Nevada Personal Injury Demand Letter

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PERSONAL INJURY DEMAND LETTER — NEVADA

FOR SETTLEMENT PURPOSES ONLY — PROTECTED UNDER NRS § 48.105


ATTORNEY INFORMATION

Law Firm: [________________________________]

Attorney Name: [________________________________], Esq.

Nevada Bar No.: [________________________________]

Address: [________________________________]

City, State, ZIP: [________________________________], NV [__________]

Telephone: [________________________________]

Facsimile: [________________________________]

Email: [________________________________]


LETTER DATE AND DELIVERY

Date: [__/__/____]

Via: ☐ Certified Mail, Return Receipt Requested ☐ Email ☐ Facsimile ☐ Hand Delivery


ADDRESSEE — INSURANCE COMPANY / CLAIMS DEPARTMENT

To:

Insurance Company: [________________________________]

Claims Department / Adjuster: [________________________________]

Adjuster Direct Telephone: [________________________________]

Adjuster Email: [________________________________]

Mailing Address: [________________________________]

City, State, ZIP: [________________________________]


CLAIM INFORMATION

Field Information
Claim Number [________________________________]
Policy Number [________________________________]
Date of Loss [__/__/____]
Insured (At-Fault Party) [________________________________]
Claimant [________________________________]
Claimant Date of Birth [__/__/____]
Type of Claim ☐ Bodily Injury Liability ☐ UM/UIM ☐ MedPay

I. INTRODUCTION AND PURPOSE

Dear [________________________________]:

This firm represents [Client Full Name] ("Claimant") in connection with personal injuries sustained on [__/__/____] as a result of the negligence of your insured, [Insured Full Name] ("Tortfeasor"), in [City/Town], [County] County, Nevada.

This letter constitutes a formal demand for settlement of the above-referenced claim. The Claimant has completed active medical treatment, and we are now in a position to present a comprehensive demand supported by medical documentation, billing records, and applicable Nevada law.

This correspondence is intended for settlement purposes only and is protected under NRS § 48.105. Nothing herein shall be construed as a limitation on the damages recoverable by the Claimant should litigation become necessary.

We have been authorized by our client to resolve this claim and to negotiate a fair and reasonable settlement on [his/her] behalf.


II. FACTUAL BACKGROUND

A. Incident Description

On [__/__/____], at approximately [____] [a.m./p.m.], Claimant was [describe activity — e.g., operating a motor vehicle, walking as a pedestrian, a passenger in a vehicle] at or near [________________________________] in [City/Town], [County] County, Nevada.

At that time, your insured, [Insured Full Name], was operating a [Year, Make, Model, Color] motor vehicle bearing Nevada license plate number [________________________________].

[Describe the specific negligent conduct and how the incident occurred. Include directional details, traffic conditions, and sequence of events.]

[________________________________]
[________________________________]
[________________________________]
[________________________________]
[________________________________]

B. Police Report and Investigation

The incident was investigated by the [________________________________] Police Department / [County] County Sheriff's Office / Nevada Highway Patrol. The investigating officer was [Officer Name], Badge No. [____]. The police report was assigned Report No. [________________________________].

Police Report Findings:

  • ☐ Your insured was issued a traffic citation for: [________________________________]
  • ☐ Your insured was found to have violated NRS § [________________________________]
  • ☐ Your insured was charged with: [________________________________]
  • ☐ Witnesses were identified and statements taken
  • ☐ Diagram/photographs were included in the report

C. Scene and Conditions

Factor Details
Location [________________________________]
Road Type ☐ Interstate ☐ State Highway ☐ County Road ☐ City Street ☐ Intersection ☐ Parking Lot
Road Surface ☐ Dry ☐ Wet ☐ Gravel ☐ Sand
Weather ☐ Clear ☐ Rain ☐ Wind ☐ Dust Storm ☐ Fog
Lighting ☐ Daylight ☐ Dusk ☐ Dark — Street Lights ☐ Dark — No Lights
Traffic Controls ☐ Traffic Signal ☐ Stop Sign ☐ Yield Sign ☐ None
Speed Limit [____] MPH
Estimated Speed of Tortfeasor [____] MPH

D. Emergency Response

  • ☐ Claimant was transported by ambulance to [Hospital Name]
  • ☐ Claimant was airlifted to [Trauma Center Name]
  • ☐ Claimant was transported by private vehicle to [Hospital/Facility]
  • ☐ Claimant was treated and released from the emergency department
  • ☐ Claimant was admitted to the hospital for [____] days

III. LIABILITY ANALYSIS

A. Negligence Under Nevada Law

Under Nevada law, a plaintiff in a negligence action must establish: (1) the defendant owed a duty of care to the plaintiff; (2) the defendant breached that duty; (3) the breach was the actual and proximate cause of the plaintiff's injuries; and (4) the plaintiff suffered damages. See Turner v. Mandalay Sports Entm't, LLC, 124 Nev. 213 (2008).

Your insured owed a duty of care to all persons lawfully on the roadway, including the Claimant. Your insured breached this duty by:

  • ☐ Failing to maintain a proper lookout — NRS § 484B.150
  • ☐ Following too closely — NRS § 484B.127
  • ☐ Failing to yield the right of way — NRS § 484B.250 et seq.
  • ☐ Running a red light or stop sign — NRS § 484B.300, 484B.307
  • ☐ Speeding — NRS § 484B.600 et seq.
  • ☐ Reckless driving — NRS § 484B.653
  • ☐ Driving under the influence — NRS § 484C.110
  • ☐ Improper lane change — NRS § 484B.223
  • ☐ Failure to signal — NRS § 484B.400
  • ☐ Using a handheld device while driving — NRS § 484B.165
  • ☐ Other: [________________________________]

B. Comparative Negligence — NRS § 41.141

Nevada applies a modified comparative fault standard under NRS § 41.141. A plaintiff's comparative negligence does not bar recovery so long as the plaintiff's negligence was "not greater than" the negligence or gross negligence of the defendant(s). If the plaintiff is found to be more than 50% at fault, recovery is completely barred.

Where the plaintiff is partially at fault (but 50% or less), damages are reduced by the plaintiff's percentage of fault.

In this case, the Claimant bears zero (0%) fault for the incident. Your insured is 100% at fault. [If partial fault is acknowledged, address proportionate analysis here.]

C. Joint and Several Liability — NRS § 41.141(4)-(5)

Nevada applies different liability rules depending on the plaintiff's fault:

  • If the plaintiff is WITHOUT fault (0%): Defendants are jointly and severally liable for all damages. NRS § 41.141(4).
  • If the plaintiff IS partially at fault: Each defendant is severally liable only for that defendant's proportionate share. NRS § 41.141(5).
  • Exception: Defendants who acted in concert remain jointly and severally liable regardless of the plaintiff's comparative fault.

In this case, because the Claimant bears no fault, your insured is jointly and severally liable for all damages. [Modify if partial fault is applicable.]


IV. INJURIES AND MEDICAL TREATMENT

A. Nature of Injuries

As a direct and proximate result of the incident, the Claimant sustained the following injuries:

Primary Diagnoses:

  • ☐ Cervical spine injury — [________________________________]
  • ☐ Lumbar spine injury — [________________________________]
  • ☐ Thoracic spine injury — [________________________________]
  • ☐ Traumatic brain injury / Concussion — [________________________________]
  • ☐ Fracture(s) — [________________________________]
  • ☐ Herniated disc(s) — [________________________________]
  • ☐ Disc bulge(s) / Protrusion(s) — [________________________________]
  • ☐ Radiculopathy — [________________________________]
  • ☐ Rotator cuff tear / Shoulder injury — [________________________________]
  • ☐ Knee injury — [________________________________]
  • ☐ Soft tissue injuries — [________________________________]
  • ☐ Lacerations / Contusions / Abrasions — [________________________________]
  • ☐ PTSD / Anxiety / Depression — [________________________________]
  • ☐ Other: [________________________________]

ICD-10 Diagnostic Codes:

Code Description
[________] [________________________________]
[________] [________________________________]
[________] [________________________________]
[________] [________________________________]
[________] [________________________________]

B. Chronological Treatment History

1. Emergency / Acute Care
Date Provider Facility Treatment Cost
[__/__/____] [________________________________] [________________________________] [________________________________] $[________]
[__/__/____] [________________________________] [________________________________] [________________________________] $[________]
2. Diagnostic Imaging
Date Type Facility Findings Cost
[__/__/____] ☐ X-ray ☐ MRI ☐ CT Scan [________________________________] [________________________________] $[________]
[__/__/____] ☐ X-ray ☐ MRI ☐ CT Scan [________________________________] [________________________________] $[________]
[__/__/____] ☐ X-ray ☐ MRI ☐ CT Scan [________________________________] [________________________________] $[________]
3. Specialist Consultations
Date Specialist Specialty Findings/Recommendations Cost
[__/__/____] [________________________________] ☐ Orthopedic ☐ Neurology ☐ Pain Mgmt ☐ Neurosurgery [________________________________] $[________]
[__/__/____] [________________________________] ☐ Orthopedic ☐ Neurology ☐ Pain Mgmt ☐ Neurosurgery [________________________________] $[________]
4. Physical Therapy / Chiropractic / Rehabilitation
Date Range Provider # Sessions Treatment Type Cost
[__/__/____] to [__/__/____] [________________________________] [____] [________________________________] $[________]
[__/__/____] to [__/__/____] [________________________________] [____] [________________________________] $[________]
5. Injections / Procedures
Date Provider Procedure Anatomical Location Cost
[__/__/____] [________________________________] ☐ Epidural ☐ Facet Block ☐ Trigger Point ☐ PRP [________________________________] $[________]
[__/__/____] [________________________________] ☐ Epidural ☐ Facet Block ☐ Trigger Point ☐ PRP [________________________________] $[________]
6. Surgical Intervention
Date Surgeon Procedure Facility Cost
[__/__/____] [________________________________] [________________________________] [________________________________] $[________]
7. Mental Health Treatment
Date Range Provider Type # Sessions Cost
[__/__/____] to [__/__/____] [________________________________] ☐ Psychotherapy ☐ Psychiatry ☐ Counseling [____] $[________]
8. Prescription Medications
Medication Prescriber Duration Purpose Cost
[________________________________] [________________________________] [________________________________] [________________________________] $[________]
[________________________________] [________________________________] [________________________________] [________________________________] $[________]

C. Current Medical Status and Prognosis

Dr. [________________________________] has opined, within a reasonable degree of medical probability, that the Claimant's injuries are [permanent / have reached maximum medical improvement / require ongoing treatment].

Current Symptoms:

  • ☐ Chronic pain in [________________________________]
  • ☐ Restricted range of motion in [________________________________]
  • ☐ Numbness/tingling in [________________________________]
  • ☐ Headaches — frequency: [________________________________]
  • ☐ Sleep disturbance
  • ☐ Cognitive difficulties
  • ☐ Emotional distress / Anxiety / Depression
  • ☐ Other: [________________________________]

Future Medical Needs:

  • ☐ Ongoing physical therapy — estimated cost: $[________] per year
  • ☐ Future surgical intervention — estimated cost: $[________]
  • ☐ Pain management — estimated cost: $[________] per year
  • ☐ Future diagnostic imaging — estimated cost: $[________]
  • ☐ Prescription medications — estimated cost: $[________] per year
  • ☐ Durable medical equipment — estimated cost: $[________]
  • ☐ Home health care — estimated cost: $[________]
  • ☐ Life care plan has been prepared by: [________________________________]

V. DAMAGES CALCULATION

A. Economic Damages

1. Past Medical Expenses
Provider Service Dates Description Amount Billed
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
[________________________________] [__/__/____] to [__/__/____] [________________________________] $[________]
TOTAL PAST MEDICAL EXPENSES $[________]
2. Future Medical Expenses
Category Estimated Annual Cost Duration Total Estimated Cost
[________________________________] $[________] [____] years $[________]
[________________________________] $[________] [____] years $[________]
[________________________________] $[________] [____] years $[________]
TOTAL FUTURE MEDICAL EXPENSES $[________]
3. Lost Wages — Past
Employer Position Period of Absence Rate of Pay Total Lost
[________________________________] [________________________________] [__/__/____] to [__/__/____] $[________]/[hr/wk/mo] $[________]

Supporting Documentation: ☐ Employer verification letter ☐ Tax returns ☐ Pay stubs ☐ W-2 forms

4. Lost Earning Capacity — Future
Basis Reduction Amount Duration Present Value
[________________________________] $[________]/year [____] years $[________]

Vocational Expert: [________________________________]

5. Other Economic Damages
Category Amount
Out-of-pocket medical expenses $[________]
Travel to/from medical appointments $[________]
Household services $[________]
Property damage (vehicle) $[________]
Rental vehicle $[________]
Other: [________________________________] $[________]
TOTAL OTHER ECONOMIC DAMAGES $[________]

B. Non-Economic Damages

Note: Nevada does NOT impose any statutory cap on compensatory damages (including non-economic damages) in personal injury cases.

Category Amount Claimed
Physical pain and suffering (past) $[________]
Physical pain and suffering (future) $[________]
Mental anguish and emotional distress $[________]
Loss of enjoyment of life $[________]
Disfigurement / Scarring $[________]
Disability / Physical impairment $[________]
Loss of consortium (spouse claim) $[________]
TOTAL NON-ECONOMIC DAMAGES $[________]

C. Total Damages Summary

Category Amount
Past Medical Expenses $[________]
Future Medical Expenses $[________]
Past Lost Wages $[________]
Future Lost Earning Capacity $[________]
Other Economic Damages $[________]
Total Economic Damages $[________]
Total Non-Economic Damages $[________]
TOTAL DAMAGES $[________]

VI. INSURANCE COVERAGE ANALYSIS

A. Tortfeasor's Liability Coverage

Coverage Limits
Bodily Injury — Per Person $[________]
Bodily Injury — Per Accident $[________]
Property Damage $[________]
Policy Number [________________________________]
Insurer [________________________________]

B. Claimant's Own Coverage (First-Party)

MedPay / Medical Payments Coverage
Coverage Details
MedPay Limit $[________]
MedPay Benefits Paid $[________]
MedPay Benefits Remaining $[________]
Insurer [________________________________]
Policy Number [________________________________]
UM/UIM — Uninsured/Underinsured Motorist Coverage
Coverage Limits
UM Bodily Injury — Per Person $[________]
UM Bodily Injury — Per Accident $[________]
UIM Bodily Injury — Per Person $[________]
UIM Bodily Injury — Per Accident $[________]
Stacking ☐ Yes ☐ No

☐ UIM claim is being asserted. Tortfeasor's limits of $[________] are insufficient to compensate Claimant's damages.
☐ UM claim is being asserted. Tortfeasor was uninsured.

C. Additional Coverage Sources

  • ☐ Umbrella / Excess Policy: $[________]
  • ☐ Health insurance subrogation lien: $[________] — Carrier: [________________________________]
  • ☐ Workers' compensation lien: $[________]
  • ☐ Medicare/Medicaid conditional payments: $[________]
  • ☐ ERISA lien: $[________]

D. Nevada Minimum Insurance Requirements

Nevada requires the following minimum automobile liability insurance (NRS § 485.185):

Coverage Minimum
Bodily Injury — Per Person $25,000
Bodily Injury — Per Accident $50,000
Property Damage $20,000

Nevada is a tort (fault-based) state — it does NOT have a no-fault auto insurance system.


VII. PREJUDGMENT INTEREST — NRS § 17.130

Under NRS § 17.130, when no rate of interest is provided by contract, the judgment draws interest from the date of service of the summons and complaint until satisfied, at a rate equal to:

The prime rate at the largest bank in Nevada (as ascertained by the Commissioner of Financial Institutions on January 1 or July 1 immediately preceding the date of judgment) plus 2%.

Important: Future damages draw interest only from the date of entry of the judgment, not from the date of service.

In this case:

  • Date of Loss: [__/__/____]
  • Anticipated filing date: [__/__/____]
  • Current estimated prejudgment interest rate: [____]%
  • Daily accrual on claimed damages: $[________] per day

The accrual of prejudgment interest from the date of service of process creates substantial additional liability exposure. We recommend resolution before suit is filed.


VIII. PUNITIVE DAMAGES — NRS § 42.005

This section is applicable to this claim.

Under NRS § 42.005, punitive damages may be awarded when the plaintiff proves by clear and convincing evidence that the defendant was guilty of oppression, fraud, or malice, whether express or implied.

Punitive Damages Caps (NRS § 42.005(1)):

Compensatory Damages Punitive Damages Cap
$100,000 or more 3x compensatory damages awarded
Less than $100,000 $300,000

Exception: The cap does NOT apply to claims against an insurer for bad faith denial or delay of insurance benefits under NRS § 42.005(2)(b).

Basis for Punitive Damages Claim:
[________________________________]
[________________________________]
[________________________________]

This section is NOT applicable — Punitive damages are not being sought at this time but are reserved as a right should evidence of egregious conduct emerge during litigation.


IX. COLLATERAL SOURCE RULE — NRS § 42.021

Nevada follows a strict collateral source rule. Under NRS § 42.021, evidence of collateral source payments (such as health insurance, disability insurance, or other benefits) is inadmissible at trial and may NOT be used to reduce the plaintiff's damages.

The full amount of medical bills incurred — regardless of insurance payments or write-offs — is recoverable in Nevada.


X. SETTLEMENT DEMAND

Based upon the foregoing analysis of liability, injuries, damages, and applicable Nevada law, the Claimant hereby demands the sum of:

$[________________________________]

This demand is supported by total economic damages of $[________] and non-economic damages of $[________], and accounts for the Claimant's injuries, ongoing medical needs, and the impact on [his/her] quality of life.

Response Deadline: We respectfully request a substantive response to this demand within thirty (30) days of receipt, no later than [__/__/____].

This demand will remain open for the stated period. Failure to respond or to make a good-faith offer within the specified timeframe will result in the immediate filing of a Complaint in the [____] Judicial District Court, [County] County, State of Nevada.


XI. STATUTE OF LIMITATIONS NOTICE

The statute of limitations for this claim is TWO (2) YEARS from the date of loss under NRS § 11.190(4)(e).

  • Date of Loss: [__/__/____]
  • SOL Expiration Date: [__/__/____]

We will not permit the statute of limitations to expire pending resolution of this claim. A Complaint will be filed in advance of the expiration date regardless of the status of settlement negotiations.


XII. RESERVATION OF RIGHTS

The Claimant reserves all rights, claims, and causes of action available under Nevada law, including but not limited to:

  • ☐ Negligence
  • ☐ Negligence per se (statutory violation)
  • ☐ Reckless conduct
  • ☐ Gross negligence
  • ☐ Punitive damages (NRS § 42.005)
  • ☐ Negligent entrustment
  • ☐ Respondeat superior / Vicarious liability
  • ☐ Dram shop liability (NRS § 41.1305)
  • ☐ Products liability (NRS § 695E)
  • ☐ Premises liability
  • ☐ Loss of consortium (spouse)
  • ☐ Wrongful death (NRS § 41.085) / Survival action (NRS § 41.100)
  • ☐ Bad faith failure to settle (NRS § 42.005(2)(b))
  • ☐ Other: [________________________________]

The presentation of this demand does not constitute a waiver of any claim or right, nor does it limit the damages that may be sought in litigation.


XIII. ENCLOSED DOCUMENTS AND EXHIBITS INDEX

The following documents are enclosed with this demand for your review:

Medical Records and Bills

Exhibit Description Provider Dates Pages
☐ A Emergency department records and bills [________________________________] [__/__/____] [____]
☐ B Diagnostic imaging reports and bills [________________________________] [__/__/____] [____]
☐ C Primary care records and bills [________________________________] [__/__/____] [____]
☐ D Specialist records and bills [________________________________] [__/__/____] [____]
☐ E Physical therapy / Chiropractic records and bills [________________________________] [__/__/____] [____]
☐ F Surgical records and bills [________________________________] [__/__/____] [____]
☐ G Mental health records and bills [________________________________] [__/__/____] [____]
☐ H Prescription records [________________________________] [__/__/____] [____]
☐ I Permanency / IME report [________________________________] [__/__/____] [____]

Other Documentation

Exhibit Description
☐ J Police / Accident report
☐ K Photographs of vehicle damage / injuries / scene
☐ L Employer verification letter / Lost wage documentation
☐ M Tax returns / W-2 forms (lost earnings)
☐ N Insurance declarations page (Claimant's policy)
☐ O Expert reports (vocational, life care plan, economist)
☐ P Property damage estimate / repair records
☐ Q Witness statements
☐ R Medical bills summary spreadsheet
☐ S Other: [________________________________]

XIV. SIGNATURE BLOCK

We trust that your review of the enclosed documentation and this demand letter will confirm the full extent of the Claimant's injuries and the reasonableness of our demand. We look forward to a prompt and fair resolution of this claim.

Should you have any questions or require additional documentation, please do not hesitate to contact our office.

Very truly yours,

[________________________________]

[________________________________], Esq.
Attorney for Claimant
Nevada Bar No. [________________________________]

[Law Firm Name]
[________________________________]
[________________________________], NV [__________]
Tel: [________________________________]
Fax: [________________________________]
Email: [________________________________]


XV. SOURCES AND REFERENCES

Nevada Statutes

  • NRS § 41.141 — Modified Comparative Fault (51% Bar Rule)
  • NRS § 11.190(4)(e) — Statute of Limitations for Personal Injury (2 years)
  • NRS § 41.085 — Wrongful Death
  • NRS § 41.100 — Survival Action
  • NRS § 42.005 — Punitive Damages Standard and Caps
  • NRS § 42.021 — Collateral Source Rule (Strict — Evidence Inadmissible)
  • NRS § 17.130 — Prejudgment Interest (Prime Rate + 2%)
  • NRS § 485.185 — Minimum Auto Insurance Requirements (25/50/20)
  • NRS § 41.141(4)-(5) — Joint and Several Liability Rules

Key Cases

  • Turner v. Mandalay Sports Entm't, LLC, 124 Nev. 213 (2008) — Elements of negligence
  • Banks v. Sunrise Hospital, 120 Nev. 822 (2004) — Comparative fault analysis
  • Countrywide Home Loans, Inc. v. Thitchener, 124 Nev. 725 (2008) — Punitive damages standard
  • Ace Cab, Inc. v. City of Las Vegas, 2004 WL 2827785 (Nev. 2004) — Joint and several liability

This template is provided by ezel.ai for use by licensed attorneys. It does not constitute legal advice. All statutory citations should be verified before use. Nevada law requires that demand letters in personal injury cases be prepared or reviewed by a licensed attorney.

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About This Template

Personal injury cases are brought by people who were hurt because of someone else's carelessness: car crashes, slip and falls, defective products, and more. Demand letters, settlement agreements, and court filings in these cases have to document the injuries, the medical treatment, the lost income, and the exact legal basis for holding the other side responsible. Well-prepared paperwork is what drives higher settlements and forces insurers to take the claim seriously.

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: March 2026