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Count XIII (WPLLC, Stephenson, Gherardi, Coldwell, and Berg) <br /> Negligent Misrepresentation with Respect to the Condition of the Property <br /> 205. Plaintiffs restate and re-allege all preceding paragraphs of this Complaint as <br /> if fully set forth herein. <br /> 206. WPLLC, Stephenson, Gherardi, Coldwell, and Berg all had a pecuniary <br /> interest in the sale of the Property. <br /> 207. WPLLC, Stephenson, Gherardi, Coldwell, and Berg supplied false <br /> information with respect to the condition of the Property, both by describing its condition <br /> as "excellent" and by effecting cosmetic repairs that would convey the false impression <br /> that the Property was in good condition. <br /> 208. Plaintiffs justifiably relied upon the false information provided by <br /> WPLLC, Stephenson, Gherardi, Coldwell, and Berg. <br /> 209. WPLLC, Stephenson, Gherardi, Coldwell, and Berg were aware of <br /> Plaintiffs' mistaken belief that the Property was in excellent condition. <br /> 210. WPLLC, Stephenson, Gherardi, Coldwell, and Berg failed to exercise <br /> reasonable care or competence in communicating the true condition of the Property to <br /> Plaintiffs. <br /> 211. Plaintiffs have suffered damages as a result of the negligent <br /> misrepresentations of WPLLC, Stephenson, Gherardi, Coldwell, and Berg. <br /> 212. To the extent these damages can be measured, they include at least the cost <br /> of repairs necessary to correct the defects to the Property. Recovery of reasonable <br /> damages in an amount greater than $50,000 is sought. <br /> 32 <br />