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HomeMy WebLinkAbout20113277.tiff Franklin D.Azar• Breanne F.Alexander Nathan J.Axvig Jon Neil Barclay* David Beaty A. Michael Born A Daniel P.Bottram• LaKischa J.Cook Michael A,Dible Franklin D. Azar & Associates, P.C.Barry I.Dunn oo Thomas J.Dwyer 14426 East Evans Avenue KiannaA_Ferguson, Aurora, CO 80014 Robert O.Fischel• Daniel T. (303) 757-3300 Fax(303) 759-5203 ° Rachael A.Lundy December 12, 2011 www.fdazar.Com Robert E.Markel Tonya L.Melnichenko t Patricia A.Meester o VIA CERTIFIED MAIL/RETURN RECEIPT REQUESTED Kenneth B.Pennywell o Cheryl A.Rose o4 Keith R.Scranton Julie Barbara Kirkme er D.Swanherg y Erica A.Vecchio Chair—Board of County Comissioners Daniel Wallington 1150 O Street P.O. Box 758 Greeley, CO 80632 • Ake aamined in Texas • Also aamined in nliwis Aksa aaminmm wai.iona RE: Date of Loss: 6/16/2011 t Also And in New York o Alra aamined,,Ancona d Alse alminm m eakanen{a Our Client: Juan Sanchez-Huerta o Also admmed in Missouri J Also edmineJ in MissouriOur Client No: 282727 • Also admitted mFlonda • Also Admitted in New Mexico • Also Admitted In Tennesee c AIm AJmnletl in OcaBm Dear Ms. Kirkmeyer: NOTICE OF CLAIM Notice is hereby given of the following claim: A. The name and address of the Claimant is: Juan Sanchez-Huerta 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, Mr. Sanchez-Huerta 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 Mr. Sanchez-Huerta's property and injuries to his person. The accident may have been caused, in whole, or in part by Weld County's employee, Ms. McBurney. L L evQ J tt�� ' 2011-3277 Ci mi1lUv�iu3tz i \3-W-A1 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 his head, neck, back, and other and further related injuries. F. The Claimant will seek damages to compensate him 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 42' / day of December, 2011. Very truly yours, Michael A. Dible Attorney at Law FRANKLIN D.AZAR&ASSOCIATES,P.C Hello