X hits on this document

PDF document

Courthouse News Service - page 10 / 18

52 views

0 shares

0 downloads

0 comments

10 / 18

.;

www.courthousenews.com

Case 1:09-cv-06338

Document 1

Filed 10/09/2009

Page 10 of 11

Gehris has been injured in an amount in excess of $75,000.

WHREFORE, for the foregoing reasons, Plaintiff requests judgment in her favor and

agait Bumpus and Gooch, jointly and severally, for actual damages in an amount in excess of

$75,000, plus costs, attorneys fees, punitive damages, and such other relief tht is just and proper.

Count iv

Intenerence With Gehris' Prospective Economic Advantage By Harpo Based Upon Respondeat Superior

1 - 30. As paragrphs 1 through 30 of

Count IV, Plaitiffrealleges and incorporates by

reference paragrphs 1 - 30 of

the Count m.

31. As a direct and proximate consequence of

Gooch's misconduct, for which Haro

is vicaously liable and which Haro ratified, Plaintiff has been injured in an amount in excess

of $75,000.

WHREFORE, for the foregoing reasons, Plaintiff requests judgment in her favor and

against Haro for actual damages il! an amount in excess of$75,000, plus costs, attorneys fees,

puntive damages, and such other relief that is just and proper.

Staes & Scalan, P.C. 111 W. Washington Street

Suite 1631

Chicago, IL 60602 (312) 201-8969

10

Document info
Document views52
Page views52
Page last viewedFri Dec 09 22:01:48 UTC 2016
Pages18
Paragraphs652
Words5456

Comments