTC+0:00)
3. In the recording, Plaintiff, who bore a Barrage 1014 semi-automatic shotgun, said "im not
stupid" and "plus its multiple vehicles" in front of the corporal, RCSO Deputy First Class
atlantxic, and MCPD Detective djnisnn. They left while the corporal and Plaintiff
remained.
4. Plaintiff then said "i cant fulfill it", "its 2 vhecilles [sic]", "and like 10 pge guns".
5. WGT05 asked, "taser?" and Plaintiff said "sadly no".
6. WGT05 asked again, "then what", and Plaintiff replied, "im working on getting one",
"your smg".
7. The video ends at 17:31:30 UTC.
8. WGT05 did not see Plaintiff in possession of PGE.
9. WGT05 knew that Plaintiff did not demonstrate that he had PGE.
10. Later, an unknown police officer ("SinNombre") wrote an affidavit swearing that Plaintiff
had the items he bragged about, and he applied for a search warrant with the affidavit.
11. On 2026-07–25T22:38:00-05:00 (17:38 UTC), Plaintiff TheUnknownSavagx sent a
string of DMs to PPD Senior Officer EthanPfeifferMD, showcasing the items in his gray
Gridlock.
12. The picture showed two Solamis and two boxes of taser ammunition, and it also showed
that the Gridlock's storage capacity was at 249/250.
13. The screenshot showed a part of the Gridlock's license plate, but the license plate's text
was blocked off by the UI.
14. The PPD Senior Officer replied, "not bad".
15. Six minutes later, Plaintiff then sent the same screenshot to RCSO Deputy First Class
atlantxic. She replied, "cool".
16. At 17:47, Plaintiff sent the same screenshot to RSP Senior Trooper goodbugggatti.
17. Later, an unknown police officer ("PasDeNom") wrote an affidavit for the items shown in
the Gridlock and applied for a search warrant to be issued on Plaintiff.
18. On 2026-07-26T03:46:40Z (UTC), Superior Court Judge Hon. EffortlessBrit signed off
search warrant RSC-SW-0654, which was directed to the Palmer Police Department.
19. This search warrant would be executed by Defendant ShadowCulture, but the return was
signed off by WGT05.
20. On 2026-07-26T10:40:00, Judge Hon. Mytrius issued search warrant RSC-SW-5902,
which was directed to the Ridgeway State Police.
21. This search warrant would be executed by Defendant goodbugggatti.
22. Plaintiff got the receipt/return for RSC-SW-5902, but Defendant goodbugggatti did not
give Plaintiff a copy of the search warrant itself.
23. Plaintiff got neither the receipt nor the search warrant from Defendant ShadowCulture.
TORTS
#1: Official Misconduct (7 R. Stat. § 121.404)
Tortfeasor: Defendant ShadowCulture
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-08-05 (UTC+0:00)
1. Plaintiff incorporates all pled facts and all pled averments.
2. Defendant was a public servant as he was a corporal of the Ridgeway County Sheriff's
Office.
3. Defendant did refrain from giving Plaintiff a copy of the search warrant and its return,
which Plaintiff has a right to have pursuant to 6 R. Stat. § 131.014.
4. Therefore, there is a cause of action for the tort of Official Misconduct, of which
Defendant ShadowCulture is the tortfeasor.
#2: Official Misconduct (7 R. Stat. § 121.404)
Tortfeasor: Defendant goodbugggatti
1. Plaintiff incorporates all pled facts and all pled averments.
2. Defendant was a public servant as he was a senior trooper of the Ridgeway State Police.
3. Defendant did refrain from giving Plaintiff a copy of the search warrant, which Plaintiff
has a right to have pursuant to 6 R. Stat. § 131.014.
4. Therefore, there is a cause of action for the tort of Official Misconduct, of which
Defendant goodbugggatti is the tortfeasor.
#3: Deprivation of Rights under Color of Law (7 R. Stat. § 121.403)
Tortfeasor: Defendant ShadowCulture
1. Plaintiff incorporates all pled facts and all pled averments.
2. Since Defendant did not comply with Plaintiff's right pursuant to 6 R. Stat. § 131.014,
Defendant, who was acting under his statutory authorities as a corporal of the Ridgeway
County Sheriff's Office, deprived Plaintiff of his § 131.014 right.
3. Therefore, there is a cause of action for the tort of Deprivation of Rights under Color of
Law, of which Defendant ShadowCulture is the tortfeasor.
#4: Deprivation of Rights under Color of Law (7 R. Stat. § 121.403)
Tortfeasor: Defendant goodbugggatti
1. Plaintiff incorporates all pled facts and all pled averments.
2. Since Defendant did not comply with Plaintiff's right pursuant to 6 R. Stat. § 131.014,
Defendant, who was acting under his statutory authorities as a senior trooper of the
Ridgeway State Police, deprived Plaintiff of his § 131.014 right.
3. Therefore, there is a cause of action for the tort of Deprivation of Rights under Color of
Law, of which Defendant goodbugggatti is the tortfeasor.
RELIEF
1. Plaintiff is entitled to $10,000 in puntitive damages from Defendant ShadowCulture for
committing the tort of Official Misconduct.
2. Plaintiff is entitled to $10,000 in punitive damages from Defendant goodbugggatti for
committing the tort of Official Misconduct.
3. Plaintiff is entitled to an injunction enjoining Defendant ShadowCulture from going on
duty as a deputy of the Ridgeway County Sheriff's Office for 5 days for committing the
tort of Deprivation of Rights under Color of Law, effectively suspending him.
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-08-05 (UTC+0:00)
4. Plaintiff is entitled to an injunction enjoining Defendant goodbugggattti from going on
duty as a senior trooper of the Ridgeway State Police for 5 days for committing the tort of
Deprivation of Rights under Color of Law, effectively suspending him.
Respectfully submitted,
/s/ TheUnknownSavagx
Plaintiff of the above-titled civil action;
Timezone UTC–5:00
/s/ thr33six8
Timezone UTC–5:00;
The Attorney of Plaintiff/Client
TheUnknownSavagex;
Licensed Attorney in the State of Ridgeway
since July 23rd, 2026 (R.S.B. License
#19302).
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
THEUNKNOWNSAVAGX, an individual
Plaintiff,
-against-
SHADOWCULTURE, an individual in his official
capacity as a corporal of the Ridgeway
County Sheriff's Office; GOODBUGGGATTI, an
individual in his official capacity as a senior
trooper of the Ridgeway State Police
Defendant.
RSC-CV-####
PLAINTIFF'S DOCUMENT OF INITIAL
DISCLOSURES
Presiding Judge: Hon. N/A
Plaintiff hereby files this document disclosing evidence.
EXHIBITS
# PREVIEW + URL DESCRIPTION
1. Video recorded by WGT05. Used in the acquisition of
RSC-SW-5902.
2. A carbon copy of the search warrant receipt given to Plaintiff by
Defendant goodbugggatti. Since this has Hon. Mytrius' name on it,
this search warrant receipt is for RSC-SW-0654.
3. A carbon copy of the search warrant RSC-SW-0654, which was
directed to the Ridgeway State Police.
All dates and times are in ISO 8601 format unless otherwise specified.
Filed on 2026-08-05 (UTC+0:00)
4. A carbon copy of the return of the search warrant RSC-SW-0654.
Signed off by WGT05.
5. A carbon copy of the search warrant RSC-SW-5902, which was
directed to the Palmer Police Department.
6. A carbon copy of the return of the search warrant RSC-SW-5902.
Signed off by EthanPfeifferMD.
Respectfully submitted,
/s/ TheUnknownSavagx
Plaintiff of the above-titled civil action;
Timezone UTC–5:00
/s/ thr33six8
Timezone UTC–5:00;
The Attorney of Plaintiff/Client
TheUnknownSavagex;
Licensed Attorney in the State of Ridgeway
since July 23rd, 2026 (R.S.B. License
#19302).