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HomeMy WebLinkAboutCC 3 CLAIM #86-1 03-03-86AG ,DA CONSENT CALENDAR OATE: O2/lO/86 ~ I n~e~' -- C o~'~ ~ONORABLE ~AYOR AND CITY COUNCIL JAMES G. ROURKE, CITY ATTORNEY SUBJECT: CLAIMANT: DICKEY, GARY WILLIAM; D/L: 12/5/85; DATE FILED W/CITY: 1/22/86; CLAIM NO: 86-1; CARL WARREN FILE NO: S 44968 DKH ' After investigation and review it is recommended that the above- referenced claim be rejected and the City Clerk directed to give proper notice of the rejection to the claimant and to the claimant's attorney. JGR (F 4. se ) Enclosure: Copy of Claim 1 2 3 i: 6 8 9 10 1! 12 13 1~, 16 1'7 18 ~0 27 LAW OFFICES OF DI LiBERTI & GOLDSMAN A Professional Law Corporation 5Ol Civic Center Drive Wes= Santa Aha, California 92701 (714) 541-3333 Attorneys for Claimant GARY WILLIA~ DICKEY SUPERIOR COURT OF TH~ STAT~ OF CALIFORNIA FOR TF~E COUNTY OF ORANGE GARY WILLIAM DICKEY Claimant vs. CLAIM FOR PERSONAL INJURIES AND PROPERTY DAMAG~ :PURSUANT TO GOVERNMENT CODE SECTION CITY OF TUSTIN, COUNTY OF ORANG~, Et. Al., Respondents TO: TH~ CITY OF TUSTIN AND THE COUNTY OF ORANGE AND TO THEIR GOVERNING BOARDS: PLEASE TAK~ NOTICE that the above-named claimant submits this claim for personal injuries incurred as a result of the following: 1. On or about December. 5, 1985 Claimant was assaulted and battered and prejudically subjected to a vast array of police misconduct by Tustin Police Officers at his residence located at 184 North Feldner, City of Orange,County of Orange, State of California. That as a further direct and proxima=e resul~ of the 1 4 5 7 8 9 10 foregoing conduct, claimant was caused to sustain severe, extensive, and grevious personal, physical and mental injuries, due to the lack of medical treatment rendered him while he was in the Orange County Jail which has caused him to incur medical and health care related expenses. 3. That at this time :he precise names, addresses, job titles or other iden:ification of the public employees, agents, or servants causing and/or contributing to claimant's physical/mental condition and pligh: are unknown. 4. That while the exact amount of general damages sustained upon · II such information and belief a!lege~ that it is in excess of 1~.,,[I FIVE HUNDRED THOUSAND .DOLLARS ($ 500,000.00) . , 14 5. That all fur:her' notices should be sent to claimant s 15 16 17 18 19 20 9..2: 23 26 ¥ ~7 at:orneys, the LAW OFFICES OF DI LIBERTI & GOLDSMAN, A ProfesGional Law Corporation~ 501 Civic Cen:er Drive West, Santa Aha, California 92701. 6. That I have read the foregoing claim and know the con:ents thereof and the same is true of my own knowledge except as to those matters which are therein stated upon information and belief, and as to those matters, I believe them to be true. I declare under penalty of perjury that the foregoing is true and correct. Executed this 17th day of January, 1986 at Santa Ana, California. STEVEW A. ~HERM~AN Attorneys for Claiman: