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ELECTRONICALLY FILED 6/8/2011 4:28 PM CV-2011-900111.00 CIRCUIT COURT OF LIMESTONE COUNTY, ALABAMA CHARLES PAGE, JR.

, CLERK

IN THE CIRCUIT COURT OF LIMESTONE COUNTY, ALABAMA JERRY ANN SCHRIMSHER, Administrator Ad Litem of the Estate of SARAH RENEE GOSSETT, Deceased, Plaintiff, vs. JAMES HEATH MOSS and ALLSTATE INSURANCE COMPANY, Defendants. ) ) ) ) ) ) ) ) ) ) ) ) )

CV-2011-__________________

COMPLAINT COUNT ONE 1. Plaintiff Jerry Ann Schrimsher is the Administrator Ad Litem of the Estate of Sarah

Renee Gossett, deceased. 2. On or about April 25, 2011, on a public highway, U. S. Highway 72 in Limestone

County, Alabama, Defendant James Heath Moss negligently or wantonly caused or allowed a motor vehicle to collide with a motor vehicle occupied by the Plaintiff's decedent, Sarah Renee Gossett. 3. At and before the time of the collision giving rise to this action, Defendant James

Heath Moss acted willfully, maliciously, beyond his authority, or under a mistaken interpretation of the law. 4. Plaintiff Jerry Ann Schrimsher brings this action against Defendant James Heath

Moss in his individual and personal capacity.

5.

As a proximate consequence of the negligent or wanton conduct of Defendant

James Heath Moss, the Plaintiff's decedent, Sarah Renee Gossett, was fatally injured and caused to die. WHEREFORE, Plaintiff Jerry Ann Schrimsher demands judgment against Defendant James Heath Moss in an amount of damages to be determined by the jury, plus the costs of this action. COUNT TWO 6. Plaintiff Jerry Ann Schrimsher realleges and incorporates by reference all of the

factual allegations in the preceding paragraphs. 7. At the time of the collision giving rise to this action, the Plaintiff's decedent, Sarah

Renee Gossett, was insured for uninsured and underinsured motorist benefits pursuant to a policy of insurance numbered 945754416 that was issued by Defendant Allstate Insurance Company. 8. Plaintiff's decedent, Sarah Renee Gossett, was fatally injured and caused to die as a

result of the negligent or wanton conduct of Defendant James Heath Moss, an uninsured or underinsured motorist. WHEREFORE, Plaintiff Jerry Ann Schrimsher demands judgment against Defendant Allstate Insurance Company in the amount of the policy limits of the policy numbered 945754416, plus the costs of this action. THE PLAINTIFF DEMANDS A TRIAL BY STRUCK JURY /s/Clint W. Butler Clint W. Butler (BUT-020) Attorney for Plaintiff /s/Roy Braswell M. Roy Braswell (BRA-085) Attorney for Plaintiff

OF COUNSEL: MCKINNEY, BRASWELL & BUTLER, L.L.C. 2204 Whitesburg Drive, Suite 200 Huntsville, Alabama 35801 Telephone: (256) 536-6307 Facsimile: (256) 536-6317 Email: clint@personal-injured.com roy@personal-injured.com

/s/David H. Marsh David H. Marsh (MAR-020) Attorney for Plaintiff /s/Jeffrey C. Rickard Jeffrey C. Rickard (RIC-025) Attorney for Plaintiff
OF COUNSEL: MARSH, RICKARD & BRYAN, P.C. 800 Shades Creek Parkway, Suite 600-D Birmingham, AL 35209 Telephone: (205) 879-1981 Facsimile: (205) 879-1986 Email: dmarsh@mrblaw.com jrickard@mrblaw.com

Plaintiffs Address: Jerry Ann Schrimsher 14928 Baptist Camp Road Harvest, AL 35479 PLEASE SERVE DEFENDANTS BY CERTIFIED MAIL TO: Mr. James Heath Moss 15667 Quinn Road Athens, AL 35611 Allstate Insurance Company CT Corporation: Agent 2 North Jackson Street, Suite 605 Montgomery, AL 36104

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