HomeMy WebLinkAbout20113278.tiff Franklin D.Azar•
E.Alexander
�' Brcannc
Davidn J.Scalyg
Jon Neil Barclay
David A E.
Michael Born A
Daniel P.Buttram•
LaKischa J.Cook
Michael A.Dihle
Franklin D. Azar & Associates, P.C.Barry I.Dunn
14426 East Evans Avenue Thomas J.Dwyer
• Kianna A.Ferguson.
Aurora, CO 80014 Robert O.Fischel•
(303) 757-3300 Fax (303) 759-5203 Daniell Leppert
• Rachael A.Lundy
www.fdazar com Robert E.Markel
December 12, 2011 Tonya L.Melnichenko t
Patricia A.Meester❑
Kenneth B.Pennywell o
VIA CERTIFIED MAIL/RETURN RECEIPT REQUESTED Cheryl A.Rose o•:
Keith R.Scranton
Julie D.Swanberg
Erica A.Vecchio
Barbara Kirkmeyer Daniel Watlington
Chair—Board of County Comissioners
1150 O Street
P.O. Box 758 Greeley,
CO 80632 n mitt�in it
Also aminW in Louisiana
° Also admitted uisi in L
Alenadm iedin New Ynr4
n Alm ndminei in Ananre
RE: Date of Loss: 6/16/2011 Also admitted in Oll(omla
o Also admitted in Wyoming
Our Client: Nancy Hurtado a Also admitted in os
a Also Ronda admitted in Ronda
Our Client No:282728 AlmAdmitted in NewMe.im.
a Also Admitted in Tennewe
e Alpo ndmitteG in(iengia
Dear Ms. Kirkmeyer:
NOTICE OF CLAIM
Notice is hereby given of the following claim:
A. The name and address of the Claimant is:
Nancy Hurtado
27653 Highway 6
#1909
Rifle, CO 81650
B. The name and address of the Claimant's attorney is:
Franklin D. Azar&Associates, P.C.
14426 East Evans Ave.
Aurora, CO 80014
C. The basis of the claim is:
On or about June 16, 2011, Ms. Hurtado was involved in an automobile collision that also
involved a vehicle owned by the County of Weld, State of Colorado, driven by Roxann
McBurney. This collision resulted in damage to Ms. Hurtado's property and injuries to her
person. The accident may have been caused, in whole, or in part by Weld County's employee,
Ms. ' � `
Mc� Burney.
U3VY\1vr\ \l 1 0Y1 C �.' CA v‘CO, vui i 4 2011-3278
1 3. 1 Cj . ( 1 iL-14 '1I
COLORADO SPRINGS,CO PUEBLO,CO TRINIDAD,CO ALBUQUERQUE,NM
D. The name of the public employee(s) involved is:
Roxann McBurney
E. Claimant has suffered injuries to her head, neck, back, and other and further
related injuries.
F. The Claimant will seek damages to compensate her for the cost of medical
treatment, prescriptions, and therapy for the severe pain and suffering resulting
from the subject accident, loss of enjoyment of life, loss of earnings, and loss of
property.
G. The approximate amount of Claimant's injuries are anticipated to be in excess of
$25,000.
Dated this /0211Y/ day of December, 2011.
Very truly yours,
Michael A. Dible
Attorney at Law
FRANKLIN D.AZAR&ASSOCIATES,P.C
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