Welcome to Scribd, the world's digital library. Read, publish, and share books and documents. See more
Download
Standard view
Full view
of .
Save to My Library
Look up keyword
Like this
6Activity
0 of .
Results for:
No results containing your search query
P. 1
Hosford vs BRK and UL et al - Amended Complaint

Hosford vs BRK and UL et al - Amended Complaint

Ratings: (0)|Views: 1,324 |Likes:
Law suit lodged 28 Dec, 2011 claiming UL, the world's largest testing agency of ionization smoke alarms have been,
"negligent or wanton . . . by failing to formulate and implement safety standards for ionization smoke alarms that require ionization smoke alarms to detect slow smoldering fires in a timely manner..."
More information at:
www.theWFSF.org/ul
Law suit lodged 28 Dec, 2011 claiming UL, the world's largest testing agency of ionization smoke alarms have been,
"negligent or wanton . . . by failing to formulate and implement safety standards for ionization smoke alarms that require ionization smoke alarms to detect slow smoldering fires in a timely manner..."
More information at:
www.theWFSF.org/ul

More info:

Published by: The World Fire Safety Foundation on Dec 29, 2011
Copyright:Attribution Non-commercial

Availability:

Read on Scribd mobile: iPhone, iPad and Android.
download as PDF, TXT or read online from Scribd
See more
See less

07/10/2013

pdf

text

original

 
IN THE CIRCUIT COURT OF CONECUH COUNTY, ALABAMARHONDA HOSFORD, as Co- Administratrix of theEstate of NAVAEH NICOLE JOHNSON, a minor,deceased; LATOSHA HOSFORD, Individually,and as the Mother of NAVAEH NICOLEJOHNSON, a minor, deceased, and asCo-Administratrix of the Estate of NAVAEHNICOLE JOHNSON, a minor, deceased; andCHAD BARLEY,Plaintiffs,vs.BRK BRANDS, INC.; WEAVER RENTALPROPERTIES, LLC; FRANCIS M. WEAVER; A, B,C, D, E and F, persons, firms, corporations or other legal entities that sold, designed and/or manufactured smoke alarms that were defectiveand unreasonably dangerous, and were installedin the premises located at 63 North Avenue,Castleberry, Alabama, and/or failed to adequatelywarn about said smoke alarms’ defective andunreasonably dangerous condition, and/or negligently or wantonly sold, designed,manufactured and/or failed to warn about saidsmoke alarms, and/or impliedly warranted thatsaid smoke alarms were merchantable, as morefully set out below, whose true identities arepresently unknown but who will be added byamendment when ascertained; G, H, I, J, K and L,persons, firms, corporations or other legalentities that owned, leased or were otherwiseresponsible for the repair and maintenance of thepremises located at 63 North Avenue,Castleberry, Alabama, and who negligently or wantonly failed to properly repair and maintainthe electrical system of said premises, or negligently or wantonly failed to warn Plaintiffsabout defects in the same, as more fully set outbelow, whose true identities are presentlyunknown but who will be added by amendmentwhen ascertained; jointly and individually,Defendants.*********************************************Civil Action No. 2011-900059
 
ELECTRONICALLY FILED12/28/2011 7:52 PMCV-2011-900059.00CIRCUIT COURT OFCONECUH COUNTY, ALABAMADAVID JACKSON, CLERK 
 
2
FIRST AMENDED COMPLAINT
Plaintiffs hereby amend their Complaint to add Defendants Underwriters Laboratories,Inc., Intertek Testing Services NA, Inc., M, N and O; and to correct the spelling of the minor decedent's name. The style and body of the Complaint shall now read as follows:
RHONDA HOSFORD, as Co- Administratrix of theEstate of NEVAEH NICHOLE JOHNSON, a minor,deceased; LATOSHA HOSFORD, Individually,and as the Mother of NEVAEH NICHOLEJOHNSON, a minor, deceased, and asCo-Administratrix of the Estate of NEVAEHNICHOLE JOHNSON, a minor, deceased; andCHAD BARLEY,Plaintiffs,vs.BRK BRANDS, INC.; WEAVER RENTALPROPERTIES, LLC; FRANCIS M. WEAVER;UNDERWRITERS LABORATORIES, INC.;INTERTEK TESTING SERVICES NA, INC.; A, B, C,D, E and F, persons, firms, corporations or other legal entities that sold, designed and/or manufactured smoke alarms that were defectiveand unreasonably dangerous, and were installedin the premises located at 63 North Avenue,Castleberry, Alabama, and/or failed to adequatelywarn about said smoke alarms’ defective andunreasonably dangerous condition, and/or negligently or wantonly sold, designed,manufactured and/or failed to warn about saidsmoke alarms, and/or impliedly warranted thatsaid smoke alarms were merchantable, as morefully set out below, whose true identities arepresently unknown but who will be added byamendment when ascertained; G, H, I, J, K and L,persons, firms, corporations or other legalentities that owned, leased or were otherwiseresponsible for the repair and maintenance of thepremises located at 63 North Avenue,Castleberry, Alabama, and who negligently or wantonly failed to properly repair and maintainthe electrical system of said premises, or ***************************************Civil Action No. 2011-900059
 
3
negligently or wantonly failed to warn Plaintiffsabout defects in the same, as more fully set outbelow, whose true identities are presentlyunknown but who will be added by amendmentwhen ascertained; M, N and O, corporations thattested ionization smoke alarms of the typeinstalled in the premises located at 63 NorthAvenue, Castleberry, Alabama, for compliancewith UL Standard 217, and negligently or wantonly certified them as compliant, as morefully set out below, whose true identities arepresently unknown but who will be byamendment when ascertained; jointly andindividually,Defendants.****************PARTIES and VENUE
1.The Plaintiff Rhonda Hosford is an adult and otherwise fully competent residentof Conecuh County, Alabama, and was such at all material times herein. She is thegrandmother of the minor decedent Nevaeh Nichole Johnson, and is the Co-Administratrixof the Estate of Nevaeh Nichole Johnson, a minor, deceased.2.The Plaintiff Latosha Hosford is an adult and otherwise fully competent residentof Conecuh County, Alabama, and was such at all material times herein. She is the mother of the minor decedent Nevaeh Nichole Johnson, and was the custodial parent of the minor decedent at the time of the minor’s death. She is the Co-Administratrix of the Estate of Nevaeh Nichole Johnson, a minor, deceased.3.The Plaintiff Chad Barley is an adult and otherwise fully competent resident of Conecuh County, Alabama, and was such at all times material herein.4.The minor decedent Nevaeh Nichole Johnson was a resident of ConecuhCounty, Alabama, at the time of her death.

You're Reading a Free Preview

Download
/*********** DO NOT ALTER ANYTHING BELOW THIS LINE ! ************/ var s_code=s.t();if(s_code)document.write(s_code)//-->