On September 12, 2013 a
Exhibit,Appendix
was filed
involving a dispute between
Kevin Mcgonigal,
and
Baring Industries, Inc.,
Nyy Steak Manhattan, Llc,
Plaza Construction Corp.,
for Tort
in the District Court of New York County.
Preview
FILED: NEW YORK COUNTY CLERK 05/18/2021 04:05 PM INDEX NO. 158327/2013
NYSCEF DOC. NO. 535 RECEIVED NYSCEF: 05/18/2021
Exhibit “8”
FILED: NEW YORK COUNTY CLERK 05/18/2021 04:05 PM INDEX NO. 158327/2013
NYSCEF m' T 54O--{ontingent
DOC. NO. 535 retainer straight 33 /i percent- RECEIVED lnc..
Bfi[tcrg*celsior, NYSCEF: A?
Publlsh€r. NYC05/18/2021
100'l3
I st and 2nd Dept, App. Div. .l-92 w.blumberg.com
To Sacks and Sacks, LLP
150 Broadway, Fourth Floor $etxiner a'
i
New York, New York 10038 Attorney
The undersigned, Client, residing at 11 Lawrence Circle, I York 11751
hereby retains you to prosecute or adjust a claim for damages arising from-
personal injuries sustained by Kevin McGonigal
September 6, 2013
loss of services of
on.-...-_. negligence of
NW Steak Manhaftan, LLC i
Plaza Construction Corp. and Baring I
If the cause of action is settled by Client without the consent of Attorney, Client agrees to pay Attorney the
above percentage of the full amount of the settlement for the benefit of Client, to whomever paid or whatever called.
The attorney shall have, in the alternative, the option of seeking compensation on a quantum meruit basis to be
determined by the court. In such circumstances the court would determine the fair value of the service. Attorney
shall have, in addition, Attorney's taxable costs and disbursements. In the event the Client is represented on appeal
by another attorney, Attorney shall have the option of seeking compensation on a quanlum meruit basis to be
determined by the court-
Dated e{-}-0" slgnatue -
s.) I
I
'mbenealh
Michelle Lynn DeVita
Witness s.)
Document Filed Date
May 18, 2021
Case Filing Date
September 12, 2013
For full print and download access, please subscribe at https://www.trellis.law/.