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HomeMy WebLinkAbout2023CV30276 - Higgins v. City of Fort Collins, et al. - 031 - Sunbelt Answer To Amended Complaint DISTRICT COURT, COUNTY OF LARIMER STATE OF COLORADO Court Address: 201 La Porte Avenue, #100 Fort Collins, CO 80521 COURT USE ONLY _______________________ Case No. 23CV30276 Ctrm./Div. 4C Plaintiff: CHRISTIAN HIGGINS Defendants: CITY OF FORT COLLINS, C&L WATER SOLUTIONS, INC., SUNBELT RENTALS, INC., KODIAK FIELD SERVICES, LLC, and BCH SERVICES, LLC ATTORNEYS FOR DEFENDANT SUNBELT RENTALS Jamey W. Jamison, #10953 Randee L. Stapp, #26202 Dino G. Moncecchi, #45429 Harris, Karstaedt, Jamison & Powers, P.C. 10333 E. Dry Creek Road, Suite 300 Englewood, Colorado 80112 Phone: 720-875-9140 Fax: 720-875-9141 E-mail: jjamison@hkjp.com rstapp@hkjp.com dmoncecchi@hkjp.com ANSWER AND JURY DEMAND OF THE DEFENDANT SUNBELT RENTALS, INC. TO PLAINTIFF’S FIRST AMENDED COMPLAINT COMES NOW the Defendant Sunbelt Rentals, Inc., appearing separate and apart from the other named Defendants herein, by and through their counsel, Harris, Karstaedt, Jamison & Powers, P.C., and for its Answer to Plaintiff’s First Amended Complaint (hereinafter “Complaint”) states and avers as follows: I. ANSWER TO PARTIES 1. This Defendant is without knowledge as to the truth of the allegations contained in paragraphs 1, 3 and 6 of Plaintiff’s Complaint, and therefore at this time denies same. 2. This Defendant admits the allegations contained in paragraphs 2, 4 and 5 of Plaintiff’s Complaint. DATE FILED: July 12, 2023 10:35 AM FILING ID: A29F2F7462501 CASE NUMBER: 2023CV30276 2 II. ANSWER TO JURISDICTION AND VENUE 3. This Defendant admits the allegations contained in paragraphs 7 and 8 of Plaintiff’s Complaint. 4. This Defendant is without knowledge as to the truth of the allegations contained in paragraph 9, 10, 11, and 29 of Plaintiff’s Complaint, and therefore at this time denies same. 5. Paragraphs 13, 22, 23, 26, 27, and 28 are legal conclusions to which no response is required; to the extent a response is deemed required, these paragraphs are denied. 6. This Defendant denies the allegations contained in paragraph 12, 14, 15, 16, 17, 18, 19, 20, 21, 24, and 30. 7. The allegations contained in paragraph 25 of Plaintiff’s Complaint do not appear to be directed toward this Defendant. However, to the extent that any of the allegations contained in paragraph 25 are directed toward this Defendant, they are denied. III. RESPONSE TO GENERAL ALLEGATIONS 8. This Defendant is without knowledge as to the truth of the allegations contained in paragraphs 31, 32, 33, 34, 35, 37, 38, 39, 40, 41 (a)(b)(c)(d)(e)(f), 43, 44, 45, 47, 50, 51, 52, of Plaintiff’s Complaint, and therefore at this time denies same. 9. This Defendant admits that C&L subcontracted with Sunbelt to assist with sewer remediation work as partially alleged in Paragraph 36. This Defendant, however, is without knowledge as to the truth of the balance of the allegations in Paragraph 36 and therefore denies same. 9. Paragraph 42 of Plaintiff’s Complaint are legal conclusions to which no response is required; to the extent a response to these paragraphs is deemed required, these paragraphs are denied. 10. This Defendant denies the allegations in paragraphs 46, 48, 49, 53, 54, 55, 56, 57, 58, 59, and 60 of Plaintiff’s Complaint. IV. ANSWER TO FIRST CLAIM FOR RELIEF (Premises Liability – as against the CITY) 11. This Defendant incorporates herein by reference its responses to paragraphs 1-60, in response to paragraph 61 of Plaintiff’s Complaint. 12. This Defendant admits the allegations contained in paragraph 62 of Plaintiff’s Complaint. 3 13. The allegations contained in paragraphs 63, 64, 65, 66, 67, 68, 69, 70, 71, 72, and 72 a, b, c, d, e, f, and g of Plaintiff’s Complaint do not appear to be directed toward this Defendant. However, to the extent that any of the allegations contained in paragraphs 63 through 72 are directed toward this Defendant, they are denied. V. ANSWER TO SECOND CLAIM FOR RELIEF (Premises Liability – as against C&L) 14. This Defendant incorporates herein by reference its responses to paragraphs 1 -72, in response to paragraph 73 of Plaintiff’s Complaint. 15. This Defendant admits the allegations contained in paragraph 74 of Plaintiff’s Complaint. 16. The allegations contained in paragraphs 75, 76, 77, 78, 79, 80, 81, 82, 83, and 83a, b, c, d, e, f, and g of Plaintiff’s Complaint do not appear to be directed toward this Defendant. However, to the extent that any of the allegations contained in paragraphs 75 through 83 are directed towards this Defendant, they are denied. VI. ANSWER TO THIRD CLAIM FOR RELIEF (Premises Liability – as against SUNBELT) 17. This Defendant incorporates herein by reference its responses to paragraphs 1 -83, in response to paragraph 84 of Plaintiff’s Complaint. 18. This Defendant admits the allegations contained in paragraph 85 of Plaintiff’s Complaint. 19. This Defendant denies the allegations contained in paragraphs 86, 89, 90, 91, 92, 93, 94, and 94 a, b, c, d, e, f, and g of Plaintiff’s Complaint. 20. The allegations contained in paragraphs 87 and 88 of Plaintiff’s Complaint are legal conclusions to which no response is required; to the extent a response to these paragraphs is deemed required, these paragraphs are denied. VII. ANSWER TO FOURTH CLAIM FOR RELIEF (Premises Liability – as against KODIAK 21. This Defendant incorporates herein by reference its responses to paragraphs 1 -94, in response to paragraph 95 of Plaintiff’s Complaint. 22. This Defendant admits the allegations contained in paragraph 96 of Plaintiff’s Complaint. 4 23. The allegations contained in paragraphs 97, 98, 99, 100, 101, 102, 103, 104, 105 and 105a, b, c, d, e, f, and g of Plaintiff’s Complaint do not appear to be directed toward this Defendant. However, to the extent that any of the allegations contained in paragraphs 97 through 105 are directed toward this Defendant, they are denied. VIII. ANSWER TO FIFTH CLAIM FOR RELIEF (Premises Liability – as against BCH) 24. This Defendant incorporates herein by reference its responses to paragraphs 1- 105, in response to paragraph 106 of Plaintiff’s Complaint. 25. This Defendant admits the allegations contained in paragraph 107 of Plaintiff’s Complaint. 26. The allegations contained in paragraphs 108, 109, 110, 111, 112, 113, 114, 115, 116 and 116a, b, c, d, e, f, and g of Plaintiff’s Complaint do not appear to be directed toward this Defendant. However, to the extent that any of the allegations contained in paragraphs 108 through 116 are directed toward this Defendant, they are denied. IX. ANSWER TO SIXTH CLAIM FOR RELIEF (Negligence – as against all Defendants) 27. This Defendant incorporates herein by reference its responses to paragraphs 1- 116, in response to paragraph 117 of Plaintiff’s Complaint. 28. This Defendant admits that it has a duty to exercise reasonable care to protect against dangers on its property for which it knew of as partially alleged in paragraph 118 of Plaintiff’s Complaint. This Defendant denies the balance of the allegations contained in paragraph 118 of Plaintiff’s Complaint. 29. This Defendant denies the allegations contained in paragraphs 119, 120, 122, 123, 124 and 124a, b, c, d, e, f, and g of Plaintiff’s Complaint. 30. This Defendant is without knowledge as to the truth of the allegations contained in paragraph 121 of Plaintiff’s Complaint, and therefore at this time denies same. V. ANSWER TO PRAYER FOR RELIEF 31. This Defendant denies the requests in the WHEREFORE Clause of Plaintiff’s Complaint. AFFIRMATIVE DEFENSES 1. The Defendant denies each and every allegation not specifically admitted herein. 5 2. Plaintiff’s Complaint fails to state a claim or cause of action against this Defendant. 3. Plaintiff’s claims and alleged damages, if any, are barred or limited by her comparative fault such that her negligence reduces or bars her recovery from this Defendant. 4. Plaintiff’s alleged damages, if any, are barred or limited by Plaintiff’s failure to mitigate her damages. 5. Plaintiff’s alleged damages, if any, may be the result of pre-existing conditions. 6. This Defendant’s fault, if any, is limited by its proportionate share of fault. 7. The injuries, damages and losses, if any, sustained by the Plaintiff may have been caused by the acts, omissions, and/or fault of third parties over whom this Defendant had no control or right of control. 8. Plaintiff’s claims are barred by her assumption of risk on October 8, 2021, the date of her alleged accident. 9. This Defendant reserves the right to assert additional affirmative defenses as appropriate pending discovery action and to withdraw affirmative defenses that cannot be supported after appropriate discovery is performed. WHEREFORE, this Defendant prays that this Court enters an order dismissing Plaintiff’s Complaint with prejudice and award this Defendant its costs, witness fees, attorneys’ fees, and such other and further relief as the court deems just and appropriate. DEFENDANT REQUESTS A TRIAL TO A JURY OF SIX (6) ON ALL ISSUES. Respectfully submitted this 12th day of July, 2023. Defendant Sunbelt Original signature on file at office of Rentals Address: Harris, Karstaedt, Jamison & Powers, P.C. 285 County Road 27 Brighton, CO 80603 /s/ Randee L. Stapp ____________________________________ Jamey W. Jamison, No. 10953 Randee L. Stapp, No. 26202 Dino G. Moncecchi, No. 45429 ATTORNEYS FOR SUNBELT RENTALS, INC. 6 CERTIFICATE OF SERVICE I certify that on this 12th day of July, 2023, a true and correct copy of the foregoing ANSWER AND JURY DEMAND OF THE DEFENDANT SUNBELT RENTALS, INC. TO PLAINTIFF’S FIRST AMENDED COMPLAINT was electronically filed via Colorado Courts E-filing addressed to the following: Karl W. Hager, Esq. VanMeveren Law Group, P.C. 123 N. College Avenue, Suite 112 Fort Collins, CO 80524 Attorneys for Plaintiff Andrew W. Callahan, Esq. Cassie L. Williams, Esq. Wick & Trautwein, LLC 323 South College Ave., Suite 3 Fort Collins, CO 80522 Attorneys for City of Fort Collins Arthur J. Kutzer, Esq. SGR, LLC 3900 East Mexico Ave., Suite 700 Denver, CO 80210 Attorneys for BCH Services, LLC Scott A. Neckers, #43956 Sean T. Conrecode, #52864 Overturf McGath & Hull, P.C. 625 E. 16th Ave., Suite 100 Denver, CO 80203 Attorneys for Kodiak Field Services, LLC Jason H. Klein, Esq. Tamara C. Jordan, Esq. Susan E. Malcom, Esq. Wood, Smith, Henning & Berman LLP 1805 Shea Center Drive, Suite 200 Highlands Ranch, CO 80129 Attorneys for C&L Water Solutions, Inc. Original signature on file at office of Harris, Karstaedt, Jamison & Powers, P.C. /s/ C. Kentner