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2021-03-29_GENERAL DOCUMENTS - C1980004
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2021-03-29_GENERAL DOCUMENTS - C1980004
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Last modified
12/28/2024 8:17:50 AM
Creation date
3/30/2021 7:56:37 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1980004
IBM Index Class Name
General Documents
Doc Date
3/29/2021
Doc Name Note
Case No. 20-12043 (GRH) Hopedale Mining LLC
Doc Name
Bankruptcy Notice
From
Pierson Legal Services
To
DRMS
Permit Index Doc Type
General Correspondence
Email Name
JRS
JDM
GRM
CMM
CCW
Media Type
D
Archive
No
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Case 1:20-bk-12043 Doc 621 Filed 029 <br /> 24/Fantered <br /> Documente 9 of 40 02/24/21 14:52:42 Desc Main <br /> 4. At all times relevant herein. Defendant was and/or is engaged in the business <br /> of surface and underground coal mining. <br /> 5. At all times relevant herein, Plaintiff Kenneth Cole was employed by the <br /> Defendant as a Loader Operator,with duties and responsibilities that required him to operate <br /> a front end loader. <br /> 6. On or about February 20, 2018, while in the course and scope of his <br /> employment as a Loader Operator,Plaintiff Kenneth Cole was operating a front end loader <br /> in which the air conditioner was not functioning properly causing the cab of the loader ill <br /> { <br /> which Kenneth Cole was located to beco„ne extremely hot causing Kenneth Cole to suffer <br /> 1 <br /> nunierous physical and mental injuries, mental anguish and severe pain and suffering, <br /> 1 <br /> including but not limited to a heat stroke. <br /> 7. The Defendant had a duty to ensure that its employees were provided a safe <br /> j <br /> work environment and also providing equipment in proper working order to be used to l <br /> i <br /> minimize the risk of serious injury or death to individuals during the course of their <br /> t <br /> employment, including Kenneth Cole. j <br /> COUNT I - DELIBERATE INTENT <br /> 8. Plaintiff incorporates and realleges all of the allegations contained in <br /> 1 <br /> i <br /> Paragraphs I through 7 herein. <br /> 9. The conduct of the Defendant, as previously described in this Complaint, <br /> constitutues acts of deliberate intention to produce the injuries hereinafter described within <br /> { <br /> z <br /> the scope and meaning of West Virginia Code §23-4-2(d)(2)(B). <br />
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