ConsequencesInc
Member
Prime Minister
Justice Secretary
Finance Secretary
Welfare Secretary
Member of Parliament
ConsequencesInc
Knight
- Joined
- Apr 12, 2025
- Messages
- 221
- Thread Author
- #1
IN THE HONOURABLE MAGISTRATE OF THE KINGDOM OF ALEXANDRIA
CIVIL BANKRUPTCY ACTION
Case No.: 11
BETWEEN:
ConsequencesInc
Plaintiff
v.
CrepeGod_
Respondent
I. JURISDICTIONAL STATEMENT AND VENUE
1. This Court has jurisdiction over this suit pursuant to §14 of the Constitution of the Kingdom of Alexandria which vests judicial power in the courts to interpret and administer the law.
2. The Magistrate Court is the proper venue for this suit as the BUTT Act grants this court jurisdiction over bankruptcy proceedings. See §3 A.P. 04-043.
II. PARTIES
1. ConsequencesInc (also referred to as the "Plaintiff") is a particular individual seeking to Bankrupt the deported player CrepeGod_ in order to regain losses from contractual dealings with the player.
2. CrepeGod_, a player who is permanently deported and therefore considered deceased. See Crown v. Thritystone, Case 3 (Mag. Ct. 2026).
III. FACTS
1. On July 2nd, the Respondent entered into a contract with the Plaintiff for an essay (See P-001 and P-002)
2. Later that day, the Plaintiff produced an essay to fulfil that contract (See P-003)
3. CrepeGod_ was permanently deported after agreeing to the contract due to violating the rules.
4. This means the Respondent CrepeGod_ is in-debt to ConsequencesInc for £3,000 and unable to pay ConsequencesInc the debt owed to him.
5. Consequencesinc is owed relief and is now seeking the Bankruptcy of CrepeGod_ to gain that relief.
IV. RELIEF
Due to the inability for CrepeGod_ to make payment, causing direct financial damage and incurring a debt owed of £3,000 plus daily late fees after 72 hours of non-payment, the Plaintiff is moving for immediate Chapter 7 Bankruptcy proceedings. The debtor CrepeGod_ has no other know creditors and we have attempted to contact CrepeGod_ (See P-004 and P-005) to no avail. The particular individual CrepeGod_ is deported permanently and therefore, under the law, not just dead, but Very Dead.
With the Respondent being deceased, and unable to have counsel or represent themselves, we are requesting automatic and immediate Chapter 7 Bankruptcy proceedings under the current law. See §3(b)(iii) A.P. 04-043.
Furthermore, we are requesting that the court order that all of the Respondents assets be taken into custody of the State in order to be given to the Plaintiff as restitution for the £3000 plus fees, including:
Fining all of the Respondents personal and business accounts. See §7(4) A.P. 04-043.
Seizing all property from the Respondent's inventory, ender chest, vaulted chests, regular chests, and any items or blocks on the land they have rented or own. See §7(5) A.P. 04-043. We have included a list of regions that the Respondent currently rents for purpose of making asset seizure easier (See P-006).
The Plaintiff is also requesting in lieu of liquidation, that any cash and all the assets seized be turned over to the Plaintiff as the creditor to liquidate on their own time to make the Plaintiff whole and to cover additional fees incurred by the Respondent for Breach of Contract.
Respectfully Submitted,
∴ ⨿🝛
The Artist Formerly Known as ConsequencesInc
7/3/2026
CIVIL BANKRUPTCY ACTION
Case No.: 11
BETWEEN:
ConsequencesInc
Plaintiff
v.
CrepeGod_
Respondent
I. JURISDICTIONAL STATEMENT AND VENUE
1. This Court has jurisdiction over this suit pursuant to §14 of the Constitution of the Kingdom of Alexandria which vests judicial power in the courts to interpret and administer the law.
2. The Magistrate Court is the proper venue for this suit as the BUTT Act grants this court jurisdiction over bankruptcy proceedings. See §3 A.P. 04-043.
II. PARTIES
1. ConsequencesInc (also referred to as the "Plaintiff") is a particular individual seeking to Bankrupt the deported player CrepeGod_ in order to regain losses from contractual dealings with the player.
2. CrepeGod_, a player who is permanently deported and therefore considered deceased. See Crown v. Thritystone, Case 3 (Mag. Ct. 2026).
III. FACTS
1. On July 2nd, the Respondent entered into a contract with the Plaintiff for an essay (See P-001 and P-002)
2. Later that day, the Plaintiff produced an essay to fulfil that contract (See P-003)
3. CrepeGod_ was permanently deported after agreeing to the contract due to violating the rules.
4. This means the Respondent CrepeGod_ is in-debt to ConsequencesInc for £3,000 and unable to pay ConsequencesInc the debt owed to him.
5. Consequencesinc is owed relief and is now seeking the Bankruptcy of CrepeGod_ to gain that relief.
IV. RELIEF
Due to the inability for CrepeGod_ to make payment, causing direct financial damage and incurring a debt owed of £3,000 plus daily late fees after 72 hours of non-payment, the Plaintiff is moving for immediate Chapter 7 Bankruptcy proceedings. The debtor CrepeGod_ has no other know creditors and we have attempted to contact CrepeGod_ (See P-004 and P-005) to no avail. The particular individual CrepeGod_ is deported permanently and therefore, under the law, not just dead, but Very Dead.
With the Respondent being deceased, and unable to have counsel or represent themselves, we are requesting automatic and immediate Chapter 7 Bankruptcy proceedings under the current law. See §3(b)(iii) A.P. 04-043.
Furthermore, we are requesting that the court order that all of the Respondents assets be taken into custody of the State in order to be given to the Plaintiff as restitution for the £3000 plus fees, including:
Fining all of the Respondents personal and business accounts. See §7(4) A.P. 04-043.
Seizing all property from the Respondent's inventory, ender chest, vaulted chests, regular chests, and any items or blocks on the land they have rented or own. See §7(5) A.P. 04-043. We have included a list of regions that the Respondent currently rents for purpose of making asset seizure easier (See P-006).
The Plaintiff is also requesting in lieu of liquidation, that any cash and all the assets seized be turned over to the Plaintiff as the creditor to liquidate on their own time to make the Plaintiff whole and to cover additional fees incurred by the Respondent for Breach of Contract.
Respectfully Submitted,
∴ ⨿🝛
The Artist Formerly Known as ConsequencesInc
7/3/2026
P-001: The Contract

P-002: Agreement to Contract

P-003: Delivery of Essay

(Link for those of you who wish to read it)
P-004: In-Game Attempt to Contact CrepeGod_

P-005: Notice put in #legal in StateCraft in attempt to contact CrepeGod_

P-006: List of regions the Respondent rents as of 7/3/2026


P-002: Agreement to Contract

P-003: Delivery of Essay

(Link for those of you who wish to read it)
P-004: In-Game Attempt to Contact CrepeGod_

P-005: Notice put in #legal in StateCraft in attempt to contact CrepeGod_

P-006: List of regions the Respondent rents as of 7/3/2026

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