Kmart SAMPLE Slip & Fall Complaint

Published on May 2016 | Categories: Documents | Downloads: 579 | Comments: 0 | Views: 1484
of 5
Download PDF   Embed   Report

Actual Slip and Fall Complaint

Comments

Content

IN THE SUPERIOR COURT OF AMERICAN COUNTY
STATE OF YOUR CHOICE
Jane Doe, an individual,
Plaintiff,
-vsK-Mart Corporation, a corporation; Sears
Holdings Corporation; K-Mart Management
Corporation; K-Mart Holdings Corporation;
and Does 1 through 20, inclusive,
Defendants.

)
)
)
)
)
)
)
)
)
)
)
)

CIVIL ACTION
FILE NO.: ___________________

[PERSONAL INJURY] COMPLAINT FOR DAMAGES
COMES NOW the Plaintiff, Jane Doe, by and through her attorney, OMMITTED LAW
FIRM, and hereby complaining of the Defendants K-Mart Corporation, a corporation, Sears Holdings
Corporation, K-Mart Management Corporation, K-Mart Holdings Corporation, by and through its
authorized agents and employees, and Does 1 through 20, inclusive (hereinafter collectively
“Defendants”), states as follows:
1.

Plaintiff, Jane Doe, is an adult citizen of the State of YOUR CHOICE and a resident of

AMERICAN County;
2. Plaintiff is informed and believes and thereon alleges that Defendant K-Mart Corporation
was at relevant times herein a corporation duly organized and existing under the laws of the State of
Michigan, and doing business in the County of AMERICAN, State of YOUR CHOICE. Plaintiff is
informed and believes that at other times relevant herein K-Mart merged with, was purchased by, was
affiliated with or otherwise associated with, operated jointly with, was a subsidiary of, and/or otherwise

was governed and controlled by Defendant Sears Holdings Corporation (“Sears”), which Plaintiff is
informed and believes was at times relevant herein duly organized and existing under the laws of the
State of Delaware. Plaintiff is informed and believes that Sears does business as K-Mart. Both
Defendants K-Mart and Sears (collectively “K-Mart) at all times relevant herein were doing business in
the County of AMERICAN, State of YOUR CHOICE.
3. Plaintiff herein alleges that Defendant K-Mart Management Corporation (“KMC”) is a
business entity of form unknown.
4. Plaintiff herein alleges that Defendant K-Mart Holdings Corporation (“KHC”) is a business
entity of form unknown.
5. Does 1 through 20, inclusive, are sued under such fictitious names because their true names
and capacities, whether individual, corporate or otherwise, are presently unknown to Plaintiff. When
the true names and capacities of Does 1 through 20, or any of them are ascertained, Plaintiff will seek
leave to amend this pleading to reflect accurately such real names and capacities. Plaintiff is informed
and believes upon such information and belief alleges that each of the fictitiously named defendants is
responsible in some manner for the occurrences alleged in the Complaint and the Plaintiff’s damages as
alleged herein were proximately and legally caused by their conduct.
6. Plaintiff is informed and believes and upon such information and belief alleges that at all
times relevant to this action, Defendants were the agents or employees of each other, and in doing the
things alleged herein were acting within the course and scope of their agency and/or employment and
with the permission, knowledge, ratification, consent and/or affirmation of the co-defendants.
7. Whenever and wherever reference is made to individuals who are not named as Defendants
in this action, but were the agents and/or employees of Defendants, or any of the, it is alleged that such

individuals at all time acted on behalf of Defendants named in this action within the course and scope
of their respective agencies and/or employments.
8. Whenever and wherever reference is made in this Complaint to any conduct of Defendants,
or any of them, such allegations or references shall also be deemed to mean the conduct of each
Defendant, acting individually, jointly and severally.
9. Jurisdiction and venue are proper with this Court because the injuries sustained by Plaintiff
occurred in the State of YOUR CHOICE in AMERICAN County and Plaintiff lives in AMERICAN
County.
GENERAL ALLEGATIONS
10.

Plaintiff re-alleges and incorporates herein by reference each and every allegation

contained within paragraphs 1 through 9, inclusive, as though set forth at length herein and made a part
hereof.
11. That on November 9, 2009, and prior and subsequent thereto, the Defendants (K-Mart, et
al), owned, possessed, controlled, maintained and managed a certain premises commonly described as
K-Mart, Store # located OMMITTED ADDRESS, YOUR CHOICE COUNTY.
12. That on the aforesaid date, November 9, 2009, the Plaintiff, Jane Doe, was a business
invitee and customer of the Defendants in the aforesaid K-Mart Store, and as such invitee and
customer, she was properly on said premises.
13. That on the aforesaid date, November 9, 2009, the Plaintiff, Jane Doe, was between the
Ladies and Hardware Departments, when she slipped and fell due to a slick thick unknown residue that
was on the common floor area, which was on the premises of the Defendants, K-Mart.
14. That it thereon became and was the duty of the Defendants, K-Mart, by and through its

duly authorized agents and servants, to exercise all due care and caution for the safety of the Plaintiff
and other members of the public on its premises, but the Defendants did not regard its duty, or use due
care on behalf of the Plaintiff, by and through its authorized agents and servants in that behalf, and
negligently and carelessly allowed aforesaid premises unsafe to traverse by customers in its store.
15. That on the aforesaid date, November 9, 2009, the Defendants, K-Mart, by and through its
authorized agents and employees, was then and there negligent in one or more of the following
respects:
a) Carelessly and negligently failed to provide reasonably and safe premises for persons
in said aisle;
b) Carelessly and negligently failed to maintain the aforesaid aisle;
c) Carelessly and negligently permitted a slick thick unknown residue to be present on
the floor in an area where customers traversed;
d) Carelessly and negligently failed to warn customers of the presence of the slick thick
unknown residue on the floor of aisle;
e) Carelessly and negligently failed to clean the slick thick unknown residue on the
floor of aisle after it knew or should have known that the slick thick unknown residue
presented a danger to its customers;
f) Carelessly and negligently failed to maintain the premises owned by the Defendants
in a good and safe condition for the Plaintiff and others;
g) Failing otherwise to comply with the applicable laws and regulations of the State of
YOUR CHOICE and the applicable Federal laws and regulations;
h) Carelessly and negligently failed to exercise the degree of care required under the

circumstances;
i) Otherwise being negligent.
16. That as a direct and proximate result of one or more of the above set forth wrongful acts of
negligence on part of the Defendants, by and through its duly and authorized agents and servants, the
Plaintiff then and there suffered injuries, incurred severe pain and suffering, incurred medical expenses,
lost wages, Plaintiff has, may, and probably will for an indefinite time in the future suffer great pain,
inconvenience, embarrassment, and mental anguish.

Plaintiff has, may, and probably will for an

indefinite time in the future be deprived of ordinary pleasures of life, loss of well-being, and
equanimity, and her overall health, strength, and vitality has been greatly impaired, without any
negligence of the Plaintiff contributing thereto.
WHEREFORE, the Plaintiff demands judgment against the Defendants, K-Mart, in the sum of
in excess of TWENTY-FIVE THOUSAND ($25,000.00), together with interest and costs of the suit,
pursuant to the laws of YOUR CHOICE and other relief the Court deems just and proper.

Respectfully Submitted,
OMMITTED LAW FIRM

______________________________
JOHN SMITH, Attorney for
Plaintiff Jane Doe

Sponsor Documents

Or use your account on DocShare.tips

Hide

Forgot your password?

Or register your new account on DocShare.tips

Hide

Lost your password? Please enter your email address. You will receive a link to create a new password.

Back to log-in

Close