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  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • LOVELYN WEE, ET AL. VS CARMELA OCAMPO Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 02/13/2020 10:34 AM Sherti R. Carter, Executive Officer/Clerk of Court, by C. Monroe,Deputy Clerk 20STCV05884 Assigned for all purposes to: Spring Street Courthouse, Judicial Officer: Jon Takasugi PLD-PI-001 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, FOR COURT USE ONLY iomasL. Cohen, Esq. SBN 108793, Take g ‘Cohen, Esq. SBN 323110 LAW OFFICES OF COHEN & COHEN, P.C. 22048 Sherman Way, Suite 212 Canoga Park, CA 91303 TeLEePHONENO: (818) 347-2121 FAXNO. (Optorat: (818) 347-9113 E-MAIL ADDRESS (Optional) ATTORNEY FOR (Name: LOVELYN WEE; RHOMINA PUEDAN SUPERIOR COURT OF CALIFORNIA, COUNTY OF LOS ANGELES ‘STREET ADDRESS: 111N. HillSt MAILING ADDRESS: CITY AND ZIP CODE: Los Angeles CA 90012 BRANCH NAME: Central PLAINTIFF: LOVELYN WEE; RHOMINA PUEDAN DEFENDANT: CARMELA OCAMPO [4] poes110 25 Inclusive COMPLAINT—Personal Injury, Property Damage, Wrongful Death [] AMENDED (Number). Type (check all that apply): (1) MOTOR VEHICLE [= OTHER (specify): Property Damage [_] Wrongful Death Personal Injury Other Damages (specify). Jurisdiction (check all that apply). CASE NUMBER: [) ACTION Is A LIMITED CIVIL CASE Amount demanded[__] does not exceed $10,000 (J exceeds $10,000, but does not exceed $25,000 [2] ACTION Is AN UNLIMITED CIVIL CASE (exceeds $25,000) [ ACTION IS RECLASSIFIED by this amended complaint 20ST cYOsss4 [1 from limited to unlimited [1 from unlimited to limited 1. Plaintiff (name or names): LOVELYN WEE; RHOMINA PUEDAN alleges causes of action against defendant (name or names): CARMELA OCAMPO 2. This pleading, including attachments and exhibits, consists of the following number of pages: 5 3. Each plaintiff named above is a competent adult a. [__] except plaintiff (name). (1) [_] a corporation qualified to do business in California (2) [] an unincorporated entity (describe). (3) [_] a public entity (describe). (4) [J aminor (J an adult (a) [__] for whom a guardian or conservator of the estate or a guardian ad litem has been appointed (b) (] other (specify): (5) (1) other (specify): b. [_] except plaintiff (name) (1) [-] a corporation qualified to do business in California (2) [) an unincorporated entity (describe). (3) [_) a public entity (describe): (4) (2) aminor [—) an adult (a) [_] for whom a guardian or conservator of the estate or a guardian ad litem has been appointed (b) [] other (specify): (5) [1] other (specify) [1 information about additional plaintiffs who are not competent adults is shown in Attachment 3. Page 10f 3 Form Approved for Optional Use COMPLAINT—Personal Injury, Property ‘Code of Gli Procedure, § 425.12 Judicial Council of Calfomia wow .c8.g0v PLD-I-001 (Rev. January 1, 2007] Damage, Wrongful Death PLD-PI-001 SHORT TITLE: ‘CASE NUMBER: WEE vs. OCAMPO 4. [) Plaintiff (name): is doing business under the fictitious name (specify): and has complied with the fictitious business name laws. 5. Each defendant named above is a natural person a. [_] except defendant (name): c. [__] except defendant (name): (1) [_] a business organization, form unknown (1) [5] a business organization, form unknown (2) [_] acorporation (2) (_) a corporation (3) [-) an unincorporated entity (describe): (3) [-] an unincorporated entity (describe): (4) [) a public entity (describe): (4) [) a public entity (describe): (5) [] other (specify): (5) [—] other (specify): b. [__] except defendant (name): d. [_] except defendant (name): (1) [] a business organization, form unknown (1) [2] a business organization, form unknown (2) [) a corporation (2) (=) acomoration (3) [-] an unincorporated entity (describe): (3) [) an unincorporated entity (describe): (4) (J a public entity (describe): (4) (] a public entity (describe): (5) (] other (specify): (8) [1] other (specify): [1] Information about additional defendants who are not natural persons is contained in Attachment 5. The true names of defendants sued as Does are unknown to plaintiff. Doe defendants (specify Doe numbers): 1-25 were the agents or employees of other named defendants and acted within the scope of that agency or employment. Dee defendants (specify Doe numbers).. 1-25 are persons whose capacities are unknown to plaintiff. [] Defendants who are joined under Code of Civil Procedure section 382 are (names): This court is the proper court because a. . [_) atleast one defendant now resides in its jurisdictional area. . [] the principal place of business of a defendant corporation or unincorporated association is in its jurisdictional area. injury to person or damage to personal property occurred in its jurisdictional area. [J other (specify): [1 Plaintiff is required to comply with a claims statute, and a. [__] has complied with applicable claims statutes, or b. [_] is excused from complying because (specify): PLD-PI-001 (Rev. January 1, 2007] COMPLAINT—Personal Injury, Property Page 2of 3 Damage, Wrongful Death PLD-PI-001 SHORT TITLE: ‘CASE NUMBER: WEE vs. OCAMPO 10. The following causes of action are attached and the statements above apply to each (each complaint must have one or more causes of action attached): Motor Vehicle General Negligence c. [_] Intentional Tort d. [_] Products Liability e. [_] Premises Liability f. [_] Other (specify): 11. Plaintiff has suffered jage loss loss of use of property ospital and medical expenses. general damage e. property damage f [J loss of earning capacity g. [J other damage (specify): 12. {] The damages claimed for wrongful death and the relationships of plaintiff to the deceased are a. [_] listed in Attachment 12. b. [_] as follows: 13. The relief sought in this complaint is within the jurisdiction of this court. 14. Plaintiff prays for judgment for costs of suit; for such relief as is fair, just, and equitable; and for a. (1) compensatory damages (2) [) punitive damages The amount of damages is (in cases for personal injury or wrongful death, you must check (1)): (1) according to proof (2) [J in the amount of. $ 15. ([) The paragraphs of this complaint alleged on information and belief are as follows (specify paragraph numbers): Date: February 12, 2020 Jake R. Cohen, Esq. LLG RE (TYPE OR PRINT NAME) (SIGNATURE OF PLAINTIFF OR ATTORNEY) PLD-P1-001 (Rev. January 1, 2007) COMPLAINT—Personal Injury, Property Page Sof 3 Damage, Wrongful Death PLD-PI-001(1) SHORT TITLE: (CASE NUMBER: WEE vs. OCAMPO First CAUSE OF ACTION—Wotor Vehicle (number) ATTACHMENTTO [2] Complaint [1] Cross - Complaint (Use a separate cause of action form for each cause of action.) Plaintiff (name): LOVELYN WEE; RHOMINA PUEDAN MV- 1. Plaintiff alleges the acts of defendants were negligent; the acts were the legal (proximate) cause of injuries and damages to plaintiff; the acts occurred on (date): AUGUST 1, 2019 at (place): 4TH ST. AND CRESCENT HEIGHTS, LOS ANGELES CA 90048 Mv- 2. DEFENDANTS The defendants who operated a motor vehicle are (names): CARMELA OCAMPO [Z) bDoes 1 to 25 The defendants who employed the persons who operated a motor vehicle in the course of their employment are (names): [1 Does 1 to 25 The defendants who owned the motor vehicle which was operated with their permission are (names): [4] Does 1 to 25 (4) The defendants who entrusted the motor vehicle are (names): [4] does 1 to 25 The defendants who were the agents and employees of the other defendants and acted within the scope of the agency were (names): ¥ | Does 1 to 25 v_| The defendants who are liable to plaintiffs for other reasons and the reasons for the liability are CI listed in Attachment MV-2f [[_] as follows: [1 Does Page Page 1 of 4 Form Approved for Optional Use CAUSE OF ACTION—Motor Vehicle Code of Civil Procedure 425.12 Judicial Council of California www.courtinto.ca.gov PLO-P1001(1) (Rev. Januery 1, 2007] PLD-PI-001(2) SHORT TITLE: CASE NUMBER: WEE vs. OCAMPO Second CAUSE OF ACTION—General Negligence Page (number) ATTACHMENT TO Complaint [] Cross - Complaint (Use a separate cause of action form for each cause of action.) GN-1. Plaintiff (aame): LOVELYN WEE; RHOMINA PUEDAN alleges that defendant (name): CARMELA OCAMPO [21 Does 1 to 25 was the legal (proximate) cause of damages to plaintiff. By the following acts or omissions to act, defendant negligently caused the damage to plaintiff on (date): AUGUST 1, 2019 at (place): 4TH ST. AND CRESCENT HEIGHTS, LOS ANGELES CA 90048 (description of reasons for liability): Defendant carelessly, negligently and recklessly drove, maintained, controlled, operated or entrusted the use of their motor vehicle so as to cause it to collide with a vehicle owned and driven by Plaintiff, causing property damage and bodily injuries alleged. Page 1 of 1 “orm, {for Optional Use Code of Civil Procedure 425.12 Judic al Councilof Califomia CAUSE OF ACTION—General Negligence ‘wwnw.courtinfo.ca.gov PLD-PI-001(2) [Rev. January 1, 2007)