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DOCKET NO. NNH-CV18-6076871-S : SUPERIOR COURT
PATRICIA OFILI : J.D. OF NEW HAVEN
V. : AT NEW HAVEN
ANTOINE KITTLE ET AL : JANUARY 22, 2018
ANSWER
FIRST COUNT:
1. As to the allegations contained in Paragraph 1, the undersigned Defendant has
insufficient information or knowledge upon which to form a belief and therefore, leaves the Plaintiff
to her proof.
2-3. As to the allegations contained in Paragraphs 2 and 3, the undersigned Defendant
has insufficient information or knowledge upon which to form a belief and therefore, leaves the
Plaintiff to her proof. Any allegations or inferences of negligence against the undersigned
Defendant are hereby denied.
4. The allegations contained in Paragraph 4 are denied.
5. As to the allegations contained in Paragraph 5, as stated “As a result of the collision
and the carelessness and negligence of the Defendant, operator Antoine Kittle,” are denied. As to
the remainder of Paragraph 5, the undersigned Defendant has insufficient information or knowledge
upon which to form a belief and therefore, leaves the Plaintiff to her proof.
LAW OFFICES OF MEEHAN, ROBERTS, TURRET & ROSENBAUM
108 LEIGUS ROAD, 1ST FLOOR, WALLINGFORD, CT 06492
(203) 294-7800 JURIS NO. 408308
6-7. As to the allegations contained in Paragraphs 6 and 7, the undersigned Defendant
has insufficient information or knowledge upon which to form a belief and therefore, leaves the
Plaintiff to her proof. Any allegations or inferences of negligence against the undersigned Defendant
are hereby denied.
SECOND COUNT:
1-3. The answers to Paragraphs 1 through 3 of the First Count, are hereby incorporated
and made the answers to Paragraphs 1 through 3 of the Second Count.
4. The allegations contained in Paragraph 4 are denied.
5. As to the allegations contained in Paragraph 5, as stated “As a result of the collision
and the carelessness and negligence of the Defendant, operator Antoine Kittle,” are denied. As to
the remainder of Paragraph 5, the undersigned Defendant has insufficient information or knowledge
upon which to form a belief and therefore, leaves the Plaintiff to her proof.
6-7. As to the allegations contained in Paragraphs 6 and 7, the undersigned Defendant
has insufficient information or knowledge upon which to form a belief and therefore, leaves the
Plaintiff to her proof. Any allegations or inferences of negligence against the undersigned Defendant
are hereby denied.
LAW OFFICES OF MEEHAN, ROBERTS, TURRET & ROSENBAUM
108 LEIGUS ROAD, 1ST FLOOR, WALLINGFORD, CT 06492
(203) 294-7800 JURIS NO. 408308
THE DEFENDANT,
ANTOINE KITTLE
By: /S/ 420606
Sean T. Carew, Esq.
Law Offices of Meehan, Roberts, Turret &
Rosenbaum
108 Leigus Road, 1st Floor
Wallingford, CT 06492
Tel. # 203-294-7800
Juris # 408308
CERTIFICATION
This is to certify that all personal identifying information was redacted pursuant to
Practice Book Section 4-7. This will further certify the foregoing was mailed via U.S. Mail, postage
pre-paid or electronically delivered pursuant to Practice Book Section 10-14 on this 22nd day of
January, 2018.
Attorney for Plaintiff
Ikechukwu Umeugo, Esq.
Umeugo & Associates, PC
620 Boston Post Road
P.O. Box 26373
West Haven, CT 06516
420606
Sean T. Carew
Commissioner of the Superior Court
LAW OFFICES OF MEEHAN, ROBERTS, TURRET & ROSENBAUM
108 LEIGUS ROAD, 1ST FLOOR, WALLINGFORD, CT 06492
(203) 294-7800 JURIS NO. 408308