- Joined
- Sep 27, 2024
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- #1
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Marissa4,
Plaintiff
v.
SplashyBoi74,
Defendant
COMPLAINT
On October 15, 2024, the Defendant unlawfully killed 15 of the Plaintiff’s animals. This act inflicted both emotional and financial harm upon the Plaintiff by depriving her of valuable property and companionship, in violation of Section 4, Subsection 5 of the Animal & Pet Offences Act.
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. Plaintiff: Marissa4
2. Defendant: SplashyBoi74
II. FACTS
1. The Plaintiff was the caretaker and owner of multiple animals at the time of the incident.
2. On October 15, 2024, the Defendant intentionally killed 15 of the Plaintiff’s animals, as documented in evidence exhibits P-001, P-002, P-003, and P-004.
III. CLAIMS FOR RELIEF
1. The Plaintiff alleges that the Defendant violated Section 4, Subsection (5) of the Animal & Pet Offences Act, which explicitly prohibits the intentional harm or killing of another citizen’s animals without lawful justification.
2. This act resulted in emotional distress and financial loss to the Plaintiff, depriving her of her property and the companionship of her animals.
IV. PRAYER FOR RELIEF
The Plaintiff seeks the following relief from the Defendant:
• Compensatory Damages: $2,250 for the loss of animals, calculated at $150 per animal as provided under the Animal & Pet Offences Act.
• Punitive Damages: $10,000 to deter similar conduct in the future.
• Legal Fees: $5,000 under the Legal Damages Act.
• Additional Relief: Any further relief the court may deem appropriate.
By submitting this complaint, I acknowledge and understand the penalties of perjury for any knowingly false statements.
DATED: This 6th, day of November, 2024
Exhibits:
P-0001
P-002
P-003
P-004
CIVIL ACTION
Marissa4,
Plaintiff
v.
SplashyBoi74,
Defendant
COMPLAINT
On October 15, 2024, the Defendant unlawfully killed 15 of the Plaintiff’s animals. This act inflicted both emotional and financial harm upon the Plaintiff by depriving her of valuable property and companionship, in violation of Section 4, Subsection 5 of the Animal & Pet Offences Act.
WRITTEN STATEMENT FROM THE PLAINTIFF
I. PARTIES
1. Plaintiff: Marissa4
2. Defendant: SplashyBoi74
II. FACTS
1. The Plaintiff was the caretaker and owner of multiple animals at the time of the incident.
2. On October 15, 2024, the Defendant intentionally killed 15 of the Plaintiff’s animals, as documented in evidence exhibits P-001, P-002, P-003, and P-004.
III. CLAIMS FOR RELIEF
1. The Plaintiff alleges that the Defendant violated Section 4, Subsection (5) of the Animal & Pet Offences Act, which explicitly prohibits the intentional harm or killing of another citizen’s animals without lawful justification.
2. This act resulted in emotional distress and financial loss to the Plaintiff, depriving her of her property and the companionship of her animals.
IV. PRAYER FOR RELIEF
The Plaintiff seeks the following relief from the Defendant:
• Compensatory Damages: $2,250 for the loss of animals, calculated at $150 per animal as provided under the Animal & Pet Offences Act.
• Punitive Damages: $10,000 to deter similar conduct in the future.
• Legal Fees: $5,000 under the Legal Damages Act.
• Additional Relief: Any further relief the court may deem appropriate.
By submitting this complaint, I acknowledge and understand the penalties of perjury for any knowingly false statements.
DATED: This 6th, day of November, 2024
Exhibits:
P-0001
P-004