Making Lord Of The Rings Accessible To All Literary Palates

I recently stumbled across a wonderful thread on the Straight Dope message board posing the following question: What if Lord of the Rings Had Been Written By Someone Else?
Some quick examples, starting with an adaptation that would make Theodor Geisel proud:

“Gandalf, Gandalf! Take the ring!
I am too small to carry this thing!”
“I can not, will not hold the One.
You have a slim chance, but I have none.
I will not take it on a boat,
I will not take it across a moat.
I cannot take it under Moria,
that’s one thing I can’t do for ya.
I would not bring it into Mordor,
I would not make it to the border.”
-excerpt from Dr. Suess’s FOTR.

And one that had me near in tears of mirth, an adaptaion in Lawyerese:

COMES NOW, plaintiff, Sauron, to file this original Complaint, and would show this honorable court the following:
1. Plaintiff and party of the first part, Sauron (“Sauron”) is a(n) (un)natural person, and resident and domiciliary of Mordor.
2. Defendant and party of the second part, Frodo Baggins (“Frodo”) is a natural person and resident of Hobbiton. Co-Defendant and party of the third part Samwise Gamgee (“Sam”) is likewise same.
3. All parties being properly diverse, jurisdiction is proper pursuant to 28 M.E.C. 1332. Damages far exceed the minimum jurisdiction of the court.
4. Defendant has converted and trespassed against the chattel and personalty of the plaintiff, namely, the One Ring (“Ring”) and is liable to plaintiff for same.
5. Plaintiff would further show on or about the final day of the Third Age, defendants did intentionally cause the destruction of Ring while plaintiff was engaged in defending his business from hostile takeover. In the alternative, plaintiff pleads that the actions of the defendants toward ring amount to recklessness, gross negligence, and negligence.
6. As a direct result of destruction of Ring, plaintiff has suffered actual damages in the form of irreparable harm to his business and personal reputation, as well as direct and indirect loss of income. Plaintiff has further suffered from mental anguish, humiliation, and loss of consortium.
7. Insofar as actions of defendants were intentional, plaintiff further requests punitive damages in the amount of treble his actual damages.
WHEREFORE, PLAINTIFF, SAURON, PRAYS FOR: all reasonable damages above named; FURTHER, plaintiff prays for all additional relief in law or equity deemed necessary and proper by this honorable court.
Respectfully submitted,
Mouth of Sauron
Attorney for Plaintiff
Middle Earth Bar No. 734925639

There’s 41 pages of the stuff, so I’m not going to be fool enough to tell you to “read the whole thing”, but it’s definitely worth more than a perusal.