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HomeMy WebLinkAbout18- Notice of Claims - Beck, Amsden & Stalpes, PLLC - Muniz Personal Injury ■ ■W586-8960 Beck,Amsden and Stalpes 09:09:53 a.m. 08-16-2018 1 /2 ■ ■f BECK, AMSDEN & STALPES, PLLC Attorneys at Law Attorneys: 1946 Stadium Drive,Suite 1 Of Counsel: Monte D.Beck Bozeman,MT 59715 Michael G.Black John L.Amsden Tel:(406)5B6-B700 Justin P.Stalpes Fax:(406)586-8960 Paralegals- Lindsay C.Beck E-mail:info@becklawyers.com Natalie F.Phillips Anthony F.Jackson David W.McGoldrick Reid M.Beck August 14, 2018 VIA FIRST CLASS U.S. MAIL AND FACSIMILE TO: 406-582-2344 Bozeman City Clerk 121 N. Rouse Avenue Bozeman, MT 59715 Re: Pre-Suit Notice of Claims Dear Clerk: Pursuant to Montana Code Annotated § 2-9-301 (2017), kindly consider this pre-suit notice of personal injury claims against the City of Bozeman (the "City"). Our client, Edward D. Muniz, was injured on August 21, 2017, while working in the course and scope of his employment with Advanced Waste Water Specialist ("AWWS"). The City hired AWWS as a subcontractor to undertake work on behalf of the City at the Baxter Meadows lift station, which is owned by the City. Edward Muniz was attached to a crane by a harness and lowered into a confined space over raw sewage in order to replace a pump within the lift station. While disconnecting the pump inside the lift station, Edward Muniz's harness became unhooked from the crane causing him to fall 25-30 feet into raw sewage. Edward Muniz's coworkers had to run to turn on the pumps to prevent Mr. Muniz from drowning in the sewage. Another coworker lowered the crane to the bottom of the lift station, allowing Edward to reattach his harness and be lifted to safety. Mr. Muniz was.bleeding profusely from a large laceration on the back of his head which required stitches and became septic from exposure to the sewage. 406-586-8960 Beck,Amsden and Stalpes 09:10:39 a.m. 08-16-2018 2/2 Bozeman City Clerk August 14, 2018 Page 2 Edward Muniz suffered multiple injuries resulting from the fall, including serious injuries to his head, back, right knee and right wrist among other damages. On information and belief, the City retained express, actual and/or implied control over the workplace environment and/or the method of work, including safety of AWWS employees such as Edward Muniz. Extensive training and safety precautions are required to perform work in confined spaces such as the lift station in which Mr. Muniz was injured. The work performed by AWWS and Edward Muniz on August 21, 2017, was intrinsically and/or inherently dangerous, requiring special precautions be taken. Mr. Muniz, through his attorneys in this office, intends on filing negligence and negligence per se claims against the City to recover damages arising from his injuries. In accordance with Montana Code Annotated § 2-9-301(2), the City must grant or deny these claims in writing within 120 days from the date of this letter. Failure of the City to make final disposition of these claims within 120 days will be considered a final denial. I look forward to your response. Sincerely, Justin P. Stalpes JPS:np