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B.
Declaring that Defendant is strictly liable for defects, as described above, in its
algorithms and system; and that Defendant, as described above, acted negligently;
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C.
Awarding the Class compensatory damages for wrongful death, personal injury,
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pain and suffering, emotional distress, and loss of property, in the amount of at least $150
5
billion;
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D.
Awarding Plaintiff and the Class punitive damages in an amount to be determined
E.
Awarding Plaintiff and the Class their reasonable litigation expenses and
at trial.
attorneys’ fees;
F.
Awarding the Plaintiff and the Class pre- and post-judgment interest, to the extent
allowable; and
G.
Awarding such other and further relief as equity and justice may require.
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JURY TRIAL
Plaintiff demands a trial by jury for all issues so triable.
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Respectfully Submitted,
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JANE DOE, individually and on behalf of all
others similarly situated,
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Dated: December 6, 2021
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By:
One of Plaintiff’s Attorneys
Rafey S. Balabanian (SBN 315962)
rbalabanian@edelson.com
EDELSON PC
150 California Street, 18th Floor
San Francisco, California 94111
Tel: 415.212.9300
Fax: 415.373.9435
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Jay Edelson*
jedelson@edelson.com
J. Eli Wade-Scott*
ewadescott@edelson.com
Michael Ovca*
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CLASS ACTION COMPLAINT
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Case No. __________________