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CURT MARCEILLE, )
)
Plaintiff, ) CIVIL ACTION
v. )
) NO. __________
KENNETH GALVIN, )
)
Defendant. )
ANSWER TO COMPLAINT
Comes now the Defendant, KENNETH GALVIN, in answer to the action from Plaintiff
for relief:
3. Paragraph four states Plaintiff operated a vehicle headed east on Washington Street at
6. In answer to paragraph 7, the Defendant admits he had a duty to exercise care while
7. Defendant does not admit to the breaches alleged in paragraph 8. Defendant denies
his actions were the cause of the collision and resulting damage to the Plaintiff’s
vehicle.
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8. Defendant has no knowledge of the Plaintiff’s damages.
9. The Defendant admits this court has jurisdiction over the parties due to diversity of
citizenship.
10. In answer to paragraph 10, the Defendant lacks sufficient knowledge to either admit
By: _________________________
SARAH SEALY
Attorney Code: 5678
123 Assistance Way
Chicago, IL 60604
(312) 123-4567
Answer
CERTIFICATE OF SERVICE
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On January 14th, 2009, I, Curt Marceille, by and through my attorney, served the
foregoing Answer to the Complaint at Law for the action of Negligence on the Plaintiff’s
attorney of record in this action:
Earl E. Riser
Attorney for Plaintiff
Attorney Code: 1234
1620 S. Michigan Ave.
Chicago, IL 60616
(312) 566-0678
by placing a true copy enclosed in an envelope for mailing to the above address on the date
shown above to be deposited with the United States Postal Service that same day in the ordinary
course of business.
I declare under penalty of perjury under the laws of the United States of America that the
above is true and correct.
SARAH SEALY
Attorney Code: 5678
123 Assistance Way
Chicago, IL 60604
(312) 123-4567
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