arrow left
arrow right
  • Mccomb, Mark E. vs. Gregoretti, Nicholas D. Motor Vehicle Negligence - Personal Injury / Property Damage document preview
  • Mccomb, Mark E. vs. Gregoretti, Nicholas D. Motor Vehicle Negligence - Personal Injury / Property Damage document preview
  • Mccomb, Mark E. vs. Gregoretti, Nicholas D. Motor Vehicle Negligence - Personal Injury / Property Damage document preview
  • Mccomb, Mark E. vs. Gregoretti, Nicholas D. Motor Vehicle Negligence - Personal Injury / Property Damage document preview
						
                                

Preview

COMMONWEALTH OF MASSACHUSETTS MIDDLESEX, SS. SUPERIOR COURT DEPARTMENT OF THE TRIAL COURT CIVIL ACTION NO. MARK E. MCCOMB, Plaintiff Vv. COMPLAINT AND CLAIM . FOR JURY TRIAL NICHOLAS D. GREGORETTI, Defé 3/20/2020 efendant NH RECEIVED 1. The plaintiff, Mark E. McComb (“McComb”), resides at 381 Prospect Street, Cambridge, Middlesex County, Commonwealth of Massachusetts. 2. The defendant, Nicholas D. Gregoretti (“Gregoretti”), has a last known address of 12 Melrose Terrace #4, Wakefield, Middlesex County, Commonwealth of Massachusetts. 3. On or about April 7, 2017, McComb was lawfully operating a motor vehicle in Arlington, Middlesex County, Massachusetts. 4. At the same time and place, Gregoretti negligently operated his vehicle so as to crash into McComb’s vehicle. 5. As a direct and proximate result of Gregoretti’s negligence, McComb has sustained severe and permanently disabling injuries; has incurred expenses for medical care and treatment well in excess of the tort threshold; will incur future medical expenses; has suffered and will continue to suffer great pain of body and mind; has suffered and will continue to suffer emotional distress; has suffered lost wages and loss of earning capacity and has been otherwise damaged. ‘Client Matter 30343/00001 /A6412325,DOCWHEREFORE, the plaintiff, Mark E. McComb, demands judgment against the defendant, Nicholas D. Gregoretti for his personal injuries, pain and suffering, emotional distress, loss of earning capacity, lost wages, medical expenses, loss of services, loss of enjoyment of life together with interest, costs and attorneys fees. MARK E. MCCOMB By his attorney, /s/ Edward C. Bassett, Jr. —__1S/ bdward b. basset, Wr Edward C. Bassett, Jr., Esq. BBO #033060 Mirick, O’Connell, DeMallie & Lougee, LLP 1800 West Park Drive, Suite 400 Westborough, MA 01581 Phone: (508) 898-1501 Fax: (508) 898-1502 Dated: March 20, 2020 THE PLAINTIFF DEMANDS A TRIAL BY JURY ON ALL OF THE ISSUES Client Mater 3034800001 A681 2325 DOC 2