TABLE OF CONTENTS
- Caption
- Parties
- Jurisdiction and Venue
- Factual Allegations
- First Cause of Action — Negligence
- Second Cause of Action — Premises Liability
- Third Cause of Action — OSHA/Safety Violations
- Fourth Cause of Action — Statutory Negligence
- Fifth Cause of Action — Third-Party Liability
- Damages
- Comparative Fault
- Jury Demand
- Prayer for Relief
- Verification
- State-Specific Notes
CAPTION
IN THE DISTRICT COURT OF [________________________________] COUNTY
STATE OF OKLAHOMA
[PLAINTIFF FULL NAME],
Plaintiff,
v.
[DEFENDANT FULL NAME],
Defendant(s).
Case No.: [________________________________]
PETITION FOR DAMAGES — CONSTRUCTION ACCIDENT
I. PARTIES
-
Plaintiff [PLAINTIFF FULL NAME] ("Plaintiff") is an individual residing at [PLAINTIFF ADDRESS], County of [____], State of Oklahoma.
-
Defendant [DEFENDANT — GENERAL CONTRACTOR NAME] ("General Contractor") is a [corporation/LLC/partnership] organized under the laws of [STATE OF INCORPORATION], with its principal place of business at [DEFENDANT ADDRESS], and was at all relevant times the general contractor for the construction project described herein.
-
Defendant [DEFENDANT — PROPERTY OWNER NAME] ("Property Owner") is [an individual/a corporation/an LLC] [with its principal place of business at / residing at] [ADDRESS], and was at all relevant times the owner of the premises where the construction accident occurred.
-
Defendant [DEFENDANT — SUBCONTRACTOR NAME] ("Subcontractor") is a [corporation/LLC/partnership] organized under the laws of [STATE], with its principal place of business at [ADDRESS], and was at all relevant times a subcontractor performing work at the construction site.
II. JURISDICTION AND VENUE
-
This Court has jurisdiction over this matter pursuant to Okla. Const. Art. 7, § 7 (general jurisdiction of the District Court).
-
Venue is proper in [____] County pursuant to 12 Okla. Stat. § 139 because [the accident occurred in this county / one or more Defendants reside in this county / Defendants conducted business in this county].
-
The amount in controversy exceeds the jurisdictional minimum for this Court.
III. FACTUAL ALLEGATIONS
-
On or about [DATE OF ACCIDENT], Plaintiff was employed by [PLAINTIFF'S EMPLOYER] as a [JOB TITLE/TRADE] and was performing construction work at a construction site located at [CONSTRUCTION SITE ADDRESS], County of [____], Oklahoma (the "Project").
-
The Project involved [BRIEF DESCRIPTION OF CONSTRUCTION PROJECT].
-
At the time of the accident, Plaintiff was engaged in [DESCRIPTION OF PLAINTIFF'S WORK ACTIVITY AT TIME OF ACCIDENT].
-
On the date of the accident, [DESCRIBE THE ACCIDENT IN DETAIL].
-
As a direct and proximate result of the accident, Plaintiff sustained the following injuries: [DESCRIBE INJURIES].
-
At all relevant times, Defendants had a duty to maintain a safe construction site in accordance with applicable federal and state safety regulations, including 29 C.F.R. Part 1926 and 40 Okla. Stat. § 174 et seq.
-
Defendants knew or should have known of the dangerous conditions at the construction site and failed to take reasonable steps to remedy or warn of such conditions.
IV. FIRST CAUSE OF ACTION — NEGLIGENCE
(Against All Defendants)
-
Plaintiff incorporates by reference all preceding paragraphs as though fully set forth herein.
-
Defendants owed Plaintiff a duty of reasonable care to maintain a safe construction site, to provide adequate safety equipment, to properly supervise work activities, and to ensure compliance with all applicable safety standards.
-
Defendants breached their duty of care by, among other things:
☐ Failing to provide adequate fall protection systems
☐ Failing to properly secure scaffolding and elevated work platforms
☐ Failing to maintain the construction site in a reasonably safe condition
☐ Failing to provide proper safety equipment and personal protective gear
☐ Failing to adequately train and supervise workers
☐ Failing to conduct adequate safety inspections
☐ Failing to warn of known hazardous conditions
☐ Failing to comply with applicable OSHA standards (29 C.F.R. Part 1926)
☐ Failing to comply with 40 Okla. Stat. § 174 construction safety requirements
☐ [OTHER SPECIFIC NEGLIGENT ACTS OR OMISSIONS]
- Defendants' negligence was the direct and proximate cause of Plaintiff's injuries and damages.
V. SECOND CAUSE OF ACTION — PREMISES LIABILITY
(Against Property Owner and General Contractor)
-
Plaintiff incorporates by reference all preceding paragraphs as though fully set forth herein.
-
At all relevant times, Defendant Property Owner owned, controlled, managed, and/or maintained the premises located at [CONSTRUCTION SITE ADDRESS].
-
Defendant General Contractor exercised control over the construction site and the means and methods of the work performed thereon.
-
Pursuant to 76 Okla. Stat. § 80 and Oklahoma common law, Defendants had a duty to maintain the premises in a reasonably safe condition and to warn of known or discoverable hazards.
-
Defendants breached their duty by permitting dangerous conditions to exist on the premises, including but not limited to: [DESCRIBE UNSAFE CONDITIONS].
-
The dangerous conditions were the direct and proximate cause of Plaintiff's injuries and damages.
VI. THIRD CAUSE OF ACTION — OSHA/SAFETY VIOLATIONS
(Against All Defendants)
-
Plaintiff incorporates by reference all preceding paragraphs as though fully set forth herein.
-
At all relevant times, Defendants were required to comply with the Occupational Safety and Health Act of 1970 (29 U.S.C. § 651 et seq.) and the federal construction safety standards set forth in 29 C.F.R. Part 1926. Defendants were also required to comply with Oklahoma occupational safety statutes, including 40 Okla. Stat. §§ 174, 177.
-
Defendants violated one or more of the following OSHA construction standards:
☐ 29 C.F.R. § 1926.451 — Scaffolding safety requirements
☐ 29 C.F.R. § 1926.501 — Fall protection requirements
☐ 29 C.F.R. § 1926.502 — Fall protection systems criteria
☐ 29 C.F.R. § 1926.1400 et seq. — Cranes and Derricks in Construction (Subpart CC)
☐ 29 C.F.R. § 1926.651 — Excavation and trenching safety
☐ 29 C.F.R. § 1926.20 — General safety and health provisions
☐ 40 Okla. Stat. § 174 — State occupational safety requirements
☐ [OTHER SPECIFIC OSHA/STATE VIOLATIONS]
-
Such violations constitute negligence per se and/or evidence of negligence under Oklahoma law.
-
The safety violations were a direct and proximate cause of Plaintiff's injuries and damages.
VII. FOURTH CAUSE OF ACTION — STATUTORY NEGLIGENCE
(Against All Defendants)
-
Plaintiff incorporates by reference all preceding paragraphs as though fully set forth herein.
-
Defendants violated applicable statutes and regulations designed to protect construction workers, including but not limited to 29 C.F.R. Part 1926 and 40 Okla. Stat. §§ 174, 177.
-
Plaintiff was a member of the class of persons intended to be protected by such statutes and regulations.
-
The injuries suffered by Plaintiff are of the type the statutes and regulations were designed to prevent.
-
Defendants' statutory violations constitute negligence per se under Oklahoma law.
VIII. FIFTH CAUSE OF ACTION — THIRD-PARTY LIABILITY
(Against Defendants Other Than Plaintiff's Employer)
-
Plaintiff incorporates by reference all preceding paragraphs as though fully set forth herein.
-
At all relevant times, Plaintiff's direct employer was [EMPLOYER NAME], and Plaintiff was covered by workers' compensation insurance pursuant to 85A Okla. Stat. § 5.
-
Defendants [LIST THIRD-PARTY DEFENDANTS] were not Plaintiff's employer and are not entitled to the protections of the exclusive remedy doctrine.
-
These Defendants owed Plaintiff an independent duty of care that was separate and distinct from any duty owed by Plaintiff's direct employer.
-
These Defendants breached their independent duty of care, and such breach was a direct and proximate cause of Plaintiff's injuries and damages.
IX. DAMAGES
- As a direct and proximate result of the Defendants' negligent, wrongful, and unlawful conduct, Plaintiff has suffered and continues to suffer the following categories of damages:
Economic Damages:
☐ Past medical expenses in the amount of $[AMOUNT]
☐ Future medical expenses estimated at $[AMOUNT]
☐ Past lost wages and earnings in the amount of $[AMOUNT]
☐ Future lost wages and diminished earning capacity estimated at $[AMOUNT]
☐ Rehabilitation and therapy costs in the amount of $[AMOUNT]
☐ Property damage in the amount of $[AMOUNT]
☐ Other economic losses: [DESCRIBE]
Noneconomic Damages:
☐ Physical pain and suffering
☐ Mental anguish and emotional distress
☐ Loss of enjoyment of life
☐ Permanent disability and disfigurement
☐ Loss of consortium (if applicable)
X. COMPARATIVE FAULT
-
Plaintiff alleges that any negligence attributable to Plaintiff, if any, was less than fifty percent (50%) of the total fault and therefore does not bar recovery under 23 Okla. Stat. § 13.
-
Plaintiff's damages, if any comparative fault is found, shall be reduced in proportion to Plaintiff's percentage of fault pursuant to 23 Okla. Stat. § 13.
XI. JURY DEMAND
- Plaintiff hereby demands a trial by jury on all issues so triable.
XII. PRAYER FOR RELIEF
WHEREFORE, Plaintiff respectfully prays for judgment against Defendants, jointly and severally, as follows:
- Compensatory damages, both economic and noneconomic, in an amount to be determined at trial;
- Punitive damages where Defendants' conduct is shown to be willful, wanton, or reckless;
- Pre-judgment and post-judgment interest as allowed by law;
- Costs of suit and reasonable attorney's fees as permitted by law;
- Such other and further relief as this Court deems just and proper.
XIII. VERIFICATION
STATE OF OKLAHOMA
COUNTY OF [________________________________]
I, [PLAINTIFF FULL NAME], being first duly sworn, state that I am the Plaintiff in the above-entitled action, that I have read the foregoing Petition, and that the facts stated therein are true and correct to the best of my knowledge, information, and belief.
_________________________________________
[PLAINTIFF FULL NAME]
Subscribed and sworn to before me this [____] day of [________], [____].
_________________________________________
Notary Public
My Commission Expires: [__/__/____]
Respectfully submitted,
_________________________________________
[ATTORNEY NAME], OBA No. [____]
[LAW FIRM NAME]
[ADDRESS]
[CITY], Oklahoma [ZIP]
Telephone: [____]
Email: [____]
Attorney for Plaintiff
STATE-SPECIFIC NOTES — OKLAHOMA
| Topic | Detail |
|---|---|
| Statute of Limitations | 2 years for personal injury (12 Okla. Stat. § 95) |
| Comparative Fault | Modified — barred at 50% or more (23 Okla. Stat. § 13) |
| Workers' Comp | Exclusive remedy against employer (85A Okla. Stat. § 5); third-party claims preserved |
| OSHA | No state plan; federal OSHA applies |
| State Safety Statutes | 40 Okla. Stat. §§ 174, 177 (occupational safety in construction) |
| Noneconomic Damages Cap | $500,000 unless permanent/severe physical injury (no limit then) |
| Pleading Style | "Petition" rather than "Complaint" |
| Filing Court | District Court |
SOURCES AND REFERENCES
- 12 Okla. Stat. § 95 — Statute of limitations for personal injury
- 23 Okla. Stat. § 13 — Modified comparative fault
- 40 Okla. Stat. §§ 174, 177 — Occupational safety in construction
- 76 Okla. Stat. § 80 — Premises liability
- 85A Okla. Stat. § 5 — Workers' compensation exclusive remedy
- 29 C.F.R. Part 1926 — Federal OSHA construction safety standards
About This Template
Jurisdiction-Specific
This template is drafted specifically for Oklahoma, incorporating applicable state statutes, local court rules, and jurisdiction-specific compliance requirements.
How It's Made
Drafted using current statutory databases and legal standards for personal injury. Each template includes proper legal citations, defined terms, and standard protective clauses.
Important Notice
This template is provided for informational purposes. It is not legal advice. We recommend having an attorney review any legal document before signing, especially for high-value or complex matters.
Last updated: April 2026