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Law Division Motion Section intial Case Management Dates for CALENDARS (A,8,C,0,€,F,H,R,X,Z} will be heard In Person. Allother Law Division intial Case Management Dates will be heard via Zoom For more information and Zoom Meeting IDs go fo tips JArw.cookcountycourt orgIHOME?ZoomLinks7Agg4908_SelectT ab/12 Court Date: 3/12/2024 10:00 AM FILED 4/10/2024 2:13 PM IRIS Y. MARTINEZ Firm ID 30701 CIRCUIT CLERK IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COOK COUNTY, IL COUNTY DEPARTMENT, LAW DIVISION uae on alendar, BETHBRYCAJ, eee Plaintiff, ¥ | caseNo, 2024L000405 JONATHAN NATHAN, M_D., individually, and EBS ILLINOIS, L.L.C., d/b/a AIRSCULPT a/k/a ELITE BODY SCULPTING, an Illinois limited liability company, FILED DATE: 11072024 2:19 PM 2024L000405, Defendants. COMPLAINT AT LAW COUNTI Jonathan Nathan, M.D. ‘ Wegligence) ‘NOW COMES, the plaintiff, BETH HRYCAJ, by and through her attomeys, NEVILLE & MAHONEY, and complaining of defendant, JONATHAN NATHAN, M.D. individually, states as follows: 1. Onand prior to January 16, 2022, defendant, JONATHAN NATHAN, M.D,, was a physician duly licensed by the State of Illinois, and practiciag his profession in the County of Cook and State of Hlinois, 2. Onand prior to Jenuary 16, 2022, defendant, JONATHAN NATHAN, MD, specialized in the medical specialty of plastic surgery. 3. From January 16, 2022 to November 13, 2022, defendant, JONATHAN NATHAN, MLD., in his capacity as a plastic surgeon, provided medical and surgical care and treatment to plaintiff, BETH HRYCAJ, FILED DATE: 10/2024 2.49 PM. 2n24L.000405 5. Subsequent to the procedure, plaintiff began to notice disfigurement of her bilateral thighs and bilateral knees, 6. Subsequent to the procedure to November 13, 2022, plaintiff made complaints to defendant, JONATHAN NATHAN, M.D., as well as other AirSoulpt staff, regarding the disfigurement of her bilateral thighs and knees. 1. ae On January 16, 2022, defendant, JONATHAN NATHAN, M_D., was negligent in one or more of the following acts and/or omissions: a. —_Negtigentiy aid improperly performed the pricedute by failing to adequately remove fat deposits over the plaintiff's bilateral knees; s ‘Negligently and improperly performed the procedure by failing to mum off the suction device when the canmula was removed from the plaintif?s ‘ilateral knees; and 2 ‘Negligently and improperly performed the procedure by removing excessive amounts of fat from the plaintiffs bilateral thighs. 5 4 Z FILED OATE: 10.” Asa direct end proximate result of one or more of the aforessid acts and/or omissions, the plaintiff, BETH HRYCAJ, sustained injuries of a personal and pecuniary nature. 11, In eccordance with 735 ILCS 5/2-622(a)(2) attached hereto, and made a part hereof, is an affidavit signed by one of the attomeys for the plaintiff setting forth the affiant's inability to obtain consultation as required by §2-622 because plaintiffs attorneys bave not been able to obtain all medical records prior to the expiration of the statute of limitations, 12. This cause of action is being filed within two years from the date of the incident, January 16, 2022. WHEREFORE the plaintiff, BETH HRYCAJ, demands judgment against the defendant, JONATHAN NATHAN, M_D., in an amount in excess of FIFTY THOUSAND AND ONE DOLLARS ($50,001.00) for jurisdictional purposes. COUNT IL EBS Ilinols, L.L.C., d/b/a AirSculpt a/k/a Elite Body Sculpting (Actual Agency of Jonathan Nathan, M.D.) NOW COMES, the plaintiff, BETH HRYCAJ, by and through her attomeys, NEVILLE. & MAHONEY, and complaining of defendant, EBS ILLINOIS, L-L.C., /b/a AIRSCULPT afk/a ELITE BODY SCULPTING ("AIRSCULPT") limited liability company, states as follows: L ‘On and prior to January 16, 2022, defendant, AIRSCULPT, was a limited liability company licensed to do business in the State of Illinois with its principal place of business located at 60 East Delaware Place, Suite 1400, in the City of Chicago, County of Cook and State of Minos. 2. Onand prior to Jamary 16, 2022, defendant, AIRSCULPT, employed, managed and controlled plastic surgeons to treat patients and perform surgical procedures in the City of Chicago, County of Cook and State of Hinois. FILED DATE: 1/10/2026 2:13 PM 2024.000405 3. Onand prior to January 16, 2022, defendant, AIRSCULPT, employed as its duly authorized agent and employee, JONATHAN NATHAN, M.D. 4, Atall times mentioned herein, the defendant, JONATHAN NATHAN, M.D., while providing care and treatment to plaintiff, BETH HRYCAJ, was acting within the scope of ‘his employment with defendant, AIRSCULPT. 5. From January 16, 2022 to November 13, 2022, defendant, AIRSCULPT, by and ‘through its duly authorized agent and employee, defendant, JONATHAN NATHAN, M.D., in. his capacity as a plastic surgeon, provided medical and surgical care end treatment to plaintiff, BETH HRYCAJ. 6. On January 16, 2022, defendant, AIRSCULPT, by and through its duly authorized agent and employee, defendant, JONATHAN NATHAN, M_D., performed a laser-assisted AirSoulpt liposuction procedure ("the procedure") upon the plaintiff, whereby, upon information and belief, a 4 mm cannula was inserted at various entry points on her bilateral thighs and bilateral knees, a laser was used to break up fat deposits in the aforestated areas, and the fat was then removed from the plaintiff's body via suction. 7. Subsequent to the procedure, plaintiff began to notice disfigurement of her bilateral thighs and bilateral knees. & Subsequent to the procedure to November 13, 2022, plaintiff made complaints to defendant, AIRSCULPT, by and through its duly authorized agent and employee, defendant, JONATHAN NATHAN, MD, as well as other AirSculpt staff, regarding the disfigurement of her bilateral thighs and knees. FILED DATE: 11012024 2:13 PM 20241000408 9. As of November 13, 2022, and to the present time, plaintiff's bilateral thighs are disfigured by defects including, but not limited to, a large indent described as a "shark bite” on her upper left inner thigh, two long dents on the front of her right thigh, and excessive loose skin. 10. As of November 13, 2022, and to the present time, plaintiff's bilateral knees are disfigured by defects including, but not limited to, dents on each knee at the site of cannula insertion and pouches of fat above the insertion points on each knee. 11. On Jamary 16, 2022, defendant, AIRSCULPT, by and through its duly authorized agent and employee, defendant, JONATHAN NATHAN, M_D., was negligent in one or more of the following acts and/or omissions: a. _Negligently and improperly performed the procedure by failing to adequately remove fat deposits over the plaintifi’s bilateral knees; >. Negligently and improperly porformed the procedure by failing to tam off the suction device when the canmula was removed from the plaintif's bilateral kmees; and ©. Negligentiy and improperly performed the procedure by removing, excessive amounts of fat from the plaintiffs bilateral thighs. 12, Asa direct and proximate result of one or more of the aforesaid acts and/or omissions, the plaintiff, BETH HRYCAJ, sustained injuries of a personal and pecuniary nature. 13, In accordance with 735 ILCS 5/2-622(a)(2) attached hereto, and made a part ‘hereof, is an affidavit signed by one of the attorneys for the plaintiff setting forth the affiant’s inability to obtain consultation as required by §2-622 because plaintiffs attomeys have not been able to obtain all medical records prior to the expiration of the statute of limitations. 14. This cause of action is being filed within two years ftom the date of the incident, January 16, 2022. FILED DATE: 10/20242:13 EM 2024L.000405 WHEREFORE the plaintiff, BETH HRYCAJ, demands judgment against the defendant, EBS ILLINOIS, L.L.C., d/b/a AIRSCULPT a/k/a ELITE BODY SCULPTING (’AIRSCULPT"), a limited liability company, in an emount in excess of FIFTY THOUSAND AND ONE DOLLARS ($50,001.00) for jurisdictional purposes. COUNT OL EBS Mlinois, L.L.C, d/b/a AirSculpt a/k/a Elite Body Sculpting (Apparent Agency over Jonathan Nathan, M.D.) NOW COMES, the plaintiff, BETH HRYCAAJ, by and through her attomeys, NEVILLE & MAHONEY, and complaining of defendant, EBS ILLINOIS, L.LC,, d/b/a AIRSCULPT a/k/a ELITE BODY SCULPTING ("AIRSCULPT"), an Mlinois limited lisbility company,, states as follows: 1. Onand prior to January 16, 2022, defendant, AIRSCULPT, was a limited liability company licensed to do business in the State of Hinois with its principal place of business located at 60 Bast Delaware Place, Suite 1400, in the City of Chicago, County of Cook and State of Illinois. re On and prior to January 16, 2022, defendant, AIRSCULPT, operated its business by and through its duly authorized agents and employees to treat patients and perform surgical procedures in the City of Chicago, County of Cook and State of Ilkinois. 3. On and prior to January 16, 2022, defendant, JONATHAN NATHAN, M_D., practiced medicine in the field of plastic surgery at AIRSCULPT in the City of Chicago, County of Cook and State of Ilinois. 4 From January 16, 2022 to November 13, 2022, defendant, JONATHAN NATHAN, MD,, in his capacity as 2 plastic surgeon, provided medical and surgical care and ‘treatment to plaintiff, BETH HRYCAJ. FILED DATE: 10/2024 213M 2028,.000405 5. On January 16, 2022, defendant, JONATHAN NATHAN, M.D., performed a laser-assisted AirSculpt liposuction procedure (“the procedure") upon the plaintiff, whereby, upon information and belief, a 4mm cannula was inserted at various entry points on her bilateral thighs and bilateral knees, a laser was used to break up fat deposits in the aforestatod areas, and ‘the fat was then removed from the plaintiff's body via suction. 6. Subsequent to the procedure, plaintiff began to notice disfigurement of her bilateral thighs and bilateral knees, 7. Subsequent to the procedure to November 13, 2022, plaintiff made complaints to defendant, JONATHAN NATHAN, M.D, as well as other AirSoulpt staff, regarding the disfigurement of her bilateral thighs and knees. 8 As of November 13, 2022, and to the present time, plaintiffs bilateral thighs are disfigured by defects including, but not limited to, a large indent described as a "shark bite” on her upper left inner thigh, two long dents on the front of her right thigh, and excessive loose skin. 9. As of November 13, 2022, and to the present time, plaintiffs bilateral knees are disfigured by defects including, but not limited to, dents on each knee at the site of canmula insertion and pouches of fat above the insertion points om each knee. 10. ‘Throughout the administration of care to the plaintiff by defendant, JONATHAN NATHAN, MD., defendant, ATRSCULPT, acted in a way which would lead a reasonable person to believe that defendant, JONATHAN NATHAN, M.D., was an agent of AIRSCULPT, 11, Atall relevant times, defendant, AIRSCULPT, had knowledge of and acquiesced. ‘to defendant, JONATHAN NATHAN, M.D/'s care and treatment of the plaintiff 12.” The plaintiff acted in reliance upon representations made by defendants, JONATHAN NATHAN, M.D., and AIRSCULPT, conceming her care and treatment. FILED DATE: 1s0r20242:13 PM 202aL000608 ” 10. On January 16, 2022, defendant, AIRSCULPT, acting by and through the apparent authority delegated to defendant, JONATHAN NATHAN, MD., was negligent in one ormore of the following acts and/or omissions: a Negligently and improperly performed the procedure by failing to adequately remove fat deposits over the plaintifi’s bilateral knees; b. _Negligently and improperly performed the procedure by failing to tum off the suction device when the cannula was removed from the plaintifi’s bilateral knees; and c. _ Negligently and improperly performed the procedure by removing excessive araounts of fat from the plaintiffs bilateral thighs. 10. Asa direct and proximate result of one or more of the aforesaid acts and/or omissions, the plaintiff, BETH HRYCAJ, sustained injuries of a personal and pecuniary nature. 11. In accordance with 735 ILCS 5/2-622(a)(2) attached hereto, and made a part hereof, is an affidavit signed by one of the attomeys for the plaintiff setting forth the affiant's ‘inability to obtain consultation as required by §2-622 because plaintiff's attomeys have not been able to obtain all medical records prior to the expiration of the statute of limitations. 12. ‘This cause of action is being filed within two years from the date of the incident, January 16, 2022. WHEREFORE the plaintiff, BETH HRYCAJ, demands judgment against the defendant, EBS ILLINOIS, L.L.C,, d/b/a AIRSCULPT a/k/a ELITE BODY SCULPTING, in an amount in excess of FIFTY THOUSAND AND ONE DOLLARS ($50,001.00) for jurisdictional purposes. Terence J. Mahoney Jennifer Mann NEVILLE & MAHONEY 35 Bast Wacker Drive, Suite 1740 FILED DATE: 1/10/2024 2:13 PM 2024.000405, Chicago, IL 60601 G12) 236-2100 ‘tmahoney@nevillemahoney.com Jenniferdmann@gmail.com FILED DATE: 1t0120242:13 PM 2024,.000405, ‘Firm LD. 30701 . : IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION BETH HRYCAJ, Plaintife, ¥. Case No. JONATHAN NATHAN, MD., individually, and EBS ILLINOIS, L.L.C., d/b/a AIRSCULPT a/k/a ELITE BODY SCULPTING, an Ilinois limited liability =| ‘company, | Defendants. | AREDAVIT 1. 1, TERENCE J. MAHONBY, attorney with the law firm of NEVILLE & MAHONEY, am duly licensed to practice law in the State of Ilinois 2. Due to the time in which I received this potential cause of action, Iwas unable to obtain a consultation as required by 735 ILCS 5/2-622 prior to the expiration of the applicable statute of limitations. To wait to file this case until I obtained said consultation would impair this action and cause the matter to be dismissed es untimely. 3. Moreover, due to the time in which I received this poteatial cause of action, I did not receive all relevant medical records in a sufficient amount of time to thoroughly review and provide to a consultant said records prior to the expiration of the stabute of limitations, 4, Based upon the review of the facts available to date, I believe there is a reasonable and meritorious cause for filing this cause of action as against JONATHAN NATHAN, M.D., individually, and EBS ILLINOIS, L.L.C., d/b/a AIRSCULPT a/k/a BLITE BODY SCULPTING, an Illinois limited liability company. 10 5. Pursuant to 735 ILCS 5/2-622(a)(2), I will cause to be filed a certificate end report within ninety days of the filing of this complaint. 172024 213m 20241000405 SUBSCRIBED AND SWORN to beforeme this day of January, 2024 Notaty Public 1 FILED DATE: 10/2024 2:13 PM 20261000405, Firm LD. 30701 - IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, LAW DIVISION BETH HRYCAJ I Plaintiff, v. Case No. EBS ILLINOIS, LLC. d/b/a AIRSCULPT alk/a ELITE BODY SCULPTING, an Ilinois limited liability company, Defendants. AREIDAVIT 1. I, TERENCE J. MAHONEY, attorney with the law firm of NEVILLE & MAHONEY, am duly licensed to practice law in the State of Tlinois, 2. Thave reviewed the facts of this case and the damages resulting from the aforementioned injury. 3. Upon review, Ihave concluded that the plaintiff has a meritorious claim for damages in excess of $50,000. SUBSCRIBED AND SWORN to . before me this day of January, 2024 ‘Notary public 12 SHERIFF'S OFFICE OF COOK COUNTY AFFIDAVIT OF SERVICE CASENUMBER: 20241000405 SHERIFFNUMBER: 50375696 MULT.SER: 2 DOC. TYPE: LAW DIE DATE: 02/07/2024 RECEIVED DATE: 01/18/2024 FILED DATE: _01/10/2024__DiST:__611 DEFENDANT: NATHAN, JONATHAN PLAINTIFF: HRYCAJ, BETH ADDRESS: 60 E Delaware ATTORNEY: | Neuille and Mahoney cry: Chicago ADDRESS: 60N LaSalle St 2150 STATE: IL ZIPCODE: 60611 cry: Chicago ATTACHED FEE AMT: STATE IL ZIPCODE: 60801 SERVICE INFORMATION | CERTIFY THAT | SERVED THE DEFENDANT/RESPONDENT AS FOLLOWS: (1) PERSONAL SERVICE: BY LEAVING A COPY OF THE WRIT/ORDER WITH THE DEFENDANT/RESPONDENT PERSONALLY, AND INFORMING DEFENDANT/RESPONDENT OF CONTENTS. (2) SUBSTITUTE SERVICE: BY LEAVING & COPY OF THE SUMMONS AND COMPLAINT AT THE DEFENDANT'S USUAL PLACE OF ABODE WITH A FAMILY MEMBER OR PERSON RESIDING THERE, 13 YEARS OR OLDER, AND INFORMING (THAT PERSON OF THE CONTENTS OF THE SUMMONS. ALSO, A COPY OF THE SUMMONS WAS MAILED TO THE — DEFENDANT AT HIS OR HER USUAL PLACE OF ABODE ON THE DAY OF _ 20. '3) UNKNOWN OCCUPANTS: BY LEAVING A COPY OF THE SUMMONS AND COMPLAINT NAMING "UNKNOWN OCCUPANTS" WITH A PERSON OF THE AGE OF 13 OR UPWARDS OCCUPYING SAID PREMISE (a) CORP/CO/BUS/PART: BY LEAVING THE APPROPRIATE NUMBER OF COPIES OF THE SUMMONS, COMPLAINTS, INTERROGATORIES, JUDGMENTS, CERTIFICATIONS AND NOTICES WITH THE REGISTERED AGENT, AUTHORIZED a —o pERSON OR PARTNER OF THE DEFENDANT CORPORATION _COMPANY____BUSINESS _ PARTNERSHIP _ 12 {SLPROPERTY RECOVERED: NO ONE PRESENT TO RECEIVE ORDER OF COURT. ORDER POSTED IN PLAIN VIEW. — (6)5.0,5/0.0.1.: BY LEAVING THE SUMMONS AND COMPLAINT WITH THE SECRETARY OF THE STATE/DIRECTOR OF 1 INSURANCE OF THE STATE OF ILLINOIS, AN AGENT OF SAID DEFENDANT USTED ABOVE. ANY AGENT OF SAID = CORPORATION NOT FOUND IN THE COUNTY OF COOK. co (2LCERTIFIED MAIL ‘s** COMPLETE THIS SECTION IF WRIT IS A THIRD PARTY CITATION/GARNISHMENT **** (8) AND BY MAILING ON THE DAY OF __20_ A COPY OF THE THIRD PARTY GARNISHMENT/CITATON SUMMONS AND NOTICE TO THE JUDGMENT DEBTOR'S LAST KNOWN ADDRESS AS INDICATED IN THE NOTICE WITHIN (2) BUSINESS DAYS OF SERVICE UPON GARNISHEE/THIRD PARTY DEFENDANT. ‘THE NAMED DEFENDANT WAS NOT SERVED FOR THE GIVEN REASON BELOW: -_ (eyNoconract G_ (05) WRONG ADDRESS D_ (09) DECEASED _™_— (02) Moved TL (08) No such ADDRESS ‘D (20) NO REGISTED AGENT T (03) EMPTY LOT (07) EMPLOYER REFUSAL TD (ai) our oF cook county T (04) NoTusTeD (08) CANCELLED BY PLAINTIFF ATTY —-_O_(12) OTHER REASON (EXPLAIN) EXPLANATION: to-Texas WRIT SERVED ON: ‘ATTEMPTED SERVICES SEX RACE: _ _ AGE Date Time Star# THis —07 payor Februa 20 24 eee TIME: THOMAS J, DART, SHERIFF, BY: /5/_ HALL, JOSEPH #11158 , DEPUTY Page 1082 Date: 2/7/2024 ‘CIRCUIT COURT OF COOK COUNTY LAW DIV. RM. 802, DALEY CENTER ‘CHICAGO IL-60602 Heyeaj Beth MahoneyTerence Joseph tmahoney@nevilemshoney.com Notice of in Person Case Management CASE: 20241000405 / Beth Hrycaj-vs-lonathan Nathan £8S Mlinols LLC All Law Division Motion Calendar Initial Case Management dates will be held In Person, In-Person Court Date: Tuesday March 12 2024 10:00 AM, Room Court Room 2207 Calendar © For ll questions on the initial CMC date, email: LAW.CALDcc@cookcountyil.gov or phone: (312) 603-6058 Hearing Date: No hearing scheduled Location: <> Judge: Calendar, © FILED DATE: 2/8/2024 2-41 PM 2004L000405, FILED 2/15/2028 2:41 PM Firm ID 30701 IRIS Y. MARTINEZ IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS RCT CLERK COUNTY DEPARTMENT, LAW DIVISION (endl ponanse Calendar, D BETH HRYCAJ, 26426911 Plaintiff, Case No. 20241 000405 JONATHAN NATHAN, M_D,, individually, and EBS ILLINOIS, L.L.C., d/b/a AIRSCULPT a/k/a ELITE BODY. SCULPTING, an Ilinois limited liability company, Defendants, MOTION FOR APPOINTMENT OF SPECIAL PROCESS SERVER AND FOR LEAVE TO FILE ALIAS SUMMONS ‘NOW COMES plaintiff, BETH HRYCAJ, by and through her attomeys, NEVILLE & MAHONEY, and respectfully requests this Court to enter an order granting plaintiff leave to file an alias summons for defendant, JONATHAN NATHAN, MLD., and to appoint a Special Process Server. In support thereof, plaintiff states as follows: L On January 10, 2024, plaintiff filed the instant complaint against defendant, JONATHAN NATHAN, M.D., and a summons was issued to the address contained on the medical records authored by defendant and confirmed on the defendant provider's current website. See ‘Summons attached as Ex. 1. 2. The Cook County Sheriff was not able to serve defendant, JONATHAN NATHAN, MD., and listed the reason for no service as "moved" for this defendant. See Cook County Sheriff Affidavit attached as Ex. 2. FILED OATE: 21872004 2:41 PM 2024L000405, 3: Plaintiff therefore requests leave to’ issue an Alias Summons to defendant, JONATHAN NATHAN, M.D. 4, Further, plaintiff requests leave to appoint Investigator Lisa Connolly, Ilinois License No. 129-315874, as Special Process Server to serve the Alias Summons upon the defendant, JONATHAN NATHAN, M.D. ‘WHEREFORE, plaintiff, BETH HRYCAJ, respectfully requests that this Court enter an order granting her leave to issue an Alias Summons for defendant, JONATHAN NATHAN, M.D., and granting her leave to appoint Investigator Lisa Connolly, Ilinois License No. 129-315874, to serve said Alias Summons upon defendant, JONATHAN NATHAN, M.D. Respectfully submitted, Jsi Jennifer Mann Jennifer Mann ‘Terence J. Mahoney Jennifer Mann 35 E. Wacker Dr, #1740 Chicago, IL 60601 (312) 236-2100 tmahoney@nevillemahoney.com ienniferdmann@gmail.com Hearing Date: No hearing scheduled Location: <> sug i SHERIFF'S OFFICE OF COOK COUNTY a AFFIDAVIT OF SERVICE 211512024 2:41 PM IRIS Y. MARTINEZ CASE NUMBER: 20241000405 SHERIFFNUMBER: 50375696 MULT.SER.: 2 DOC.ONRREITONERK DIEDATE: 02/07/2024 RECEIVED OATE: 01/18/2024 gD DATE: _Ovt02024 _ pus OGKEOUNTY, I DEFENDANT: NATHAN, JONATHAN PLAINTIFF: HRYCAJ,BETH Calendar, D ADDRESS: 60 E Delaware ATTORNEY: | Nevill and Mahoney 26426911 ny: Chicago ADDRESS: 60 N LaSalle St 2150 STATE: iL ZIP CODE: 60611 cry: Chicago ATTACHED FEE AMT: STATE: iL zipcope: 60801 SERVICE INFORMATION: | CERTIFY THAT | SERVED THE DEFENDANT/RESPONDENT AS FOLLOWS: (1) PERSONAL SERVICE: BY LEAVING A COPY OF THE WRIT/ORDER WITH THE DEFENDANT/RESPONDENT 21 PERSONALLY, AND INFORMING DEFENDANT/RESPONDENT OF CONTENTS. (2) SUBSTITUTE SERVICE: BY LEAVING A COPY OF THE SUMMONS AND COMPLAINT AT THE DEFENDANT'S USUAL PLACE OF ABODE WITH A FAMILY MEMBER OR PERSON RESIDING THERE, 13 VEARS OR OLDER, AND INFORMING (THAT PERSON OF THE CONTENTS OF THE SUMMONS. ALSO, A COPY OF THE SUMMONS WAS MAILED TO THE “—~ DEFENDANT AT HIS OR HER USUAL PLACE OF ABODE ON THE DAY OF _ 20, 3) UNKNOWN OCCUPANTS: BY LEAVING A COPY OF THE SUMMONS AND COMPLAINT NAMING "UNKNOWN 5. OCCUPANTS" WITHA PERSON OF THE AGE OF 13 OR UPWARDS OCCUPYING SAID PREMISE (4) CORP/CO/BUS/PART: BY LEAVING THE APPROPRIATE NUMBER OF COPIES OF THE SUMMONS, COMPLAINTS, 11 INTERROGATORIES, JUDGMENTS, CERTIFICATIONS AND NOTICES WITH THE REGISTERED AGENT, AUTHORIZED D pensow OR PARTNER OF THE DEFENDANT CORPORATION _COMPANY__BUSINESS___PARTNERSHIP_ py (SLPROPERTY RECOVERED: NO ONE PRESENT TO RECEIVE ORDER OF COURT. ORDER POSTED IN PLAIN VIEW. — {6)5.0.5/0.0.1,: BY LEAVING THE SUMMONS AND COMPLAINT WITH THE SECRETARY OF THE STATE/DIRECTOR OF (D__ INSURANCE OF THE STATE OF ILLINOIS, AN AGENT OF SAID DEFENDANT LISTED ABOVE. ANY AGENT OF SAID = CORPORATION NOT FOUND IN THE COUNTY OF COOK, FILED OATE: 2is8/2024241 PM 2024L000405 CERTIFIED MAIL o = ~~ **** COMPLETE THIS SECTION IF WRIT IS A THIRD PARTY CITATION/GARNISHMENT **** (8) AND BY MAILING ON THE__ DAY OF 20__ACOPY OF THE THIRD PARTY GARNISHMENT/CITATON — SUMMONS AND NOTICE TO THE JUDGMENT DEBTOR'S LAST KNOWN ADDRESS AS INDICATED IN THE NOTICE WITHIN (2) BUSINESS DAYS OF SERVICE UPON GARNISHEE/THIRD PARTY DEFENDANT. ‘THE NAMED DEFENDANT WAS NOT SERVED FOR THE GIVEN REASON BELOW: EL (01)NocoNTACT (05) WRONG ADDRESS. D__ (09) DECEASED 3B (02) Moveo (06) NO SUCH ADDRESS: D (10) NO REGISTED AGENT Tr (03)EMPTYLOT (07) EMPLOYER REFUSAL BD (aryour oF cook county DB” (oaynoTusteo = (a8) CANCELLED BY PLAINTIFF ATTY (12) OTHER REASON (EXPLAIN} EXPLANATION: | !0 Texas, WRIT SERVED ON: ‘ATTEMPTED SERVICES SEX RACE: AGE: Date Time Start tas ~O7~ payor ~ Febie 20 24 ya TIME: THOMAS J. DART, SHERIFF, BY: /S/_ HALL, JOSEPH #11158 , DEPUTY Page Lot 2 FILED DATE: 2/15/2024 241 PM 20241000405, SHERIFF'S OFFICE OF COOK COUNTY AFFIDAVIT OF SERVICE CASE NUMBER: 20241000405 SHERIFFNUMBER: 50375696 MULT.SER: 2 DIE DATE: 02/07/2024 RECEIVED DATE: 01/18/2024 FILED DATE: _01/10/2024 DOC, TYPE: LAW DI 611 Date Time Star # Page of 2 Hearing Date: No hearing scheduled Location: <> sludge: Calendar, D FILED 211512024 2:41 PM IRIS Y. MARTINEZ Firm ID 30701 IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS GROUT SEER COUNTY DEPARTMENT, LAW DIVISION 2024000405” Calendar, 0 BETH HRYCAJ, (26426911 Plaintiff, ¥. FILED DATE: 26/2024 2-41 PM 2024.090405, company, JONATHAN NATHAN, M_D., individually, and EBS ILLINOIS, L.L.C., d/b/a AIRSCULPT a/k/a ELITE BODY SCULPTING, an Illinois limited liability Case No. 2024 L 000405 Defendants. NOTICE OF ROUTINE MOTIO! To: Noone has appeared On February 22, 2024, at 8:45 am., or as soon thereafter as Ican be heard, | shall e-mail the attached Routine Motion for Appointment of Special Process Server and for Leave to Issue Alias Summons to the Honorable Frank J. Andreou, Courtroom 2207, or any judge sitting in his stead, at email address: Law.CalDec@cookcountyil. gov. Jsf Jennifer Mann One of the Attorneys for Plaintiff Terence J. Mahoney Jennifer Mann NEVILLE & MAHONEY 35 East Wacker Drive, Suite 1740 Chicago, IL 60601 (312) 236-2100 tmahoney@nevillemahoney.com jemmiferdmann@email.com ‘SHERIFF'S OFFICE OF COOK COUNTY [AFFIDAVIT OF SERVICE CASENUMBER: 20241000405 SHERIFFNUMBER: 50375697 MULT.SER.: 2 DOC. TYPE: LAW DIE DATE: 02/07/2024 RECEIVED DATE: 01/18/2024 FILED DATE: 01/10/2024 IST: _ 604 DEFENDANT: EBS llinois LLC. PLAINTIFF: HRYCAJ, BETH ADDRESS: 208 S LaSalle. ATTORNEY: Nevile and Mahoney crry: Chicago ADDRESS: 208 N LaSalle St 2150, STATE: 1. ZIP CODE: 60604 civ: Chicago ATTACHED FEE AMT: STATE: IL zipcope: 60601 SERVICE INFORMATION: _ RIA: CT Corporation Sys. CERTIFY THAT | SERVED THE DEFENDANT/RESPONDENT AS FOLLOWS: (1) PERSONAL SERVICE: BY LEAVING A COPY OF THE WRIT/ORDER WITH THE DEFENDANT/RESPONDENT PERSONALLY, AND INFORMING DEFENDANT/RESPONDENT OF CONTENTS. ~~ (2) SUBSTITUTE SERVICE: BY LEAVING A COPY OF THE SUMMONS AND COMPLAINT AT THE DEFENDANT'S USUAL PLACE OF ABODE WITH A FAMILY MEMIBER OR PERSON RESIDING THERE, 13 YEARS OR OLDER, AND INFORMING (THAT PERSON OF THE CONTENTS OF THE SUMMONS, ALSO, A COPY OF THE SUMMONS WAS MAILED TO THE “DEFENDANT AT HIS OR HER USUAL PLACE OF ABODE ON THE DAY OF _ 20. '3] UNKNOWN OCCUPANTS: BY LEAVING A COPY OF THE SUMMONS AND COMPLAINT NAMING "UNKNOWN 5) Occupants" WITH & PERSON OF THE AGE OF 13 OR UPWARDS OCCUPYING SAID PREMISE (4) CORP/CO/BUS/PART: BY LEAVING THE APPROPRIATE NUMBER OF COPIES OF THE SUMMONS, COMPLAINTS, ig INTERROGATORIES, JUDGMENTS, CERTIFICATIONS AND NOTICES WITH THE REGISTERED AGENT, AUTHORIZED —e peRSON OR PARTNER OFTHE DEFENDANT CORPORATION COMPANY BUSINESS.__PARTNERSHIP_ y_ (SLPROPERTY RECOVERED: NO ONE PRESENT TO RECEIVE ORDER OF COURT. ORDER POSTED IN PLAIN VIEW = (6)5.0.5/0.011: 6” LEAVING THE SUMMONS AND COMPLAINT WITH THE SECRETARY OF THE STATE/DIRECTOR OF (3 INSURANCE OF THE STATE OF ILINOIS, AN AGENT OF SAID DEFENDANT USTED ABOVE. ANY AGENT OF SAID — conporaTion Nor FOUND IN THE COUNTY OF COOK (7. CERTIFIED MAIL casaral ‘**** COMPLETE THIS SECTION IF WRIT IS A THIRD PARTY CITATION/GARNISHMENT **** (8) ANDBY MAILING ON THE DAVOF ___20_ACOPY OF THE THIRD PARTY GARNISHMENT/CITATON “SUMMONS AND NOTICE TO THE JUDGMENT DEBTOR'S LAST KNOWN ADORESS AS INDICATED IN THE NOTICE WITHIN (2) BUSINESS DAYS OF SERVICE UPON GARNISHEE/THIRD PARTY DEFENDANT. ‘THE NAMED DEFENDANT WAS NOT SERVED FOR THE GIVEN REASON BELOW: -B_ (ONO CONTACT —_G_(05) WRONG ADDRESS D (09) DECEASED “2 (02)Moveo EZ (05) no such aopaess EL Gono recite AGENT TH (o3jemPrylot —D.__ (07) EMPLOYER REFUSAL TF anjouror coox county CG (oaynoruste> — (08) CANCELLED BY PLAINTIFF ATTY _H_(12) OTHER REASON (EXPLAIN) EXPLANATION: WRIT SERVED ON: DERRICK HACKETT ATTEMPTED SERVICES Et MEE: a cesta Brecsecoeecon@t OO -agcUecenIESaE ate Time Star ft THis 23 payor Januar 2024 see time: 2:00PM THOMAS J, DART, SHERIFF, BY: /S/ GIBSON, ANDY #11216 DEPUTY Page tof 2

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