On November 25, 2019 a
Complaint,Petition
was filed
involving a dispute between
De Leon An Individual Gualberto Diaz,
and
Morris An Individual Bruce,
for Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 11/25/2019 10:00 AM Sherri R. Carter, Executive Officer/Clerk of Court, by R. Perez,Deputy Clerk
19STCV42387
PLD-Pl-001
Assigned
ATTORNEY OR PARTY W ITHOUT ATTORN for allState
EY{Name, purposes to: Spring
Bar number, Street
and address): Courthouse, Judicial Officer: Jon Takasugi FOR COURT USE ONLY
_Steven L. Mazza, Esq. ( SBN 01076)
CARPENTER, ZL!CKERMAN & ROWLEY, LLP
8827 West Olympic Boulevard
8827 West Olympic Boulevard
Beverly Hills, California 90211
TELEPHONE NO: (310) 273 - J230 FAX NO. (Optional) :
E-MAI L ADDRESS (Optional):
ATTORNEY FOR /Name! Plaintiff GUALBERTO DIAZ DE LEON
SUPERIOR COURT OF CALIFORNIA, COUNTY OF Los Angeles
STREET ADDRESS: 3 12 North Spring Street
MAILINGADDREss 312 North Spring Street
cITY AND zIP coDE: Los Angeles, CA 90012
BRANCH NAME: Spring Street Courthouse
PLAINTIFF: GUALBERTO DIAZ DE LEON, an Individual
DEFENDANT: BRUCE MORRIS, an Individual and
W DOES 1 TO 25, Inclusive
COMPLAINT-Personal Injury, Property Damage, Wrongful Death
D AMENDED (Number):
Type (check all that apply):
W MOTOR VEHICLE [xJ OTHER (specify): GENERAL NEGLIGENCE
wProperty Damage i D Wrongful Death
W Personal Injury w
Other Damages (specify): LOSS OF
FUTU RE EARNINGS AND MEDICAL EXPENSES
Jurisdiction (check all that apply):
0 ACTION IS A LIMITED CIVIL CASE CASE NUMBER:
Amount demanded D
does not exceed $10,000
D
exceeds $10,000, but does not exceed $25,000
W ACTION IS AN UNLIMITED CIVIL CASE (exceeds $25,000)
â–¡ ACTION IS RECLASSIFIED by this amended complaint
D from limited to unlimited
n from unlimited to limited
1. Plaintiff (name or names): GUALBERTO DIAZ DE LEON, an Individual
alleges causes of action against defendant (name or names): BRUCE MORRIS, an Individual and DOES I to 25 , Inclusive
2. This pleading, including atta,chments and exhibits, consists of the following number of pages: 5
3. Each plaintiff named above .is a competent adult
a. Dexcept plaintiff (name):
(1) D a corporation qualified to do business in California
(2) D an unincorporated entity (describe):
(3) D a public entity (describe):
(4) D a minor D an adult
(a) D for whom fl guardian or conservator of the estate or a guardian ad litem has been appointed
(b) D other (specify):
(5) D other (specify):
b. D except plaintiff (nc1me) :
(1) D a corporation qualified to do business in California
(2) D an unincorporated entity (describe) :
(3) D a public entity (describe):
(4) D a minor D an adult
(a) D for whom a guardian or conservator of the estate or a guardian ad !item has been appointed
(b) D
other (specify):
(5) D other (sp ecify):
'
D Information about additional plaintiffs who are not competent adults is shown in Attachment 3.
Page 1 of 3
Form Approved for Optional Use
Judicial Council of California
COMPLAINT-Personal Injury, Property Code of Civil Procedure, § 425.12
PLD-Pl -001 [Rev. January 1. 2007) Damage, Wrongful Death
Document Filed Date
November 25, 2019
Case Filing Date
November 25, 2019
Category
Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 01/22/2021
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