Daily Legal News - Common Pleas Notices

  • LEGAL NOTICE

    916027—Concepts Collective LLC vs. Prete Beauty, Inc., et al.

    Prete Beauty, Inc., whose last known address is 5670 Wilshire BL 1, Los Angeles, CA 90036, otherwise whose address is unknown; Nina Ojeda, whose last known address is 5670 Wilshire BL 1, Los Angeles, CA 90036, otherwise whose address is unknown, will take notice that on September 3, 2019, the undersigned, Concepts Collective LLC, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about August 5, 2016, Plaintiff and Defendant Prete entered into a Development Partnership Agreement; that pursuant to the Agreement, Defendant Prete hired Plaintiff to assist with product development; that the parties reached an agreement on fee terms; that Plaintiff began work on Defendant Prete's product development under the terms of the Agreement; that Plaintiff followed up with Defendants on January 30, 2017 and April 4, 2017, and multiple times thereafter; that Defendants never paid for the work that was performed by Plaintiff after being agreed upon by Plaintiff fully complied with all of its obligations pursuant to the terms of the Loan Agreement; that Plaintiff made a lawful demand upon Defendants for services rendered in accordance with the Agreement; that Defendants refused and continue to refuse to pay Plaintiff for the work Plaintiff performed under the terms of the Agreement.

    Wherefore, Plaintiff demands judgment for:

    i. Actual damages in an amount in excess of $25,000.00, which damages continue to accrue;

    ii. Incidental damages in an sum not to exceed the jurisdictional limits of this Honorable Court;

    iii. Consequential damages in a sum not to exceed the jurisdictional limits of this Honorable Court;

    iv. Damages for pain and suffering in a sum not to exceed the jurisdictional limits of this Honorable Court.

    v. Punitive damages in a sum not to exceed the jurisdictional limits of this Honorable Court;

    vi. Interest at the highest rate allowed by Ohio law;

    vii. Attorney's fees in a sum not to exceed the jurisdictional limits of this Honorable Court;

    viii. Court Costs;

    ix. Any such relief that this Honorable Court finds just, fair, and or equitable;

    x. Any other relief available to Plaintiff under Ohio law.

    The defendants named above are required to answer on or before the 9th day of June, 2021.

    Concepts Collective LLC.

    By Bradley Hull IV, Esq., Attorney for Plaintiff.

    Apr7-14-21-28May5-12, 2021

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