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  • CASILLAS, CARLOS v. STONEHOUSE, LLC Et AlT90 - Torts - All other document preview
  • CASILLAS, CARLOS v. STONEHOUSE, LLC Et AlT90 - Torts - All other document preview
  • CASILLAS, CARLOS v. STONEHOUSE, LLC Et AlT90 - Torts - All other document preview
  • CASILLAS, CARLOS v. STONEHOUSE, LLC Et AlT90 - Torts - All other document preview
  • CASILLAS, CARLOS v. STONEHOUSE, LLC Et AlT90 - Torts - All other document preview
  • CASILLAS, CARLOS v. STONEHOUSE, LLC Et AlT90 - Torts - All other document preview
						
                                

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DOC. NO. KNL-CV-20-6044418-S : SUPERIOR COURT CARLOS CASILLAS : J.D. OF NEW LONDON VS. : AT NEW LONDON STONEHOUSE, LLC, JAMES M. GAY and CAROLYN HART : APRIL 21, 2020 COVER SHEET RE: RESPONSES TO PLAINTIFF'S REQUESTS FOR ADMISSIONS DATED MARCH 23, 2020 The undersigned Defendant, James Gay, responds to the Plaintiff, Carlos Casillas’ two Requests for Admissions dated March 23, 2020 attached hereto. Requests No. 1 and 2: Admitted DEFENDANT, JAMES GAY By: /s/ Janice D. Lai -407426 Janice D. Lai, Esq. Ryan Ryan Deluca LLP CityPlace II 185 Asylum Street, 6th Floor Hartford, CT 06103 Juris No. 436612 Phone: 860-785-5150 DOC. NO. KNL-CV-20-6044418-S : SUPERIOR COURT CARLOS CASILLAS : J.D. OF NEW LONDON VS. : AT NEW LONDON STONEHOUSE, LLC, JAMES M. GAY and CAROLYN HART : APRIL 21, 2020 JAMES GAY’S RESPONSES TO REQUEST TO ADMIT Pursuant to Practice Book § 13-23, the Defendant, James Gay, responds to the Plaintiff, Carlos Casillas’ Request for Admission dated March 23, 2020 as follows: 1. That written notice of the plaintiff’s intention to commence an action to recover damages pursuant to General Statutes § 30-102, a copy of which is attached hereto as Exhibit A, was served on the defendant James M. Gay within one hundred twenty (120) days of the occurrence of the plaintiff’s alleged injury RESPONSE: Admitted 2. That written notice of the plaintiff’s intention to commence an action to recover damages pursuant to General Statutes § 30-102, a copy of which is attached hereto as Exhibit A, specified: The time and date the defendant, James M. Gay or his agents, servants, or employees, served alcohol to Michael LeBeau; the name and address of the plaintiff; and the date and place where the alleged injury to the plaintiff occurred. RESPONSE: Admitted DEFENDANT, JAMES GAY By: /s/ Janice D. Lai -407426 Janice D. Lai, Esq. Ryan Ryan Deluca LLP CityPlace II 185 Asylum Street, 6th Floor Hartford, CT 06103 Juris No. 436612 Phone: 860-785-5150 CERTIFICATION I certify that a copy of the above was or will immediately be mailed or delivered electronically or non-electronically on April 21, 2020 to all counsel and self-represented parties of record and that written consent for electronic delivery was received from all counsel and self-represented parties of record who were or will immediately be electronically served as follows: Kyle J. Zrenda, Esq. Suisman Shapiro 2 Union Plaza, 2nd Floor New London, CT 06320 KZrenda@sswbgg.com Attorney for the Plaintiff _____/s/ Janice D. Lai_______________ Janice D. Lai, Esq.