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  • Town Of Oxford, By And Through Its Zoning Enforcement Officer vs. Fleming, Casey et al Equity Action involving the Commonwealth, Municipality, MBTA, etc. document preview
  • Town Of Oxford, By And Through Its Zoning Enforcement Officer vs. Fleming, Casey et al Equity Action involving the Commonwealth, Municipality, MBTA, etc. document preview
  • Town Of Oxford, By And Through Its Zoning Enforcement Officer vs. Fleming, Casey et al Equity Action involving the Commonwealth, Municipality, MBTA, etc. document preview
  • Town Of Oxford, By And Through Its Zoning Enforcement Officer vs. Fleming, Casey et al Equity Action involving the Commonwealth, Municipality, MBTA, etc. document preview
						
                                

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Date Filed 7/2/2024 10:48 AM Superior Court - Worcester Docket Number DOCKET NUMBER Massachusetts Trial CIVIL ACTION COVER SHEET Superior Court Plaintiff ‘Town of Oxford, By andjihrough its Zoning Enforcement | petandant: DAS Seta, [SouNTY|Worcester Superior Court (Worcester) Officer \ Casey Fleming ADDRESS: 325 Main Street, Oxford, MA 01540 ‘ADDRESS; 59 Quobaug Avenue, Oxford, MA 01540 t Plaintiff Attorney: Nicole J. Costanzo : Defendant: Kevin F. Carbonneau ADDRESS: KP Law, P.C., 101 Arch Street 12th Floor, Boston, MA 02110 | ADDRESS: 59 Quobaug Avenue, Oxford, MA 01540 B80: 692408 7 Plaintiff Attomey: Roger L. Smerage 7‘ Defendant: Robert J. King ADDRESS: KP Law, P.C,, 101 Arch Street, fer Floor, Boston, MA 02110 | ADDRESS: 59 Quobaug Avenue, Oxford, MA 01540 ‘ B80; 675388 TYPE OF ‘ACTION AND TRAGK DESIGNATION (see instructions section on next page) CODE NO, TYPE OF ACTION (specify) TRACK HAS A JURY CLAIM BEEN MADE? AD1 Equity Action Involving Municipality A Ol ves I no [' “If “Other” please describe: | Is there a claim under G.L. c. 93A? Is there a class action under Mass. R. Civ. P. 237 Oves & No: Oyes Kno |The following is a full, itemized and detailed statement ofthe facts on which the undersigned plaintiff or plaintiff's counsel relies to determine money damat ges. (Note to plait for this form, do not state double or reble damages; indicate single damages only.) \ rT 1A. Documented medical expenses to date 1. Total hospital expenses 2. Total doctor expenses 3, Total chiropractic expenses 4, Total physical therapy expenses 5, Total other expenses (describe below) ‘Subtotal (1-5) $0.00 B. Documented lost wages and compensation to date C. Documented property damages to date D. Reasonably anticipated future medical and hospital expenses E, Reasonably anticipated lost wages F. Other documented items of damages (describe below) 1\ | TOTAL (A-F): $0.00 G. Briefy describe plants injury, including the nature and extent ofthe inury: | 7 T \ CONTRACT CLAIMS {CJ This action includes a claim involving collection of a debt incurred pursuant fo a revolving credit agreement. Mass. R. Civ. P. 8.1(a). item # Detaled Description of Each Claim Amount a Total $C0001: 02/24 www mass govicourts, Date/Time Printed:07-02-2024 09:23:52 Date Filed 7/2/2024 10:48 AM ‘Superior Court - Worcester DocketgMenURe'of Attorney/Self-Represented Plaintiff: xf ] [Pate: duly 2, 2024 RELATED ACTIONS: Please provide the case number] name, and county of any related actions pending in the Superior Court. a ; CERTIFICATION UNDER S.J.C. RULE 1:18(5) | hereby certify that | have compliedwi lirements of Rule 5 of Supreme Judicial Court Rule 1:18: Uniform Rules on Dispute Resolution, requiring that | inform my clients about. court-connected dispute resolution 1d discuss with them the advantages and disadvantages of the various methods of dispute resolution. ‘Signature of Attorney: X_¥f [Date: July 2, 2024 C0001: 02/24 www.mass.gov/courts Date/Time Printed:07-02-2024 09:23:52