Daily Legal News - Personal Injury Notices
899945—Kathryn Labrosse vs. Matthew J. Polhe, et al.
Matthew J. Polhe, whose last known place of residence is 24565 Clareshire Dr., Apt. 204, North Olmsted, OH 44070, otherwise whose place of residence is unknown, will take notice that on June 25, 2018, the undersigned, Kathryn Labrosse, filed her complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about June 25, 2016, Defendant Polhe wrongfully forced his hand inside the front of the Plaintiff's shirt and bra, and began rubbing her bare breasts (the "Incident"); that as a result of Defendant Polhe's wrongful conduct, the Plaintiff's breast(s) was/were exposed to others; that Defendant Polhe repeated this conduct a second time on the same evening.
As a direct and proximate result of the Defendant Polhe's negligence, gross negligence, recklessness, and/or intentional conduct Plaintiff sustained bodily injuries and serious emotional distress for which she has continued to receive medical treatment. The Plaintiff has been permanently impaired by virtue of the Defendant's wrongful conduct.
As a further direct and proximate result of Defendants' negligence, gross negligence, recklessness, and/or intentional conduct the Plaintiff has incurred medical expenses for the treatment of her injuries.
The Defendant's conduct cause Plaintiff physical injuries.
As such, alternatively the Defendants' wrongful conduct was intentional, willful malicious and in reckless disregard for Plaintiff's legal rights. Thus, Plaintiff is also entitled to punitive damages.
Wherefore, Plaintiff, demands judgment against the Defendant Polhe for both compensatory and punitive damages in an amount in excess of $25,000.00 Further, Plaintiffs demand that they be awarded interest on their judgment at the maximum rate and extent permissible by law together with reasonable costs incurred herein.
The defendant named above is required to answer on or before the q7th day of January, 2019.
By Edward J. Stoll, Attorney for Plaintiff.