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Case Filing
IN THE FEDERAL COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
TuffCapital
Plaintiff
v.
RazCreative
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
I, Bloatmaxxer, was robbed of my rightful profit by Raz0Baz0 after they entered into a legally binding contract with my firm, TuffCapital, and proceeded to breach it.
I. PARTIES
1. TuffCapital (Plaintiff), represented by Represented by Tulitukka and xVoltrix as co-counsel, on behalf of Blackstone Law Group
2. Bloatmaxxer, aka ol.iv.er aka tuffcapital, a representative of TuffCapital, represented by Blackstone Law Group
3. RazCreative, (“the Company”)
4. Raz0Baz0, (Defendant) aka Silly Billy aka sillybillllllly aka Razputin Bazputin, the CEO of RazCreative at the time of discovery
II. FACTS
1. Raz0Baz0 seeked a contract with TuffCapital to fund the start up of the Company. (P-001)
2. Both TuffCapital and Raz0Baz0 on behalf of RazCreative agreed to a contract regarding capital investment. (P-002)
3. The Contract stipulates that TuffCapital would issue a 5000 DCC capital investment to RazCreative. (P-003)
4. The Contract stipulates that TuffCapital would issue a 800 DCC capital investment to RazCreative to be used by Raz0Baz0 to rent the plot cbd028 for 28 days. (P-003)
5. The Contract stipulates that Raz0Baz0 would receive the leasing rights to cbd028. (P-003)
6. The leasing rights were valued at 2000 DCC in the contract. (P-003)
7. At the time of signing, RazCreative was valued at 26,000 DCC. (P-003)
8. The investment made by TuffCapital into RazCreative would have amounted to a 30% equity in the company. (P-003)
9. It was agreed in a Discord chat between Raz0Baz0 and TuffCapital that TuffCapital would receive 30% of all profits of RazCreative. (P-003)
10. The plaintiff has made multiple attempts to resolve this without court intervention.
11. The balance of RazCreative at the time of filing was 30.15 DCC. (P-004)
12. The balance of Raz0Baz0 was at the time of filing 247,225.33 DCC. (P-005)
13. RazCreative has disclosed sales amounting to 96,000 DCC. (P-006, P-007, P-008, P-009)
14. RazCreative was contractually obligated to disclose all sales to TuffCapital in the ticket. (P-003)
15. RazCreative or Raz0Baz0 on behalf of it did not disclose all sales without being asked by TuffCapital to do so. (P-010)
16. Raz0Baz0 on behalf of RazCreative agreed in the contract to maintain a balance of 800 DCC to cover one (1) month’s rent of cbd028. (P-003)
17. RazCreative or Raz0Baz0 has not paid anything to TuffCapital.
18. TuffCapital has suffered significant financial losses due to Raz0Baz0 breaching the contract agreed to by both parties.
19. RazCreative was contractually obligated to keep one (1) month’s rent in the balance and failed to do so, causing the plaintiff to lose the plot to the Government of Redmont.
20. Due to the balances stated in facts 11, 12 and 13, it is most likely true that the profits made from artwork sales or other business activities conducted by RazCreative were credited to Raz0Baz0’s personal bank account.
21. The losses caused by Raz0Baz0 depriving TuffCapital of their rightfully earned profits could have yielded a profit of 3.5% if invested in a financial institution.
III. CLAIMS FOR RELIEF
1. The Defendant outrageously breached the contract agreed to by TuffCapital and RazCreative by not disclosing all sales without being prompted by the Plaintiff. This constitutes a breach of the Civil Code Act Part VI Statute 1. The Plaintiff had to make significant efforts to get the Defendant to report the sales.
2. The Defendant outrageously breached the contract agreed to by TuffCapital and RazCreative by not sending 30% of the profits made by RazCreative to TuffCapital. This constitutes a breach of the Civil Code Act Part VI Statute 1. The Plaintiff has tried multiple times to reconcile with the Defendant and recover lost profits.
3. The Defendant outrageously neglected paying rent on Cbd028, causing the Plaintiff to lose the plot. This constitutes a breach of the Civil Code Act Part XIII Statute 3.
4. The Defendant failed to meet their contractual obligations, constituting a breach of the Civil Code Act Part VI Statute 4.
IV. PRAYER FOR RELIEF
The Plaintiff seeks the following from the Defendant:
1. Compensatory damages amounting to 30% of the profits made by RazCreative (32,000 DCC at the time of filing)
2. 13,139.16 DCC for lost profits that could have been gotten by investing the lost profits since signing the contract at a 3.5% interest rate.
3. Punitive damages amounting to 50,000 DCC due to the Defendant committing multiple breaches of the contract outrageously.
5. 2000 DCC in compensatory damages for the leasing rights to Cbd028.
6. 5000 DCC in capital investment funds to be repaid in the form of compensatory damages.
7. 200 Civil Penalty Units (totalling 20,000 DCC @ 100 DCC per Unit)
8. 30% of the total damages awarded in legal fees paid to Blackstone Law Group ( DCC)
9. Any other damages the court deems just and proper to award
Totalling 158,780.91 DCC ( 122,139.16 DCC + 36,641.75 DCC) in damages.
By making this submission, I agree I understand the penalties of lying in court and the fact that I am subject to perjury should I knowingly make a false statement in court.
DATED: This 9th day of August, 2026