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  • BEDDINGTON, JAMES v. MARGNELLI, JENNIFER L Et AlT61 - Torts - Animals - Dog document preview
  • BEDDINGTON, JAMES v. MARGNELLI, JENNIFER L Et AlT61 - Torts - Animals - Dog document preview
  • BEDDINGTON, JAMES v. MARGNELLI, JENNIFER L Et AlT61 - Torts - Animals - Dog document preview
  • BEDDINGTON, JAMES v. MARGNELLI, JENNIFER L Et AlT61 - Torts - Animals - Dog document preview
  • BEDDINGTON, JAMES v. MARGNELLI, JENNIFER L Et AlT61 - Torts - Animals - Dog document preview
  • BEDDINGTON, JAMES v. MARGNELLI, JENNIFER L Et AlT61 - Torts - Animals - Dog document preview
						
                                

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LAW OFFICES OF RODD J. MANTELL, CORPORATE CENTER WEST, 433 SOUTH MAIN STREET, STE 224, WEST HARTFORD, CT 06110 TEL. (860) 380-3511 - Fax (860) 380-3512 - Juris No. 429873 DOCKET NO.: FST-CV19-6041237-S : SUPERIOR COURT JAMES BEDDINGTON : J.D, OF STAMFORD/NORWALK v. : AT STAMFORD JENNIFER L. MARGNELLI, ET AL : OCTOBER 22, 2019 ANSWER 1. The defendants admit the allegations in paragraph 1. 2. The defendants admit the allegations in paragraph 2. 3. The defendants admit that on or about August 18, 2017 the plaintiff James Beddington, a mail carrier for the United States Postal Service was delivering mail to 257 Fillow Street, Norwalk, CT. The defendants neither admit nor deny the remainder of the allegations in paragraph 3 and leave the plaintiff to his proof on those allegations. 4, The defendants deny the allegations in paragraph 4. 5. The defendants deny that Bumpus chased the plaintiff back to his vehicle. The defendants neither admit nor deny the remainder of the allegations in paragraph 5 and leave the plaintiff to his proof on those allegations. 6. The defendants neither admit nor deny the allegations in paragraph 6 and leave the plaintiff to his proof. 7. The defendants deny the allegations in paragraph 7.LAW OFFICES OF RODD J. MANTELL CORPORATE CENTER WEST, 433 SOUTH MAIN STREET, STE 224, WEST HARTFORD, CT 06110 TEL. (860) 380-3511 - FAx (860) 380-3512 - JuRIS No. 429873 8. The defendants neither admit nor deny the allegations in paragraph 8 and leave the plaintiff to his proof. 9. The defendants neither admit nor deny the allegations in paragraph 9 and leave the plaintiff to his proof. 10. The defendants deny the allegations in paragraph 10. Count Two 1-9. The defendants repeat, reiterate and re-allege their responses to paragraphs 1 through 9 of the First Count as and for their responses to paragraphs 1 through 9 of this Second Count. 10.The defendants deny the allegations in paragraph 10. DEFENDANTS By: /s/ Jeffrey C. Nagle — 409564 JEFFREY C. NAGLE, ESQ. ! The Second Count of the plaintiff's complaint omitted paragraphs numbered 10 and 11. The defendant’s Answer will respond to the paragraphs of the Second Count in correct numerical order.LAW OFFICES OF RODD J. MANTELL CORPORATE CENTER WEST, 433 SOUTH MAIN STREET, STE 224, WEST HARTFORD, CT 06110 TEL. (860) 380-3511 - FAx (860) 380-3512 - Juris No. 429873 CERTIFICATION This is to certify that a copy of the foregoing has been mailed on October 22, 2019, postage prepaid, to all counsel and pro se parties of record this date as follows: Steven D. Jacobs, Esq. Jacobs & Jacobs, LLC 700 State Street New Haven, CT 06511 Attorney for Plaintiff James Beddington BY: /s/ Jeffrey C. Nagle — 409564 Jeffrey C. Nagle Commissioner of the Superior Court