By and through counsel and files this hisher complaint form
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IN THE CIRCUIT COURT OF COUNTY, MISSISSIPPI
VS. CIVIL ACTION NO.
COMPLAINT
(JURY TRIAL REQUESTED)
COMES NOW, Plaintiff, , by and through counsel, and files this his/her Complaint
and in support thereof would show unto the Court the following:
1. Plaintiff is an adult resident citizen of County, Mississippi.
2. Defendant, , is an adult resident citizen of County, Mississippi.
3. a. Defendant, , is a Mississippi corporation which owned and operated
the private plane involved in the accident hereinafter described.
b. Defendant, , is a Mississippi corporation which owned and operated
the private plane involved in the accident herein described.
c. Defendant, is an adult resident citizen of the State of Mississippi
who owned and operated the private plane involved in the accident herein described.
4.
5. At all times relevant hereto, Defendant, , was the pilot of the privat e plane
involved in the accident hereinafter described and was an agent of Defendants, , ,
, and .
6. On or about , , Plaintiff, , and other employees of
flew on a private plane from , Mississippi, to , , in order that the Plaintiff
might pick up a vehicle owned by and drive it to another location. When Pla intiff
approached the landing field in , , Defendant, , negligently a nd carelessly
failed to lower the landing gear, causing the plane to impact the runway in a viole nt manner and
causing Plaintiff's head to strike the ceiling of the plane.
7. At all times relevant hereto, the Defendants negligently and carelessly mainta ined and
operated the airplane in which Plaintiff was a passenger. As a direct and proximate result of this
negligence and carelessness, Plaintiff received serious personal injuries some of which a re
permanent. As a result, Plaintiff suffers continuous physical pain and mental distress and suffers
a permanent diminished capacity to enjoy life. The negligence exhibited by all Defendants
causing the accident consists of a reckless and willful disregard for the rights and safe ty of
Plaintiff and others and entitle Plaintiff to punitive damages.
8. Plaintiff is entitled to damages against all Defendants to compensate him/ her for
medical bills for treatment and care both past .
WHEREFORE, PREMISES CONSIDERED, Plaintiff prays for judgment against
Defendants in the amount of $ compensatory damages and $ exemplary damages.
THIS, the day of , . RESPECTFULLY SUBMITTED,
BY: _______________________________Attorney for Plaintiff
OF COUNSEL: _____________________________________
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