Laserfiche WebLink
IM] <br />without just cause or excuse and beyond all bounds of decency. <br />r <br />123. Defendants knew or should have known that their wrongful conduct was likely to <br />cause injury. <br />actions. <br />124. Plaintiff has suffered emotionally and financially as a direct result of Defendants' <br />125. Plaintiff has endured shame and embarrassment among his fellow colleagues due <br />to the way that Defendants have treated him. <br />126. As a direct and proximate result of Defendants' wrongful conduct, Plaintiff has , <br />sustained substantial damages, including, but not limited to economic loss and emotional distress, <br />and is therefore entitled to recover special, general, and compensatory damages in such amounts <br />as shall be shown at a trial .or hearing hereof. <br />127. Each Defendant is liable for the conduct described above. <br />128. Plaintiff is entitled to general, special, punitive and treble damages as a result of <br />Defendants' conduct. <br />COUNT 3: NEGLIGENT INFLICTION OF EMOTIONAL DISTRESS <br />(AGAINST ALL DEFENDANTS) <br />129. Plaintiff reiterates and incorporates by reference the preceding paragraphs of this <br />Complaint as though set forth fully herein. <br />actions. <br />130. Plaintiff has suffered emotionally and financially as a direct result of Defendants' <br />131. Defendants' wrongful conduct caused physical injury and/or mental condition <br />constituting negligent infliction of emotional distress. <br />132. As a direct and proximate result of Defendants' wrongful conduct, Plaintiff has <br />-18- <br />EXHIBIT "A" Pg18 <br />Page 18 of 25 <br />