Defendants' other cited authorities also involve issues of temporal proximity to the injury-causing event. SeeCurran , 67 F. Supp. 3d at 768 (no bystander claim where parent did not witness event or arrive at scene soon thereafter); Daigrepont v. La. State Racing Comm'n , 663 So. 2d 840, 840-41 (La. App. 1995) (no bystander claim where plaintiff did not witness horse-riding accident, but arrived at scene after son had been transported, was informed of accident, rushed to son's side in hospital emergency room, and later viewed videotape of accident at hospital). Here, Plaintiffs allege that Patricia Grimes heard the shots, immediately ran outside the house, and saw her son's bullet-ridden car (but not her son's body), and that Adolph Grimes, Jr., after being informed of the situation, also ran out of the house to the scene.