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  • GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA VS ADENA NIK Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA VS ADENA NIK Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA VS ADENA NIK Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA VS ADENA NIK Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA VS ADENA NIK Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA VS ADENA NIK 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 02/14/2020 04:32 PM Sherri R. Carter, Executive Officer/Clerk of Court, by C. Monroe,Deputy Clerk 20STCV06014 Assigned for all purposes to: Spring Street Courthouse, Judicial Officer: Kristin Escalante 1 Matthew Soleimanpour (SBN 248434) matt@soleimanlaw.com 2 SOLEIMAN, APC 5771 La Jolla Blvd., Ste. 4 3 La Jolla, CA 92037 4 Telephone: (619) 630-5690 Facsimile: (619) 489-6248 5 Attorneys for Plaintiff, 6 GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA 7 SUPERIOR COURT FOR THE STATE OF CALIFORNIA 8 COUNTY OF LOS ANGELES 9 10 GOODWILL INDUSTRIES OF Case No.: 11 SOUTHERN CALIFORNIA, 12 Plaintiff, COMPLAINT FOR SUBROGATION REIMBURSEMENT 13 v. 14 ADENA NIK, an individual; and DOES 1 15 through 50, inclusive, [Civil Unlimited] 16 Defendants. 17 18 COMES NOW Plaintiff, GOODWILL INDUSTRIES OF SOUTHERN CALIFORNIA, 19 and alleges against Defendants ADENA NIK and DOES 1 through 50, (“DOES”) (collectively 20 referred to as “DEFENDANTS”) as follows: 21 1. The relief sought in this complaint is in excess of $25,000, and within the 22 jurisdiction of this court. 23 2. At all times mentioned, Plaintiff, GOODWILL INDUSTRIES OF SOUTHERN 24 CALIFORNIA (“PLAINTIFF”), was, and now is, authorized to write Workers’ Compensation 25 Insurance in California and at all times mentioned was self-insured against liability to its 26 employees for compensation benefits under the Workers’ Compensation Laws of the State of 27 California. 28 1 COMPLAINT FOR SUBROGATION REIMBURSEMENT 1 3. At all times herein mentioned, Hector Renteria (“RENTERIA”) was an employee 2 of PLAINTIFF. 3 4. At all times herein mentioned, PLAINTIFF is informed, believes, and thereon 4 alleges that at all times relevant to this litigation, Defendant ADENA NIK resided in the County 5 of Los Angeles, State of California. 6 5. The true names and capacities whether individual, corporate, associate, or 7 otherwise, of Defendant DOES 1 through 50 are unknown to PLAINTIFF, who therefore sues 8 these defendants by such fictitious names, and will amend this complaint to show their true names 9 and capacities when ascertained. PLAINTIFF is informed and believes and thereon alleges that 10 each of the fictitiously named defendants (“DOES”) is negligently responsible in some manner 11 for the occurrences herein alleged, and that PLAINTIFF’s damages as herein alleged were 12 proximately caused by that negligence. 13 6. PLAINTIFF is informed and believes and thereon alleges that at all times herein 14 mentioned each of the DEFENDANTS was the agent and employee of each of the remaining 15 Defendants, and in doing the things hereinafter alleged, was acting in the course and scope of 16 such agency and employment. 17 7. On or about June 26, 2018, at or near the intersection of Humboldt Street and N 18 Avenue 21, in the County of Los Angeles, State of California, DEFENDANTS, and each of them, 19 negligently failed to operate, maintain, manage, and/or entrust, a 2015 Hyundai Accent, so as to 20 proximately cause it to seriously injure RENTERIA in a motor vehicle collision while in the 21 course of his employment with PLAINTIFF. 22 8. As a proximate result of said negligence by DEFENDANTS, and each of them, 23 and of the resulting injuries sustained by RENTERIA, PLAINTIFF has been obligated to pay, 24 and has paid Workers’ Compensation Benefits to and/or on behalf of RENTERIA. Pursuant to 25 Labor Code §§3852 – 3856, the full extent of PLAINTIFF’s damages will be proven at the time 26 of trial. 27 9. By reason of the aforesaid obligation to pay Workers’ Compensation Benefits and 28 pursuant to Labor Code §3852 and Insurance Code §11662, PLAINTIFF seeks subrogation 2 COMPLAINT FOR SUBROGATION REIMBURSEMENT 1 reimbursement with respect to all payments made for medical and related expenses and for 2 compensation payments made to or on behalf of RENTERIA up through the time of trial. 3 10. PLAINTIFF is informed and believes and thereon alleges that they will be required 4 to pay further Workers’ Compensation Benefits and sums for medical care and treatment for an 5 indefinite time in the future, and PLAINTIFF prays that when the extent of this liability has been 6 ascertained that this complaint may be amended accordingly. 7 WHEREFORE, PLAINTIFF, GOODWILL INDUSTRIES OF SOUTHERN 8 CALIFORNIA, prays for judgment against DEFENDANTS, and each of them, for: 9 1. Reimbursement of Workers’ Compensation Benefits according to proof; 10 2. Reasonable attorneys’ fees according to proof; 11 3. Prejudgment interest; 12 4. Costs of suit herein incurred, and; 13 5. Such other relief as the court deems just and proper. 14 15 Dated: February 13, 2020 SOLEIMAN, APC 16 17 By: ____________________________________ Matthew Soleimanpour 18 Attorney for Plaintiff, GOODWILL INDUSTRIES OF 19 SOUTHERN CALIFORNIA 20 21 22 23 24 25 26 27 28 3 COMPLAINT FOR SUBROGATION REIMBURSEMENT