The Defendant, in turn, has filed a countersuit against The Company on the grounds of wrongful termination. Information about the termination was given to The Defendant after she reported that she would be requiring additional time off due to high-risk factors related to her…
14. As a further result of the injuries sustained by Plaintiff, there is a reasonable probability that Plaintiff will require further medical care and attention and will incur future reasonable and necessary expenses for medical care and attention. Plaintiff’s doctors estimated over $100,000 in future medical bills, plastic surgery, and counseling to be incurred by Plaintiff.…
YOU ARE HEREBY SUMMONED and required to file with the Clerk of this Court and serve upon D&D and Assoc. Ltd. at 1234 Legal Way Maquoketa, Iowa, an answer to the complaint which is herewith served upon you, within 20 days after service of this summons upon you, exclusive of the day of service. If you fail to do so, judgment by default will be taken against you for the relief demanded in the complaint.…
The plaintiff is Traine Smith. The plaintiffs are Friends Hospital, Dewight Magwood, Benjamin Messina, Ronald Potter, Robert Anthony, and Dewayne Thomas…
D. CLIENT’S FACTS/STORY: BE AS DETAILED AS YOU CAN BE. INCLUDE DAMAGES AND ALL NAMES TOLD BY CLIENT…
The court decided that plaintiff's complaint states a cognizable cause of action against the defendants for the tort of intentional infliction of emotional distress. Accordingly, the defendants' motion to dismiss plaintiff's amended complaint is denied.…
Again, you are receiving this letter to inform you we will not be representing you in regards to this matter and will not be taking any further actions on your behalf. Enclosed are your medical records, a charge for retrieving medical records, a copy of the statute…
Plaintiff, Pat Employee, submits the following Memorandum in Support of Plaintiff’s Motion for Summary Judgment.…
Thank you for meeting with me at our law firm. I look forward to helping you in this case. I believe that we have a strong case and with your cooperation we can continue to move forward in these legal proceedings. With that said we request that you call our firm to schedule a meeting as there are some follow up questions we would like to ask you.…
Weintraub Genshlea & Sproul, Rosemary Kelley, Charles L. Post, and William S. Jue, for Plaintiff Nosrat Khajavi.…
On Saturday January 21, 2012, suffered a personal injury which accrued a cause of action. Plaintiff did not file any suit with the court until January 14, 2014. (Pl.’s Original Pet., 1). After filing, Defendant Vista Views Property informed in writing of a defect of parties. (Def.’s Original Answer, 1). It was at this time plaintiff realized a defect of parties. Plaintiff filed an amended petition on February 18, 2014 which changed the defendants to Vista Views Leasing Properties Inc., This amended petition also nonsuited previous defendants. (Pl’s 1st Am. Pet., 1, February 18, 2014). It was at this time Defendants responded with original answer. (Def.’s Original Answer March 14, 2014). On March 27, 2014 Pierce Connery, president of Vista Views Leasing Properties Inc., stated that he received no notice of lawsuit until mid-February. He further stated that the nature of his job and in the normal course of employment would ensure that he received notice immediately after service…
Itemize and explain in detail any claim you made in this action for financial loss or damage which has not been explained in answer to questions above.…
WHEREFORE, pursuant to Rule 37 of the Federal Rule of Procedure, the Defendant moves this court for the entry of an order compelling the Plaintiff to provide discovery responses to cure the above-listed deficiencies within fourteen (14) days. Defendant further respectfully request that the Court enter an order of sanctions taxing in their favor and against the Plaintiff’s counsel the Defendant’s reasonable attorney's fees and other expenses incurred in obtaining the entry of an order compelling the discovery sought in this proceeding. Defendant further respectfully requests such other…
Hello, I am Detective Bloom along with my partner Detective Rosenthal. We are homicide detectives from the city of Surprise, Arizona. Together, we handle the majority of cases that happen in our city. Today, we got a case of a young girl who was beaten and raped and then left for dead. She is not dead but is left in a coma at the hospital. The police at the scene investigated a group of teen’s, who were thought to be in a gang. When the police tried to question these individuals, they ran. The police gave chase and caught two of them. They are now at our interrogation rooms. My partner has begun to interrogate them about the young woman without the consent of their parents. After some time, my partner approaches me and tells me that we have the suspects of the rape and beating of the girl. I knew full well that he didn’t have…
Data were collected using semi-structured, face-to-face interviews and focus group. For data gatherings, depth interviews and focus group were used with pregnant women , and focus group discussions were used with Midwives , women's health service provider and Members of maternal health Committee .After obtaining the necessary permissions to carry out of study, 15 depth interviews with 15 pregnant women was carried out by using guide questions and semi-structured interviews, and 1 focus group discussion with 9 pregnant women, 1 focus group discussions with 14 midwives and women's health service provider ,and 1 focus group discussions with 8 member of maternal health Committee was carried. Sufficient of sample size had been collected according…