HomeMy WebLinkAboutMINUTES - 12061983 - 1.17 117
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CLAIM _ Nov 3 1983
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Dom OF SUPERVI90RS OF CMIM COMA C .W1 c1, MC -Ed ' ON
December 6 , 1983
Claim Against the County, ) 1VM TO CLAnom
Flouting Ehdorse nents, and ) 'hie copy of this document mai to you is your
Board Action. (All Section ) notice of the action taken on your claim by the
references are to California ) Board of Supervisors (Paragraph III, below) ,
Government Code.) ) given pursuant to government Code Sections 913
i 915.4. Please rote the "Furring" below.
Claimant: John W. Andress
Attorney: Hary Marsh Linde
• Attorney at Law _
Address: 600 Sierra Manor Drive
Reno, Nevada 89511
Amount: . Unspecifed fan Deliv
��YY cTeliv�eryLerk on
Date'Received: 11-3 r8 3 By mail, postmarked on
I. FI : Clerk) of the Board of Supervisors 70: County Counsel
Attached is a copy of the above-noted Claim�� /1
DATED: 11/3/83 J.R. MZSON, Clerk, By , )e11111,1XX1 , Deputy
KeIIy R. Calhoun
Ii. F72: County Cb 70: Clerk of the Board of Supervisors
(Check one only)
( ) This Claim lies substantially with Sections 910 and 910.2.
( ) This Claim FAILS to oo---ly substantially with Sections 910 and 910.2, and we
are so notifying claimant. The Board cannot act for 15 days (Section 910.8) .
( ) Claim is not timely filed. Board should reject claim on ground that it was
filed late. (5911.2)
DATED: /[._ '� JOHN B. MAU=, County Counsel, By . Deputy
' I
II BOAFO UMER By unanimous vote of 51�'sors present
( This claim is rejected in full.
( ) This claim is rejected in full because it was riot presented within the time
allowed by law.
I certify that this is a true and correct copy of the Board's Order entered
in its minutes for this date.
nAz�D: DEC 61983 qty
J.R. O1►S90N, Clerk, by
WhYNI G (Oov't. C. 5913) ;k
Subject to certain exceptions, you have only six (6) months frm
the date this notioe was persoF,ally delivered or deposited in the mail to
file-& court action on this claim. See Government Code Section 945.6.
You may week the advice of any attorney of your choice in oonz:ection
with this matter. If you mint to consult an attorney, you mould do so
irmmedi.ately. ..
FKX: o County , County strator
Attached are copies of the above Claim. We notified the claimant of the
Board's action on this Claim by mailing a copy of this domvent, and a 036
memo thereof has been filed and endorsed on the Ward Ia copy of this
Claim in aopordance with Section 29703.
DAM: DEC s 1983
J. R. CUOMO t:Lerfc, by Deputy
• I
(Qty Aatifi -fincL
600 Sierra Manor Drive c4ttotnF-Y at -fau-7 Licensed in
Reno, Nevada 89511 California
702-851-3050 and Nevada
HAND DELIVERED
Z
October 28, 1983 A
J.
CLE-i-li" [0611K, On a)FD,V;S0R3
CO.
Board f Supervisors B -- ---------- . . ........
Co:�tyTof Contra Costa 4Z
Martinez, CA
�e: JOHN W. ANDRESS: . Collision with Utility
Pole on Treat Blvd. near Kingswood Drive
in City of Concord, County of Contra Costa
Dear Board of Supervisors,
This letter is intended to comply with the notice of
claim requirements of Government Code Section 905 et
sequitur.
Mr. Andress was seriously injured in a collision be-
tween the automobile he was driving and a utility pole
i-mmedialtely at the curb of Treat Boulevard in the
curve of that artery approximately one-half block
southwest of the intersection with Treat Boulevard of
Kingswood Drive. This accident occurred in the early
morning
hours of July 31, 1983 .
g
Mr. Andress claims that the subject portion of Treat
Boulevard, a county thoroughfare, is a dangerous
condition on public property in part due to the unsafe
position of the telephone/electric utility pole at
the curb of this roadway.
It is Mr. Andress' information and belief that the
subject� portion of this county road has been the site
of at least east two fatal accidents and a number of other
accidents involving serious injuries, as property
owners in the vicinity of this utility pole relate.
The factf these injuries is known to police officers
in the ' o
mploy of Contra Costa County responding to
these numerous accidents, to public works workers
assigned to repair this area after accidents and
similar sources. One such accident occurred approxi-
mately one year before the injuries to Mr. Andress,
providing sufficient time for action by Contra Costa
County I o cure this unsafe condition.
037
Contr Costa County
Board!of Supervisors
Notice of Claim
JOHN W. ANDRESS; 7/3/83
October 28 , 1983
Page Two
Please take notice that Mr. Andress asserts a right to
recover for his personal injuries and for related
general and special damages proximately caused by
the subject accident, which he claims was proximately
caused by the said unsafe condition on Treat Boulevard.
His claim will be in an amount as yet not ascertained.
Please direct your response to this notice of claim for
damages for personal injury and related damages to the
undersigned at the address appearing on the first page
hereof.
V truly, urs,
C
MARY i SH LINDE
Attorney for JOHN W. ANDRESS
MMM: st
cc: Mr John W. Andress
t : 038
117
CLAIM
BOARD OF StrnEFtyISORs OF o0tMA OMMA MUNW, cAIMVNIA BOARD ACTION
December 6, 1983
Claim Against the county, ) "WE TO CLAMW
Routing Endorsemen , and ) 7he copy of this document mailed to you is your
Board Action. (AlllSection ) notice of the action taken on your claim by the
references are to California ) Board of Supervisors (Paragraph III, below) ,
Government Code.) ) given pursuant to Government Code Sections 913
6 915.4. Please note the "Warning" below.
Claimant: Carl Lynn O'Donnell, C-37154, P .O. Box 705 SB-348 Soledad, CA
93960
Attorney:
Address:
Amount: $400. 00
By delivery to Clerk on
Date'Reoeived: November 4, 1983 By mail, postmarked on 1 I /1 /S I
I. FRAM: Cl k of the Board of Supervisors 70: County Counsel
Attached is a copy of the above-noted Claim.
DATED: 11/4/83 J.R. OQSSM, Clerk, By rl , Deputy
Kel R. Calhoun
II. FROM: County Counse TO: Clerk of the Board of Supervisors
(Check one only)
( ) This Claim ocirplies substantially with Sections 910 and 910.2.
( ) This Claim FAILS to omply substantially with Sections 910 and 910.2, and we
are so notifying claimant. The Board cannot act for 15 days (section 910.6) .
(x) Claim is not timely filed. Board should reject claim on ground that it was
filed late. (§911.2)
DIA'I'ID: JOw Be CZAUSEN, County CotaLsel, By • Deputy
III. BOARD By unanimous vote of Supervisors present
( ) This is rejected in full.
( This claim is rejected in full because it was not presented within the time
allowed by law.
I certify that this is a true and correct copy of the Board's Order entered
in its minutes for this date.
DAM: DEC 6 1983 J.R. aQssoN, clerk, by , Deputy
MNFC% 4G (Gov't. C. 6913)
SubjL to certain you have only six (6) months from
the date this rrotioe was personally delivered or deposited in the mail to
file'a court action an this claim. See Gwerrment Code Section 945.6.
You any eeek the advice of any attorney of your choice in n
with this matter. If you want to consult an attorney, you should do so
3mnediatelyl
IV. FJM: Clark of theBoard TO: County Counsel, 2 County Acorn nistrator
Attached copies of the above Claim. We notified the claimant of the
Board's action on this Claim by mailing a copy of this docunent, and a 039
mam thereof has been filed and endorsed car the Board's copy of this
Claim in --dance with Section 29703.
DATED: DEC D J. R. CLSSON, clerk, bV
1
CLAIM TO: BOARD OF SUPERVISORS OF CONTRA CO§*nc4fyapplication to:
Instructions to ClaimantC?erk of the Board '4
P.0.Box 911
Martinez,California 94553
A. Claims relating to causes of action for death or for injury to
person or to ersonal property or growing crops must be presented
not later than the 100th day after the accrual of the cause of
action. Claims relating to any other cause of action must be
presented not later than one year after the accrual of the cause
of action. Sec. 911. 2, Govt. Code)
B. Claims must be filed with the Clerk of the Board of ,Supervisors
at its office in Room 106, County Administration Building, 651 Pine
Street, Martinez, California 94553.
C. If claim is against a district governed by the Board of Supervisors,
rather than the County, the name of the District should be filled in.
D. If the claim� is against more than one public entity, separate claims
must be filed against each public entity. .
E. Fraud. See penalty for fraudulent claims, Penal Code Sec. 72 at end
o this form.
RE: Claim by ) Reserved for Clerk' s filing stamps
FILED
Against the COUNTY OF CONTRA COSTA) -'�� 4 1983
or DISTRICT) K AR FSSOUPERVISORS
(Fill- in name ) ON SA c .
Bputy
The undersigned claimant hereby makes claim against the County of Contra
Costa or the above-named District in the sum of
and in support Iof this claim represents as follows:
-------------- -------------------------------------=-------------------
1. When did tie damage or injury occur? (Give exact date and hour)
2. Where did the damage or injury occur? (Include city and county] -
<-A7 v1%v
3. How did the damage or injury occur? (Give full-details, use extra
sheets if required)- ,�,_
------------- ----------------------------------------------------------
4. What particular act or omission on the part of county or district
officers , servants or employees caused the injury or damage?
!S3rcisz!�Iln
(over)
f
5. What are the names of county or district officers, servants or
employees causing the damage or injury?
-------------------:--r--:--------------------------- --------------------
6. What damage or injuries do you claim resulted? Give full extent
of injuries or damages claimed. Attach two estimates for auto
damage) Oce
7
---------------------------------------- ---- -- ---------------------
---
. How was the amount claimed above computed? �Include the estimated
amount of any
�prospective
t� injury or damage. )
-------------
k\71:7
------------
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9. List the expenditures you made on account of this-accident or-injury:
DATE ITEM AMOUNT
el-PeII``:I�.\`Ct.`:� (_i.A���� c�� `�fS'C 2.\1� T�.�..�'�C C'_:^\�: `R.:.c1C-Try ('�,,., �..��'•Is�C \�C � � V4 uF`.Z
lllG�'QEc f'J �'- 1-, L`O�-\'n E R>t C fit•\ :.c Ce.�.,\^c.a1 �ver.c�i\cc\\�L �
Govt. Code Sec. 910.2 provides :
"The claim signed by the claimant
SEND NOTICES TO: (Attorney) or by someersryro�n on his behalf. "
Name and Address of Attorney-NP �_c�.�C'G,.C ��
Claimant' s Signature
-&K -zw Address
Telephone No. N/d Telephone No. A11W
NOTICE
Section 72 of the Penal Code provides:
"Every person who, with intent to defraud, presents for allowance or
for payment to any state board or officer, or to any county, town, city
district, ward or village board or officer, authorized to allow or pay
the same if genuine, any false or fraudulent claim, bill, account, voucher,
or writing, is guilty of a felony. "
041
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//7
• CLAIM
BOARD OF SUPERVIS M OF CM?M COSTA CUT-11M, CALMRNIA BOARD ACTION
Claim Against the 0 mtyp ) RME TO CLAII,iW December 6, 1983
Routing Endorsement;, and ) The copy of this docenent mailed to you is your
Board Action. (Alli Section notice of the action taken on your claim by the
references are to 004fornia ) Boated of Supervisors (Paragraph III, below),
Government Code.) ) given pursuant to QovWrment Oode Sections 913
i 915.4. please note the "Warning" below.
Claimant: Fannie Jackson
Attorney: Gary P Snyder, E s q
Kully Snyder -
Address: P .O . B x 1111
Martin�z , CA 94553
Amount: $500, 0 0. 00
By delivery to Clerk on
Date'Received. November 4, 1983 By mail, postmarked on 11 3 8 3
I. FRCM: Clerk of the Board of Supervisors TO: County Counsel
Attached is a copy of the above-noted Claim.
LATED: 11/4/8 3 J.R. OLSS�T, Clerk, By , Deputy
Kell R. Calhoun
II. FROM: OoLm Counsel T0: Clerk of the Board of Supervisors
(Check one only)
( This Claim complies substantially with Sections 910 and 910.2.
( ) This Claim FAILS to oanply substantially with Sections 910 and 910.2, and we
are so inti ing claimant. The Board cannot act for 15 days (Section 910.8) .
( ) Claim i4mER#=
timely filed. Board should reject claim on ground that it was
filed (5911.2)
DATED: JOHN B. CLAIM, County Counsel, By • Deputy
III. By wwamous vote of Supervisors present
( This claim is rejected in full.
( ) This claim his rejected in full because it was not presented within the time
allowed by law.
I certify t this is a true and correct copy f the Board's Order entered
in its for this date.
LATER: DEC 6198 J.R. OQMMl Clerk, by
MUM= Obv't. C. 5913)
Subject to certain you have catty six (6) months from
the date this notice was personally delivered or deposited in the mail to
file's court .action an this claim. See Qovernnent Code Section 945.6.
You may seek the advice of any attorney of your choice in win-ection
with this matter. If you want to consult an attorney, you should do so
3iaaedi.ately.
IV. Clark 6f the Board 15: (1) MEt—y Counsel, County XNMiUaitor
Attached are copies of the above Claim. We notified the claimant of the
Board's actsoar this Claim by mailing a copy of this document, and a
mono thereof has been filed and endorsed on the Ward's copy of this 045
Claim innoe with Section 29703.
DEC
DAM: _ J. R. CLSSON, C =k, by Deputy
LAW OFFICES
KULLY &SNYDER
A PROFESSIONAL CORPORATION
900 THOMPSON STREET• P.O. BOX 1111
MARTINEZ, CALIFORNIA 94553
LEONARD A. KULLY TELEPHONE
GARY P. SNYDER
1615 NORTH BROADWAY (415) 228-2300
WALNUT CREEK,CALIFORNIA 94596
(415) 938.2300
PLEASE REPLY TO:
Martinez
November 3 , 1983
F L E- D
Clerk NOV 1,/ 1983
Contra Costa (County
651 Pine Street UJ. R. OF SUP
�RK OF ARD SUPERVISORS
Martinez, CA 94553 c r . 0,
r
Gentlemen:
On behalf of Fannie Jackson, wife of James Jackson, deceased,
we hereby ad ise you of the following claim, with the request that
it be placed in line for consideration.
a) Clamant: Fannie Jackson, 396 W. First St. , Pittsburg, CA
b) Notices should be sent as fcilows : Gary P. Snyder, Esq.
Kully & Snyder
P.O. Box 1111
Martinez, CA 94553
c) Date, place and circumstance of occurrence : Deceased James
Jackson was admitted at Contra Costa County Hospital in Martinez,
California, on or about August 3, 1983, suffering from an infection
which developed from a stab wound while Jackson was being treated at
Los Medanos Iospital. Because of negligence on the part of physicians
treating the deceased, James Jackson died in the course of surgery
being performed. The negligence of the treating physicians at Contra
Costa County Hospital was a proximate cause of the death of claimant's
husband.
d) Damages : Wrongful death of James Jackson on August 3 , 1983.
e) Pers ns responsible : All physicians who were responsible for
insuring tha proper medical procedures were carried out, whose names
are not now nown to claimant.
f) Amou t of claim: $500,000, 00
KULLY & SNYDER
rofessional Corporation
i
GARY P. SNYDER,
Attorneys and Authorized
Representatives for Claimant
Fannie Jackson ® c
GPS:km U