Case: 1:17-cv TSB Doc #: 1 Filed: 10/27/17 Page: 1 of 15 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION

Size: px
Start display at page:

Download "Case: 1:17-cv TSB Doc #: 1 Filed: 10/27/17 Page: 1 of 15 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION"

Transcription

1 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 1 of 15 PAGEID # 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION LISA BRITT, ADMINISTRATRIX OF THE ESTATE OF TOMMY W. BRITT, II c/o Gerhardstein & Branch Co. LPA 441 Vine Street, Suite 3400 Cincinnati, OH v. Plaintiff, HAMILTON COUNTY, OHIO 138 E. Court Street Cincinnati, OH 45202, NAPHCARE, INC. c/o National Services Information, Inc. 145 Baker Street Marion, OH SHERIFF JIM NEIL Hamilton County Sheriff s Office 1000 Sycamore St, Cincinnati, OH Individually in his official capacity as Sheriff of Hamilton County, CURTIS EVERSON, M.D. c/o Hamilton County Justice Center 1000 Sycamore Street Cincinnati, OH 45202, Individually in his official capacity as the Medical Director at the Hamilton County Justice Center, Case No. 117-cv- Judge CIVIL COMPLAINT AND JURY DEMAND 1

2 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 2 of 15 PAGEID # 2 Dr. Johansen, M.D. Individually in his official capacity as doctor at the Hamilton County Jail c/o National Services Information, Inc. 145 Baker Street Marion, OH Angela M. Moore, RN Danielle McFarl, LPN Allison Kolb, LPN c/o NAPHCARE, INC. National Services Information, Inc. 145 Baker Street Marion, OH Individually in their official capacity as nurses at the Hamilton County jail, Sgt. Melissa Kilday Hamilton County Sheriff s Office 1000 Sycamore St. Cincinnati, OH Individually in her official capacity as employee of Hamilton County, JOHN/JANE DOE s #1-5 Hamilton County Sheriff s Office 1000 Sycamore St. Cincinnati, OH Individually in his/her official capacity as an medical providers at the Hamilton County jail, JOHN/JANE DOE s #5-10 Hamilton County Sheriff s Office 1000 Sycamore St. Cincinnati, OH Individually in his/her official capacity as workers at the Hamilton County jail, Defendants. 2

3 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 3 of 15 PAGEID # 3 I. PRELIMINARY STATEMENT 1. This civil rights case challenges the punitive denial of medical care to a dying inmate, Tommy Britt, while he was in custody at the Hamilton County Justice Center ( HCJC or Jail ). The Defendants failed to timely provide adequate medical care to Tommy Britt. When Tommy cried out for help begged to go to the hospital, the sergeant medical staff declared he was faking, ordered him to be strapped down in a restraint chair, placed on suicide watch for no reason. Their callous actions resulted in Tommy Britt s torturous pain suffering, ultimately, his death. When he was in the Jail, Tommy Britt was suffering from a life-threatening infection which required immediate treatment. His need for immediate treatment was obvious to Defendants who knew that Tommy was withdrawing from heroin, had a long history of intravenous drug use, that IV drug abusers are susceptible to life-threatening infections including endocarditis which infects a heart valve, that Tommy was suffering from noticeable signs of a serious infection soon after his incarceration, including elevated temperature heart rate. Despite knowing these risks, Defendants did not evaluate Tommy for an infection, refused him timely medical care, ignored his suffering deterioration, until it was too late. 2. Defendants know that our community is experiencing a heroin fentanyl epidemic. Many of the people who are booked in the Hamilton County Jail are addicted to heroin. These victims need treatment in the Jail, not a torturous death. They are not beyond hope. There is no one who is not saveable. Mrs. Britt, Tommy s mother, brings this action for medical malpractice, civil rights violations, wrongful death to secure fair compensation to encourage these similar Defendants to provide adequate timely medical treatment to future addicted inmates in their care. 3

4 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 4 of 15 PAGEID # 4 II. JURISDICTION 3. Jurisdiction over claims arising from Defendants violation of the Civil Rights Act is conferred upon this Court by 28 U.S.C. 1331, 1343 (3) (4). 4. Jurisdiction over the state law claim is conferred upon this Court by 28 U.S.C Venue is proper in this Division. III. PARTIES 6. Plaintiff, Lisa Britt is the mother of Tommy Britt the Administratrix of his Estate. She is a resident of Hamilton County, Ohio. 7. Defendant Hamilton County is a unit of local government organized under the laws of the State of Ohio. Defendant is a person under 42 U.S.C at all times relevant to this case acted under color of law. 8. Defendant NaphCare, Inc. is a corporation was at all times relevant to this action the medical provider under contract with Hamilton County, providing medical services at the Hamilton County Justice Center ( HCJC or Jail ). NaphCare, Inc. is a person under 42 U.S.C at all times relevant to this case acted under color of law. 9. Defendant Sheriff Jim Neil was at all times relevant to this action the Sheriff of Hamilton County, Ohio. Defendant is a person under 42 U.S.C at all times relevant to this case acted under color of law. He is sued in both his individual official capacities. 10. Defendant Curtis Everson was at all times relevant to this action an agent of NaphCare serving as the Medical Director at the Hamilton County Justice Center. Defendant Everson is a person under 42 U.S.C at all times relevant to this case acted under color of law. He is sued in both his individual official capacities. 4

5 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 5 of 15 PAGEID # Defendant Dr. Johansen was at all times relevant to this action an agent or employee of NaphCare working as a physician at the Hamilton County Justice Center. Defendant Johansen is a person under 42 U.S.C at all times relevant to this case acted under color of law. He is sued in both his individual official capacities. 12. Defendant Angela M. Moore, RN, was at all times relevant to this action an agent or employee of Hamilton County or NaphCare working as a nurse at the Hamilton County Justice Center. Defendant Moore is a person under 42 U.S.C at all times relevant to this case acted under color of law. She is sued in both her individual official capacities. 13. Defendant Allison Kolb, LPN, was at all times relevant to this action an agent or employee of Hamilton County or NaphCare working as a nurse at the Hamilton County Justice Center. Defendant Kolb is a person under 42 U.S.C at all times relevant to this case acted under color of law. She is sued in both her individual official capacities. 14. Defendant Danielle McFarl, LPN, was at all times relevant to this action an agent or employee of Hamilton County or NaphCare working as a nurse at the Hamilton County Justice Center. Defendant McFarl is a person under 42 U.S.C at all times relevant to this case acted under color of law. She is sued in both her individual official capacities. 15. Defendants John/Jane Doe # 1-5 were at all times relevant to this action were responsible for providing medical care at the Hamilton County Justice Center were employees of Hamilton County, Ohio or its medical provider subcontractor, NaphCare. Defendants Does 1-5 are each a person under 42 U.S.C at all times relevant to this case acted under color of law. Each of them is sued both in his or her individual official capacity. 16. Defendants John/Jane Does # 5-10 were at all times relevant to this action corrections officers employed at Hamilton County, Ohio. Defendant Does 5-10 are each a person under 42 5

6 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 6 of 15 PAGEID # 6 U.S.C at all times relevant to this case each of them acted under color of law. Each of them is sued both in his or her individual official capacity. IV. FACTS A. Background 17. Tommy Britt was a 23 year old young man when he died on November 22, He graduated from Oak Hills High School in 2012 planned to attend college. He had a promising future until he became addicted to heroin fentanyl. His parents supported him through his numerous attempts to break free of his addiction. However, after each time he successfully finished treatment for his addiction, Tommy would relapse. Although Tommy Britt was part of the heroin epidemic plaguing our community, his parents continued to love him, he loved his family. They were optimistic he would eventually become sober. 18. On October 26, 2016, Tommy was booked into the Hamilton County Justice Center for a probation violation. 19. At booking, Tommy Britt was screened for his current health conditions. When he entered the jail, he had several serious medical needs including infection heroin withdrawal. 20. On October 26, 2016, Tommy asked to see a nurse for back pain a runny nose. He was seen that day exhibited signs of heroin withdrawal including nausea, vomiting, diarrhea. His symptoms were noted as mild. 21. He was referred to an advance clinical practitioner, but that appointment was never made. He was also instructed to submit a sick call request if his symptoms were not resolved or if his condition worsened. 22. A note was placed in his chart that if he became medically unstable an Emergency Offside form should be completed. 6

7 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 7 of 15 PAGEID # On October 30, 2016, around 3 o clock in the morning Defendant nurse McFarl, a licensed practical nurse, took Tommy Britt s temperature noted it was elevated at She determined he had a rapid heart rate. It was 103, which meant his heart was experiencing tachycardia. This is a serious medical condition for a person withdrawing from heroin who had a long history of IV drug use. Yet, Defendant McFarl made no further assessment, ordered no blood tests, did not contact a doctor or make an appointment for Tommy to see a doctor. 24. On October 31, 2016, Defendant nurse McFarl assessed Tommy at 3 o clock in the morning found his temperature was still his heart rate had risen to 107. She did not assess, treat, or refer Tommy to a doctor. 25. On October 31, 2016, around 718 p.m., Tommy Britt pushed the call button in his cell told the officer he needed medical help. He was short of breath felt like he was going to pass out. The officers responded within a minute. When they arrived at Tommy s cell he had collapsed on the floor of his cell was unresponsive. The officers called a medical emergency. 26. Defendant Sgt. Kilday responded to the medical emergency found Tommy unresponsive on the floor, unable to answer any questions. The officers who called the medical emergency informed Sgt. Kilday that Tommy Britt had called for help, said he was having trouble breathing felt like he was going to pass out. 27. Immediately after Sgt. Kilday arrived, Defendant nurses Moore, Kolb McFarl arrived at the cell. They could not revive Tommy, so they administered smelling salts. He then came around explained he was not feeling well. When asked why he had not responded to the officers asking him what was wrong, Tommy explained he had been unable to talk. He was assisted to his feet, but fell to the ground each time he was stood up. The officers had to assist him up. 7

8 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 8 of 15 PAGEID # His vitals were checked. His heart rate was 105, indicating tachycardia. His temperature was either not taken or not recorded. His temperature for the last two days had been elevated. Defendants knew his current prior medical condition vitals. 29. The Defendant nurses asked Tommy what was going on. He said he needed to see a nurse because his chest was hurting. He asked for medical attention. He begged to go to the hospital. 30. When the nurses told Tommy Britt they were disregarding the medical emergency refusing to send him to the hospital he became upset. He insisted they send him to the hospital. 31. Despite their knowledge of Tommy s serious medical needs, Defendants denied him medical assessment treatment ignored his requests for help. 32. Instead of providing medical care, Sgt. Kilday the Defendant nurses decided Tommy Britt was faking being not responsive. 33. Sgt. Kilday ordered that Tommy be strapped into a restraint chair. Defendant s actions were punitive. 34. Defendant Moore, without any evidence, placed Tommy on Level I suicide watch. Level I suicide watch means the inmate is placed in an empty cell with only a suicide smock. Defendant s actions were punitive. 35. With full knowledge of Tommy s medical history at the jail serious medical needs, Dr. Johansen did not assess or treat Tommy. Instead, Dr. Johansen approved placing Tommy in the restraint chair on suicide watch. His actions were punitive. 36. Tommy Britt remained in the restraint chair for three hours. While he was in the restraint chair the Defendants, including nurse Moore, violated jail policy by not allowing Tommy to 8

9 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 9 of 15 PAGEID # 9 exercise his limbs for ten minutes per limb, to drink water, or have the opportunity to use the restroom hourly. While restrained no one monitored his vital signs. 37. At 1035 pm Tommy was released from the restraint chair held on suicide watch for the next two days. 38. From the time he was released from the restraint chair until he was found in critical condition at 530 am on November 2, 2016, no doctor or nurse assessed his medical condition, took vital signs, or provided him medical treatment. 39. On the morning of November 2, 2016, he was found in critical condition with a heart rate of 165 an unsteady gait. The charge nurse immediately ordered that he be sent to the hospital. While vital signs were taken twice on the morning of November 2, his temperature was not taken or not recorded. At the hospital his temperature was Tommy Britt never recovered. His condition never improved after he was admitted to the hospital s intensive care unit. He remained in critical condition until his organs failed. He was removed from life support on November 22, It was foreseeable that by not giving Tommy medical care, properly assessing his condition at the first sign on abnormal vitals, not providing access to a doctor, by delaying treatment, Defendants were decreasing Tommy Britt s chances of recovery survival. 42. Defendants Moore, Kolb, McFarl were routinely improperly called upon to assess the health status of patients were performing services beyond that legally authorized for their licensures. 43. Dr. Everson, Dr. Johansen, the Sheriff, the County, NaphCare policy makers had policies, practices, customs usages that caused inmates to needlessly suffer severe withdrawal symptoms side effects of IV drug use, including life threatening infections in the Hamilton 9

10 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 10 of 15 PAGEID # 10 County Jail. Such policies were the moving force behind the injuries suffered by Tommy Britt. By following such policies Defendants were deliberately indifferent to the serious medical needs of Tommy Britt. 44. Dr. Everson, Dr. Johansen, the Sheriff, the County, NaphCare policy makers were also deliberately indifferent to the serious medical needs of Tommy Britt by failing to train the medical staff implement jail policies, practices, customs usages that adequately addressed the obvious known health safety risks to inmates entering the Jail while withdrawing from heroin at risk of life threatening infections. 45. Defendants Hamilton County Sheriff Neil had the power ability to require NaphCare to submit reports regarding its provision of medical care, to meet with the Sheriff to discuss the provision of medical care. Hamilton County Sheriff Neil could fire NaphCare medical staff under certain conditions. Defendants County Sheriff could terminate the agreement with NaphCare with or without cause. 46. Defendants Hamilton County Sheriff Neil had the responsibility duty to monitor NaphCare s performance as a contractor ensure that the inmates within the Hamilton County Jail were receiving adequate medical care. Defendants County Sheriff failed to do so. 47. Defendants knew that inmates with histories of IV drug use related infections were at risk of serious infections required immediate proper treatment to address these infections. 48. Defendants knew that inmates with a history of heroin IV drug use who had signs of infection needed immediate assessment treatment or they would experience unnecessary suffering. Defendants did not provide the assessment treatment to Tommy Britt inmates like him were deliberately indifferent to their suffering. 10

11 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 11 of 15 PAGEID # Defendants Everson, Johansen, Hamilton County, Sheriff Neil, NaphCare were deliberately indifferent to the serious medical needs of inmates with histories of IV drug use related infections by requiring permitting Defendants Moore, Kolb, McFarl to routinely inappropriately assess the health status of patients otherwise perform services beyond that legally authorized for their level of licensure. 50. Defendants Everson, Johansen, Moore, Kolb, McFarl, Sheriff Neil, Hamilton County NaphCare acted negligently, recklessly, wantonly, willfully, knowingly, intentionally with deliberate indifference to the serious medical needs of Tommy Britt other patients suffering from complications as a result of IV drug use related infections. 51. Defendants refusal to provide basic medical care in response to an obviously serious medical risk was unreasonable, reckless, deliberately indifferent to Tommy Britt s serious medical needs. 52. Defendants knew Tommy Britt had a serious medical need to be treated for withdrawal an infection, that he was at serious risk of harm if he were not treated. Defendants knowingly disregarded that risk. 53. Defendants acted intentionally, knowingly, unreasonably, negligently, recklessly, with deliberate indifference to the rights safety of Tommy when they utterly failed to provide any kind of medical care placed him in restraints on suicide watch. 54. The actions of the Defendants reflect an arbitrary abuse of government power, which shocks the conscience. 55. Defendants Hamilton County, Sheriff Neil, Dr. Everson, NaphCare, established policies, practices customs of unnecessarily delaying adequate medical health services to 11

12 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 12 of 15 PAGEID # 12 inmates, including Tommy, with serious medical needs failing to secure appropriate, timely treatment by appropriate medical providers for inmates, including Tommy. 56. The policies, customs, patterns, practices of Hamilton County were the moving force behind the constitutional deprivations suffered by Tommy at the HCJC. The deprivations included the denial of adequate treatment, care, observation. The extreme delay in securing adequate medical treatment caused Tommy unnecessary pain suffering caused his death. 57. At all times relevant to this action, Defendants Hamilton County, NaphCare, Sheriff Neil, Dr. Everson failed to train supervise the Jail staff, including the other defendants, in properly caring for treating inmates with serious medical needs. All Defendants simply ignored the obvious risks of harm to Tommy the simple means of timely treating managing Tommy s medical condition. 58. Tommy s harm was preventable with adequate medical care medical treatment, which was not provided by Defendants. 59. As a direct proximate result of Defendants actions, Tommy endured extreme physical pain suffering, emotional distress, anguish, humiliation before his death. Tommy died a torturous death. 60. As a further direct proximate result of Tommy s wrongful death, his survivors /or heirs have suffered permanent damages, including but not limited to, the loss of his support, services, society, including lost companionship, care, assistance, attention, protection, advice, guidance, counsel, instruction, training, education, as well as the loss of prospective inheritance. 12

13 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 13 of 15 PAGEID # As a further direct proximate result of Tommy s wrongful death, Tommy s survivors, next of kin /or heirs have suffered permanent damages, including but not limited to, grief, depression, severe emotional distress. They have incurred funeral bills other expenses. V. FIRST CAUSE OF ACTION 42 U.S.C Plaintiff incorporates paragraphs 1 through 61 as if fully written herein. 63. Defendants have, under color of law, deprived Tommy Britt of rights, privileges immunities secured to him by the Fourth Fourteenth Amendment of the United States Constitution, including but not limited to, the right to adequate medical care when incarcerated as a pretrial detainee. 64. Defendants Hamilton County, Sheriff Neil, NaphCare, Dr. Everson failed to adequately train supervise the corrections officers the medical staff in the assessment, monitoring, treatment of inmates in serious medical need. 65. The rules, regulations, customs, policies procedures of the Defendants Hamilton County, Sheriff Neil, NaphCare, Dr. Everson regarding the treatment management of persons requiring specialty medical care were inadequate, unreasonable, deliberately indifferent were the moving force behind the constitutional deprivations suffered by Tommy Britt. VI. SECOND CAUSE OF ACTION MEDICAL MALPRACTICE 66. After Tommy Britt was admitted to the Jail, Defendant doctors nurses failed to use reasonable care in treating his heroin withdrawal infections. Each Defendant doctor nurse defendant breached his or her duty to care for Tommy Britt. 1 1 Affidavit of medical expert is attached. 13

14 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 14 of 15 PAGEID # Defendant Medical Director Dr. Everson failed to ensure that adequate policies were in place at the Jail to appropriately identify, diagnose treat inmates entering the jail with a history of IV drug use who were at risk for infections, including endocarditis. 68. The conduct of Dr. Everson Dr. Johansen deviated from stard medical practice in violation of Ohio law. Their conduct was a proximate cause of Tommy Britt s injuries, including pain suffering, emotional trauma, pre-death agony, lost chance of survival. 69. The conduct of Defendant nurses Moore, Kolb, McFarl breached their duty to provide medical care to Tommy Britt consistent with stard medical practice, all in violation of Ohio law. Their conduct was a proximate cause of Tommy Britt s injuries, including pain suffering, emotional trauma, pre-death agony, lost chance of survival. VII. THIRD CAUSE OF ACTION NAPHCARE NEGLIGENCE 70. Defendant NaphCare its employees agents owed a duty of reasonable care to Tommy Britt. 71. Defendant NaphCare had a duty to provide qualified personnel who were adequately trained supervised to perform medical services at the Jail a duty to use reasonable care in determining the qualifications adequate performance of its contractors, agents employees who provide medical services. Defendant NaphCare breached this duty. 72. Defendant NaphCare had a duty to establish appropriate policies procedures concerning the medical treatment of inmates at the Jail. Defendant NaphCare breached this duty. 73. Defendant NaphCare, their contractors, employees agents breached their duty of care to Tommy Britt by failing to provide appropriate medical care treatment under the circumstances. 14

15 Case 117-cv TSB Doc # 1 Filed 10/27/17 Page 15 of 15 PAGEID # NaphCare s conduct was a proximate cause of Tommy Britt s injuries, including pain suffering, emotional trauma, pre-death agony, lost chance of survival. VIII. FOURTH CAUSE OF ACTION WRONGFUL DEATH 75. Defendants Everson, Johansen, Moore, Kalb, McFarl, Kilday, NaphCare s actions caused the wrongful death of Tommy Britt resulting in damages recoverable under O.R.C IX. JURY DEMAND 76. Plaintiff requests a jury trial on all claims triable to a jury. X. PRAYER FOR RELIEF WHEREFORE, Plaintiff prays that this Court A. Award Plaintiff compensatory damages in an amount to be shown at trial; B. Award punitive damages against the individual Defendants (not Hamilton County) in an amount to be shown at trial; C. Award Plaintiff reasonable attorney's fees costs under 42 U.S.C. 1988; D. Award Plaintiff prejudgment interest; E. Grant to the Plaintiff such additional relief as the Court deems just proper. Respectfully submitted, s/ Jennifer L. Branch Jennifer L. Branch ( ) Trial Attorney for Plaintiff Alphonse A. Gerhardstein ( ) Attorney for Plaintiff Gerhardstein & Branch, Co LPA 441 Vine Street, Suite 3400 Cincinnati, Ohio (513) Phone (513) Fax jbranch@gbfirm.com 15

IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION

IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION !aaassseee 111111555- - -cccvvv- - -000000000333777 DDDoooccc ### 111 FFFiiillleeeddd 000111///000888///111555 111 ooofff 111000... PPPaaagggeeeIIIDDD ### 111 IN THE UNITED STATES DISTRICT COURT NORTHERN

More information

Case: 1:13-cv HJW Doc #: 1 Filed: 03/28/13 Page: 1 of 9 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION

Case: 1:13-cv HJW Doc #: 1 Filed: 03/28/13 Page: 1 of 9 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION Case 113-cv-00210-HJW Doc # 1 Filed 03/28/13 Page 1 of 9 PAGEID # 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION HOLLY CANDACE McCONNELL, individually and as Administratrix of

More information

Case: 3:17-cv TMR Doc #: 1 Filed: 05/24/17 Page: 1 of 7 PAGEID #: 1

Case: 3:17-cv TMR Doc #: 1 Filed: 05/24/17 Page: 1 of 7 PAGEID #: 1 Case 317-cv-00183-TMR Doc # 1 Filed 05/24/17 Page 1 of 7 PAGEID # 1 IN THE UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION AT DAYTON DARYL WALLACE C/O Gerhardstein & Branch Co.

More information

Case 3:08-cv DAK Document 31 Filed 02/25/2009 Page 1 of 12 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO WESTERN DIVISION

Case 3:08-cv DAK Document 31 Filed 02/25/2009 Page 1 of 12 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO WESTERN DIVISION Case 308-cv-01868-DAK Document 31 Filed 02/25/2009 Page 1 of 12 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO WESTERN DIVISION DARLA JENNINGS, as guardian of the estate of S.W., a minor DARLA

More information

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION 2:17-cv-13241-BAF-DRG Doc # 1 Filed 10/03/17 Pg 1 of 20 Pg ID 1 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION SHARON STEIN, as Personal Representative of the Estate of JOHN

More information

Case: 2:10-cv EAS-MRA Doc #: 1 Filed: 11/30/10 Page: 1 of 10 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO EASTERN DIVISION

Case: 2:10-cv EAS-MRA Doc #: 1 Filed: 11/30/10 Page: 1 of 10 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO EASTERN DIVISION Case 210-cv-01078-EAS-MRA Doc # 1 Filed 11/30/10 Page 1 of 10 PAGEID # 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO EASTERN DIVISION LAURIE PEABODY, c/o Gerhardstein & Branch 432 Walnut Street,

More information

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION George David Fossyl, individually and as administrator of the Cheryl Fossyl Estate, Tonia Harris, and Martin Fossyl, C/o Alphonse

More information

Case: 1:10-cv SJD Doc #: 1 Filed: 04/29/10 Page: 1 of 5 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION

Case: 1:10-cv SJD Doc #: 1 Filed: 04/29/10 Page: 1 of 5 PAGEID #: 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION Case 110-cv-00270-SJD Doc # 1 Filed 04/29/10 Page 1 of 5 PAGEID # 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION KEITH COCKRELL c/o Gerhardstein & Branch 432 Walnut Street, Suite

More information

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA. Plaintiff, Number:

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA. Plaintiff, Number: UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA Nicholas Conners, in his capacity as father and natural tutor of Nilijah Conners, Civil Action Plaintiff, Number: versus Section: James Pohlmann,

More information

Case 2:17-cv GJQ-TPG ECF No. 1 filed 01/25/17 PageID.1 Page 1 of 14 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MICHIGAN NORTHERN DIVISION

Case 2:17-cv GJQ-TPG ECF No. 1 filed 01/25/17 PageID.1 Page 1 of 14 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MICHIGAN NORTHERN DIVISION Case 2:17-cv-00018-GJQ-TPG ECF No. 1 filed 01/25/17 PageID.1 Page 1 of 14 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MICHIGAN NORTHERN DIVISION DARREN FINDLING, as Personal Representative for The

More information

Plaintiffs, Defendants. COMPLAINT. necessary medical care for serious medical needs by the defendants during her commitment to the

Plaintiffs, Defendants. COMPLAINT. necessary medical care for serious medical needs by the defendants during her commitment to the Case 5:15-cv-02000-EGS,...,.., Document 1 Filed 04/16/15 Page 1 0 of 11 FILED IN UNITED STATES DISTRICT COURT FOR THE APR 16 2015 EASTERN DISTRICT OF PENNSYLVANIA Ml S C'fSL E. KUNZ, Clerk ERIKA TARNOSKI

More information

Case: 1:08-cv DCN Doc #: 99 Filed: 04/07/10 1 of 20. PageID #: 3382 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION

Case: 1:08-cv DCN Doc #: 99 Filed: 04/07/10 1 of 20. PageID #: 3382 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION Case 108-cv-01339-DCN Doc # 99 Filed 04/07/10 1 of 20. PageID # 3382 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION ANGELA LOWE, Individually as Administratrix of the estate of

More information

Case: 1:17-cv JG Doc #: 2 Filed: 09/13/17 1 of 13. PageID #: 19 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION

Case: 1:17-cv JG Doc #: 2 Filed: 09/13/17 1 of 13. PageID #: 19 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION Case: 1:17-cv-01926-JG Doc #: 2 Filed: 09/13/17 1 of 13. PageID #: 19 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION DASHONE DUNLAP, SAYEQUEE HALE, MARCUS JACKSON M.D., through

More information

Case 2:12-cv JTF-dkv Document 25 Filed 01/29/13 Page 1 of 22 PageID 259

Case 2:12-cv JTF-dkv Document 25 Filed 01/29/13 Page 1 of 22 PageID 259 Case 2:12-cv-02633-JTF-dkv Document 25 Filed 01/29/13 Page 1 of 22 PageID 259 TERRY WASHINGTON, SR., Plaintiff, IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TENNESSEE WESTERN DIVISION

More information

Case 1:17-cv RBK-JS Document 1 Filed 09/08/17 Page 1 of 14 PageID: 1 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY

Case 1:17-cv RBK-JS Document 1 Filed 09/08/17 Page 1 of 14 PageID: 1 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY Case 117-cv-06876-RBK-JS Document 1 Filed 09/08/17 Page 1 of 14 PageID 1 Katherine D. Hartman, Esquire (027091991) ATTORNEYS HARTMAN, CHARTERED 68 East Main Street Moorestown, NJ 08057 Ph (856) 235-0220

More information

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION. Case No. K.D., a Minor by and through her Guardian ad Litem

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION. Case No. K.D., a Minor by and through her Guardian ad Litem 0 G. Dana Scruggs, SBN CARTWRIGHT, SCRUGG, FULTON & WALTHER Ocean Street, Suite 00 Santa Cruz, CA 00 Telephone: () -00 Facsimile: () - John Burton, SBN 0 THE LAW OFFICES OF JOHN BURTON North Fair Oaks

More information

Case: 1:12-cv Document #: 1 Filed: 05/25/12 Page 1 of 24 PageID #:1

Case: 1:12-cv Document #: 1 Filed: 05/25/12 Page 1 of 24 PageID #:1 Case: 1:12-cv-04082 Document #: 1 Filed: 05/25/12 Page 1 of 24 PageID #:1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION LORETTA MURPHY, ) ) Plaintiff, ) ) v.

More information

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA Case :0-cv-00-GMS Document Filed 0/0/0 Page of 0 0 Joel B. Robbins, Esq. (00) Anne E. Findling, Esq. (00) ROBBINS & CURTIN, p.l.l.c. Tel: 0/-000 Fax: 0/-0 joel@robbinsandcurtin.com anne@robbinsandcurtin.com

More information

Case 2:14-cv Document 1 Filed 04/29/14 Page 1 of 21 PageID #: 1

Case 2:14-cv Document 1 Filed 04/29/14 Page 1 of 21 PageID #: 1 SHUN MULLINS, IN THE FEDERAL DISTRICT COURT FOR THE MIDDLE DISTRICT OF TENNESSEE AT NASHVILLIOI~ APR 29 AH 6: 35 Plaintiff, US DlSTi{iCT COLIRT HlDDLE DIS 11\ICT OF TH Versus Civil Action No. 2;..=v_--"'1--=4=--_0

More information

IN THE CIRCUIT COURT OF BUCHANAN COUNTY, MISSOURI

IN THE CIRCUIT COURT OF BUCHANAN COUNTY, MISSOURI IN THE CIRCUIT COURT OF BUCHANAN COUNTY, MISSOURI TYLER FEE By and through his Guardian And Conservator, Steven Fee, 2709 Renick St. Joseph, MO 64507 Plaintiff, VS. Case No. 15BU-CV02918 Division: 1 Buchanan

More information

Case 1:11-cv JBS-AMD Document 37 Filed 06/27/12 Page 1 of 16 PageID: 223 IN THE UNITED STATES DISTRICT COURT DISTRICT OF NEW JERSEY

Case 1:11-cv JBS-AMD Document 37 Filed 06/27/12 Page 1 of 16 PageID: 223 IN THE UNITED STATES DISTRICT COURT DISTRICT OF NEW JERSEY Case 111-cv-02300-JBS-AMD Document 37 Filed 06/27/12 Page 1 of 16 PageID 223 MARK B. FROST & ASSOCIATES BY Mark B. Frost BY Ryan M. Lockman Pier 5 at Penn s Landing 7 N. Columbus Blvd. Philadelphia, PA

More information

Case 9:15-cv DMM Document 1 Entered on FLSD Docket 04/23/2015 Page 1 of 16 UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA

Case 9:15-cv DMM Document 1 Entered on FLSD Docket 04/23/2015 Page 1 of 16 UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA Case 9:15-cv-80521-DMM Document 1 Entered on FLSD Docket 04/23/2015 Page 1 of 16 UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA JEAN PAVLOV, individually and as Personal Representative

More information

UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION

UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION Case 8:10-cv-02411-JDW-EAJ Document 1 Filed 10/27/10 Page 1 of 10 PageID 1 UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION BELINDA BROADERS, AS PARENT, NATURAL GUARDIAN AND FOR AND

More information

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) FIRST AMENDED COMPLAINT AND JURY DEMAND

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) FIRST AMENDED COMPLAINT AND JURY DEMAND GREGORY SMITH Plaintiff, v. DISTRICT OF COLUMBIA 1350 Pennsylvania Ave NW Washington, DC 20004 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA JEANETTE MYRICK, in her individual capacity, 1901

More information

Case: 4:17-cv Doc. #: 1 Filed: 07/19/17 Page: 1 of 14 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI

Case: 4:17-cv Doc. #: 1 Filed: 07/19/17 Page: 1 of 14 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI Case: 4:17-cv-02017 Doc. #: 1 Filed: 07/19/17 Page: 1 of 14 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI KAREN POWELL, ) ) Plaintiff, ) ) v. ) Cause No.: 4:17-CV-2017

More information

Case 1:18-cv KMT Document 1 Filed 07/11/18 USDC Colorado Page 1 of 12 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO

Case 1:18-cv KMT Document 1 Filed 07/11/18 USDC Colorado Page 1 of 12 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Case 1:18-cv-01765-KMT Document 1 Filed 07/11/18 USDC Colorado Page 1 of 12 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. IRENE PRUITT, v. Plaintiff, ALAMOSA COUNTY

More information

Case: 1:15-cv Doc #: 1 Filed: 12/08/15 1 of 9. PageID #: 1 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION

Case: 1:15-cv Doc #: 1 Filed: 12/08/15 1 of 9. PageID #: 1 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION Case 115-cv-02528 Doc # 1 Filed 12/08/15 1 of 9. PageID # 1 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION XAVIER HEMPSTEAD, c/o Gerhardstein & Branch Co. LPA 432 Walnut Street,

More information

CASE 0:12-cv PJS-TNL Document 15 Filed 08/14/12 Page 1 of 7 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

CASE 0:12-cv PJS-TNL Document 15 Filed 08/14/12 Page 1 of 7 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA CASE 0:12-cv-00824-PJS-TNL Document 15 Filed 08/14/12 Page 1 of 7 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA Civil File No.:12-CV-824 (PJS/TNL) WILLIAM DEMONE WALKER ) ) Plaintiff, ) ) v. ) AMENDED

More information

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 06-cv-01964-WYD-CBS STEVEN HOWARDS, v. Plaintiff, IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO VIRGIL D. GUS REICHLE, JR., in his individual and official capacity,

More information

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION COMPLAINT FOR DAMAGES WITH JURY DEMAND

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION COMPLAINT FOR DAMAGES WITH JURY DEMAND Antrobus et al v. Apple Computer, Inc. et al Doc. 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF OHIO WESTERN DIVISION Lynette Antrobus, Individually c/o John Mulvey, Esq. 2306 Park Ave., Suite 104

More information

Case 3:16-cv KI Document 1 Filed 11/14/16 Page 1 of 8

Case 3:16-cv KI Document 1 Filed 11/14/16 Page 1 of 8 Case 3:16-cv-02164-KI Document 1 Filed 11/14/16 Page 1 of 8 R. Brendan Dummigan, OSB 932588 brendan@pickettdummigan.com J. Randolph Pickett, OSB 721974 randy@pickettdummigan.com PICKETT DUMMIGAN LLP 621

More information

COMPLAINT. COMES NOW the Plaintiffs, Christopher Cooper and Shelley Smith, by and through

COMPLAINT. COMES NOW the Plaintiffs, Christopher Cooper and Shelley Smith, by and through BOULDER COUNTY DISTRICT COURT 1777 6 th Street Boulder, Colorado 80302 Plaintiff: CHRISTOPHER COOPER and SHELLEY SMITH v. Defendants: PFIZER INCORPORATED COURT USE ONLY Attorneys for Plaintiff: Jennifer

More information

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS GALVESTON DIVISION. Plaintiffs, CIVIL ACTION NO. v.

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS GALVESTON DIVISION. Plaintiffs, CIVIL ACTION NO. v. JANE DOE, Individual And As Next Friend Of LISA DOE, AND LISA DOE, Individual, IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS GALVESTON DIVISION Plaintiffs, CIVIL ACTION NO. v.

More information

Plaintiff, for its Complaint against the above-captioned Defendants, states and

Plaintiff, for its Complaint against the above-captioned Defendants, states and IN THE COURT OF COMMON PLEAS CUYAHOGA COUNTY, OHIO ESTATE OF HARLAND OLSEN c/o Eadie Hill Trial Lawyers 3100 E. 45 St., Suite 218 Cleveland, Ohio 44127 and vs. Plaintiff, ATHENIAN ASSISTED LIVING, INC.

More information

In the United States District Court for the District of Colorado

In the United States District Court for the District of Colorado In the United States District Court for the District of Colorado Civil Action No. LUIS QUEZADA, Plaintiff, v. TED MINK, in his official capacity as the Sheriff of Jefferson County, Colorado Defendant.

More information

Courthouse News Service

Courthouse News Service IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF VIRGINIA Charlottesville Division JESSIE M. CASELLA, ) Plaintiff, ) ) v. ) ) MATT BORDERS, individually and ) in his official capacity, )

More information

UNITED STATES DISTRICT COURT

UNITED STATES DISTRICT COURT Case :0-cv-000-DGC Document Filed 0//0 Page of Steven E. Harrison, Esq. (No. 00) N. Patrick Hall, Esq. (No. 0) WALLIN HARRISON PLC South Higley Road, Suite 0 Gilbert, Arizona Telephone: (0) 0-0 Facsimile:

More information

Case 3:17-cv DJH Document 3 Filed 02/06/17 Page 1 of 10 PageID #: 13

Case 3:17-cv DJH Document 3 Filed 02/06/17 Page 1 of 10 PageID #: 13 Case 3:17-cv-00071-DJH Document 3 Filed 02/06/17 Page 1 of 10 PageID #: 13 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF KENTUCKY LOUISVILLE DIVISION [Filed Electronically] JACOB HEALEY and LARRY LOUIS

More information

UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT. Defendants. : : June 26, 2018 COMPLAINT

UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT. Defendants. : : June 26, 2018 COMPLAINT UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT : : JOSUE MATTA : : Plaintiff : : v. : : : Christopher Dadio; Luther Cuffee; John Slaven; : And Victor Colon, in their individual capacities : : : Defendants.

More information

Case 1:12-cv WGY Document 6 Filed 10/04/12 Page 1 of 30 UNITED STATES DISTRICT COURT FOR THE DISTRCT OF MASSACHUSETTS

Case 1:12-cv WGY Document 6 Filed 10/04/12 Page 1 of 30 UNITED STATES DISTRICT COURT FOR THE DISTRCT OF MASSACHUSETTS Case 1:12-cv-40120-WGY Document 6 Filed 10/04/12 Page 1 of 30 UNITED STATES DISTRICT COURT FOR THE DISTRCT OF MASSACHUSETTS ) ROBERTO CARLOS DOMINGUEZ, ) Plaintiff ) ) v. ) ) UNITED STATES OF AMERICA,

More information

LAUREL COUNTY, KENTUCKY

LAUREL COUNTY, KENTUCKY Case 6:06-cv-003be-DCR Document 1 Filed 08/16/2006 Page 1 of 11 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF KENTUCKY LONDON DIVISION [FILED ELECTRONICALLy] LESTER NAPIER, Individually and on behalf

More information

Case 3:12-cv Document 1 Filed 11/15/12 Page 1 of 17

Case 3:12-cv Document 1 Filed 11/15/12 Page 1 of 17 Case 3:12-cv-05987 Document 1 Filed 11/15/12 Page 1 of 17 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT TACOMA LASHONN WHITE, Plaintiff, vs. No. COMPLAINT CITY OF TACOMA, RYAN KOSKOVICH,

More information

Case 3:18-cv JSC Document 1 Filed 05/02/18 Page 1 of 11

Case 3:18-cv JSC Document 1 Filed 05/02/18 Page 1 of 11 Case :-cv-0-jsc Document Filed 0/0/ Page of WILLIAM C. JOHNSON, ESQ. (State Bar No. ) BENNETT & JOHNSON, LLP 0 Harrison Street, Suite 00 Oakland, California Telephone: (0) -00 Facsimile: (0) -0 william@bennettjohnsonlaw.com

More information

IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF TENNESSEE NASHVILLE DIVISION

IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF TENNESSEE NASHVILLE DIVISION IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF TENNESSEE NASHVILLE DIVISION JORDAN NORRIS, ) PLAINTIFF ) ) vs. ) ) CASE NUMBER MARK BRYANT, ) JOSH MARRIOTT, and ) JEFF KEY, ) DEFENDANTS.

More information

Case 1:10-cv OWW-GSA Document 2 Filed 04/06/2010 Page 1 of 7

Case 1:10-cv OWW-GSA Document 2 Filed 04/06/2010 Page 1 of 7 Case :0-cv-00-OWW-GSA Document Filed 0/0/00 Page of LAW OFFICES OF JOHN L. BURRIS JOHN L. BURRIS, ESQ. SBN STEVEN R. YOURKE, ESQ. SBN 0 Oakport St., Suite 0 Oakland, CA, Telephone: (0) -00 Facsimile: (0)

More information

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN LEO HARDY, ) ) Plaintiff, ) ) v. ) No. ) CITY OF MILWAUKEE, EDWARD FLYNN ) OFFICER MICHAEL GASSER, ) OFFICER KEITH GARLAND, JR. ) and unknown

More information

E-FILED 2017 MAY 11 3:00 PM DELAWARE - CLERK OF DISTRICT COURT

E-FILED 2017 MAY 11 3:00 PM DELAWARE - CLERK OF DISTRICT COURT IN THE IOWA DISTRICT COURT FOR DELAWARE COUNTY JOYCE EVERETT, Individually and as Executor of the Estate of VERNA KELLEY, STEPHEN KELLEY, Individually, BILL JOHNSTON, Individually, EDGAR KELLEY, Individually,

More information

)(

)( Case 1:07-cv-03339-MGC Document 1 Filed 04/26/07 Page 1 of 20 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK -----------------------------------------------------------)( LUMUMBA BANDELE, DJIBRIL

More information

to redress his civil and legal rights, and alleges as follows: 1. Plaintiff, Anthony Truchan, is a resident of Nutley, New Jersey.

to redress his civil and legal rights, and alleges as follows: 1. Plaintiff, Anthony Truchan, is a resident of Nutley, New Jersey. MICHAEL D. SUAREZ ID# 011921976 SUAREZ & SUAREZ 2016 Kennedy Boulevard Jersey City, New Jersey 07305 (201) 433-0778 Attorneys for Plaintiff, Anthony Truchan Plaintiff, ANTHONY TRUCHAN vs. SUPERIOR COURT

More information

Case 4:15-cv TCK-TLW Document 2 Filed in USDC ND/OK on 05/29/15 Page 1 of 19

Case 4:15-cv TCK-TLW Document 2 Filed in USDC ND/OK on 05/29/15 Page 1 of 19 Case 4:15-cv-00304-TCK-TLW Document 2 Filed in USDC ND/OK on 05/29/15 Page 1 of 19 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF OKLAHOMA (1) SCOTT W. BIRDWELL, an individual. ) ) Plaintiff,

More information

Case 2:12-cv Document 1 Filed 06/08/12 Page 1 of 11 PageID #: 1

Case 2:12-cv Document 1 Filed 06/08/12 Page 1 of 11 PageID #: 1 Case 2:12-cv-01935 Document 1 Filed 06/08/12 Page 1 of 11 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF WEST VIRGINIA CHARLESTON DIVISION Kimberly Durham and Morris Durham,

More information

UNITED STATES DISTRICT COURT! WESTERN DISTRICT OF MICHIGAN! SOUTHERN DIVISION!

UNITED STATES DISTRICT COURT! WESTERN DISTRICT OF MICHIGAN! SOUTHERN DIVISION! Case 1:13-cv-01294-PLM Doc #1 Filed 11/27/13 Page 1 of 10 Page ID#1 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION JILL CRANE, PLAINTIFF, v. MARY FREE BED REHABILITATION HOSPITAL,

More information

IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT DUPAGE COUNTY, ILLINOIS - LAW DIVISION. v. No.: COMPLAINT AT LAW

IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT DUPAGE COUNTY, ILLINOIS - LAW DIVISION. v. No.: COMPLAINT AT LAW 3526.000 STATE OF ILLINOIS ) ) ss. COUNTY OF DUPAGE ) IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT DUPAGE COUNTY, ILLINOIS - LAW DIVISION Douglas Walgren, Individually and as Independent Administrator

More information

Case 3:15-cv AJB-KSC Document 1 Filed 10/16/15 PageID.1 Page 1 of 11 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA

Case 3:15-cv AJB-KSC Document 1 Filed 10/16/15 PageID.1 Page 1 of 11 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA Case :-cv-0-ajb-ksc Document Filed 0// PageID. Page of 0 0 Daniel M. Gilleon (SBN 00) The Gilleon Law Firm 0 Columbia Street, Suite 00 San Diego, CA 0 Tel:.0./Fax:.0. dmg@mglawyers.com Steve Hoffman (SBN

More information

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS LUFKIN DIVISION. v. CIVIL ACTION NO. 9:12cv26

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS LUFKIN DIVISION. v. CIVIL ACTION NO. 9:12cv26 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS LUFKIN DIVISION MARILYN FIELDS STEPHEN FIELDS Plaintiffs v. CIVIL ACTION NO. 9:12cv26 RICKY KING, CITY OF CENTER DETECTIVE JUDGE: STEPHEN

More information

Case 1:11-cv JHM-HBB Document 1 Filed 12/12/11 Page 1 of 15 PageID #: 1

Case 1:11-cv JHM-HBB Document 1 Filed 12/12/11 Page 1 of 15 PageID #: 1 Case 1:11-cv-00189-JHM-HBB Document 1 Filed 12/12/11 Page 1 of 15 PageID #: 1 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF KENTUCKY BOWLING GREEN DIVISION [Filed Electronically] STUART COLE and LOREN

More information

IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI AT KANSAS CITY PETITION

IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI AT KANSAS CITY PETITION JANE DOE, v. IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI AT KANSAS CITY Plaintiff, YAHKHAHNAHN AMMI, Serve at: 9821 E 60th Street #7 Kansas City, MO 64133 Defendant. PETITION Case No. Division JURY

More information

Case 2:17-cv Document 1 Filed in TXSD on 12/12/17 Page 1 of 10

Case 2:17-cv Document 1 Filed in TXSD on 12/12/17 Page 1 of 10 Case 2:17-cv-00377 Document 1 Filed in TXSD on 12/12/17 Page 1 of 10 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS CORPUS CHRISTI DIVISION DEVON ARMSTRONG vs. CIVIL ACTION NO.

More information

SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF ORANGE JURISDICTION

SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF ORANGE JURISDICTION 1 M.E. STEPHENS (SBN 149649) SHELBY L. STUNTZ (SBN 231594) 2 STOCK STEPHENS, LLP 110 W. "C" STREET, SUITE 1810 3 SAN DIEGO, CA 92101 Tel: (619) 234-5488 4 Fax: (619) 234-8814 5 ATTORNEY FOR PLAINTIFF,

More information

Case 5:17-cv Document 1 Filed in TXSD on 04/13/17 Page 1 of 11

Case 5:17-cv Document 1 Filed in TXSD on 04/13/17 Page 1 of 11 Case 5:17-cv-00076 Document 1 Filed in TXSD on 04/13/17 Page 1 of 11 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS LAREDO DIVISION CESAR CUELLAR, SR. individually and as the administrator

More information

Case3:05-cv WHA Document1 Filed02/14/05 Page1 of 5

Case3:05-cv WHA Document1 Filed02/14/05 Page1 of 5 Case:0-cv-00-WHA Document Filed0//0 Page of Wayne Johnson, SBN: Law Offices of Wayne Johnson P.O. Box 0 Oakland, CA 0 (0) - Attorney for Plaintiffs 0 LYNART COLLINS, UNITED STATES DISTRICT COURT NORTHERN

More information

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN MELISSA Hall, ) on behalf of herself ) and others similarly situated, ) ) Plaintiffs, ) ) v. ) No. ) COUNTY OF MILWAUKEE, DAVID A. ) CLARKE,

More information

Case 1:12-cv CWD Document 1 Filed 03/26/12 Page 1 of 6

Case 1:12-cv CWD Document 1 Filed 03/26/12 Page 1 of 6 Case 1:12-cv-00151-CWD Document 1 Filed 03/26/12 Page 1 of 6 Curtis D. McKenzie, ISB 5591 cdm@mckenzielawoffices.com MCKENZIE LAW OFFICES, PLLC 412 W. Franklin Street Boise, Idaho 83702 (208) 344-4379

More information

Case 4:17-cv Document 1 Filed in TXSD on 04/24/17 Page 1 of 23

Case 4:17-cv Document 1 Filed in TXSD on 04/24/17 Page 1 of 23 Case 4:17-cv-01268 Document 1 Filed in TXSD on 04/24/17 Page 1 of 23 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION KHALIL EL-AMIN, Plaintiff, V. CIVIL ACTION NO.

More information

Case 1:14-cv KAM-JO Document 8 Filed 07/02/14 Page 1 of 11 PageID #: 36

Case 1:14-cv KAM-JO Document 8 Filed 07/02/14 Page 1 of 11 PageID #: 36 Case 1:14-cv-03673-KAM-JO Document 8 Filed 07/02/14 Page 1 of 11 PageID #: 36 ANTHONY G. MANGO (AM-4962) MANGO & IACOVIELLO, LLP 14 Penn Plaza, Suite 1919 New York, New York 10122 212-695-5454 212-695-0797

More information

Case 2:17-cv JEM Document 1 Entered on FLSD Docket 11/01/2017 Page 1 of 17

Case 2:17-cv JEM Document 1 Entered on FLSD Docket 11/01/2017 Page 1 of 17 Case 2:17-cv-14382-JEM Document 1 Entered on FLSD Docket 11/01/2017 Page 1 of 17 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA CASE NO.: KELLY DOE, vs. Plaintiff, EVAN CRAMER,

More information

Case 1:06-cv JJF Document 5 Filed 06/20/2006 Page 1 of 14 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE

Case 1:06-cv JJF Document 5 Filed 06/20/2006 Page 1 of 14 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE Case 1:06-cv-00366-JJF Document 5 Filed 06/20/2006 Page 1 of 14 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE ALICE WALKER, individually CIVIL ACTION and as guardian, of her husband,

More information

TAMALA BEMIS, Plaintiff, vs. CITY OF EUGENE, OFFICER BRAD HANNEMAN, NO. 622, and TEN UNKNOWN NAMED DEFENDANTS [ DOES 1-10], inclusive, Defendants.

TAMALA BEMIS, Plaintiff, vs. CITY OF EUGENE, OFFICER BRAD HANNEMAN, NO. 622, and TEN UNKNOWN NAMED DEFENDANTS [ DOES 1-10], inclusive, Defendants. Case :-cv-0-jr Document Filed 0/0/ Page of 0 Jeff Dominic Price SBN 00 Broadway, Suite Santa Monica, California 00 jeff.price@icloud.com Tel. 0.. Attorney for the plaintiff TAMALA BEMIS, Plaintiff, vs.

More information

Case: 3:12-cv JZ Doc #: 1 Filed: 09/21/12 1 of 7. PageID #: 1

Case: 3:12-cv JZ Doc #: 1 Filed: 09/21/12 1 of 7. PageID #: 1 Case: 3:12-cv-02380-JZ Doc #: 1 Filed: 09/21/12 1 of 7. PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF OHIO WESTERN DIVISION ALFONSO VASQUEZ-PALAFOX, ) ) No. Plaintiff, )

More information

SUMMONS IN THE COURT OF COMMON PLEAS STATE OF SOUTH CAROLINA ) ) ) CIVIL ACTION 2017-CP-42- COUNTY OF SPARTANBURG

SUMMONS IN THE COURT OF COMMON PLEAS STATE OF SOUTH CAROLINA ) ) ) CIVIL ACTION 2017-CP-42- COUNTY OF SPARTANBURG STATE OF SOUTH CAROLINA COUNTY OF SPARTANBURG DELTON JASPER and BAKARI SELLERS, As Co-Personal Representatives of the Estate of DELVIN TYRELL SIMMONS, Deceased, v. Plaintiff, SPARTANBURG METHODIST COLLEGE;

More information

STATE OF SOUTH CAROLINA IN THE COURT OF COMMON PLEAS TENTH JUDICIAL CIRCUIT COUNTY OF OCONEE C.A. NO.: 2017-CP-10- Jane Doe, Plaintiff,

STATE OF SOUTH CAROLINA IN THE COURT OF COMMON PLEAS TENTH JUDICIAL CIRCUIT COUNTY OF OCONEE C.A. NO.: 2017-CP-10- Jane Doe, Plaintiff, STATE OF SOUTH CAROLINA COUNTY OF OCONEE Jane Doe, vs. Plaintiff, Oconee Memorial Hospital, Greenville Heath System, Defendants. TO THE DEFENDANTS ABOVE-NAMED: IN THE COURT OF COMMON PLEAS TENTH JUDICIAL

More information

Case 5:16-cv RWS-CMC Document 1 Filed 01/29/16 Page 1 of 7 PageID #: 1

Case 5:16-cv RWS-CMC Document 1 Filed 01/29/16 Page 1 of 7 PageID #: 1 Case 5:16-cv-00016-RWS-CMC Document 1 Filed 01/29/16 Page 1 of 7 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS TEXARKANA DIVISION EVELYN GRIGSBY and DENNIS GRIGSBY,

More information

Case 2:10-cv TS Document 2 Filed 11/15/10 Page 1 of 9

Case 2:10-cv TS Document 2 Filed 11/15/10 Page 1 of 9 Case 210-cv-01126-TS Document 2 Filed 11/15/10 Page 1 of 9 MARK A. FLORES (8429) CORPORON & WILLIAMS, P.C. Attorney for Plaintiff 405 South Main Street, Suite 700 Salt Lake City, Utah 84111 Telephone 801-328-1162

More information

Case 2:16-at Document 1 Filed 08/04/16 Page 1 of 9

Case 2:16-at Document 1 Filed 08/04/16 Page 1 of 9 Case :-at-00 Document Filed 0/0/ Page of 0 JOHN L. BURRIS, Esq. SBN ADANTÉ D. POINTER, Esq. SBN MELISSA C. NOLD, Esq. SBN 0 LAW OFFICES OF JOHN L. BURRIS Airport Corporate Centre Oakport Street, Suite

More information

4:15-cv SLD-JEH # 1 Page 1 of 8 COMPLAINT. 1. This is an action for money damages brought pursuant to 42 U.S.C. 1983, and

4:15-cv SLD-JEH # 1 Page 1 of 8 COMPLAINT. 1. This is an action for money damages brought pursuant to 42 U.S.C. 1983, and 4:15-cv-04028-SLD-JEH # 1 Page 1 of 8 E-FILED Friday, 13 March, 2015 05:01:04 PM Clerk, U.S. District Court, ILCD UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF ILLINOIS ROCK ISLAND DIVISION

More information

3:14-cv CSB-DGB # 1 Page 1 of 8 IN THE U.S. DISTRICT COURT CENTRAL DISTRICT OF ILLINOIS SPRINGFIELD DIVISION. Plaintiff, No.: Defendants.

3:14-cv CSB-DGB # 1 Page 1 of 8 IN THE U.S. DISTRICT COURT CENTRAL DISTRICT OF ILLINOIS SPRINGFIELD DIVISION. Plaintiff, No.: Defendants. 3:14-cv-03055-CSB-DGB # 1 Page 1 of 8 E-FILED Wednesday, 12 February, 2014 10:30:29 AM Clerk, U.S. District Court, ILCD IN THE U.S. DISTRICT COURT CENTRAL DISTRICT OF ILLINOIS SPRINGFIELD DIVISION RICHARD

More information

IN THE UNITED STATES DISTRICT COURT IN AND FOR THE DISTRICT OF ARIZONA. Case No.:

IN THE UNITED STATES DISTRICT COURT IN AND FOR THE DISTRICT OF ARIZONA. Case No.: Case :-cv-0-smb Document Filed 0// Page of 0 0 Marc J. Victor, SBN 00 Jody L. Broaddus, SN 00 ATTORNEYS FOR FREEDOM South Price Road Chandler, Arizona Phone: (0) -0 Fax: (0) -00 Marc@AttorneyForFreedom.com

More information

IN THE UNITED STATES DISTRICT COURT DISTRICT OF KANSAS

IN THE UNITED STATES DISTRICT COURT DISTRICT OF KANSAS DOYLE BYRNES, 6702 W. 156 th Terrace Overland Park, KS 66223 IN THE UNITED STATES DISTRICT COURT DISTRICT OF KANSAS Plaintiff, vs. Civil Action No. DEMAND FOR JURY TRIAL JOHNSON COUNTY COMMUNITY COLLEGE,

More information

Case: 1:16-cv Document #: 1 Filed: 08/16/16 Page 1 of 14 PageID #:1

Case: 1:16-cv Document #: 1 Filed: 08/16/16 Page 1 of 14 PageID #:1 Case: 1:16-cv-08107 Document #: 1 Filed: 08/16/16 Page 1 of 14 PageID #:1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS, EASTERN DIVISION LAFAYETTE THOMAS, ) ) Plaintiff, )

More information

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF GEORGIA BRUNSWICK DIVISION

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF GEORGIA BRUNSWICK DIVISION Case 2:17-cv-00013-LGW-RSB Document 1 Filed 01/31/17 Page 1 of 12 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF GEORGIA BRUNSWICK DIVISION LISA VERONICA VARNADORE, ) individually and

More information

STATE OF MICHIGAN IN THE CIRCUIT COURT FOR THE COUNTY OF WAYNE. vs.

STATE OF MICHIGAN IN THE CIRCUIT COURT FOR THE COUNTY OF WAYNE. vs. STATE OF MICHIGAN IN THE CIRCUIT COURT FOR THE COUNTY OF WAYNE HOWARD LINDEN, as Personal Representative for the Estate of I NAYAH WRIGHT TRUSSEL, and JANEE WRIGHT-TRUSSEL, Individually, vs. Plaintiffs,

More information

IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF PENNSYLVANIA : : : : : : : : : : : : : : : : :

IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF PENNSYLVANIA : : : : : : : : : : : : : : : : : Case 115-cv-01994-WWC-JFS Document 1 Filed 10/14/15 Page 1 of 22 IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF PENNSYLVANIA ANGELA CARLOS, as ADMINISTRATRIX of the ESTATE OF TIOMBE KIMANA

More information

Plaintiff Edgar Castro for his Complaint against Defendants hereby alleges as

Plaintiff Edgar Castro for his Complaint against Defendants hereby alleges as David W. Dow (#00) Ddowlaw1@gmail.com Jennifer L. Levine (#001) jlevine@ddowlaw.com DOW LAW OFFICE E. Camelback #1 Phoenix, Arizona 0 Office: 0..0 Direct: 0-0-1 Attorneys for Plaintiff SUPERIOR COURT OF

More information

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION

IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION Destiny Payne, ) ) Plaintiff, ) ) v. ) No. 4:17-cv-01769 ) City of St. Louis, Vernon Betts, ) Charlene Deeken, Kimberly

More information

Case 5:13-cv PSG-AJW Document 22 Filed 01/21/14 Page 1 of 20 Page ID #:256

Case 5:13-cv PSG-AJW Document 22 Filed 01/21/14 Page 1 of 20 Page ID #:256 Case :-cv-00-psg-ajw Document Filed 0// Page of Page ID #: S. DOUGLAS ST., SUITE 0, EL SEGUNDO, CA 0 Telephone: ()--0; Facsimile: (00) - Case :-cv-00-psg-ajw Document Filed 0// Page of Page ID #: COMES

More information

Case 5:14-cv CMC Document 1 Filed 12/05/14 Page 1 of 11 PageID #: 1

Case 5:14-cv CMC Document 1 Filed 12/05/14 Page 1 of 11 PageID #: 1 Case 5:14-cv-00152-CMC Document 1 Filed 12/05/14 Page 1 of 11 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS TEXARKANA DIVISION ELISABETH ASBEL, Plaintiff, vs. RENEWABLE

More information

Case 3:08-cv CRW-CFB Document 1 Filed 11/07/2008 Page 1 of 12

Case 3:08-cv CRW-CFB Document 1 Filed 11/07/2008 Page 1 of 12 Case 3:08-cv-00141-CRW-CFB Document 1 Filed 11/07/2008 Page 1 of 12 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF IOWA-DAVENPORT DIVISION MELISSA ROSE WALDING MILLIGAN, Plaintiff, No.

More information

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA Case:-cv-0-VC Document Filed// Page of RACHEL LEDERMAN (SBN 0) Rachel Lederman & Alexsis C. Beach Attorneys at Law Capp Street San Francisco, CA Telephone:..00; Fax:..0 Email: rachel@beachledermanlaw.com

More information

Case: 1:15-cv Document #: 1 Filed: 03/04/15 Page 1 of 14 PageID #:1

Case: 1:15-cv Document #: 1 Filed: 03/04/15 Page 1 of 14 PageID #:1 Case: 1:15-cv-01920 Document #: 1 Filed: 03/04/15 Page 1 of 14 PageID #:1 UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION ESTATE OF ROSHAD MCINTOSH, ) Deceased, by Cynthia

More information

IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF OKLAHOMA

IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF OKLAHOMA Case 5:10-cv-00480-L Document 1 Filed 05/10/10 Page 1 of 10 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF OKLAHOMA (1) DETROY JARRETT, ) ) Plaintiff, ) ) Civil Action No. v. ) ) (1) UHS

More information

Case 1:16-cv SCY-KK Document 1-1 Filed 12/14/16 Page 1 of 25

Case 1:16-cv SCY-KK Document 1-1 Filed 12/14/16 Page 1 of 25 Case 1:16-cv-01359-SCY-KK Document 1-1 Filed 12/14/16 Page 1 of 25 STATE OF NEW MEXICO COUNTY OF BERNALILLO SECOND JUDICIAL DISTRICT FILED IN MY OFFICE DISTRICT COURT CLERK 11/4/2016 3:53:09 PM James A.

More information

/ Court: 055

/ Court: 055 2017-17128 / Court: 055 NO. 3/11/2017 2:56:57 PM Chris Daniel - District Clerk Harris County Envelope No. 15809392 By: Jelilat Adesiyan Filed: 3/13/2017 12:00:00 AM CRISELDA G. CHAPA, IN THE DISTRICT COURT

More information

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI SOUTHEASTERN DIVISION

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI SOUTHEASTERN DIVISION Case: 1:17-cv-00096-ACL Doc. #: 1 Filed: 06/02/17 Page: 1 of 35 PageID #: 1 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MISSOURI SOUTHEASTERN DIVISION ESTATE OF MARTY LYNN ) RAINEY,

More information

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN. COMPLAINT Plaintiffs, v.

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN. COMPLAINT Plaintiffs, v. UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN DEMETRIUS WILLIAMS, And JOHN K. PATTERSON, COMPLAINT Plaintiffs, v. Civil Action No. 2:19-cv-00056 ERIK H. MICHALSEN, MICHAEL A. POWELL, [Trial

More information

Case 1:12-cv S-LDA Document 1 Filed 08/10/12 Page 1 of 11 PageID #: 1 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF RHODE ISLAND COMPLAINT

Case 1:12-cv S-LDA Document 1 Filed 08/10/12 Page 1 of 11 PageID #: 1 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF RHODE ISLAND COMPLAINT Case 1:12-cv-00574-S-LDA Document 1 Filed 08/10/12 Page 1 of 11 PageID #: 1 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF RHODE ISLAND GENERAL JONES, Plaintiff vs. CITY OF PROVIDENCE, by and through

More information

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA Case :-cv-0 Document Filed 0// Page of Page ID #: 0 0 LAW OFFICES OF DALE K. GALIPO Dale K. Galipo, Esq. (SBN 0) dalekgalipo@yahoo.com 00 Burbank Boulevard, Suite 0 Woodland Hills, California Telephone:

More information

STATE OF OHIO COURT OF CLAIMS : : : : : : : : : : : : : : : : : : :

STATE OF OHIO COURT OF CLAIMS : : : : : : : : : : : : : : : : : : : STATE OF OHIO COURT OF CLAIMS EUGENIA WADE, Individually and as Administratrix of the Estate of Luther Wade c/o Gerhardstein & Branch Co. LPA 441 Vine Street, Suite 3400 Cincinnati, Ohio 45202, v. Plaintiff,

More information

FILED: NEW YORK COUNTY CLERK 03/20/2013 INDEX NO /2013 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 03/20/2013

FILED: NEW YORK COUNTY CLERK 03/20/2013 INDEX NO /2013 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 03/20/2013 FILED: NEW YORK COUNTY CLERK 03/20/2013 INDEX NO. 152552/2013 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 03/20/2013 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ------------------------------------------------------------------)(

More information

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF WESTERN VIRGINIA CHARLOTTESVILLE DIVISION : : : : : : : : : : : PARTIES

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF WESTERN VIRGINIA CHARLOTTESVILLE DIVISION : : : : : : : : : : : PARTIES UNITED STATES DISTRICT COURT FOR THE DISTRICT OF WESTERN VIRGINIA CHARLOTTESVILLE DIVISION SERGIO HARRIS vs. Plaintiff, ANDREW HOLMES and MIKUS Defendants. COMPLAINT AND JURY DEMAND Case No. 316-cv- Sergio

More information

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA CASE 0:12-cv-00738-MJD-AJB Document 3 Filed 03/29/12 Page 1 of 21 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA Melissa Hill, v. Plaintiff, Civil File No. 12-CV-738 MJD/AJB AMENDED COMPLAINT AND DEMAND

More information