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  • Scanlon III, Laurence et al v. American Family Mutual Insurance CompanyMoney document preview
  • Scanlon III, Laurence et al v. American Family Mutual Insurance CompanyMoney document preview
  • Scanlon III, Laurence et al v. American Family Mutual Insurance CompanyMoney document preview
  • Scanlon III, Laurence et al v. American Family Mutual Insurance CompanyMoney document preview
						
                                

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DISTRICT COURT, DENVER COUNTY, COLORADO 1437 Bannock Street Denver, CO 80202 DATE FILED: April 18, 2024 2:21 PM Telephone: (303) 606-2300 FILING ID: 9332ED472F286 CASE NUMBER: 2024CV31186 Plaintiffs: LAURENCE SCANLON, III, an individual, and DENISE SCANLON, an individual, v. Defendant: AMERICAN FAMILY MUTUAL INSURANCE COMPANY, a Foreign Corporation. Attorneys for Plaintiffs: Case No: OGBORN MIHM LLP Steven A. Shapiro, #12928 Amanda Pfeil Hood, #41287 Division: 1700 Lincoln Street, Suite 2700 Denver, Colorado 80203 Telephone: (303) 592-5900 Email: murray.ogborn@omtrial.com; steven.shapiro@omtrial.com; amanda.hood@omtrial.com DISTRICT COURT CIVIL (CV) CASE COVER SHEET FOR INITIAL PLEADING OF COMPLAINT, COUNTERCLAIM, CROSS-CLAIM OR THIRD-PARTY COMPLAINT AND JURY DEMAND 1. This cover sheet shall be filed with the initial pleading of a complaint, counterclaim, crossclaim or third-party complaint in every district court civil (CV) case. It shall not be filed in Domestic Relations (DR), Probate (PR), Water (CW), Juvenile (JA, JR, JD, JV), or Mental Health (MH) cases. Failure to file this cover sheet is not a jurisdictional defect in the pleading but may result in a clerk’s show cause order requiring its filing. 2. Simplified Procedure under C.R.C.P. 16.1 applies to this case unless (check one box below if this party asserts that C.R.C.P. 16.1 does not apply): This is a class action, forcible entry and detainer, Rule 106, Rule 120, or other similar expedited proceeding, or X This party is seeking a monetary judgment against another party for more than $100,000.00, including any penalties or punitive damages, but excluding attorney fees, interest and costs, as supported by the following certification: By my signature below and in compliance with C.R.C.P. 11, based upon information reasonably available to me at this time, I certify that the value of this party’s claims against one of the other parties is reasonably believed to exceed $100,000.” Or Another party has previously filed a cover sheet stating that C.R.C.P. 16.1 does not apply to this case. 3. X This party makes a Jury Demand at this time and pays the requisite fee. See C.R.C.P. 38. (Checking this box is optional.) DATED this 18th day of April, 2024. OGBORN MIHM LLP S/ Amanda Pfeil Hood Steven A. Shapiro, Esq. Amanda Pfeil Hood, Esq.