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  • NATIONWIDE INDEMNITY COMPANY VS THE TRAVELERS INDEMNITY COMPANY Insurance Coverage (not complex) (General Jurisdiction) document preview
  • NATIONWIDE INDEMNITY COMPANY VS THE TRAVELERS INDEMNITY COMPANY Insurance Coverage (not complex) (General Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 05/01/2020 08:08 PM Sherri R. Carter, Executive Officer/Clerk of Court, by J. Tang,Deputy Clerk 1 Albert K. Alikin (SBN 265119) aalikin@goldbergsegalla.com 2 Landon J. Greene (SBN 318575) lgreene@goldbergsegalla.com 3 GOLDBERG SEGALLA LLP 777 S. Figueroa Street, Suite 2000 4 Los Angeles, CA 90017 Telephone: 213.415.7200 5 Facsimile: 213.415.7299 6 Attorneys for Plaintiff NATIONWIDE INDEMNITY COMPANY 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 COUNTY OF LOS ANGELES 10 Case No. 20STCV07937 11 NATIONWIDE INDEMNITY COMPANY, FIRST AMENDED COMPLAINT FOR: 12 Plaintiff, 1. BREACH OF CONTRACT 13 v. 2. EQUITABLE CONTRIBUTION 777 S. Figueroa Street, Suite 2000 14 THE TRAVELERS INDEMNITY COMPANY; 3. DECLARATORY RELIEF ST. PAUL FIRE AND MARINE INSURANCE Los Angeles, CA 90017 15 Goldberg Segalla LLP 213.415.7200 16 COMPANY; AND DOES 1-10, INCLUSIVE, 17 Defendants. 18 19 Plaintiff Nationwide Indemnity Company (“Nationwide” or “Plaintiff”), alleges as follows: 20 PARTIES, JURISDICTION, AND VENUE 21 1. Nationwide is a corporation organized and existing under the laws of the State of 22 Ohio, and is and was at all times mentioned herein qualified to do business in California. 23 2. Nationwide is informed and believes, and on such bases alleges, that at all times 24 mentioned herein, defendant The Travelers Indemnity Company is a corporation organized and 25 existing under the laws of the State of Connecticut, and is and was qualified to do business in 26 California. 27 3. Nationwide is informed and believes, and on such bases alleges, that at all times 28 mentioned herein, defendant St. Paul Fire and Marine Insurance Company (“Travelers”) is a 30 PLAINTIFF NATIONWIDE’S FIRST AMENDED COMPLAINT 31 26272715.v1