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  • KEENAN MURRAY VS NISSAN NORTH AMERICA, INC. Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
  • KEENAN MURRAY VS NISSAN NORTH AMERICA, INC. Other Breach of Contract/Warranty (not fraud or negligence) (General Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 12/09/2019 12:00 PM Sherri R. Carter, Executive Officer/Clerk of Court, by V. Delgadillo,Deputy Clerk 1 WILSON TURNER KOSMO LLP ROBERT A. SHIELDS (206042) 2 JASON M. AVELAR (312884) 402 West Broadway, Suite 1600 3 San Diego, California 92101 Telephone: (619) 236-9600 4 Facsimile: (619) 236-9669 Email: rshields@wilsonturnerkosmo.com 5 Email: javelar@wilsonturnerkosmo.com 6 Attorneys for Defendant NISSAN NORTH AMERICA, INC. 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 IN AND FOR THE COUNTY OF LOS ANGELES 10 KEENAN MURRAY, Case No. 19STCV39713 11 Plaintiff, DEFENDANT NISSAN NORTH AMERICA, INC.’S ANSWER TO 12 v. PLAINTIFF’S UNVERIFIED COMPLAINT 13 NISSAN NORTH AMERICA, INC., and DOES 1 through 10, inclusive, Complaint Filed: November 5, 2019 14 Defendants. Dept.: 71 15 Judge: Hon. Monica Bachner Trial Date: Not set 16 17 18 Defendant, NISSAN NORTH AMERICA, INC. (“Defendant”), answers the unverified 19 Complaint on file herein as follows: 20 Defendant answers the unverified Complaint on file herein pursuant to California Code of 21 Civil Procedure section 431.30 by denying, generally and specifically, each, and every and all of the 22 allegations contained in the Complaint and each and every part thereof, including each and every 23 cause of action purportedly contained therein, and denies that Plaintiff has or will sustain damages in 24 the sum or sums referred to therein, or in any other sum or sums, or at all. 25 Defendant further answers the unverified Complaint on file herein and each and every 26 purported cause of action contained therein by denying that Plaintiff has sustained, or will sustain, 27 any damage in any sum at all by reason of the carelessness, negligence or other fault, act or omission 28 on the part of the answering Defendant, its agents, servants or employees. 1 DEFENDANT NISSAN NORTH AMERICA, INC.’S ANSWER TO PLAINTIFF’S UNVERIFIED COMPLAINT