IN THE CHANCERY COURT OF THE JUDICIAL DISTRICT OF COUNTY, MISSISSIPPI IN THE MATTER OF:THE CLAIM OF , A MINOR, BY , INDIVIDUALLY AND AS FATHER/MOTHER AND NEXT FRIEND OF CAUSE NO. PETITION FOR AUTHORITY TO SETTLE DOUBTFUL CLAIM, WITH JOINDER COMES NOW, Petitioner, , individually and as mother, general guardian and
natural guardian of , a minor, with joinder by , individually and as natural father and
natural guardian of , a minor, for authority to settle a disputed claim on behalf of said
minor, pursuant to Miss. Code Ann. section 93-13-211 (Supp. 1987), and in support thereof
would show the following: 1. Petitioner, , is the adult mother, general guardian and natural guardian of , a
minor, whose date of birth is . who joins herein, is the adult natural father, and
natural guardian of said minor. Said , , are each resident citizens of the
judicial district of County, Mississippi. 2. Said minor has a claim arising from injuries he/she sustained in the apartment in which
he/she lived with his/her mother, at an apartment complex owned and operated by
known as , , Mississippi, on when a air conditioning vent which was
negligently and improperly fastened to the wall, fell out of the wall striking him/her in the face
just below his/her left eye, severely cutting his/her left cheek. provided liability insurance
on said apartment through a liability policy owned by . 3. As a result of said injury sustained to , a minor, the following medical expenses
have been and will be incurred: 4.
Claims have been made for the abovesaid injuries by , individually and as the
parent, general and natural guardian of , a minor. The claim which said minor has is
doubtful, not readily collectable and subject to the hazards and perils of litigation. Although
?? and deny all negligence in the premises and for all liability for the injuries incurred,
they have agreed to settle all claims arising out of the injuries to , including the claim for
bodily injuries of and all claims which said and may have as parents, general
guardians and natural guardians of said arising either directly or indirectly out of the
bodily injuries sustained by , and all doctor and related health care expenses of
arising from said accident and all other claims of every type, kind and character which said
? and may have arising either directly out of said accident for injuries to said , by
paying the total sum of and /100 Dollars ($ ). 5. Said $ offer of settlement is being paid in exchange for the execution of an
Absolute Release With Covenants for all claims and damages of every nature whatsoever which
said may have, or which said and may have arising either directly or
indirectly out of the injuries to said , against and , a copy of said Absolute
Release with Covenants being attached to the Petition for Authority to Settle Doubtful Claim and
Joinder as Exhibit "A". 6. That Petitioner has employed , Attorney at Law, in , Mississippi, and said
attorney has carefully and thoroughly investigated the facts and circumstances of the aforesaid
injury. That through discussions with the witnesses, parties and representatives of , said
attorney has negotiated the aforesaid offer of compromise and settlement; has advised Petitioner
and her charge with respect to their claim on account of the injuries to , and the
compromise and settlement thereof; and has otherwise rendered valuable legal services to
Petitioners. For and in consideration thereof, said attorney has earned and is entitled to receive a
reasonable attorney's fee as follows: % of $ the gross proceeds of settlement or $
??; that Petitioner, has incurred expenses in the amount of $ as set out in the
Settlement Sheet attached hereto as Exhibit "B" and should be reimbursed for said expenses, and
that the remaining balance of $ should be retained by Petitioner, , for the sole use
and benefit of said minor, resulting in a total settlement of $ ; and Petitioner prays that the
requirement that Petitioner furnish security be waived. 7. That the proposed settlement is a fair and reasonable settlement and it is in the
best interest of that said settlement offer be accepted, and Petitioner is of the opinion that
said settlement is a fair and reasonable settlement of the claim of said minor, and it would be
more prudent to accept said sum of money than subject said minor to the delays and uncertainties
of litigation incident to claims of this nature.WHEREFORE PREMISES CONSIDERED, Petitioner prays that he/she be
authorized to accept the aforementioned settlement offer; that he/she be allowed to pay the
attorney's fees as set forth hereinabove out of said settlement offer; that he/she be reimbursed for
the expenses he/she has incurred on behalf of said minor in the amount set forth in the attached
Settlement Sheet (Exhibit "B"); that the requirement of security herein be waived; that he/she be
further authorized to execute the Absolute Release with Covenants, as attached to the petition as
Exhibit "A", in favor of and , together with all other parties having any liability in
the premises of all rights, claims and causes of action of said , which he/she or his/her
representative may have against said and of any kind and character on account of
personal injuries and damages sustained by said minor, and that the remaining sum be retained
by Petitioner, , for the sole and exclusive use of .And if Petitioner has not prayed for proper relief, then he/she prays for such other,
further, general or special relief as the Court deems proper in the premises. , A MINOR__________________________________ , INDIVIDUALLY AND AS MOTHER
AND NEXT FRIEND OF __________________________________ ,INDIVIDUALLY AND AS FATHER OF _________________________ATTORNEY AT LAW
STATE OF MISSISSIPPICOUNTY OF Personally appeared before me, the undersigned authority in and for the aforesaid
state and county, the within named , Petitioner, who acknowledges that he/she signed and
delivered the above and foregoing Petition for Authority to Settle Doubtful Claim and Joinder,
individually and as mother and next friend of , on the day and year therein mentioned as
his/her voluntary act and deed, and that the matters and facts set forth therein are true and correct
as stated. _______________________________________ GIVEN UNDER MY HAND AND OFFICIAL SEAL, on this the day of , 20 . ________________________________NOTARY PUBLIC My Commission Expires:____________________________
STATE OF MISSISSIPPICOUNTY OF Personally appeared before me, the undersigned authority in and for the aforesaid
state and county, the within named , Petitioner, who acknowledges that he/she signed and
delivered the above and foregoing Petition for Authority to Settle Doubtful Claim and Joinder,
individually and as Father of on the day and year therein mentioned as his/her voluntary
act and deed, and that the matters and facts set forth therein are true and correct as stated. GIVEN UNDER MY HAND AND OFFICIAL SEAL, on this the day of , 20 . ________________________________NOTARY PUBLIC My Commission Expires: IN THE CHANCERY COURT OF THE JUDICIAL DISTRICT OF COUNTY, MISSISSIPPI IN THE MATTER OF:THE CLAIM OF , A MINOR, BY , INDIVIDUALLY AND AS MOTHER AND NEXT FRIEND OF CAUSE NO. DECREE AUTHORIZING SETTLEMENT OF DOUBTFUL CLAIM THIS DAY this cause came on for hearing on the petition of , individually
and as mother, general guardian and natural guardian of , a minor, with joinder by ,
individually and as natural father and natural guardian of , a minor, for authority to settle a
disputed claim on behalf of said minor, pursuant to Miss. Code Ann. section 93-13-211 (Supp.
1987), and the Court, having carefully considered the petition, together with the evidence
adduced in support thereof, finds as follows: 1. Petitioner, , is the adult mother, general guardian and natural guardian of
???, a minor, whose date of birth is , . , who joins herein, is the adult
natural father, and natural guardian of said minor. Said , , and are each
resident citizens of the Judicial District of County, Mississippi. 2. Said minor has a claim arising from injuries he sustained in the apartment in
which he/she lived with his/her mother, at an apartment complex owned and operated by
????, known as , Mississippi, on , when a air conditioning vent which was
negligently and improperly fastened to the wall, fell out of the wall striking him in the face just
below his/her left eye, severely cutting his/her left cheek. provided liability insurance on
said apartment through a liability policy owned by . 3. As a result of said injury sustained to , a minor, the following medical
expenses have been and will be incurred: 4. Claims have been made for the abovesaid injuries by , individually and as
the parent, general and natural guardian of , a minor. The claim which said minor has is
doubtful, not readily collectable and subject to the hazards and perils of litigation. Although
?? and deny all negligence in the premises and for all liability for the injuries incurred,
they have agreed to settle all claims arising out of the injuries to , including the claim for
bodily injuries of and all claims which said and may have as parents, general
guardians and natural guardians of said arising either directly or indirectly out of the
bodily injuries sustained by , and all doctor and related health care expenses of
arising from said accident and all other claims of every type, kind and character which said
? and may have arising either directly out of said accident for injuries to said , by
paying the total sum of Dollars ($ ). 5.
Said $ offer of settlement is being paid in exchange for the execution of an
Absolute Release with Covenants for all claims and damages of every nature whatsoever which
said may have, or which said and may have arising either directly or
indirectly out of the injuries to said , against and , a copy of said Absolute
Release with Covenants being attached to the Petition for Authority to Settle Doubtful Claim and
Joinder as Exhibit "A". 6. That Petitioner has employed , Attorney at Law, in , Mississippi, and
said attorney has carefully and thoroughly investigated the facts and circumstances of the
aforesaid injury; through discussions with the witnesses, parties and representatives of and
has negotiated the aforesaid offer of compromise and settlement; has advised Petitioner and her
charge with respect to their claim on account of the injuries to , and the compromise and
settlement thereof; and has otherwise rendered valuable legal services to Petitioners. For and in
consideration thereof, said attorney has earned and is entitled to receive a reasonable attorney's
fee as follows: % of $ the gross proceeds of settlement or $ ; that Petitioner,
??? has incurred expenses in the amount of $ as set out in the Settlement Sheet attached to
the Petition for Authority to Settle Doubtful Claim, with Joinder as Exhibit "B", and should be
reimbursed for said expenses, and that the remaining balance of $ should be retained by
Petitioner, , for the sole use and benefit of said minor, resulting in a total settlement of $
???. 7. That the proposed settlement is a fair and reasonable settlement and it is in the
best interest of that said settlement offer be accepted, and Petitioner is of the opinion that
said settlement is a fair and reasonable settlement of the claim of said minor, and it would be
more prudent to accept said sum of money than subject said minor to the delays and uncertainties
of litigation incident to claims of this nature.IT IS THEREFORE ORDERED, ADJUDGED AND DECREED that, Petitioner,
, as mother and next friend, general and natural guardian of , a minor be and hereby
is authorized to compromise and settle the claim of the said minor for the sum of dollars
($ );
IT IS FURTHER ORDERED, ADJUDGED AND DECREED that Petitioner be
and is hereby authorized to execute the Absolute Release with Covenants, attached to the petition
as Exhibit "A", fully and finally discharging and releasing , , together with all other
parties having any liability in the premises of all rights, claims and causes of action of which said
may have, or which said and may have arising either directly or indirectly
out of the injuries to said , against said and of any kind and character on
account of personal injuries and damages sustained by said minor as a result of said accident;IT IS FURTHER ORDERED, ADJUDGED AND DECREED that Petitioner be
and is hereby authorized to pay to attorney's fees in the amount of $ as set forth
hereinabove out of said settlement proceeds; IT IS FURTHER ORDERED, ADJUDGED AND DECREED that Petitioner,
?? be and hereby is authorized to be reimbursed for all expenses incurred on behalf of said minor
in the amount of $ as set forth in the Settlement Sheet (Exhibit "B"); IT IS FURTHER ORDERED, ADJUDGED AND DECREED that the remaining
settlement proceeds in the amount of $ be retained by Petitioner, , for the sole and
exclusive use of ;IT IS FURTHER ORDERED, ADJUDGED AND DECREED that the
requirement of security herein be and is hereby waived;SO ORDERED, ADJUDGED AND DECREED, this the day of ,
20 . _________________________________CHANCELLOR PRESENTED BY: ATTORNEY AT LAW