Damage Claim, Common Pleas Court, Franklin County, Ohio, 25CV003077-Jacob Holloway IV, Plaintiff v. Walker Aaliyah et al., Defendants; Walker Aaliyah, whose residence is unknown but whose last known address is 4552 Mandeville Court, Columbus, Ohio 43232, is hereby notified that a Complaint was filed in Franklin County, Common Pleas Court, 345 South High Street, Columbus, OH 43215, alleging that on April 14, 2025, Plaintiff, Jacob Holloway was operating his 2014 Ford Escape southbound on Interstate 270, Columbus, Franklin County, Ohio. Defendant, Walker Aaliyah, was operating a 2015 Nissan Optima southbound on Interstate 270 when Defendant failed to assure a clear distance ahead, failed to stop and slammed into the rear of Plaintiff, Jacob Holloway’s vehicle. As a direct and proximate result of Defendant, Walker Aaliyah’s negligence, Plaintiff, Jacob Holloway sustained physical injuries which are permanent, physical pain and suffering with attendant emotional distress that he will continue to experience in the future, a permanent loss of enjoyment of life and permanent loss of ability to perform his usual functions and activities, property damage, out of pocket expenses and medical expenses which he will continue to incur in the future, and a loss of earnings and he will continue to incur a loss of earnings in the future. Plaintiff alleges all of the same negligence claims asserted against Defendant, Walker Aaliyah, against Defendants, John Does Numbers 1-8, a negligent entrustment claim against Defendant Michael Joseph Rodriguez Jr., a claim for Uninsured/Underinsured motorist coverage and medical payments coverage against Defendant, Liberty Mutual Personal Insurance Company and a subrogation claim against Defendant, Cigna Health and Life Insurance Company. Plaintiff demands judgment against Defendants in an amount in excess of $25,000.00 for damages, costs, and expenses incurred; a declaration that Plaintiff have available coverage under the Defendant, Liberty Mutual Personal Insurance Company policy of, up to the limits of Uninsured/Underinsured motorist coverage and up to the limits of medical payment coverage, for declaratory relief against Defendant, Cigna, with respect to Plaintiff’ contractual rights under the respective health plan effective the date of the collision and for any other relief to which Plaintiff may be entitled. Defendant is further notified to answer said Complaint within twenty-eight (28) days after the last date of publication. Tom Somos, 1654 East Broad Street, Third Floor, Columbus, Ohio 43203, (614)488-2270, tsomos@somoslaw.com, Attorney for Plaintiff. This ad will run once a week for six (6) successive weeks. Service of process shall be deemed complete at the date of last publication. 12112433