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  • JOSE RIVERA VS KJ CALDERONE ET AL Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • JOSE RIVERA VS KJ CALDERONE ET AL Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

Preview

AO My e @ @ (0 _ : EtanZ. Lorant, Esq., SBN: 108820 LAW OFFICES OF ETAN Z. LORANT FILED 5850 Canoga Avenue, Suite 400 Superior Court of California Woodland Hills, CA 91367 County of Los Angeles (81 8) 990-3990 g Attorney for Plaintiff, SEP 20 2016 JOSE RIVERA . Sherri R. C Executive Utficer/Clerk By - Deput: Dm, R COWRT OF THE STATE OF C&EYFORNIA’ FOR THE COUNTY OF LOS ANGELES oe CENTRAL DISTRICT - UNLIMITED JURISDICTION JOSE RIVERA, Case No. : BC 634614 10 Plaintiff, COMPLAINT FOR DAMAGES | 11 vs. -Personal Injury 12 ) -Negligence KJ CALDERONE, FRANK CALDERONE, GLORIA CALDERONE and Does | through 30, ) 13 ) (UNLIMITED JURISDICTION) Inclusive, wt ) 14 Defendants. ) ) ~ «5 15 ) 16 PLAINTIFF COMPLAINS OF DEFENDANTS AND DOES 1 THROUGH 30, 17 INCLUSIVE, and each of them, and alleges that at all times herein mentioned: 18 1 Plaintiff, JOSE RIVERA, hereinafter referred to as “Plaintiff”, is and at all times 19 herein mentioned was a resident of Los Angeles County, State of California. 20 The following paragraphs of this complaint are based on Plaintiffs information and belief. 21 The true names and/or capacities, whether individual, corporate, associate or 22 otherwise of defendants herein named as DOES 1 through 30 inclusive, are ugkap wn, cro 23 me 2 to Plaintiff, who therefore sues said defendants by such fictitious names. Piaf wit 24 mp ask leave of court to amend this complaint when their true names a BRPaviite z 7 tm have been ascertained. Plaintiff is further informed and believes, arid fhétetin alleges, aso that each of the fictitious named defendants herein is responsible in some manngrBet 27 the occurrences herein alleged, and that Plaintiff's damages as herein set forth wee 3 be proximately caused by such defendants. ne &® 38 = -l- Complaint for Damages se we a2o0o eeaaa