Beruflich Dokumente
Kultur Dokumente
IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF GEORGIA MACON DIVISION
RICKY E. YOUNG Plaintiff, v. NESTLE TRANSPORTATION CO. and ACE AMERICAN INSURANCE COMPANY, Defendants.
COMPLAINT FOR DAMAGES NOW COMES the Plaintiff in the above styled action and herewith states his complaint against the Defendants by showing the court the following: 1. Plaintiff is a resident of the State of Georgia and resides in Kathleen, Georgia. 2. The Defendant Nestle Transportation Co. (hereinafter referred to as Nestle) is a foreign corporation organized under the laws of the State of Illinois. Said corporation is not registered to do business in the State of Georgia, but does conduct business within the Middle District of Georgia. Said corporation maintains its principal office in Dekalb, Illinois and is subject to the jurisdiction and venue of this court by service of process upon its registered agent, C T Corporation System at 208 S. LaSalle Street, Suite 814, Chicago, Illinois 60604. 3. The Defendant ACE AMERICAN INSURANCE COMPANY is a foreign insurance corporation organized under the laws of the State of Pennsylvania. Said corporation is registered to do business in the State of Georgia and conducts business within the Middle District of Georgia. Said corporation maintains its principal office in Philadelphia, Pennsylvania and is subject to the jurisdiction and venue of this court by service of process upon its registered agent, Mr. Mark G. Irwin, 500 Colonial Center Parkway, Suite 200, Roswell, Fulton County, Georgia 30076.
1
4. Jurisdiction is proper in this Court pursuant to 28 U.S.C. Section 1332 as there exists a complete diversity of citizenship between parties and the amount of controversy is in excess of $75,000.00. In addition, this case involves federal questions which invoke the jurisdiction of this Court pursuant to 28 U.S.C. Section 1331. Venue is proper in this Court pursuant to 28 U.S.C. Section 1391 as the events giving rise to this lawsuit occurred within this district. 5. On or about December 5, 2010, a collision occurred between the vehicle in which Plaintiff was a passenger and a 2009 Freightliner tractor trailer bearing vehicle identification number 1FUPCDZBXXXPA18424, tag number P690666 with trailer tag number T440545. Said tractor trailer truck was owned by Nestle Transportation Company. Said collision occured in the following manner: At approximately 2:01 a.m., the 2000 Honda Civic in which Plaintiff was a passenger was traveling southbound on Interstate Highway 75 in Peach County, Georgia a safe distance behind the 2009 Freightliner referenced above when suddenly and without warning the drive shaft of the tractor trailer rig became detached from the rigs undercarriage, dropped onto the roadway and collided with the vehicle in which Plaintiff was traveling. The violent impact of the drive shaft destroyed the right front tire and rim of the Honda Civic causing the vehicle to smash into the ditch embankment along the right shoulder of the road. 6. The sole and proximate cause of the aforementioned collision was the negligence of the driver of the 2009 Freightlinger tractor-trailer rig by operating a vehicle in an unsafe state of repair and not in proper working order. The negligent driver of the 2009 Freightliner admitted at the scene that the drive shaft had fallen off of his vehicle and that he made an attempt to remove it from the roadway following the collision. 7. At all times relevant, the driver of the 2009 Freightliner tractor-trailer rig was operating said truck under the authority of and with the permission of the Defendant Nestle. Therefore, Defendant Nestle is liable for the negligence of the driver of their vehicle under the doctrine of respondeat superior.
8. At all times relevant, the truck owned and operated by Defendant Nestle was insured by Defendant ACE AMERICAN INSURANCE COMPANY as the primary insurer through policy number ISAH08250303 AOS NHI. Evidence of coverage was posted as required by the laws of the United States and State of Georgia. Said insurance is required by federal and Georgia law for the protection of the general public against injuries caused by the operation of motor carrier vehicles. Plaintiff is a third party beneficiary to said insurance coverage.
Therefore, the Defendant ACE AMERICAN INSURANCE COMPANY is proper party to this action pursuant to O.C.G.A. Section 46-7-12.1. 9. As a result of the forces of energy created by the collision Plaintiff experienced an onset of a throbbing type pain in his right hip, right arm and the right side of his neck. On December 28, 2010, Plaintiff consulted Khalid Al-Sharif, M.D. of Houston Medical Associates. The examination revealed a contusion to the right shoulder with a rotator cuff tear, contusion to the lumbar spine and right SI joint with possible lumbar radiculpathy. Dr. Al-Sharif ordered an MRI after Plaintiff reported continuous pain in subsequent visits. Said MRI was performed on January 19, 2011 and revealed impingement and partial tears of the supraspinatus tendon and subscapularis tendon of the rotator cuff along with joint effusion and subacromial fluid collection related to the rotator cuff pathology. Orthopedic & Sports Medicine. Dr. Al-Sharif then referred Plaintiff to Kinnebrew
arthroscopy of the right shoulder with subacromial decompression, Mumford arthroplasty and debridement of the partial rotator cuff tear and biceps tendon tear. Plaintiff subsequently
underwent an extensive regimen of rehabilitative physical therapy at Elite Sport & Spine in Hawkinsville, GA. The injuries suffered by Plaintiff are severe and did then, do now and, in all likelihood, will in the future cause him to experience pain and suffering.
10. As the direct and proximate result of undergoing the medical care for the treatment of his injuries, Plaintiff has incurred numerous medical expenses for the treatment of his injuries. To date, Plaintiff has incurred the following medical expenses:
a) b) c) d) e)
Houston Medical Associates Kinnebrew Orthopedics & Sports Medicine Perry Hospital/Houston Healthcare Robins Anesthesia Elite Physical Therapy 11.
$ $
850.00 8,490.00
At the time of the subject collision, Plaintiff was gainfully employed. As the direct and proximate result of his injuries, Plaintiff has been unable to work since the day of the collision and has incurred substantial lost wages. As his injuries are severe and permanent, Plaintiff will, in all likelihood, incur additional lost wages in the future. 12. The sole and proximate cause of the Plaintiffs injuries and damages was the negligence of the driver of the 2005 Freightliner tractor-trailer rig. Under the doctrine of respondeat superior, Defendants are liable for the negligence of the driver. WHEREFORE, Plaintiff demands a trial by a jury of twelve and prays for judgment against the Defendants, jointly and severally in the amount of $275,000.00 in general damages for Plaintiffs pain, suffering and loss of use of his body; for special damages in the amount of medical expenses and lost wages as shown by the evidence; together with the costs of this action.
/s/ Craig Alan Webster CRAIG ALAN WEBSTER Attorney for Plaintiff Ga. State Bar No.: 744950
/s/ Blake J. Smith BLAKE J. SMITH Attorney for Plaintiff Ga. State Bar No.: 654855
/s/ Gary C. Vowell, Jr. GARY C. VOWELL, JR. Attorney for Plaintiff Ga. State Bar No.: 510788
JS 44 (Rev. )
The JS 44 civil cover sheet and the information contained herein neither replace nor supplement the filing and service of pleadings or other papers as required by law, except as provided by local rules of court. This form, approved by the Judicial Conference of the United States in September 1974, is required for the use of the Clerk of Court for the purpose of initiating the civil docket sheet. (SEE INSTRUCTIONS ON NEXT PAGE OF THIS FORM.)
I. (a) PLAINTIFFS
Ricky E. Young
DEFENDANTS
Nestle Transportation Co. and ACE American Insurance Company
County of Residence of First Listed Defendant
NOTE: (IN U.S. PLAINTIFF CASES ONLY) IN LAND CONDEMNATION CASES, USE THE LOCATION OF THE TRACT OF LAND INVOLVED.
Craig Alan Webster, 405 Love Avenue, Tifton, Georgia 31794 (229) 388-0082; cwebster@twflaw.com
3 Federal Question (U.S. Government Not a Party) 4 Diversity (Indicate Citizenship of Parties in Item III)
(Place an X in One Box Only) TORTS PERSONAL INJURY 310 Airplane 315 Airplane Product Liability 320 Assault, Libel & Slander 330 Federal Employers Liability 340 Marine 345 Marine Product Liability 350 Motor Vehicle 355 Motor Vehicle Product Liability 360 Other Personal Injury 362 Personal Injury Med. Malpractice CIVIL RIGHTS 440 Other Civil Rights 441 Voting 442 Employment 443 Housing/ Accommodations 445 Amer. w/Disabilities Employment 446 Amer. w/Disabilities Other 448 Education PERSONAL INJURY 365 Personal Injury Product Liability 367 Health Care/ Pharmaceutical Personal Injury Product Liability 368 Asbestos Personal Injury Product Liability PERSONAL PROPERTY 370 Other Fraud 371 Truth in Lending 380 Other Personal Property Damage 385 Property Damage Product Liability PRISONER PETITIONS 510 Motions to Vacate Sentence Habeas Corpus: 530 General 535 Death Penalty 540 Mandamus & Other 550 Civil Rights 555 Prison Condition 560 Civil Detainee Conditions of Confinement
FORFEITURE/PENALTY 625 Drug Related Seizure of Property 21 USC 881 690 Other
BANKRUPTCY 422 Appeal 28 USC 158 423 Withdrawal 28 USC 157 PROPERTY RIGHTS 820 Copyrights 830 Patent 840 Trademark
OTHER STATUTES 375 False Claims Act 400 State Reapportionment 410 Antitrust 430 Banks and Banking 450 Commerce 460 Deportation 470 Racketeer Influenced and Corrupt Organizations 480 Consumer Credit 490 Cable/Sat TV 850 Securities/Commodities/ Exchange 890 Other Statutory Actions 891 Agricultural Acts 893 Environmental Matters 895 Freedom of Information Act 896 Arbitration 899 Administrative Procedure Act/Review or Appeal of Agency Decision 950 Constitutionality of State Statutes
REAL PROPERTY 210 Land Condemnation 220 Foreclosure 230 Rent Lease & Ejectment 240 Torts to Land 245 Tort Product Liability 290 All Other Real Property
LABOR 710 Fair Labor Standards Act 720 Labor/Mgmt. Relations 740 Railway Labor Act 751 Family and Medical Leave Act 790 Other Labor Litigation 791 Empl. Ret. Inc. Security Act
SOCIAL SECURITY 861 HIA (1395ff) 862 Black Lung (923) 863 DIWC/DIWW (405(g)) 864 SSID Title XVI 865 RSI (405(g))
FEDERAL TAX SUITS 870 Taxes (U.S. Plaintiff or Defendant) 871 IRSThird Party 26 USC 7609
IMMIGRATION 462 Naturalization Application 463 Habeas Corpus Alien Detainee (Prisoner Petition) 465 Other Immigration Actions
V. ORIGIN
1 Original Proceeding
Transferred from 2 Removed from 3 Remanded from 4 Reinstated or 5 another district 6 Multidistrict State Court Appellate Court Reopened Litigation (specify) Cite the U.S. Civil Statute under which you are filing (Do not cite jurisdictional statutes unless diversity):
DEMAND $
CHECK YES only if demanded in complaint: Yes No JURY DEMAND: DOCKET NUMBER
JUDGE
SIGNATURE OF ATTORNEY OF RECORD
5:12-CV-43
02/02/2012
FOR OFFICE USE ONLY RECEIPT # AMOUNT
APPLYING IFP
JUDGE
MAG. JUDGE