COMPLawrence Tureaud, Esq.Nevada Bar No.: 85-455BOSCO & TEMPLETON1983 Baracas LaneDetroit, Nevada 90555702 555 4300 TEL702 555 4303 FAXmrt@ateam.com Attorneys for Plaintiff,Malcom ReynoldsDISTRICT COURT CLARK COUNTY, NEVADA* * * Malcolm Reynolds, Plaintiff, vs. Crowger Grocery, Inc., a Nevada corporation, Does I through X, inclusive; Roe Corporations I through X, inclusive, Defendant. Case No.: A-16-113113-C Dept. No.: X Complaint Plaintiff, Malcolm Reynolds ("Malcolm"), being present and represented by her attorney of record, Lawrence Tureaud, Esq. of BOSCO & TEMPLETON, hereby complains against Defendant Crowger Grocery, Inc., ("Crowger") as follows:Jurisdictional Allegations 1. Malcolm is a resident of Clark County, State of Nevada, and at all relevant times herein was a resident of Clark County, State of Nevada.2. Malcolm is informed and believes, and thereupon alleges, that Defendant Crowger, is a Nevada corporation authorized to do business in the State of Nevada at all relevant times.3. That the names and capacities, whether individual, corporate, associates, co-partnership, or otherwise of Defendants, Roes I through X and Does I through X, are unknown to Malcolm who therefore sues said Defendants by such fictitious names; once the true names are discovered, Malcolm will ask leave to amend this Complaint to substitute the true names of said Defendants. Malcolm is informed and believes and thereupon alleges that the Defendants so designated herein are responsible in some manner for their agency, master/servant or joint venture relationship with Defendants, or otherwise contributed to, as a proximate cause, the damages to Plaintiff as herein alleged. General Allegations 4. On or around November 16, 2015, Malcolm visited a Crowger grocery store, store no. AA-23, located at 10616 South Western Avenue, Detroit, Nevada 90555 to purchase various grocery items, including Gala apples. Malcolm was approaching the apple stand in the produce section, when he slipped and fell a puddle of water. 5. Malcolm, is informed and believes, and thereupon alleges that at all relevant times Defendant Crowger, owned, managed, controlled, or in some other way were in charge of and responsible for the safety of the patrons of the store.First Cause of Action(Negligence - Crowger)6. Malcolm repeats, realleges and incorporates by reference the preceding paragraphs as if fully set forth herein.7. Crowger owed a duty to Malcolm to exercise reasonable and ordinary care to maintain and inspect the floor, including near the produce, to ensure customers that the floors were safe to walk on.8. Crowger owed a duty to Malcolm to exercise reasonable and ordinary care to clean up spills, including near the produce, to ensure customers that the floors were safe to walk on.9. Crowger owed a duty to Malcolm to exercise reasonable and ordinary care to give warning of dangerous conditions, including the water Malcolm slipped on.10. Crowger failed to take reasonable preventive measures that could have prevented Malcolm from foreseeable harm due to the negligent acts by Crowger and its employees.11. Crowger negligent actions constitute a breach of its duty for failure to take reasonable steps to maintain and inspect the floor. 12. Crowger and/or its agents, employees and servants caused, or had actual or constructive notice of, the dangerous condition and failed to remedy the dangerous condition, warn of it, or otherwise take action to make the floor safe.13. As a direct and proximate result of Crowger negligence, Malcolm has and will continue to incur damages in an amount in excess of $10,000.00.Prayer for Relief Wherefore, Malcolm prays for judgment of this Court as follows: 1. General damages in excess of Ten Thousand Dollars ($10,000.00);2. Special Damages in excess of Ten Thousand Dollars ($10,000.00);3. Cost of Suit, and attorneys' fees as provided by law; and 4. Such other and further relief as the Court may deem just and proper.DATED this 29th day of September, 2016.By ______________________________ BOSCO & TEMPLETON Lawrence Tureaud, Esq. Nevada Bar No. 84-455 1983 Baracas Lane Detroit, Nevada 90555 Telephone: (702) 555-4300 Attorneys for Plaintiff
COMPLawrence Tureaud, Esq.Nevada Bar No.: 85-455BOSCO & TEMPLETON1983 Baracas LaneDetroit, Nevada 90555702 555 4300 TEL702 555 4303 FAXmrt@ateam.com
Attorneys for Plaintiff,Malcom Reynolds
DISTRICT COURT CLARK COUNTY, NEVADA
* * *
Malcolm Reynolds,
Plaintiff,
vs.
Crowger Grocery, Inc., a Nevada corporation, Does I through X, inclusive; Roe Corporations I through X, inclusive,
Defendant.
Case No.: A-16-113113-C
Dept. No.: X
Complaint
Plaintiff, Malcolm Reynolds ("Malcolm"), being present and represented by her attorney of record, Lawrence Tureaud, Esq. of BOSCO & TEMPLETON, hereby complains against Defendant Crowger Grocery, Inc., ("Crowger") as follows:
Jurisdictional Allegations
1. Malcolm is a resident of Clark County, State of Nevada, and at all relevant times herein was a resident of Clark County, State of Nevada.
2. Malcolm is informed and believes, and thereupon alleges, that Defendant Crowger, is a Nevada corporation authorized to do business in the State of Nevada at all relevant times.
3. That the names and capacities, whether individual, corporate, associates, co-partnership, or otherwise of Defendants, Roes I through X and Does I through X, are unknown to Malcolm who therefore sues said Defendants by such fictitious names; once the true names are discovered, Malcolm will ask leave to amend this Complaint to substitute the true names of said Defendants. Malcolm is informed and believes and thereupon alleges that the Defendants so designated herein are responsible in some manner for their agency, master/servant or joint venture relationship with Defendants, or otherwise contributed to, as a proximate cause, the damages to Plaintiff as herein alleged.
General Allegations
4. On or around November 16, 2015, Malcolm visited a Crowger grocery store, store no. AA-23, located at 10616 South Western Avenue, Detroit, Nevada 90555 to purchase various grocery items, including Gala apples. Malcolm was approaching the apple stand in the produce section, when he slipped and fell a puddle of water.
5. Malcolm, is informed and believes, and thereupon alleges that at all relevant times Defendant Crowger, owned, managed, controlled, or in some other way were in charge of and responsible for the safety of the patrons of the store.
First Cause of Action
6. Malcolm repeats, realleges and incorporates by reference the preceding paragraphs as if fully set forth herein.
7. Crowger owed a duty to Malcolm to exercise reasonable and ordinary care to maintain and inspect the floor, including near the produce, to ensure customers that the floors were safe to walk on.
8. Crowger owed a duty to Malcolm to exercise reasonable and ordinary care to clean up spills, including near the produce, to ensure customers that the floors were safe to walk on.
9. Crowger owed a duty to Malcolm to exercise reasonable and ordinary care to give warning of dangerous conditions, including the water Malcolm slipped on.
10. Crowger failed to take reasonable preventive measures that could have prevented Malcolm from foreseeable harm due to the negligent acts by Crowger and its employees.
11. Crowger negligent actions constitute a breach of its duty for failure to take reasonable steps to maintain and inspect the floor.
12. Crowger and/or its agents, employees and servants caused, or had actual or constructive notice of, the dangerous condition and failed to remedy the dangerous condition, warn of it, or otherwise take action to make the floor safe.
13. As a direct and proximate result of Crowger negligence, Malcolm has and will continue to incur damages in an amount in excess of $10,000.00.
Prayer for Relief
Wherefore, Malcolm prays for judgment of this Court as follows:
1. General damages in excess of Ten Thousand Dollars ($10,000.00);
2. Special Damages in excess of Ten Thousand Dollars ($10,000.00);
3. Cost of Suit, and attorneys' fees as provided by law; and
4. Such other and further relief as the Court may deem just and proper.
DATED this 29th day of September, 2016.
By ______________________________
BOSCO & TEMPLETON Lawrence Tureaud, Esq. Nevada Bar No. 84-455 1983 Baracas Lane Detroit, Nevada 90555 Telephone: (702) 555-4300 Attorneys for Plaintiff
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