HomeMy WebLinkAbout01-7166 FX
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SHAH RAY & BYLER, LLP
Jay H. Shah, Esquire
PA Identification No.: 75814
Theresa M. Mullaney, Esquire
PA Identification No.: 83939
Penn Mutual Towers
510 Walnut Street, 9th Floor
Philadelphia, P A 19106
KANTI D, PATEL, ADMINISTRATOR
OF THE ESTATE OF DAYUBHAI R.
PATEL, ON BEHALF OF THE ESTATE:
OF DAYUBHAI R. PATEL AND THE
MINOR CHILDREN OF DA YUBHAI R. :
PATEL, ARTI D. PATEL AND
ANKIT D. PATEL
6 Carothers Circle
Mechanicsburg, P A
Plaintiffs,
v,
KANTI D. PATEL, ADMINISTRATOR
OF THE ESTATE OF MADHUBEN
D. PATEL
6 Carothers Circle
Mechanicsburg, P A
Defendant.
NOTICE
You have been sued in ~ourt. If you wish to defend
against the claims set forth in the following pages, you
must take action within twenty (20) days after this
complaint and notice are served, by entering a written
appearance personally or by attorney and filmg in
writing with the court your defenses or objections to the
claims set forth against you. You are warned that if you
fail to do so the case may proceed without you and a
judgment may be entered against you by the court
without further notice for any money claimed in the
complaint or for any other claim or relief requested by
the plaintiff. You may lose money or property or other
rights important to you.
You should take this paper to your lawyer at once. If
You do not have a lawyer or cannot afford one go to or
telephone the office set forth below to find out where
you can get legal help.
Court Administrator
4thPloor
Cumberland County Court House
Carlisle, P A 17013
(717) 240.6200
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Attorneys for Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY
CIVIL ACTION NO. 01- '7 If. f. Cu;:u I,v-
JURY TRIAL DEMANDED
NOTICE TO DEFEND
AVISO
Le han demandado a usted en ~ corte. Si usted quiere
defenderse de estas demandas expuestas en las paginas
siguientes,usted tiene veinte (20)dias de plaza alpartir
de la fecha de h demanda y la notificacion. Hace falta
asentar una comparencia escrita 0 en persona 0 con un
abogado y entregar a 1a corte en forma escrita sus
defensasosus obpciones alas dananda sen contradesu
persona. Se avisadoque si usted no defiende, lacorte
tomara medidas y puede continuar la demanda en
contra sUya sin previoeviso 0 notificacion. Ademas, la
corte puede deci& a favor del demandante y requiere
que usted cumpla con todas las provisiones de esta
demanda. Usted puede perer du-ero 0 sus propiedades
u otros derechos importantes para usted.
LleDa esta demanda a y" abogado inmediatameute.
no ffeoe abogado 0 si no ffene el dinero sYlldculc de
Fagartal serDicio. Vaya enpersona 0 Uameportelefono
ala oficina cYyadireccion se encYentra escrita abajo
Fara -rDeriguar donde se puede cons~ir asistencia
legal.
Court Administrator
4thPloor
Cumberland County Court House
Carlisle, P A 17013
(717) 240-6200
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SHAH RAY & BYLER, LLP
Jay H, Shah, Esquire
PA Identification No.: 75814
Theresa M, Mullaney, Esquire
PA Identification No.: 83939
PelID Mutual Towers
510 Walnut Street, 9th Floor
Philadelphia, PA 19106
Attorneys for Plaintiff
KANTI D. PATEL, ADMINISTRATOR
OF THE ESTATE OF DAYUBHAI R.
PATEL, ON BEHALF OF THE ESTATE:
OF DAYUBHAI R. PATEL AND THE
MINOR CHILDREN OF DA YUBHAI R. :
PATEL, ARTI D. PATEL AND
ANKIT D. PATEL
6 Carothers Circle
Mechanicsburg, P A
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY
CIVIL ACTION NO. (J/- 1/(,.(. ~f T-L--
Plaintiffs,
v.
KANTI D. PATEL, ADMINISTRATOR
OF THE ESTATE OF MADHUBEN
D. PATEL
6 Carothers Circle
Mechanicsburg, P A
Defendant.
JURY TRIAL DEMANDED
COMPLAINT
Plaintiff, Kanti D, Patel, Administrator ofthe Estate of Dayubhai R Patel and Guardian
of the minor children of decedent Dayubhai R. Patel, by and through his undersigned counsel
hereby files its Complaint against the Estate of Madhuben D, Patel, and in support thereof avers
as follows:
PARTIES
1. Plaintiff, Kanti D. Patel, is the Administrator of the Estate of Dayubhai R Patel
and resides at 6 Carothers Circle, Mechanicsburg, Pennsylvania.
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2, Plaintiff, Kanti D. Patel, is the Guardian ofthe decedent's minor children Arti D.
Patel and Ankit D. Patel.
3, Defendant, Kanti D. Patel, is the Administrator of the Estate of Madhuben D.
Patel and resides at 6 Carothers Circle, Mechanicsburg, Pennsylvania,
JURISDICTION AND VENUE
4. The Court has personal jurisdiction over the Defendant, who resides in
Cumberland County,
5. Venue is proper in Cumberland County, since Defendant resides in this County
and the accident giving rise to this lawsuit occurred within this County.
COUNT I
Kanti D. Patel, Administrator ofthe Estate of Dayubhai R. Patel v. Kanti D. Patel,
Administrator of the Estate of Madhuben D. Patel
WRONGFUL DEATH
6, Plaintiff incorporates by reference the averments contained in paragraphs I
through 5 above as though set forth at length herein.
7. Plaintiff is the Administrator ofthe Estate of Dayubhai Patel and the Guardian of
the minor children of Dayubhai Patel.
8, Plaintiff brings this Action to benefit decedent's beneficiaries,
9. Dayubhai Patel left surviving him as his heirs-at-Iaw, his two minor children, Arti
D, Patel, 16 years of age and Ankit D. Patel, 11 years of age, both of whom were dependent upon
Dayubhai Patel and both of whom have sustained pecuniary damages from the death of
Dayubhai Patel.
10, On or about December 29,1999, at approximately 6:45 p.m., Plaintiffs decedent,
Dayubhai Patel, was a passenger in a 1992 Honda Accord driven by Defendant's decedent,
Madhuben Patel, traveling Southbound on Interstate 81 near the Enola/Maysville Exit,
Cumberland County, Pennsylvania.
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11. At the same time, a vehicle operated by Vincent Ferrante was traveling
Northbound on Interstate 81 near the Enola!Maysville Exit, Cumberland County, Pennsylvania,
12, Upon information and belief, at some point, Defendant's decedent lost control of
her vehicle, traveled across the three (3) southbound lanes and struck a concrete barrier.
13, Upon striking the barrier, Defendant's decedent's vehicle began to spin and
traveled into the Northbound lanes ofInterstate 81 and was struck by a vehicle driven by Vincent
Ferrante.
14. Plaintiffs decedent was ejected from Defendant's decedent's vehicle and suffered
severe bodily injuries that resulted in his death at the accident scene on December 29,1999, to the
pecuniary damage of his heirs,
15, The foregoing accident and all of the injuries and damages sustained by Plaintiffs
decedent are the direct and proximate result of Defendant's decedent's carelessness, recklessness
and/or negligence,
16, The carelessness, recklessness and/or negligence of Defendant's decedent
consisted, inter alia, of the following:
(a) operating her vehicle at a high and excessive rate of speed under the
circumstances;
(b) being inattentive;
(c) operation of her vehicle in a reckless, careless and negligent manner
without regard for the rights, safety and position of the Plaintiff s
decedent;
(d) failing to have her vehicle under proper and adequate control;
(e) failing to keep her vehicle in her lane of travel;
(f) failing to exercise due and proper care under the circumstances;
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(g) being otherwise negligent under the circumstances; and
(h) any other negligence, carelessness and/or recklessness discovered
throughout the discovery process as promulgated by the Rules of Civil
Procedure,
17. As a direct result of the foregoing accident, Plaintiff's decedent, Dayubhai R.
Patel was thrown violently from the automobile in which he was a passenger and suffered severe
bodily injuries, including but not limited to, closed head trauma, which caused his death at the
accident scene on December 29, 1999,
18. As a direct result of the foregoing accident, Plaintiff's decedent's minor children,
Arti D, Patel and Ankit D, Patel, both of whom were dependent upon Dayubhai Patel at the time
of his death, have been denied the future contributions decedent would have made during his
lifetime,
19, As a direct result ofthe foregoing accident, Plaintiff's decedent's minor children,
Arti D. Patel and Ankit D, Patel, both of whom were dependent upon Dayubhai Patel at the time
of his death, have been denied decedent's services, guidance, and companionship,
20. As a direct result of the foregoing accident, Plaintiff's decedent's estate was
forced to incur funeral expenses and the expenses of administration of the estate.
WHEREFORE, Plaintiff, as Administrator of the Estate of Dayubhai R, Patel demands
judgment in his favor and against Defendant for damages in an amount in excess of $50,000,
plus interest, cost of suit and such other relief as this Court deems just, proper and equitable,
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COUNT II
Kanti D. Patel, Administrator ofthe Estate of Dayubhai R. Patel v. Kanti D. Patel,
Administrator ofthe Estate of Madhuben D. Patel
SURVIVAL ACTION
21, Plaintiff incorporates by reference paragraphs I through 20 of this Complaint
as though set forth herein,
22. As a direct result of the foregoing accident, Plaintiff s decedent suffered physical
pain and suffering from the time of injury until the time of death.
23. As a direct result of the foregoing accident, Plaintiffs decedent's estate has
sustained damages, including loss of future eamings.
WHEREFORE, Plaintiff, as Administrator of the Estate of Dayubhai R. Patel demands
judgment in his favor and against Defendant for damages in an amount in excess of$50,000,
plus interest, cost of suit and such other relief as this Court deems just, proper and equitable,
COUNT III
Kanti D. Patel, on behalf of the Minor Children, Arti D. Patel and AnkH D. Patel v. Kanti
D. Patel, Administrator of the Estate of Madhuben D. Patel
SURVIVAL ACTION
24. Plaintiff incorporates by reference paragraphs 1 through 23 of this Complaint as
though set forth herein,
25, As a direct result of the foregoing accident, Plaintiffs decedent's minor children,
Arti D. Patel and Ankit D, Patel, both of whom were dependent upon Dayubhai Patel at the time
of his death, have been denied decedent's services, guidance, and companionship,
26, As a direct result of the foregoing accident, Plaintiffs decedent's minor children,
Arti D. Patel and Ankit D, Patel, both of whom were dependent upon Dayubhai Patel at the time
of his death, have suffered the loss of financial support that decedent would have contributed,
WHEREFORE, Plaintiff, as Guardian of the minor children of Dayubhai R. Patel,
demands judgment in his favor and against Defendant for damages in an amount in excess of
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$50,000, plus interest, cost of suit and such other relief as this Court deems just, proper and
equitable,
Respectfully submitted,
SHAH RAY & BYLER, LLP
BY: 1~ 1'<\. ~}
Jay H. Shah, Esqu~6
Theresa M. Mullaney, Esquire
Attorneys for Plaiutiff
Dated: December 20, 2001
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VERIFICATION
I, Kanti D, Patel, verifY that I have knowledge of the facts giving rise to this lawsuit, and
that I am authorized to provide this Verification, I further verifY that I have read the foregoing
Complaint, and, to the best of my knowledge, information and belief, the facts set forth in the
Complaint are true and correct.
I understand that the statements In the Complaint and this Verification are made subject
to the penalties of 18 Pa.C.S.A. Section 4904 relatin 0 unsworn falsifications to authorities,
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VINCENT J. FERRANTE,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. 01-5875 CIVIL TERM
KANTI PATEL, EXECUTOR OF
THE ESTATES OF DAYUBHAI
PATEL and MADHU D. PATEL,
Defendant
ORDER OF COURT
AND NOW, this 19th day of March, 2002, upon
consideration of Defendant's Petition for Court Approval of the
Disposition of Insurance Proceeds, and after having a hearing
thereon, it is hereby ordered that Defendant's Petition is
GRANTED.
Defendant's insurance carrier, the Erie
Insurance Group (hereinafter nErien), is hereby ordered to issue
a settlement draft made payable to Vincent J. Ferrante and the
law firm of Smigel, Anderson & Sacks in the amount of $7,500.00.
Erie is hereby ordered to issue a settlement
draft made payable to Sara Ann McKiness and the law firm of
Smigel, Anderson & Sacks in the amount of $92,500.00.
Erie is hereby ordered to issue a settlement
draft made payable to Ralph Peters and the law firm of Liever,
Hyman & Potter in the amount of $100,000.00.
Erie is hereby ordered to issue a settlement
draft made payable to Kanti Patel as guardian of Arti D. Patel
in the amount of $50,000,00.
Erie is hereby ordered to issue a settlement
draft made payable to Kanti Patel as guardian of Ankit D. Patel
in the amount of $50,000.00.
It is further ordered that Defendant and Erie
are hereby relieved of making any further payments to any
alleged claimants for the automobile accident which occurred on
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December 29, 1999. Defendant and Erie are hereby relieved of
any further financial responsibility with regard to the accident
of December 29, 1999.
A copy of this Order shall also. be filed at
Docket Nos. 01-6039, 01-7140, and 01-7166.
By the Court,
C. Lee Anderson, Esquire
2917 North Front Street
Harrisburg, PA 17110
Theresa M. Mullaney, Esquire
510 Walnut Street, 9th Floor
Philadelphia, PA 19106
Donald F. Smith, Jr., Esquire
P.O. Box 782
Reading, PA 19603-0782
John R. Ninosky, Esquire
P.O. Box 1268
Harrisburg, PA 17108
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KANTI D. PATEL, ADMINISTRATOR
ADMINISTRATOR OF THE ESTATE
OF DAYUBHAI R. PATEL, ON
BEHALF OF THE ESTATE OF
DAYUBHAI R, PATEL AND THE
MINOR CHILDREN OF DAYUBHAI R.
PATEL, ARTI D. PATEL AND
ANKIT D. PATEL,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiffs
v.
NO. 01-7166 CIVIL TERM
KANTI D. PATEL, ADMINISTRATOR
OF THE ESTATE OF MADHUBEN D.
PATEL,
Defendant
ORDER OF COURT
AND NOW, this 19th day of March, 2002, upon
consideration of the Plaintiff's Petition as Guardian of the
Minor Children, Arti D. Patel and Ankit D. Patel, it is ordered
and directed as follows:
1. The wrongful death action may be settled in
return for the payment of $50,000.00 to each child.
2. The entire $50,000.00 settlement proceeds
for each child shall be deposited in a savings account or
certificate of deposit insured by a federal government agency in
the name of the child. Said account to be restricted to provide
that "no withdrawals may be made here from without specific order
of court until the child turns 18 years of age."
3. Proof of the opening of said account shall
be filed to this term and number within 10 days of receipt of
the settlement checks.
4. Konti Patel is authorized to sign the
necessary releases for the
of said actions.
Edward E. Guido, J.
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c. Lee Anderson, Esquire
2917 North Front Street
Harrisburg, PA 17110
Theresa M. Mullaney, Esquire
510 Walnut Street, 9th Floor
Philadelphia, PA 19106
Donald F. Smith, Jr., Esquire
P.o. Box 782
Reading, PA 19603-0782
John R. Ninosky, Esquire
P.o. Box 1268
Harrisburg, PA 17108
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