On June 10, 2020 a
Complaint,Petition
was filed
involving a dispute between
Corso, Craig Anthony,
and
Nissan Northamerica, Inc A California Corporation,
for Breach of Contract/Warranty Unlimited
in the District Court of San Bernardino County.
Preview
QUILL ARROW LLP
1
Kevin Y Jacobson SBN 320532
Esq F
suPE OF C u r t G
2 10900 Wilshire Boulevard Suite 300
COU 17Y tJ N BERN iCJIi C
Los Angeles California 90024 s rv t Rr t c ir nis r r
3 Telephone 310 933 4271
Facsimile 310 889 0645 Ji N t Q20
4
E mail k acobson e
quillarrowlaw com
3Y L c a 1
5
v
F4 v
vzae alG
j JatL
6
Attorney for Plaintiff
CRAIG ANTHONY CORSO
8
9
SUPERIOR COURT OF THE STATE OF CALIFORNIA
10
COUNTY OF SAN BERNARDINO
11
12 n
Case No
ZO
13
CRAIG ANTHONY CORSO
individual
an
Unlimited Jur dicto O j
COMPLAINT
14 Plaintiff
1 VIOLATION OF SONG BEVERLY
15
S ACT BREACH OF EXPRESS
WARRANTY
16
NISSAN NORTH AMERICA INC a
2 VIOLATION OF SONG BEVERLY
17 California Corporation and DOES 1 ACT BREACH OF IMPLIED
through 10 inclusive WARRANTY
1g
3 VIOLATION OF THE SONG
BEVERLY ACT SECTION 1793 2
19
Defendants
4 VIOLATION OF THE SONG
BEVERLY ACT SECTION 1793 22
20
TANNER CONSUMER
PROTECTION ACT
21
22
23
24
A
25
26
27
28
COMPLAINT
1
2
Plaintiff CRAIG Al 1THONY CORSO an individual alleges as follows against Defendants
3
NISSAN NORTH AMERICA INC a California Corparation NISSAN N4RTH
4
AMERICA and D ES 1 thraugh 10 inclusive on infarrnation and belief formed after a
5
reasonable inquiry under the circumstances
DEMAND FOR JURY TRIAL
1
Plaintiff CRAIG ANTHQNY C4RS0 hereby demands trial by jury in this action
GENERAL ALLEGATIONS
2 Plaintiff CRAIG ANTHONY C4RS0 is an individual residing in the City af
1 State of California
1 3 Defendant NISSAN NQRTH AMERICA is and was a California Corporatian
12 operating and doing business in the State af California
J
13 4 These causes of action arise out of the warranty obligations of NISSAN NORTH
14 AMERICA in connection with a vehicle purchased by Flaintiff and for which NISSAN NtJRTH
1 AMERICA issued a written warranty
16 5 Plaintiff daes not know the true names and capacities whether corporate
1 partnership associate individual or otherwise of Defendant issued herein as Daes 1 through 10
inclusive under the provisions of section 474 ofthe California Code of Civil Procedure Defendant
1
s 1 through 14 inclusive are in some manner responsible for the acts occurrences and
19
20
transactians set forth herein and are legally liable to Plaintiff Plaintiff will seek leave to amend
this Complaint to set farth the true names and capacities of the fictitiausly named Defendant
21
together with appropriate charging allegations when ascertained
22
6 All acts of carporate ernployees as alleged were autharized ar ratified by an officer
23
director ar managing agent af the corporate employer
24
7 Each Defendant whether actually or fictitiously named herein was the principal
a ent
t actual or astensible ar em p 10 Y ee af each ather Defendant and in actin g as such Princi1 al
2
or within the course and scape of such employment or agency took some part in the acts and
Z
omissions hereinafter set forth by reason of which each I7efendant is liable to Plaintiff for the relief
prayed far herein 2
COMPLAINT
Document Filed Date
June 10, 2020
Case Filing Date
June 10, 2020
Category
Breach of Contract/Warranty Unlimited
For full print and download access, please subscribe at https://www.trellis.law/.