This case was last updated from San Mateo County Superior Courts on 07/19/2018 at 18:26:21 (UTC).

EDWARD MITCHELL VS DOROTHY CAMPBELL

Case Summary

On 06/13/2012 EDWARD MITCHELL filed a Personal Injury - Motor Vehicle lawsuit against DOROTHY CAMPBELL. This case was filed in San Mateo County Superior Courts, Southern Branch Hall Of Justice And Records located in San Mateo, California. The Judge overseeing this case is Foiles, Robert D. The case status is Disposed - Dismissed.

Case Details Parties Documents Dockets

 

Case Details

  • Case Number:

    *****4589

  • Filing Date:

    06/13/2012

  • Case Status:

    Disposed - Dismissed

  • Case Type:

    Personal Injury - Motor Vehicle

  • Court:

    San Mateo County Superior Courts

  • Courthouse:

    Southern Branch Hall Of Justice And Records

  • County, State:

    San Mateo, California

Judge Details

Judge

Foiles, Robert D

 

Party Details

Plaintiffs

EDWARD MITCHELL

MITCHELL, EDWARD

Defendants

DOROTHY CAMPBELL

CAMPBELL, DOROTHY

Attorney/Law Firm Details

Plaintiff Attorney

FEDER, JOHN M.

Defendant Attorney

DANFORTH, LEE J.

 

Court Documents

Request for Dismissal of - WITH prejudice in its entirety.

DISMISSAL Comment REQDEA: REQUEST FOR DISMISSAL OF ENTIRE ACTION WITH PREJUDICE FILED AND ENTERED.

Conversion Action.

NOTICE (2) Comment NS2: NOTICE OF SETTLEMENT FILED BY EDWARD MITCHELL.

Stipulation and Order to ADR.

ORDER Comment SOADR: STIP AND ORDER TO ADR SIGNED BY STEVEN L. DYLINA ON 12/05/12

Conversion Action.

NOTICE Comment PNTWO: PRINT COMBINED MANDATORY SETTLEMENT CONFERENCE AND JURY TRIAL OR COURT TRIAL NOTICE

Conversion Hearing.

CMC NOTICE Judicial Officer Foiles Robert D Comment CASE MANAGEMENT CONFERENCE

Case Management Statement.

STATEMENT (2) Comment CMS: CASE MANAGEMENT STATEMENT FILED BY DOROTHY CAMPBELL.

Case Management Statement.

STATEMENT Comment CMS: CASE MANAGEMENT STATEMENT FILED BY EDWARD MITCHELL.

Answer / Response / Denial - Unlimited.

ANSWER Comment ANS: (S) ANSWER TO COMPLAINT OF MITCHELL FILED BY DOROTHY CAMPBELL REPRESENTED BY LEE J. DANFORTH

Proof of Service of Complaint/Petition.

PROOF OF SERVICE Comment PS: PROOF OF SERVICE (PERSONAL) OF SUMMONS AND COMPLAINT OF MITCHELL SERVED ON DOROTHY CAMPBELL WITH SERVICE DATE OF 06/26/12.

Summons Issued / Filed.

SUMMONS Comment S30IF: 30 DAY SUMMONS ISSUED AND FILED.

Civil Case Cover Sheet.

COVERSHEET Comment CCS: CIVIL CASE COVERSHEET RECEIVED

Complaint.

COMPLAINT Comment COM: (S) COMPLAINT FILED

 

Docket Entries

  • 03/19/2013
  • Disposition: Judgment; Judgment Type; Dismissal - Other Dismissal; Party; Name: CAMPBELL DOROTHY; Comment: 0001 COMPLAINT; Party; Name: MITCHELL, EDWARD; Comment: 0001 COMPLAINT.

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  • 05/28/2013
  • Conversion Hearing. Additional Info: Comment JURY TRIAL. TIME ESTIMATE: 5 DAYS 00:00 HOURS.

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  • 05/28/2013
  • Jury Trial. Additional Info: Hearing Time 9:00 AM Cancel Reason Vacated Comment Dept: PJ JURY TRIAL. TIME ESTIMATE: 5 DAYS 00:00 HOURS.

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  • 05/10/2013
  • Conversion Hearing. Additional Info: Comment MANDATORY SETTLEMENT CONFERENCE

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  • 05/10/2013
  • Settlement Conference. Additional Info: Hearing Time 01:30 PM Cancel Reason Vacated Comment Dept: 7 MANDATORY SETTLEMENT CONFERENCE

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  • 03/19/2013
  • View Court Documents
  • Request for Dismissal of - WITH prejudice in its entirety. Additional Info: DISMISSAL Comment REQDEA: REQUEST FOR DISMISSAL OF ENTIRE ACTION WITH PREJUDICE FILED AND ENTERED.

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  • 03/01/2013
  • View Court Documents
  • Conversion Action. Additional Info: NOTICE (2) Comment NS2: NOTICE OF SETTLEMENT FILED BY EDWARD MITCHELL.

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  • 02/20/2013
  • Conversion Action. Additional Info: Comment ADRMEO: MEDIATION WITH CHARLIE HAWKINS.

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  • 12/06/2012
  • View Court Documents
  • Stipulation and Order to ADR. Additional Info: ORDER Comment SOADR: STIP AND ORDER TO ADR SIGNED BY STEVEN L. DYLINA ON 12/05/12

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  • 12/05/2012
  • Conversion Action. Additional Info: Comment COMM: STIP & ORDER TO ADR RECEIVED AND SENT TO DEPT 7.

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31 More Docket Entries
  • 10/30/2012
  • Financial info for CAMPBELL, DOROTHY : Case Payment Receipt # 201210300629 CAMPBELL, DOROTHY $150.00

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  • 10/30/2012
  • Financial info for CAMPBELL, DOROTHY : Transaction Assessment $150.00

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  • 07/26/2012
  • Financial info for CAMPBELL, DOROTHY : Case Payment Receipt # 201207260426 CAMPBELL, DOROTHY $435.00

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  • 07/26/2012
  • Financial info for CAMPBELL, DOROTHY : Transaction Assessment $435.00

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  • 07/26/2012
  • Financial: CAMPBELL, DOROTHY; Total Financial Assessment $585.00; Total Payments and Credits $585.00

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  • 10/24/2012
  • Financial info for MITCHELL, EDWARD : Case Payment Receipt # 201210240017 MITCHELL, EDWARD $150.00

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  • 10/24/2012
  • Financial info for MITCHELL, EDWARD : Transaction Assessment $150.00

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  • 06/25/2012
  • Financial info for MITCHELL, EDWARD : Case Payment Receipt # 201206250649 MITCHELL, EDWARD $395.00

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  • 06/25/2012
  • Financial info for MITCHELL, EDWARD : Transaction Assessment $395.00

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  • 06/25/2012
  • Financial: MITCHELL, EDWARD; Total Financial Assessment $545.00; Total Payments and Credits $545.00

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Complaint Information

JOHN M. FEDER, ESQ. (SBN 83391)

ROUDA, FEDER, TIETJEN & McGUINN 7

44 Montgomery Street, Suite 4000 gflg&%@ San Francisco, California 94104

Telephone: 415-398-5398

Facsimile: 415-398-8169 JUN 1.3 2012

Attorneys for Plaintiff

SUPERICR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF SAN MATEO (UNLIMITED JURISDICTION)

EDWARD MITCHELL, ) CASENO, Giv 514589 Plaintiff, ) COMPLAINT FOR DAMAGES ) vs. ) ) (Personal Injury-Vehicle Related) DOROTHY CAMPBELL, and ) - DOES 1-25, inclusive, ) Jury Trial Demanded

FIRST CAUSE OF ACTION

Negligence 1. Plaintiff is unaware of the true names and capacities of those defendants

sued herein as DOES 1 through 10, inclusive, and therefore sues said defendants by such fictitious names. Plaintiff will amend this Complaint to allege the true names and capacities of said defendants, when the same have been ascertained, together with such other charging allegations as may be abpropriate. Plaintiff is informed and believes and accordingly alleges that each of such fictitiously-named defendants is legally responsible

in some manner for the occurrence, injuries, and damages hereinafter alleged.

in some manner for the occurrence, injuries, and damages hereinafter alleged. 2. At all times herein mentioned, defendants DOROTHY CAMPBELL and Does 1 through 25, inclusive, and each of them, were and are the owners of a 1997 Infiniti 130, California License Platé No. 3UCZ337.

2. At all times herein mentioned, defendants DOROTHY CAMPBELL and Does 1 through 25, inclusive, and each of them, were and are the owners of a 1997 Infiniti 130, California License Platé No. 3UCZ337.

3. On or about June 28, 2010, at approximately 3:20 pm defendant DOROTHY CAMPBELL, and DOES 1 through 25, were driving and operating the aforementioned 1997 Inifiniti 130; California License Plate No. 3UCZ337 southbound on St. James Road.

4: On or about June 28, 2010, at approximately 3:20 p.m., plaintiff EDWARD MITCHELL was riding his bicycle northbound on St. James Road in Belmont, California, when he was struck by the 1997 Inifinti 130 vehicle heading southbound on St. James Road, operated by defendant DOROTHY CAMPBELL, and DOES 1 through 25. At said time and place, defendant, DOROTHY CAMPBELL, and DOES 1-25, attempted to turn left onto Heritage Court and struck plaintiff, causing plaintiff to sustain severe injuries. Defendants, and each of them, so negligentiy and carelessly drove, owned, entrusted, maintained, and operated the aforementioned vehicle so as to proximately cause the collision with plaintiff EDWARD MITCHELL, and causing him severe injuries.

5. Plaintiff is informed and believes that defendant DOROTHY CAMPBELL, and DOES 1-25 were negligently inattentive while driving the 1997 Infiniti 130 vehicle by failing to pay attention to the traffic conditions, bicyclists and her surroundings immediately prior to impact, and made an unsafe left turn directly in front of EDWARD MITCHELL, a violation of Vehicle Code section 22107. Moreover, defendant DOROTHY CAMPBELL, and DOES 1-25proper care while operating the vehicle, and violated Mr. Mitchell’s right of way.

6. Venue is proper in the County of San Mateo because the defendant resides

in Belmont, California.

in Belmont, California. 7. As a proximate result of the carelessness and negligence of defendants, and each of them, plaintiff EDWARD MITCHELL sustained severe injuries, all of which have caused and continue to cause plaintiff extreme physical and mental pain and shffering, all to plaintiffs general damages in an amount exceeding the jurisdictional minimum of this Court.

7. As a proximate result of the carelessness and negligence of defendants, and each of them, plaintiff EDWARD MITCHELL sustained severe injuries, all of which have caused and continue to cause plaintiff extreme physical and mental pain and shffering, all to plaintiffs general damages in an amount exceeding the jurisdictional minimum of this Court.

8. As a further proximate result of the carelessness and negligence of defendants, and each of them, plaintiff has incurred and continues to incur medical and other incidental expenses for the treatment of the personal injuries alleged hereinabove, to plaintiffs damages in an amount to be determined according to proof.

9. As a further proximate result of the carelessness and negligence of defendants, and each of them, plaintiff EDWARD MITCHELL has sustained a loss of earnings and earning capacity, to his damage in an amount to be determined according to proof.

10. As a further direct and proximate result of the carelessness, negligent and unlawful conduct of defendants, and each of them, plaintiff has sustained property damage to his bicycle in an amount to be determined according to proof.

WHEREFORE, plaintiff prays judgment against defendants, and each of them, as

follows: 1. For general damages-according to proof; | 2. For medical and related expen‘ses according to proof; 3. For loss of earnings and earning capacity; 4, For property damages and other economic losses according to proof; d. For prejudgment interest:; 6. For costs of suit herein incurred; and

follows: 1. For general damages-according to proof; | 2. For medical and related expen‘ses according to proof; 3. For loss of earnings and earning capacity; 4, For property damages and other economic losses according to proof; d. For prejudgment interest:; 6. For costs of suit herein incurred; and 2| DATED: 3

2| DATED: 3