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Mackenzie Kordonowy v. Barbara a. Carmel Kneedler
Date: 04-07-2015
Case Number: CJ-2013-2334
Judge: Carlos Chappelle
Court: District Court, Tulsa County, Oklahoma
Plaintiff's Attorney:
Click Here For The Best Tulsa Personal Injury Lawyer Directory
Defendant's Attorney: Mark Smiling
Description:
Tulsa, OK - Mackenzie Kordonowy sued Barbara A. Carmel Kneedler on an auto negligence theory claiming;
1, Plaintiff was at all material times a resident of Tulsa County, Oklahoma.
2. Defendant B. Kneedler was at all material times upon information and belief a resident of Tulsa County, Oklahoma.
3. Defendant R. Kneedler was at all material times upon information and belief a resident of Tulsa County, Oklahoma.
4. Defendant John Doe, a business entity, is a business whose identity is unknown now, but may be revealed through the course of discovery. Defendant John Doe is an entity that transacts business/engages in commerce on a regular basis in Oklahoma, and the claims alleged here arise out of the Defendant John Doe's actions and/or inactions in Oklahoma.
5. Defendant Jane Doe, an individual, is a person residing in Oklahoma identity is unknown at this time, but may be revealed through the course of discovery.
6. This incident occurred in Tulsa County, OK on about May 16, 2012.
7. The incident occurred in Tulsa, OK.
8. As a result of the above this Court has jurisdiction over this matter.
9. Defendant failed to yield, directly causing this incident.
10. Defendant improperly contacted Plaintiff.
11. Defendant's improper actions and/or omissions directly caused personal injuries and other damages.
12. Defendant fled the scene immediately after the incident.
13. Leaving the scene was in violation of 47 0.5. Sec. 10-102.
14. Plaintiff is entitled treble damages per Oklahoma law for including but not limited to the fact that Defendant fled the scene.
15. The Police Department officer cited Defendant for violating the law concerning this incident.
16. Plaintiff made no improper action.
17. Defendants were inattentive and/or distracted at the time of and/or right before this accident.
18. Defendant was driving too fast for conditions.
19. Defendant made an improper action and/or omission while driving a motor vehicle.
20. Defendant violated ordinance(s) and/or Oklahoma Statute(s) and/or law(s), etc.
21. Defendant violated also 47 0.5. Sec. 11-901.
22. The incident was violent, directly causing injuries to Plaintiff.
23. Defendant failed to drive properly and/or reasonably.
24. On the date and time of the incident Defendant B, Kneedler was operating a motor vehicle owned and/or controlled by Defendants R. Kneedler, Jane Doe and/or John Doe.
25. At all material times Defendant B. Kneedler was an agent, servant, and/or employee of Defendants R. Kneedler, Jane Doe and/or John Doe.
26. At all material times Defendant B. Kneedler was acting within the course and scope of employment and/or permission for Defendants R. Kneedler, Jane Doe and/or John Doe.
27. Defendants R. Kneedler, Jane Doe and/or John Doe is/are liable for any improper action and/or omission committed by Defendant B. Kneedler during the operation of the motor vehicle, inclusive of the time and date of this incident.
28. Defendant B. Kneedler was an authorized driver of Defendants R. Kneedler, Jane Doe and/or John Doe's motor vehicle at the time of the incident.
29. Defendants R. Kneedler, Jane Doe and/or John Doe negligently and/or improperly entrusted Defendant B. Kneedler with said motor vehicle.
30. Defendants R. Kneedler, Jane Doe and/or John Doe negligently and/or improperly hired, retained, supervised, educated, and/or trained Defendant B. Kneedler, directly causing this incident and injuries to Plaintiff.
31. Defendant B. Kneedler was in a joint venture and/or in a dual capacity with Defendants R. Kneedler, Jane Doe and/or John Doe at the time of this incident.
32. Defendant breached duties owed to Plaintiff.
33. Defendant was negligent, negligent per se and/or committed res ipsa because they violated and/or breached applicable statute(s), law(s), and/or ordinance(s), which directly caused injury to Plaintiff's person and property.
34. Defendant B. Kneedler committed an assault, battery and/or inflicted emotional distress upon Plaintiff
35. Defendant had the responsibility to drive as a reasonably prudent driver at the date and time of this incident.
36. Defendant violated that responsibility.
37. Defendant was negligent.
38. As a direct result of the actions and/or omissions of Defendants, Plaintiff was injured and suffered at least the following damages (this is a non-exhaustive list):
A. physical pain and suffering, past and future;
B. mental pain and suffering, past and future;
C. permanent injuries of a severe nature;
D. physical impairment;
E, loss of earnings and/or wages and/or loss of earning capacity;
F. property damages;
G. diminished earning capacity;
H. medical costs for care, treatment, and service, past and future;
I. mileage;
J. costs;
K. attorney's fees;
L. expenses;
M. any and all other damages; etc.
Docket
Date Code Description Count Party Amount
05-14-2013 TEXT
Civil relief more than $10,000 Initial Filing.
1
05-14-2013 AUTONEG
AUTO NEGLIGENCE
05-14-2013 DMFE
DISPUTE MEDIATION FEE
$ 2.00
05-14-2013 PFE1
PETITION
Document Available (#1021099102)
$ 163.00
05-14-2013 PFE7
LAW LIBRARY FEE
$ 6.00
05-14-2013 OCISR
Oklahoma Court Information System Revolving Fund
$ 25.00
05-14-2013 CCADMIN02
Court Clerk Administrative Fee on $2 Collections
$ 0.20
05-14-2013 OCJC
Oklahoma Council on Judicial Complaints Revolving Fund
$ 2.00
05-14-2013 OCASA
Oklahoma Court Appointed Special Advocates
$ 5.00
05-14-2013 CCADMIN04
Court Clerk Administrative Fee on Collections
$ 0.50
05-14-2013 LTF
Lengthy Trial Fund
$ 10.00
05-14-2013 SMF
Summons Fee (Clerks Fee)-2
$ 10.00
05-14-2013 SMIP
Summons Issued - Private Process Server-2
05-14-2013 TEXT
OCIS has automatically assigned Judge Chappelle, Carlos to this case.
05-14-2013 ADJUST
ADJUSTING ENTRY: MONIES DUE TO AC09-CARD ALLOCATION
$ 5.60
05-14-2013 ACCOUNT
ADJUSTING ENTRY: MONIES DUE TO THE FOLLOWING AGENCIES REDUCED BY THE FOLLOWING AMOUNTS:
CJ-2013-2334: AC81 Lengthy Trial Fund -$0.25
CJ-2013-2334: AC79 OCIS Revolving Fund -$0.63
CJ-2013-2334: AC64 Dispute Mediation Fees -$0.05
CJ-2013-2334: AC59 Oklahoma Council on Judicial Complaints Revolving Fund -$0.05
CJ-2013-2334: AC58 Oklahoma Court Appointed Special Advocates -$0.13
CJ-2013-2334: AC31 Court Clerk Revolving Fund -$0.02
CJ-2013-2334: AC23 Law Library Fee -$0.15
CJ-2013-2334: AC01 Clerk Fees -$4.32
05-14-2013 ACCOUNT
Receipt # 2013-2599790 on 05/14/2013.
Payor:JOHN TRUSKETT Total Amount Paid: $223.70.
Line Items:
CJ-2013-2334: $168.68 on AC01 Clerk Fees.
CJ-2013-2334: $5.60 on AC09 Card Allocations.
CJ-2013-2334: $5.85 on AC23 Law Library Fee.
CJ-2013-2334: $0.68 on AC31 Court Clerk Revolving Fund.
CJ-2013-2334: $4.87 on AC58 Oklahoma Court Appointed Special Advocates.
CJ-2013-2334: $1.95 on AC59 Oklahoma Council on Judicial Complaints Revolving Fund.
CJ-2013-2334: $1.95 on AC64 Dispute Mediation Fees.
CJ-2013-2334: $24.37 on AC79 OCIS Revolving Fund.
CJ-2013-2334: $9.75 on AC81 Lengthy Trial Fund.
10-28-2013 S
Party has been successfully served. SUMMONS SERVED ON ROBERT KNEEDLER, RESIDENTIAL SERVICE BY SERVING BARBARA KNEEDLER (WIFE) ON 10-19-13? BY PROCESS SERVER
Document Available (#1023331232)
KNEEDLER, ROBERT
10-29-2013 S
Party has been successfully served. SUMMONS SERVED ON BARBARA A CARMEL KNEEDLER, PERSONAL SERVICE ON 10-19-13 BY PROCESS SERVER
Document Available (#1023331224)
CARMEL KNEEDLER, BARBARA A
11-08-2013 EAA
SPECIAL APPEARANCE RESERVING ADDITIONAL TIME TO FURTHER PLEAD OR ANSWER / A. MARK SMILING ENTERS AS COUNSEL FOR BARBARA A KNEEDLER AND ROBERT LEE KNEEDLER / CERTIFICATE OF MAILING / COVER SHEET
Document Available (#1023445839)
KNEEDLER, ROBERT
12-09-2013 A
ANSWER / CERTIFICATE OF MAILING
Document Available (#1023669448)
KNEEDLER, ROBERT
02-18-2014 NO
NOTICE OF CHANGE OF FAX NUMBER FOR PLAINTIFF'S COUNSEL / SUBMITTED BY JOHN PAUL TRUSKETT / CERTIFICATE OF SERVICE
Document Available (#1024322261)
KORDONOWY, MACKENZIE
06-10-2014 CTFREE
CHAPPELLE, CARLOS; NOTICE; SCHEDULING CONFERENCE SET 7/2/14 AT 9:00 A.M. NOTICE TO: JOHN TRUSKETT, MARK SMILING;
06-10-2014 NO
NOTICE / SEE MINUTE ENTRY / CERTIFICATE OF MAILING
Document Available (#1026062468)
06-10-2014 NO
NOTICE / SEE MINUTE ENTRY / CERTIFICATE OF MAILING
Document Available (#1026062391)
07-02-2014 CTFREE
CHAPPELLE, CARLOS; CASE COMES ON FOR HEARING. JOHN TRUSKETT APPEARS FOR PLAINTIFF; SHEENA BURGESS APPEARS FOR DEFENDANT. SCHEDULING ORDER ENTERED. PRETRIAL SET 4/9/15 AT 10:00 A.M.
07-03-2014 SCHO
AGREED SCHEDULING ORDER / 7-2-14
Document Available (#1026307858)
10-14-2014 WL
DEFENDANT'S PRELIMINAY WITNESS AND EXHIBIT LIST
Document Available (#1027423919)
01-26-2015 MOSJ
DEFENDANT ROBERT KNEEDLER'S MOTION FOR SUMMARY JUDGMENT ( ATTORNEY A MARK SMILING A/J)
Document Available (#1028387625)
$ 50.00
01-26-2015 APLI
DEFENDANT ROBERT KNEEDLER'S APPLICATION FOR HEARING ON MOTION FOR SUMMARY JUDGMENT / A TO J
Document Available (#1028546523)
01-26-2015 ACCOUNT
Receipt # 2015-3017063 on 01/26/2015.
Payor:A MARK SMILING PLLC Total Amount Paid: $50.00.
Line Items:
CJ-2013-2334: $50.00 on AC01 Clerk Fees.
01-30-2015 CTFREE
CHAPPELLE, CARLOS; GRANTED/ORDER SETTING HEARING; DEFENDANT'S MOTION FOR SUMMARY JUDGMENT SET 3/19/15 AT 2:00 P.M.
02-10-2015 DWOP
PLAINTIFF'S DISMISSAL WITHOUT PREJUDICE OF ONE DEFENDANT ONLY
Document Available (#1028542638)
KNEEDLER, ROBERT
02-10-2015 DISPDWOP
DISMISSAL WITHOUT PREJUDICE
1 KNEEDLER, ROBERT
02-17-2015 OSH
ORDER SETTING HEARING/ SET ON 3-19-15 @ 2 PM IN ROOM 513
Document Available (#1028666216)
02-18-2015 CTFREE
CHAPPELLE, CARLOS; HEARING 3/19/15 STRICKEN AS DISMISSAL FILED AS TO ROBERT LEE KNEEDLER ONLY;
04-07-2015 DISPCVDM
CHAPPELLE, CARLOS; PER PLAINTIFF, CASE HAS SETTLED AND DISMISSAL WILL BE FILED WHEN WORKMAN'S COMP CASE COMPLETED.
1 CARMEL KNEEDLER, BARBARA A
1, Plaintiff was at all material times a resident of Tulsa County, Oklahoma.
2. Defendant B. Kneedler was at all material times upon information and belief a resident of Tulsa County, Oklahoma.
3. Defendant R. Kneedler was at all material times upon information and belief a resident of Tulsa County, Oklahoma.
4. Defendant John Doe, a business entity, is a business whose identity is unknown now, but may be revealed through the course of discovery. Defendant John Doe is an entity that transacts business/engages in commerce on a regular basis in Oklahoma, and the claims alleged here arise out of the Defendant John Doe's actions and/or inactions in Oklahoma.
5. Defendant Jane Doe, an individual, is a person residing in Oklahoma identity is unknown at this time, but may be revealed through the course of discovery.
6. This incident occurred in Tulsa County, OK on about May 16, 2012.
7. The incident occurred in Tulsa, OK.
8. As a result of the above this Court has jurisdiction over this matter.
9. Defendant failed to yield, directly causing this incident.
10. Defendant improperly contacted Plaintiff.
11. Defendant's improper actions and/or omissions directly caused personal injuries and other damages.
12. Defendant fled the scene immediately after the incident.
13. Leaving the scene was in violation of 47 0.5. Sec. 10-102.
14. Plaintiff is entitled treble damages per Oklahoma law for including but not limited to the fact that Defendant fled the scene.
15. The Police Department officer cited Defendant for violating the law concerning this incident.
16. Plaintiff made no improper action.
17. Defendants were inattentive and/or distracted at the time of and/or right before this accident.
18. Defendant was driving too fast for conditions.
19. Defendant made an improper action and/or omission while driving a motor vehicle.
20. Defendant violated ordinance(s) and/or Oklahoma Statute(s) and/or law(s), etc.
21. Defendant violated also 47 0.5. Sec. 11-901.
22. The incident was violent, directly causing injuries to Plaintiff.
23. Defendant failed to drive properly and/or reasonably.
24. On the date and time of the incident Defendant B, Kneedler was operating a motor vehicle owned and/or controlled by Defendants R. Kneedler, Jane Doe and/or John Doe.
25. At all material times Defendant B. Kneedler was an agent, servant, and/or employee of Defendants R. Kneedler, Jane Doe and/or John Doe.
26. At all material times Defendant B. Kneedler was acting within the course and scope of employment and/or permission for Defendants R. Kneedler, Jane Doe and/or John Doe.
27. Defendants R. Kneedler, Jane Doe and/or John Doe is/are liable for any improper action and/or omission committed by Defendant B. Kneedler during the operation of the motor vehicle, inclusive of the time and date of this incident.
28. Defendant B. Kneedler was an authorized driver of Defendants R. Kneedler, Jane Doe and/or John Doe's motor vehicle at the time of the incident.
29. Defendants R. Kneedler, Jane Doe and/or John Doe negligently and/or improperly entrusted Defendant B. Kneedler with said motor vehicle.
30. Defendants R. Kneedler, Jane Doe and/or John Doe negligently and/or improperly hired, retained, supervised, educated, and/or trained Defendant B. Kneedler, directly causing this incident and injuries to Plaintiff.
31. Defendant B. Kneedler was in a joint venture and/or in a dual capacity with Defendants R. Kneedler, Jane Doe and/or John Doe at the time of this incident.
32. Defendant breached duties owed to Plaintiff.
33. Defendant was negligent, negligent per se and/or committed res ipsa because they violated and/or breached applicable statute(s), law(s), and/or ordinance(s), which directly caused injury to Plaintiff's person and property.
34. Defendant B. Kneedler committed an assault, battery and/or inflicted emotional distress upon Plaintiff
35. Defendant had the responsibility to drive as a reasonably prudent driver at the date and time of this incident.
36. Defendant violated that responsibility.
37. Defendant was negligent.
38. As a direct result of the actions and/or omissions of Defendants, Plaintiff was injured and suffered at least the following damages (this is a non-exhaustive list):
A. physical pain and suffering, past and future;
B. mental pain and suffering, past and future;
C. permanent injuries of a severe nature;
D. physical impairment;
E, loss of earnings and/or wages and/or loss of earning capacity;
F. property damages;
G. diminished earning capacity;
H. medical costs for care, treatment, and service, past and future;
I. mileage;
J. costs;
K. attorney's fees;
L. expenses;
M. any and all other damages; etc.
Docket
Date Code Description Count Party Amount
05-14-2013 TEXT
Civil relief more than $10,000 Initial Filing.
1
05-14-2013 AUTONEG
AUTO NEGLIGENCE
05-14-2013 DMFE
DISPUTE MEDIATION FEE
$ 2.00
05-14-2013 PFE1
PETITION
Document Available (#1021099102)
$ 163.00
05-14-2013 PFE7
LAW LIBRARY FEE
$ 6.00
05-14-2013 OCISR
Oklahoma Court Information System Revolving Fund
$ 25.00
05-14-2013 CCADMIN02
Court Clerk Administrative Fee on $2 Collections
$ 0.20
05-14-2013 OCJC
Oklahoma Council on Judicial Complaints Revolving Fund
$ 2.00
05-14-2013 OCASA
Oklahoma Court Appointed Special Advocates
$ 5.00
05-14-2013 CCADMIN04
Court Clerk Administrative Fee on Collections
$ 0.50
05-14-2013 LTF
Lengthy Trial Fund
$ 10.00
05-14-2013 SMF
Summons Fee (Clerks Fee)-2
$ 10.00
05-14-2013 SMIP
Summons Issued - Private Process Server-2
05-14-2013 TEXT
OCIS has automatically assigned Judge Chappelle, Carlos to this case.
05-14-2013 ADJUST
ADJUSTING ENTRY: MONIES DUE TO AC09-CARD ALLOCATION
$ 5.60
05-14-2013 ACCOUNT
ADJUSTING ENTRY: MONIES DUE TO THE FOLLOWING AGENCIES REDUCED BY THE FOLLOWING AMOUNTS:
CJ-2013-2334: AC81 Lengthy Trial Fund -$0.25
CJ-2013-2334: AC79 OCIS Revolving Fund -$0.63
CJ-2013-2334: AC64 Dispute Mediation Fees -$0.05
CJ-2013-2334: AC59 Oklahoma Council on Judicial Complaints Revolving Fund -$0.05
CJ-2013-2334: AC58 Oklahoma Court Appointed Special Advocates -$0.13
CJ-2013-2334: AC31 Court Clerk Revolving Fund -$0.02
CJ-2013-2334: AC23 Law Library Fee -$0.15
CJ-2013-2334: AC01 Clerk Fees -$4.32
05-14-2013 ACCOUNT
Receipt # 2013-2599790 on 05/14/2013.
Payor:JOHN TRUSKETT Total Amount Paid: $223.70.
Line Items:
CJ-2013-2334: $168.68 on AC01 Clerk Fees.
CJ-2013-2334: $5.60 on AC09 Card Allocations.
CJ-2013-2334: $5.85 on AC23 Law Library Fee.
CJ-2013-2334: $0.68 on AC31 Court Clerk Revolving Fund.
CJ-2013-2334: $4.87 on AC58 Oklahoma Court Appointed Special Advocates.
CJ-2013-2334: $1.95 on AC59 Oklahoma Council on Judicial Complaints Revolving Fund.
CJ-2013-2334: $1.95 on AC64 Dispute Mediation Fees.
CJ-2013-2334: $24.37 on AC79 OCIS Revolving Fund.
CJ-2013-2334: $9.75 on AC81 Lengthy Trial Fund.
10-28-2013 S
Party has been successfully served. SUMMONS SERVED ON ROBERT KNEEDLER, RESIDENTIAL SERVICE BY SERVING BARBARA KNEEDLER (WIFE) ON 10-19-13? BY PROCESS SERVER
Document Available (#1023331232)
KNEEDLER, ROBERT
10-29-2013 S
Party has been successfully served. SUMMONS SERVED ON BARBARA A CARMEL KNEEDLER, PERSONAL SERVICE ON 10-19-13 BY PROCESS SERVER
Document Available (#1023331224)
CARMEL KNEEDLER, BARBARA A
11-08-2013 EAA
SPECIAL APPEARANCE RESERVING ADDITIONAL TIME TO FURTHER PLEAD OR ANSWER / A. MARK SMILING ENTERS AS COUNSEL FOR BARBARA A KNEEDLER AND ROBERT LEE KNEEDLER / CERTIFICATE OF MAILING / COVER SHEET
Document Available (#1023445839)
KNEEDLER, ROBERT
12-09-2013 A
ANSWER / CERTIFICATE OF MAILING
Document Available (#1023669448)
KNEEDLER, ROBERT
02-18-2014 NO
NOTICE OF CHANGE OF FAX NUMBER FOR PLAINTIFF'S COUNSEL / SUBMITTED BY JOHN PAUL TRUSKETT / CERTIFICATE OF SERVICE
Document Available (#1024322261)
KORDONOWY, MACKENZIE
06-10-2014 CTFREE
CHAPPELLE, CARLOS; NOTICE; SCHEDULING CONFERENCE SET 7/2/14 AT 9:00 A.M. NOTICE TO: JOHN TRUSKETT, MARK SMILING;
06-10-2014 NO
NOTICE / SEE MINUTE ENTRY / CERTIFICATE OF MAILING
Document Available (#1026062468)
06-10-2014 NO
NOTICE / SEE MINUTE ENTRY / CERTIFICATE OF MAILING
Document Available (#1026062391)
07-02-2014 CTFREE
CHAPPELLE, CARLOS; CASE COMES ON FOR HEARING. JOHN TRUSKETT APPEARS FOR PLAINTIFF; SHEENA BURGESS APPEARS FOR DEFENDANT. SCHEDULING ORDER ENTERED. PRETRIAL SET 4/9/15 AT 10:00 A.M.
07-03-2014 SCHO
AGREED SCHEDULING ORDER / 7-2-14
Document Available (#1026307858)
10-14-2014 WL
DEFENDANT'S PRELIMINAY WITNESS AND EXHIBIT LIST
Document Available (#1027423919)
01-26-2015 MOSJ
DEFENDANT ROBERT KNEEDLER'S MOTION FOR SUMMARY JUDGMENT ( ATTORNEY A MARK SMILING A/J)
Document Available (#1028387625)
$ 50.00
01-26-2015 APLI
DEFENDANT ROBERT KNEEDLER'S APPLICATION FOR HEARING ON MOTION FOR SUMMARY JUDGMENT / A TO J
Document Available (#1028546523)
01-26-2015 ACCOUNT
Receipt # 2015-3017063 on 01/26/2015.
Payor:A MARK SMILING PLLC Total Amount Paid: $50.00.
Line Items:
CJ-2013-2334: $50.00 on AC01 Clerk Fees.
01-30-2015 CTFREE
CHAPPELLE, CARLOS; GRANTED/ORDER SETTING HEARING; DEFENDANT'S MOTION FOR SUMMARY JUDGMENT SET 3/19/15 AT 2:00 P.M.
02-10-2015 DWOP
PLAINTIFF'S DISMISSAL WITHOUT PREJUDICE OF ONE DEFENDANT ONLY
Document Available (#1028542638)
KNEEDLER, ROBERT
02-10-2015 DISPDWOP
DISMISSAL WITHOUT PREJUDICE
1 KNEEDLER, ROBERT
02-17-2015 OSH
ORDER SETTING HEARING/ SET ON 3-19-15 @ 2 PM IN ROOM 513
Document Available (#1028666216)
02-18-2015 CTFREE
CHAPPELLE, CARLOS; HEARING 3/19/15 STRICKEN AS DISMISSAL FILED AS TO ROBERT LEE KNEEDLER ONLY;
04-07-2015 DISPCVDM
CHAPPELLE, CARLOS; PER PLAINTIFF, CASE HAS SETTLED AND DISMISSAL WILL BE FILED WHEN WORKMAN'S COMP CASE COMPLETED.
1 CARMEL KNEEDLER, BARBARA A
Outcome:
Settled and dismissed with prejudice.
Plaintiff's Experts:
Defendant's Experts:
Comments:
About This Case
What was the outcome of Mackenzie Kordonowy v. Barbara a. Carmel Kneedler?
The outcome was: Settled and dismissed with prejudice.
Which court heard Mackenzie Kordonowy v. Barbara a. Carmel Kneedler?
This case was heard in District Court, Tulsa County, Oklahoma, OK. The presiding judge was Carlos Chappelle.
Who were the attorneys in Mackenzie Kordonowy v. Barbara a. Carmel Kneedler?
Plaintiff's attorney: Click Here For The Best Tulsa Personal Injury Lawyer Directory. Defendant's attorney: Mark Smiling.
When was Mackenzie Kordonowy v. Barbara a. Carmel Kneedler decided?
This case was decided on April 7, 2015.