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IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF KING 0 0 MADHURI R. DEVARA and SUNIL KUMAR SAVARAM, individually and the marital community composed thereof, vs. Plaintiffs, MV PUBLIC TRANSPORTATION, INC., a foreign corporation; HAROLD A. VALLEE and JANE DOE VALLEE, individually and the marital community composed thereof; CITY OF REDMOND, a Washington municipal corporation; MICROSOFT CORPORATION, a Washington corporation; JOHN and JANE DOE DEFENDANTS through, Defendants. NO. COMES NOW Plaintiffs against the above-named Defendants, and state and allege as follows: I. PARTIES & JURISDICTION. Plaintiffs Madhuri R. Devara and Sunil Kumar Savaram, are now, and were at all relevant times hereinafter alleged, residents of King County, Washington. Plaintiffs are husband and wife and therefore constitute a marital community under the laws of the state of Washington. PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000

0 0. Defendant MV Public Transportation, Inc. (MV Transportation) is a foreign corporation doing business in the state of Washington. At all times material hereto, Defendant MV Public Transportation, Inc., was the registered owner of the 0 Ford Cutaway van/vehicle that was driven by Defendant Harold A. Vallee. Based on information and belief, Defendant MV Public employed and/or hired Defendant Harold A. Vallee as its transportation and/or shuttle driver. At all times material hereto, Defendant Vallee was acting within scope of his employment and/or agency with MV Public.. Defendant Harold A. Vallee is now believed to be and was at all relevant times hereinafter alleged a resident of King County, Washington. If this defendant is married his acts and omissions hereinafter described were for and on behalf of the marital community. Based upon information and belief and at all times material hereto, Defendant Harold A. Vallee was an agent and/or employee of Defendant MV Public Transportation, Inc. At all times material hereto, Defendant Harold A. Vallee was acting within the course and scope of his agency and/or employment with Defendant MV Public Transportation, Inc. Defendant MV Public Transportation, Inc., is therefore liable for the negligent acts and/or omissions of Defendant Harold A. Vallee as described herein under the legal theories of master/servant, principal/agent and/or respondeat superior.. Defendant City of Redmond (City) is a municipal corporation formed under the laws of the state of Washington. At all times material hereto, Defendant City of Redmond through its Department of Transportation was responsible for the safe design, construction, and maintenance of the public roadways, intersections, crosswalks and street lights within the city limits. At all times material hereto, the City was responsible for providing adequate street lights PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000

0 0 and street lighting in the area located at NE 0 th Street and South th Street, in Redmond, Washington.. Defendant Microsoft Corporation (Microsoft) is a corporation formed under the laws of the state of Washington. Based on information and belief, and at all times material hereto, Defendant Microsoft was responsible for the design, construction, and/or maintenance of the private roadway, intersection, crosswalk and street lights located at NE 0 th Street and South th Street, in Redmond, Washington. At all times material hereto, Defendant Microsoft was responsible for providing adequate street lights and street lighting in the area located at NE 0 th Street and South th Street, in Redmond, Washington.. Defendants John and Jane Doe through are unknown parties and/or entities that may share fault for negligently designing, creating, constructing and/or maintaining the unsafe crosswalk and/or street lighting located at East th Street and South 0 th Street in the City of Redmond, King County, Washington. The identity of these defendants is unknown at the present time. Should these entities exist, Plaintiffs intend to formally join these parties at a later date and as discovery progresses.. All acts and omissions alleged to have occurred herein took place in King County, Washington. King County is therefore a proper venue for this action. II. SERVICE OF CLAIM FOR DAMAGES & SERVICE OF SUIT. Pursuant to RCW. et seq., Plaintiffs properly served a completed, signed and valid Claim for Damages on the City of Redmond by proper service on the city clerk and/or city hall and/or risk management on or about December, 0. More than sixty (0) days have PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000

elapsed since the date of service of the Plaintiffs Claims for Damages on the City of Redmond. Therefore, the Plaintiffs claims against this defendant are properly before the above-entitled court.. Pursuant to RCW..00, Plaintiff has properly served the Summons and the Complaint for Damages on Defendant City of Redmond by personal service upon the city clerk, city hall, city Manager, and/or the city s risk management or designated agent and/or to this Defendant s attorney of record. 0 0 III. FACTS. Prior to and on February, 0, Defendants Microsoft and/or City of Redmond designed, constructed, owned, maintained and/or controlled the private roadway, intersection, crosswalk and street lighting located at NE 0 th Street and South th Street, in Redmond, King County, Washington.. Prior to and on February, 0, Defendants Microsoft and/or City of Redmond had notice that there were no working street lights located at the intersection or crossing area of NE 0 th Street and South th Street, making this area dangerous to pedestrians.. Defendants Microsoft and/or City of Redmond failed to take the necessary and proper corrective actions to make the roadway, intersection, crosswalk and/or street lighting located at NE 0 th Street and South th Street reasonably safe for ordinary travel by pedestrians and operators of motor vehicles.. On February, 0, at approximately : PM, Plaintiff Madhuri R. Devara was a pedestrian and lawfully walking within a marked crosswalk located at NE 0 th Street and South th Street, in Redmond, Washington.. Plaintiff was crossing the street when it was dark out. PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000

0. Although there were street lamps located nearby, the lights were off, making the crossing area dark and difficult for motorists to see.. Defendant Harold A. Vallee was operating a Ford passenger van registered to Defendant MV Public Transportation, Inc., at or near the location of NE 0 th Street and South th Street, in Redmond, Washington.. Defendant Vallee turned left onto NE 0 th Street from th Ave NE, and failed to yield to Plaintiff while she was a pedestrian inside a marked crosswalk.. Plaintiff Madhuri Devara was struck by Defendant Vallee s vehicle while she was crossing the street inside the marked crosswalk located at NE 0 th Street and South th Street, in Redmond, Washington..0 Plaintiff Madhuri A. Devara sustained serious bodily injuries and significant damages as a result of the collision. 0 IV. CAUSE OF ACTION--NEGLIGENCE. Defendants owed Plaintiffs a duty of care and a duty to act reasonably.. Defendants Microsoft and City of Redmond further owed Plaintiffs a duty to design, construct, and maintain the roadway and crossing area in a reasonably safe manner for the benefit of pedestrians and the traveling public.. Defendants Microsoft and City of Redmond breached their duty of care and their duty to act reasonably by, among other things, failing to maintain the roadway and crossing area where Plaintiff was hit by a car in a reasonably safe condition. PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000

0. Defendants Microsoft and City of Redmond breached their duty of care and their duty to act reasonably by, among other things, failing to provide and/or maintain adequate street lighting in the crossing area where Plaintiff was hit by a car.. Defendant Harold A. Vallee breached his duty of care and his duty to act reasonably by, among other things, failing to exercise ordinary care and causing a collision with the Plaintiff.. As a result of the Defendants negligent acts and omissions, Plaintiffs were injured, suffer, and continue to suffer, physical disability and pain, emotional trauma, medical expenses, loss of earnings and earning capacity, loss of consortium and other damages. 0 V. CAUSE OF ACTION AGENCY OR VICARIOUS LIABILITY. Defendant MV Public Transportation, Inc. is vicariously liable for the negligent, grossly negligent and reckless acts and omissions committed by Defendant Harold A. Vallee under employment and/or agency principles.. As a result of Defendants conduct and omissions as described herein, Plaintiffs have suffered injuries and damages, both past and future, including without limitation, past and future medical expense, pain, suffering, disability, loss of enjoyment, loss of consortium and other damages. V. NO CONTRIBUTORY NEGLIGENCE/COMPARATIVE FAULT. The damages suffered by Plaintiffs were not caused by any fault, carelessness, or negligence on their part, but were caused solely and proximately by the tortious acts and/or omissions of Defendants. PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000

. There are no other entities which caused or contributed to Plaintiffs injuries and/or damages. 0 0 WHEREFORE, Plaintiffs pray for judgment against the Defendants, jointly and severally, as follows:. For all damages sustained by Plaintiffs in an amount proven at trial, including past and future medical expenses and other health care expenses, pain and suffering, both mental and physical, past and future permanent partial disability and disfigurement, loss of enjoyment of life, damages to property, past and future special damages, and other damages;. Interest calculated at the maximum amount allowable by law, including pre- and post-judgment interest;. A reasonable attorney's fee as allowed by law;. Costs and disbursements pursuant to statute; and. Other and further relief as this Court may deem just and equitable. Dated this th day of February, 0. /S/ MARIDITH E. RAMSEY Christopher M. Davis, WSBA # Maridith E. Ramsey, WSBA # Davis Law Group, P.S. 0 Fourth Ave., Ste. 00 Seattle, WA Tel: (0) -000 Fax: (0) -00 Email: chris@davislawgroupseattle.com Email: maridith@davislawgroupseattle.com Attorneys for Plaintiffs PAGE - 0 FOURTH AVENUE, SUITE 00 SEATTLE, WASHINGTON (0) -000