Comes now the plaintiff by and through its attorney of record 490235213 form
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IN THE CIRCUIT COURT OF_________ COUNTY, ____________
NAME OF PLAINTIFF )
)
)
V. ) NO.
)
)
NAME OF DEFENDANT )
)
COMPLAINT
COMES NOW the Plaintiff, __________________, by and through its attorney of record,
and brings this action against the Defendants, __________________ and __________________,
and alleges the following:
I.
The Plaintiff is a __________________ corporation whose address is
__________________, and is engaged in the business of mechanical contracting.
II.
Defendant __________________, herein referred to as defendant contractor, is a
__________________ corporation which may be served with process of this Court by service
upon its registered agent, __________________, at __________________.
III.
Defendant __________________, hereinafter referred to as defendant surety, is a
corporation duly authorized to transact an insurance and bonding business in the State of
__________________, and may be served with process of this court.
IV.
On or about __________, 20______, Defendant contractor executed and delivered to the
Governor's Office of General Services its bond, a copy of which is attached hereto as Exhibit
"A" and incorporated fully herein by reference, to guarantee payments for labor and materials
furnished in the construction of the project. Defendant __________________ was named as
surety thereon.
V.
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On or about _________, 20____, in performance of the contract, Defendant contractor
entered into a subcontract with Plaintiff, the specifications and terms of which were se t down in
a written Standard Form of Agreement Between Contractor and Subcontractor, a copy of which
is attached hereto as Exhibit "B" and incorporated fully herein by reference.
VI.
That the Plaintiff has performed each and every thing, deed, or act required of it by sai d
Agreement in a timely manner.
VII.
That the defendant contractor has failed to make the final payment due unto Plai ntiff for
the work performed under the terms of said Agreement in the principal amount of $_______ and
is in breach thereof; that said sum is now past due and owing to the Plaintiff, together with
interest thereon in the amount of $________ through _________, 20____.
VIII.
That Plaintiff performed additional work at the request of
defendant contractor as follows:
Item #1 - Remove and reinstall four (4) electric fountains at a cost of $____.
Item #4 - Repaired leaks on lavatories and commode in Hall Bath at a cost of $_____.
Item #5 - Repaired faucet in ladies bath South Wing hall area at a cost of $_____.
Item #6 - Repaired leaks on commode and swapped out lavatory in Room N-100 at a cost of $_____.
Item #7 - Repaired leaks on lavatory in upper floor hall bath at a cost of $_____.
Item #8 - Replaced vacuum breaker on surgical linen room at a cost of $____.
Item #9 - Furnished and installed filters in units two (2) times at a cost of $_____.
Item #10 - Installed filters furnished by sink in soiled
four (4) A/H defendant contractor three (3) times at a cost of $______.
That defendant contractor has failed to make payment for said work performed in the pri ncipal
amount of $_____; that said sum is now past due and owing to the Plaintiff, together with
interest thereon in the amount of $_____ through ________, 20____.
IX.
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That, additionally, Plaintiff has incurred extended overhead costs for non-payment of the
contract debt from __________, 20___ through ______ 20__ in the amount of $____.
X.
That, additionally, Plaintiff has incurred "ripple" damages (loss of income/cash
flow/bonding capacity) for non-payment of the contract debt from ______, 20__ through
________, 20___ in the amount of $ _____.
XI.
That Plaintiff has incurred additional costs of financing. XIV.
That the Plaintiff has duly informed defendant surety on numerous occasions in writing
of defendant contractor's failure to pay his obligations and demanded of defendant surety that it
meet its obligation as surety on the bond, but defendant surety has also failed and refused to pay
the amount due.
WHEREFORE, Plaintiff is entitled to and demands judgment against the Defendants,
__________________ and __________________, in the total amount of at least $_____, plus
additional interest, extended overhead costs, ripple costs and financing costs for loss of earnings
from _______, 20____ until paid in full, reasonable attorney's fees and all costs of court.
Respectfully submitted, __________________________
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