HomeMy WebLinkAboutCC 4 CLAIM #85-38 04-21-86~mmmm [Ilk ~ ~ ~I~- ~ CONSENT CALENDAR
,~ NO. 4
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FRO~I:
SUBJECT:
HONORABLE HAYOR AND CITY COUNCI~''~'
CI~Y AT'I'ORNE¥' $ OFFICE
C~.AIHANT: BEGET., SAHUE~.; D/L-- 0§/30/85; DATE FILED
#/ci~: 08/19/86; CLAIm NO.' 85-38; CAP~ WARREN FILE NO:
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
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LAW OFFICES OF DI LIBERTI & GOLDSMAN
A Professional Law Corporation
501 Civic Center Drive West
Santa Aha, California 92701
(714) 541-3333
Attorneys for Claimant
SAMUEL BEGEL BY AND THROUGH HIS )
GUARDIAN AD LIT~M, PATRICIA
BEGEL, PATRICA/% BEG~L,
INDIVIDUALLY,
Claimants
Respondent
THE CITY OF TUSTIN,
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CLAIM FOR PERSONAL INJURIES
(GOvernment Code Section
910)
TO THE. CIT~ OF TUSTIN AND TO ETS BOARD OF CONTROL:
PI. EASE TAKE NOTICE that SAMUEL BEGEL BY A~D THROUGH HIS
GUARDIAN AD LITEM, PATRICIA BEGEL, AND PATRICIA BEGEL
INDIVIDUALLY, hereinafter referred t° as claimants, submit this
claim for the following injuries, damages, and losses sustained
as a direct and proximate result of certain conduct and actions
committed and taken by the CITY OFTUSTIN, as will be shown
hereinafter.
2. That claimants are represented in this matter by the Law
Offices of Di Liberti & Goldsman, whose address is 501 Civic .
Center Drive West, Santa Aha, California 92701, and to which
address all appropriate correspondence should now be sent.
3. The subject claimants are SAMUEL BEGEL by and through his
guardian ad litem, PATRICIA BEGEL and PATRICI'A BEGEL
individually, United States citizens and Orange County residents.
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4. That on May 30, 1985 at approximately 3:10 AM, at
claimants' residence situated at 160 East 6th Street, within the
City of Tustin, County of Orange, State of California, and
without just and proper cause, in front of witnesses, in
dereliction of claimants fundamental civil rights and human
dignities guaranteed al~ citizens of this County, State, County
and locality, claimants'were caused to be prejudicially subjected
to a vast array of police misconduct which ill-befits a modern
civilized society, which includes, but is not limited to: (A)
excessive force; (B) police brutality; (C) the reporting of false
charges and accusations against claimants; (D) violation of civil
rights and (E) false arrest/false imprisonment.
5.' That as a direct and proximate result of the foregoing
conduct, claimants have been caused to sustain severe, extensive,
and grevious personal and mental injuries, which have rendered
them sick, sore, lame, and disabled, injured their reputation in
the general community, proved detrimental to their economic and
general well-being~ and forced claimants to pay out expensive
legal fees, and to incur medical and health-care'related expenses
as a result thereof.
6. That at this time the precise names, addresses, job
titles or other identification of the public employees, agents,
or servants causing and/or contributing to claimants
physical/mental condition and plight are unknown.
7. That while the exact amount of general damages sustained
is not now known, claimants are informed and believe and upon
such information and belief allege that it is in excess of FIVE
HUNDP~ED THOUSAND DOLLARS ($500,000.00).
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8. That I have read the foregoing claim and know the
contents 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.
declare under penalty of perjury that the foregoing is
true and Correct. Executed this 13th day of August, 1985 at
Santa Aha, California.
WILLIAM M. VLOSKY ~v
Attorney for Claimant