each of them as alleged in the First, Second and Third Causes of Action above, proximately resulted in the wrongful death of such Plaintiffs' decedents.

43. By reason of the foregoing, said Plaintiffs have been deprived of the comfort and society of their respective decedents, and sustained pecuniary and general damages. Further, Plaintiffs have incurred obligations for medical care and burial expenses in the internment of their decedents.

**DERIVATIVE CAUSES OF ACTION**

44. Plaintiffs reallege and incorporate by reference each and every allegation contained in the First, Second, Third, and Fourth Causes of Action, as if fully set forth herein.

45. The lawfully wedded spouses of the Plaintiffs are entitled to the services, consortium, and other benefits of their marriages.

46. As a result of the tortious conduct of the defendants, as set forth in the First, Second, Third and Fourth Causes of Action, said Plaintiffs have been deprived of said services and other benefits of said marriages.

47. The Plaintiffs denominated as the Natural Guardians of infant Plaintiffs are entitled to the services naturally provided by such infants, and are further responsible for medical expenses incurred by said infants.