Your Honor, I've been trying to contact you regarding tort rules in San Andreas, as I wanted to avoid having placeholder values for relief, and I assessed that you have a significant amount of tort rulings. Now that you are presiding I cannot speak to you without a representative from the LSPD, but I would still be more than happy to do so. For medical relief, the plaintiff will put $680 for the initial treatment of Mr. Driver at SAMS following the incident, and a $2720 for the cost of what the plaintiff argues is a conservative amount of 4 therapy sessions with the SAMS mental health unit, totaling $3400 for medical relief. In line with State Farm Mutual Automobile Insurance Co. v. Campbell and BMW of North America, Inc. v. Gore the plaintiff argues that punitive damages 3 times that of the compensatory damages are well beyond reason. The plaintiff will be requesting $10,200 in punitive damages. As far as the 48 hour deadline, Driver has not made contact with me in 4 days, so if he doesn't make contact within the 48 hours, this attorney will not have any protest on dismissal without prejudice. Please your honor, I would love to hear any procedural instructions or San Andreas case law regarding civil suits. At the current moment only 1 civil case is visible to me that has been ruled on, so literally any settled civil material would be extremely appreciated. If your Honor wishes me to refile this case, or any of my other civil cases, I would be more than happy to. Any cases I have done the initial filing on are well within statute, so it is of minimum inconvenience to me, and it would please me greatly to do whatever pleases the court in this proceeding, and any others in the future.