HomeMy WebLinkAbout01-7012
DEBORAH M. TROUTMAN and
CARL TROUTMAN,
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
Plaintiffs
v.
No (JI- 70/2
\
Cc.J~l T~
BRYON R. KADUR, and
DAVID A. LAPOINTE,
Defendants
CIVIL ACTION - LAW
JURY TRIAL DEMANDED
NOTICE
YOU HAVE BEEN SUED IN COURT. 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 filing 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.
Cumberland County Lawyer Referral Service
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(717) 249-3166
NICHOLAS & FOREMAN
By:
~g
Charles Rees Brown
Supreme Court No. 70612
4409 North Front Street
Harrisburg, PA 171\0
(717) 236-9391
Attorneys for Plaintiff
DEBORAH M. TROUTMAN and
CARL TROUTMAN,
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
Plaintiffs
v.
No. DI - 7or~ C.I~\ l '-- I~
BRYON R. KADUR, and
DAVID A. LAPOINTE,
Defendants
CIVIL ACTION - LAW
JURY TRIAL DEMANDED
COMPLAINT
AND NOW, the Plaintiffs, by and through their undersigned counsel, files this
Complaint, and in support thereof aver as follows:
1. Plaintiffs Deborah M. Troutman and Carl Troutman, are adult individuals, sui juris,
husband and wife, residing at 411 Cassel Street, Marysville, Perry County, P A 17053.
2. Defendant, Bryon R. Kadur, is an adult individual, sui juris, residing at 1378 State
Highway 162, Sprakers, NY 12845.
3. Defendant David A. Lapointe, is an adult individual, sui juris, residing at 663 State
Route 149, Lake Givorciz, NY 12166.
COUNT I
DEBORAH M. TROUTMAN
v.
BRYON R. KADUR and DAVID A. LAPOINTE
4. The foregoing paragraphs are incorporated herein by reference.
5. On or about Tuesday, May 5, 2000, at or about 1:15 p.m., in East Pennsboro
Township, Cumberland County, Pennsylvania, Plaintiff Deborah M. Troutman was
1
lawfully and carefully operating her 1994 Chevy Lumina automobile on Valley Road,
headed in a generally easterly direction at the intersection with Routes 11 and 15.
6. The intersection of Valley Road and Routes 11 and 15 is a controlled intersection
with a traffic light controlling the flow of traffic.
7. At the aforesaid date, time and place, Defendant Bryon R. Kadur negligently,
recklessly, intentionally, and carelessly operated a 1997 International 9300 tractor
trailer in a generally northerly direction on Routes 11 and 15 so as to cause his
vehicle to violently collide with Plaintiff Deborah M. Troutman's vehicle, causing
serious injuries to Plaintiff Deborah M. Troutman more fully described hereinafter.
8. The vehicle operated by the Defendant Bryon R. Kadur was owned and titled to
Defendant David A. Lapointe and was being operated by Bryon R. Kadur as an agent,
servant and/or employee of Defendant David A. Lapoint and was then and there
acting within the scope of his employment and on behalf of Defendant David A.
Lapointe.
9. At the time of the collision, Defendant Bryon R. Kadur was negligent, reckless,
careless and in violation of law under the circumstances in:
(a) Failing to have his vehicle under proper and reasonable control;
(b) Operating his vehicle in such a manner as to cause it to violently collide into and
against Plaintiffs' vehicle;
(c) Failing to give proper and adequate warning of his approach;
(d) Operating his vehicle without due regard to the presence and safety of Plaintiff;
2
(e) Failing to bring his vehicle to a stop in time to avoid the said collision;
(f) Failing to operate his vehicle in a safe and proper manner;
(g) Failing to comply with the laws, rules and regulations of the Pennsylvania Motor
Vehicle Code, 75 Pa.C.S. S 3111 and 75 Pa.C.S. S 3112, relating to the Obedience
to Traffic-Control Devices and Traffic Control Signals;
(h) Failing to obey a traffic control signal;
(i) Failing to stop on a steady red traffic control signal, as required, before entering
the intersection;
(j) Acting in an otherwise negligent and careless manner under the law.
10. As a result of the negligence, recklessness and carelessness of the Defendants,
Plaintiff Deborah M. Troutman was violently shaken, struck, and suffered severe and
serious injuries, inter alia, to her head, neck, shoulders, back and brain, lower lumbar
area and other areas of her body, all of which may be permanent.
11. Plaintiff Deborah M. Troutman, as a further result of Defendant's negligent, reckless
and careless conduct, suffered shock, and injuries to her nervous system as well as
aches, pains, contusions, edema, nervousness, confusion, headaches, faintness,
nausea, and disability.
12. Plaintiff Deborah M. Troutman, as a further result of Defendants' negligent, reckless
and careless conduct and the injuries arising therefrom, has lost income due to her
inability to perform her normal work duties and believes she will or may continue to
3
suffer impairment, disability and loss of earnings in the future which has and will
result in decreased earnings and earning capacity.
13. Plaintiff Deborah M. Troutman, as a further result of Defendants' negligent, reckless
and careless conduct and from the injuries arising therefrom, has suffered pain,
suffering, mental anguish and diminishment of her ability to enjoy life and life's
pleasures.
WHEREFORE, Plaintiff Deborah M. Troutman, demands judgment against Defendants
Bryon R. Kadur and David A. Lapointe, jointly and severally, in an amount in excess of that
requiring compulsory arbitration.
COUNT II
CARL TROUTMAN
v.
BRYON R. KADUR and DAVID A. LAPOINTE
14. The foregoing paragraphs are incorporated herein by reference.
15. As a result of the negligent, reckless and careless conduct of Defendants, and the
injuries resulting therefrom to Plaintiff Deborah M. Troutman, Plaintiff Carl
Troutman claims damages for loss of services, companionship, and consortium
suffered in the past and which will be suffer in the future.
4
WHEREFORE, Plaintiff Carl Troutman, demands judgment against Defendants Bryon R.
Kadur and David A. Lapointe, jointly and severally, in an amount in excess of that requiring
compulsory arbitration.
Respectfully submitted,
NICHOLAS & FOREMAN, P.C.
~~
es Rees Brown
Supreme Court No. 70612
4409 North Front Street
Harrisburg, P A 1711 0
J?-AVoI
Attorney for Plaintiffs
5
VERIFICATION
I verify that the statements made in this Pleading are true and correct. I
understand that false statements herein are made subject to the penalties of 18 Pa. C.S.
94904 relating to unsworn falsification to authorities.
DATED: IZ-lICJ/o)
~~ 11I-:i.A~
EBORAH M. TROUTMAN
DATED: 12../l 610 \
~~~
CARL TROUTMAN
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DEBORAH M. TROUTMAN and
CARL TROUTMAN,
Plaintiffs
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
vs.
NO. 01-7012 Civil Term
BRYON R. KADUR and DAVID A.
LAPOINTE,
Defendants
JURY TRIAL DEMANDED
PH A F.rTPF. TO STJRSTlTTJTF. COTTNSF.T .
TO THE PROTHONOTARY:
Kindly withdraw the appearance of Charles Brown, Esquire and Nicholas & Foreman, P.C.,
as counsel for Plaintiffs Deborah M. Troutman and Carl Troutman in this action.
Dated: March 26, 2002
NICHOLAS & FOREMAN, P.C.
BY:~~
Charles R. Brown, Esquire -
Attorney I.D. No. 70612
4409 North Front Street
Harrisburg, PA 17110
(717) 236-9391
Kindly enter the appearance of Clark DeVere, Esquire and Metzger, Wickersham, Knauss
& Erb, P.C., on behalf of the Plaintiffs Deborah M. Troutman and Carl Troutman in this action.
METZGER, WICKERSHAM, KNAUSS & ERB, P.C.
By
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Clark De ere, Esquire
Attorney I.D. No. 68768
P.O. Box 5300
Harrisburg, PA 17110-0300
(717) 238-8187
Attorneys for Plaintiffs
Dated: March 26, 2002
n~~.,_"...... 'I "07Jf1: 1 1
t:RRTTFWA TF. OF SF.RVWF,
AND NOW, this~day of March, 2002, 1, Clark DeVere, Esquire, of Metzger,
Wickersham, Knauss & Erb, P.C., attorneys for Plaintiffs, hereby certify that 1 served a copy of
the within Praecipe to Substitute Counsel this day by depositing the same in the United States
mail, postage prepaid, at Harrisburg, Pennsylvania, addressed to:
Bryon R. Kadur
1378 State Highway 162
Sprakers, NY 12845
David A. Lapointe
663 State Route 149
Lake Givorciz, NY 12166
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Clark De Vere, Esquire
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Metzger, Wickersham, Knauss & Erb, P.C.
By: Clark DeVere, Esquire
Attorney J.D. No. 68768
P.O. Box 5300
3211 North Front Street
Harrisburg, PA 17110-0300
(717) 238-8187
cdv mwke.com
Attorneys for Plaintif~s
DEBORAH M. TROUTMAN and
CARL TROUTMAN,
I
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IN THE COURT OF d:OMMO PLEAS OF
CUMBERLAND COUNTY, P NNSYL VANIA
Plaintiffs
Defendants
CIVIL ACTION - LAW
NO. 01-7012 Civil Tet
I
JURY TRIAL DEMAr1IDED
I
I
v.
BYRON R. KADUR and
DAVID A LAPOINTE,
PRAECIPE TO SETTLE DISCONTINUE AND E D
TO THE PROTHONOTARY:
Kindly mark the above captioned matter settled, discontinued and ended,
METZGER, WICKERSHAM, KNAUSS & E . P.c.
By
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0./'.r f~ { /.
Clark De V ere, squire
I.D. No. 68768
3211 North Front Street
P.O. Box 5300
Harrisburg, P A 17110-0300
(717) 238-8187
Attorneys for Plaintiffs
Date: March 28, 2005
324/48-1
CERTIFICATE OF SERVICE
I, Clark DeVere, Esquire, of the law firm of Metzger, Wickershmp, Knaus & Erb, P.e.,
,
hereby certify that I served a true and correct copy of a Praecipe to Settl~, Discon inue and End
i
with reference to the foregoing action by first class mail, postage preraid, this 28th day of
i
March, 2005, on the following:
William J. Coppol, Esquire
Connor, Weber & Oberlies
Center City Office, Suite lC-47
The Philadelphian
2401 Pennsylvania Avenue
Philadelphia, PA 19130
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Clark DeVere, Esquire
324148-1
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Metzger, Wickersham, Knauss & Erb, P.c.
By: Clark De V ere, Esquire
Attorney J.D. No. 68768
P.O. Box 5300
3211 North Front Street
Harrisburg, P A 17110-0300
(717) 238-8187
cdv@mwke.com
Attorneys for Plaintiffs
DEBORAH M. TROUTMAN and
CARL TROUTMAN,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PE -lNSYL VANIA
Plaintiffs
CIVIL ACTION - LAW
v.
NO. 01-7012 Civil Term
BYRON R. KADUR and
DAVID A. LAPOINTE,
Defendants
JURY TRIAL DEMANDED
PRAECIPE TO SETTLE, DISCONTINUE AND END
TO THE PROTHONOTARY:
Kindly mark the above captioned matter settled, discontinued and ended.
METZGER, WICKERSHAM. KNAUSS & ERE, P.e.
By
V~A' ;~( .jh
Clark De V ere, squire
J.D. No. 68768
3211 North Front Street
P.O. Box 5300
Harrisburg, P A 1711 0-0300
(717) 238-8187
Attorneys for Plaintiffs
Date: March 28, 2005
324/48-1
,. ....."
CERTIFICATE OF SERVICE
I, Clark DeVere, Esquire, of the law firm of Metzger, Wickersham, Knauss & Erb, P.C.,
hereby certify that I served a true and correct copy of a Praecipe to Settle, Discont nue and End
with reference to the foregoing action by first class mail, postage prepaid, this 28th day of
March, 2005, on the following:
William J. Coppol, Esquire
Connor, Weber & Oberlies
Center City Office, Suite I C-47
The Philadelphian
2401 Pennsylvania Avenue
Philadelphia, PA 19130
Clark DeVere, Esquire
324148-1
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