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Plaintiff sues for damages from a vehicle collision caused by negligence.

Published
Address
487 Cherry Street, Suite 100, Macon, GA
Case #
24-SCCV-098322

Full Notice Text

IN THE STATE COURT OF BIBB COUNTY STATE OF GEORGIA BRANDON GRAY, Plaintiff, Civil Action No. 24-SCCV-098322 v. FREDDIE TUFF, RICKY GRIFFIN, and JOHN DOES 1-10, Defendants. Page 1 of 3 IN THE STATE COURT OF BIBB COUNTY STATE OF GEORGIA BRANDON GRAY, Plaintiff, Civil Action No. 24-SCCV-098322 v. FREDDIE TUFF, RICKY GRIFFIN, and JOHN DOES 1-10, Defendants. AMENDED COMPLAINT FOR DAMAGES COMES NOW, Plaintiff in the above styled action, by and through his undersigned attorneys of record, and files this Complaint for Damages, respectfully showing this Honorable Court the following: 1. Defendant Freddie Tuff is a resident of Bibb County, Georgia; thereby subjecting {him/her} to the venue and jurisdiction of this Court. 2. On or about February 29, 2024, on Eisenhower Parkway at or near its intersection with Houston Avenue in Bibb County, Georgia, Defendant Freddie Tuff negligently operated a motor vehicle, proximately and foreseeably causing a collision with a vehicle being lawfully operated and occupied by Plaintiff. 3. Defendant Freddie Tuff was negligent, as pled in 2, by failing to keep a proper lookout, failing to yield, following too closely, failing to exercise due care while operating a motor vehicle, and by failing to obey the Uniform Rules of the Road for the State of Georgia. Page 2 of 3 4. Defendant Ricky Griffin was negligent, as pled in 2, by failing to keep a proper lookout, failing to yield, following too closely, failing to exercise due care while operating a motor vehicle, and by failing to obey the Uniform Rules of the Road for the State of Georgia. 5. Defendant John Does 1-10 is an unknown and unidentifiable motorist subject to the venue and jurisdiction of this Court, pursuant to O.C.G.A. 33-7-11 (d)(1). 6. As a proximate and foreseeable result of the Defendants negligence, Plaintiff suffered personal injuries, incurring costly medical expenses in excess of $6,600.00, as well as lost wages in excess of $1.00. 7. In addition to 4, Plaintiff has endured and will continue to endure pain and suffering. 8. Plaintiff has a cause of action against the Defendants for negligence and is entitled to recover from the Defendants for his past and future medical expenses, lost wages, past and future pain and suffering, and all other damages permitted by law. 9. The actions of Defendants in failing and refusing to resolve this matter without litigation constitutes stubborn litigiousness and has caused unnecessary trouble and expense which also entitles Plaintiff to recover penalties, litigation expenses, and attorney's fees under the authority of O.C.G.A. 13-6-11. WHEREFORE, Plaintiff prays that he have a judgment against Defendants in an amount determined by a fair and impartial jury to be adequate and just. Page 3 of 3 Respectfully submitted this the 21st day of October, 2025. __________________________ Eric J. Alvarez GA Bar No. 477573 Attorney for Plaintiff Eric J. Alvarez, Esq. 487 Cherry Street, Suite 100 Macon, GA 31201-7972 P: (478) 742-8441 F: (478) 845-4838 E: eric@dozierlaw.com IPL0309170 Jan 30,Feb 6,13,20 2026

Frequently Asked Questions

What is the case number for the lawsuit filed by Brandon Gray?
The case number for the lawsuit filed by Brandon Gray is 24-SCCV-098322.
Who are the defendants in Brandon Gray's civil action?
The defendants in Brandon Gray's civil action are Freddie Tuff, Ricky Griffin, and John Does 1-10.
What are the allegations against Freddie Tuff in the complaint?
Freddie Tuff is alleged to have negligently operated a motor vehicle, causing a collision with Brandon Gray's vehicle.
What damages is Brandon Gray seeking in this lawsuit?
Brandon Gray is seeking damages for medical expenses, lost wages, pain and suffering, and other damages permitted by law.
When was the complaint for damages filed?
The complaint for damages was filed on October 21, 2025.

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