Loading...
HomeMy WebLinkAboutCC 6 CLAIM #84-11 07-02-84FROH: SUBJECT: HONORABLE MAYOR AND CITY COUNCIL ~ , JAMES G. ROURKE, CITY ATTORNEY ~' CLAIMANT: FILLIPPINI, KRISTIE; D/L: 3/15/84; DATE FILED W/CITY: 5/29/84; CLAIM NO: 84-11; CARL WARREN FILE NO: S38214SK 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(F4.se) Enclosure: Copy of Claim cc: OCCRMA 1 3 5 6 ? $ 9 10 11 15 16 17 19 21 27 RONA~D W. CHRISLIP Attorney at Law 1505 N. Broadway Santa Aha, CA 92706 R ;:- C ~. i V F.. D CiTY MANAGER (714) 547-0197 Attorney for Claimant NOTICE OF CLAIM AGAINST CITY OF TUSTIN KRISTIE MICHELLE FILLIPPINI, a minor, by and through her At{6rney, RONALD W. CHRISLIP hereby presents her claim to the City of Tustin pursuant to Section 910 of the California Government Code. 1. The name and post-office address of KRISTIE MICHELLE FILLIPPINI is as follows: 2. The post-office address to which claimant desire notices to be sent is as follows: RONALD W. C~RISLIP Attorney at Law 1505 n. Broadway Santa Aha, CA 92706 3. On or about March 15, 1984 at or near McFadden Ave. and Myrtle Street, in the City of Tustin, County of Orange, California, claimant received personal injuries under the following cirumstrances: Claimant a minor, was a pedestrian crossing McFadden Ave., at its intersection with Myrtle, in the city of Tustin, when she was struck by a vehicle driven by Ernest William Schroeder, thereby causing her =o sustain serious and permanent --~-- 5 ? 9 10 11 13 15 16 17 23 25 injuries. Claimant is informed and bela=yes that the sole or contributing cause to said accident was the CITY OF TUSTIN's failure to provide adequate warnings, signals, personnel, officers, markings, or other devices and safeguards at said place to allow for the safe m~vement of pedestrain traffic. 4. On or about said date at or near the location aforesaid, the City of Tustin, its agents, employees, and contractors, and. each of them, so recklessly, carelessly and negligently omitted and failed to provide adequate warnings signals, personnel, officers, markings, or other' devices and safeguards, which it knew, or should have known, created unreasonable risk of harm and danger to persons, including claimant herein, crossing the intersection at said location, and did proximatley cause injuries and dsm~ages to claimant as hereinafter alleged. 5. So far as it is known to RONALD W. CHRISLIP at the date of filing this claim, the claimant has suffered injuries to various parts of her body, the extact nature and extent of which has not been fully ascertained at this time. 6. The names of the employees causing said injuries are unknown to claimant at this time and are referred herein to as DOES 1 through 50, inclusive. 7. At the time of presentation of this claim, KRISTIE MICHELLE FILLIPINI, claims damages in the amount of $100,000.00 including approximately $50,000.00 dollars due to prospective injury and da3~ages, computed on the basis of the following: (a) Medical expenses; (b) Future Medical expenses; (c) Loss of earning capacity; (d) Pain and suffering, psychological and physical. -2- 1 fi 3 4 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 8. The undersigned, is the attorney for the aforesaid claimant and hereby present these claims on her behalf. Dated: May 24, 1983 RONALD W. C~_R~IP