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  • DE JESUS ACOSTA vs VINTNERS DISTRIBUTORS, INC., et al. Unlimited Civil document preview
  • DE JESUS ACOSTA vs VINTNERS DISTRIBUTORS, INC., et al. Unlimited Civil document preview
  • DE JESUS ACOSTA vs VINTNERS DISTRIBUTORS, INC., et al. Unlimited Civil document preview
  • DE JESUS ACOSTA vs VINTNERS DISTRIBUTORS, INC., et al. Unlimited Civil document preview
  • DE JESUS ACOSTA vs VINTNERS DISTRIBUTORS, INC., et al. Unlimited Civil document preview
  • DE JESUS ACOSTA vs VINTNERS DISTRIBUTORS, INC., et al. Unlimited Civil document preview
						
                                

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DEL RIO & CARAWAY, P.C. Daniel R. Del Rio (SBN 237968) Charles D. Caraway (SBN 289360) 2335 American River Drive, Suite 200 Sacramento, California 95825 Telephone: (916) 378-4705 Facsimile: (916) 378-4706 Attorneys for Plaintiff SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF SACRAMENTO 10 JOSE DE JESUS ACOSTA, Case No.: 12 Plaintiff, COMPLAINT FOR PERSONAL INJURIES 13 14 VINTNERS DISTRIBUTORS, INC., Jury Trial Demanded C & J COX CORPORATION, 15 C & J COX CORPORATION SHELL, and DOES 1 through 20, inclusive, 16 17 Defendants. 18 19 Plaintiff, JOSE DE JESUS ACOSTA (hereinafter "PLAINTIFF" ) hereby complains 20 against Defendants VINTNERS DISTRIBUTORS, INC., C & J COX CORPORATION, 21 C & J COX CORPORATION SHELL, and DOES I through 20, inclusive, (collectively 22 "DEFENDANTS",) and allege as follows: 23 GENERAL ALLEGATIONS 24 1. PLAINTIFF is now, and at all times herein mentioned was, a citizen of and 25 resident within the County of Sacramento, State of California. PLAINTIFF further alleges that 26 each DEFENDANT is, or was at the time of the incident, residing within, or doing 27 business within, the County of Sacramento, State of California. The incident that is the subject of 28 this litigation occurred in the County of Sacramento, State of California. Comptaint for Personal Injuries The amount in controversy is in excess of the minimal jurisdictional limits of this Court. 2. The true names and capacities—whether individual, corporate, associate or otherwise— of DEFENDANT DOES I through 20, are unknown to PLAINTIFF, who therefore sues such DOES by such fictitious names. PLAINTIFF will ainend this Complaint to show Doe DEFENDANTS'rue names and capacities when the same have been ascertained. Each of the DEFENDANTS are legally responsible in some manner—negligently, in warranty, strictly, or otherwise—for the incident that is the subject of this Complaint. 3. PLAINTIFF is informed and believes and thereon alleges that at all times herein mentioned each of the DEFENDANTS were the agent(s) and employee(s) of each of the 10 remaining DEFENDANTS and, in doing the things hereinafter alleged, was acting within the course and scope of such agency and employment. PLAINTIFF further alleges that 12 DEFENDANTS negligently hired, trained, and/or supervised the other DEFENDANTS in such a 13 fashion as to cause and/or contribute to the occurrence of the incident described herein. 14 4. DEFENDANTS were the owners of the property of 8607 Elk Grove Boulevard, 15 Elk Grove, CA 95624, which was the location where the subject incident and injuries occurred. 16 All DEFENDANTS owned/maintained said property with the knowledge and consent of all other 17 DEFENDANTS. FIRST CAUSE OF ACTION 19 (Premises Liabilitv Neulit.ence) 20 5. Paragraphs I through 4 of this Complaint are incorporated into this cause of action 21 as though fully set forth herein. 22 6. On or about September 22, 2022, PLAINTIFF JOSE DE JESUS ACOSTA, 23 while legally on DEFENDANTS'remises located at 8607 Elk Grove Boulevard, in Elk Grove, 24 California 95624, suffered eye injuries when a gas hose detached from the gas pump and sprayed 25 gasoline in PLAINTIFF's face. The incident caused severe injuries and damages to PLAINTIFF. 26 PLAINTIFF is informed and believes and thereon alleges that on the day in question, 27 DEFENDANTS knew or should have known of the improperly maintained area. 28 Complaint for Personal Injuries 7. DEFENDANTS negligently caused, permitted, constructed, managed and maintained, inspected, supervised, etc., said premises permitting them to be in a dangerous, defective and hazardous condition in an area allowed for use of persons lawfully on the premises. 8. As a result of the negligence of DEFENDANTS, PLAINTIFF suffered personal / bodily injuries, resulting in economic and non-economic damages. Economic damages include, but are not limited to, (I) past and future medical and/or ancillary related expenses, (2) past and future income and/or earning capacity loss, (3) loss of ability to provide household services, and (4) incidental and consequential damages and/or property damage and loss of use. Non-economic damages include, but are not limited to, 10 (I) past and future physical and mental suffering, (2) loss of enjoyment of life, (3) physical impairment, (4) inconvenience, (5) anxiety, and (6) emotional distress. 12 PLAINTIFFS pray for judgment against DEFENDANTS for: 13 Non-economic damages in excess of the jurisdictional limit of this Court; 14 All medical and incidental expenses according to proof; 15 All loss of earnings according to proof; 16 Prejudgment interest to the extent permitted by law; 17 All costs of suit; and 18 Such other and further relief as this Court may deem just and proper. 19 Dated: April 12, 2024 20 21 22 DANIEL R. DEL RIO CHARLES D. CARAWAY 23 Attorneys for Plaintiff 24 25 26 27 Complaint for Personal Injuries