MECKLENBURG COUNTYSUPERIOR COURT DIVISION
STELLA KING) NO. 14 CVS
))
Plaintiff)DEFENDANT’S ANSWER
V.)TO PLAINTIFF’S
)COMPLAINT
DENNIS WOODS)
)
Defendant )
_________________________________________ )
I, Mariam Qasim, being first duly sworn, deposes and says:
That I am an attorney duly licensed to practice law within the State of North Carolina and I am counsel for the Plaintiff named in the above-entitled action pending before the District Court of Brunswick County, North Carolina.
A copy of the Civil Summons, Civil Action Cover Sheet and Verified Complaint filed in the above-captioned action was served on the Defendant, Dennis Woods, via United Parcel Service, “Signature Confirmation” requested, on March 18, 2014 at 10:00 am.
The Signature Delivery Notification showing delivery to the Defendant, Dennis Woods, at 500 Oops I did it Avenue, Charlotte NC 28212 is attached hereto as Exhibit “A” and incorporated herein by reference. Pursuant to NC. Gen. Stat. 1-75.10(5), this package was signed by the Defendant or agent for the Defendant.
The Signature Delivery Notification showing signature by the Defendant, Dennis Woods, is evidence that the Defendant was served with a copy of the Civil Summons, Civil Action Cover Sheet, and Verified Complaint on March 18, 2014 at 10:00 am.
This the 20th day of March 2014.
___________________________
Mariam Qasim
State Bar No. 00000
Cognizant Legal Firm, PA
Attorneys for the Plaintiff
700 Attorney Avenue
Charlotte, NC 28212
Telephone: 704-555-5555
SWORN TO and subscribed before me this 20th day of March, 2014.
___________________________
Notary Public
My commission expires: March 30, 2016.
“EXHIBIT A”
CERTIFICATE OF SERVICE
The undersigned hereby certifies that a copy of the foregoing AFFIDAVIT OF SERVICE of Process of Civil Summons and Verified Complaint on Defendant, Dennis Woods, VIA UPS Delivery Requested has been duly served upon all parties of records by depositing said copy is depository of the United States Postal Service, first-class, postage prepaid, addressed as shown below.
Dennis Wood
500 Oops I Did It Avenue
Charlotte, NC 28212
This is the 20th day of March 2014
THE COGNIZANT LAW FIRM, P.A.
_____________________________________________
The Cognizant Law Firm, P.A.
700 Attorney Ave.
Charlotte, NC 28212
You May Also Find These Documents Helpful
-
Plaintiff, for all times mentioned herein, was and is a resident of the County of Jackson, State of Missouri.…
- 833 Words
- 4 Pages
Good Essays -
Mrs. Kozuck, properly delivered a “personally” served summons and complaint document according to the meaning of the rules and regulations governing the courts of the state of New Jersey.…
- 560 Words
- 3 Pages
Good Essays -
FACTS Michael Kelley, our client, owns a vacant warehouse in Saint Paul. Kelley received a letter from…
- 2328 Words
- 10 Pages
Good Essays -
The case involved a complaint filed in 2001 by residents of Herculaneum, Missouri alleging that the defendant mining-company, Doe Run’s, lead and cadium smelting operations caused environmental damages.…
- 547 Words
- 3 Pages
Satisfactory Essays -
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.…
- 4440 Words
- 18 Pages
Good Essays -
E4-16, E4-19, E4-22 Judgment Case 4-9 on page 227, E5-3 on page 275, and E5-10.…
- 424 Words
- 2 Pages
Satisfactory Essays -
I attended a pre hearing conference on your behalf in the above-referenced matter before Judge Alade in New Windsor, New York on 05/15/17. The claimant’s widow, Anna Matero was present and was represented by William Cerle.…
- 677 Words
- 3 Pages
Good Essays -
NOTICE IS HEREBY GIVEN (pursuant to Utah Code § 38-2-7) that the law firm of o any and all money or property(real or personal awarded to him in the above entitled matter, including but not limited to, real property located at__________,______, State of Utah, and more particularly described as:…
- 437 Words
- 2 Pages
Satisfactory Essays -
Plaintiff, Pat Employee, submits the following Memorandum in Support of Plaintiff’s Motion for Summary Judgment.…
- 974 Words
- 4 Pages
Good Essays -
Weintraub Genshlea & Sproul, Rosemary Kelley, Charles L. Post, and William S. Jue, for Plaintiff Nosrat Khajavi.…
- 1548 Words
- 6 Pages
Good Essays -
We are pleased that you have asked us to represent you in this matter. After a review of the facts of your case known at this time, we are of the opinion that your claim has substantial merit and we are prepared to accept representation of your interests.…
- 1031 Words
- 5 Pages
Good Essays -
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS JUSTIN WILLIAM KING, ) ) Plaintiff. ) ) ) v. ) ) ANHEUSER-BUSCH COMPANIES, INC. ) ) Defendant. ) ____________________________________) COMPLAINT Comes Now the plaintiff, Justin King, by and through his attorney, states as follows: PARTIES AND JURISDICTION 1. Plaintiff, for all times mentioned herein, was and is a resident of Cook County, State of Illinois. 2. Defendant is a corporation with its principal place of business in Missouri and carries on business in Illinois. 3. This court has subject matter jurisdiction over the claims presented in this complaint under 28 U.S.C. § 1332 because plaintiff is a resident of Illinois and the defendant is a citizen of Missouri and the amount in controversy exceeds $75,000, exclusive of fees and costs. 4. Personal jurisdiction and venue are proper in this District pursuant to 28 U.S.C. § 1391 because the acts of defendant caused harm to plaintiff in Cook County, in United States Court for the Northern District of Illinois. COUNT I: ________ 5. On or about April 8, 2011, plaintiff Justin King, while in the exercise of due care, was operating his motorcycle on Interstate 57, heading in a south direction, in the City of Paxton, Illinois. 6. On the occasion in question, defendant, Frank Cuellar, a resident of Illinois, was operating a truck owned by Anheuser-Busch as its agent, and was traveling in a south direction on Interstate 57, so called, a public highway in the City of Paxton, Illinois. 7. On the occasion in question, plaintiff Justin King was traveling south on Interstate 57 in Paxton, IL on his motorcycle when he noticed a truck with Anheuser-Busch logo traveling behind him headed in the same direction. The plaintiff noticed Mr. Cuellar flashing his headlights requesting to pass the plaintiff and proceeded to switch lanes. Justin King then changed lanes to the right hand lane…
- 581 Words
- 3 Pages
Good Essays -
I am filing this complaint against Judge Mark Gross .He presides at the Los Angeles Superior Court ..,in Los Angeles County in Dept 2 D.…
- 952 Words
- 4 Pages
Good Essays -
1. Plaintiff, for all times mentioned herein, was and is a resident of the County of…
- 1720 Words
- 7 Pages
Powerful Essays -
Table of Authorities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .…
- 1970 Words
- 8 Pages
Powerful Essays