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3 <br /> Exhibit B and incorporated by this reference. <br /> Said action by San Joaquin Local Health District on September 19 , <br /> 1977, was negligent in that the physical location of the two septic <br /> tanks and/or cesspools and the domestic water well were unchanged <br /> and in identically the same location as in June of 1979 . The San <br /> Joaquin Local Health District and/or its employees negligently failed <br /> to measure the distances between each at the initial inspection in <br /> September 1977. <br /> 5. Claimant' s injures are that he was required to pay out of <br /> escrow the sum of $1, 825. 00 for installation of a septic tank, leach <br /> 1 <br /> drain, pits, connection, cleanout, and dirt removal, as more <br /> particularly described in Exhibit C. A true copy of the invoice <br /> of D. A. Parrish & Sons, Inc. to Douglas Brown, claimant, is marked <br /> Exhibit C attached hereto and incorporated herein by this reference. <br /> 6. The names of the public employees causing the claimant's <br /> injuries are identified on: Exhibit A hereof. <br /> 7. My claim as of the date of this claim is $1, 825. 00 plus <br /> interest at the legal rate and is computed as based on the invoice <br /> which is marked Exhibit C. <br /> Dated: July , 1979 <br /> D RO N, Cla ant <br /> 2. <br />