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OF THE STATE OF NEW YORK COUNTY OF BRONX ----------------------------------------------------------------------------------X SHEILA R FOSTER AS ADMINISTRATRIX OF THE ESTATE OF COREY A. FOSTER, DECEASED, AND SHEILA R FOSTER, INDIVIDUALLY, Plaintiffs, -againstLEAKE AND WATTS SERVICES, INC., JOSEPH PERSON, ANDREW DUNCAN, STEVEN MCSWEEN, AND CLIFTON CABALLERO, Defendants. Index No_: 309395/2012
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Defendant, LEAKE AND WATTS SERVICES, INC., by and through its attorneys, KENNY & ZONGHETTI, LLC, as and for its Verified Ans:w:er_ to_ the ______ . plaintiffs Verified Complaint, states upon information and belief: 1. Denies knowledge or information sufficient to form a belief as to the
truth of allegations contained in paragraph "1" ofthe plaintiffs verified complaint. 2. Denies knowledge or information sufficient to form a belief as to the
truth of allegations contained in paragraph "2" of the plaintiffs verified complaint. 3. Denies knowledge or information sufficient to form a belief as to the
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4.
truth of allegations contained in paragraph "4" ofthe plaintiffs verified complaint. 5. Denies knowledge or information sufficient to form a belief as to th
truth of allegations contained in paragraph "5" of the plaintiffs verified complaint. 6. Denies upon information and belief each and every allegation
paragraph "6" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 7. Denies upon information and belief each and every allegation i
paragraph "7" of the plaintiffs verified complaint and refers all questions of law t this honorable court, but admits Leake and Watts is a domestic Not For Profi business corporation. 8. Denies knowledge or information sufficient to form a belief as to th
truth of allegations contained in paragraph "8" of the plaintiffs verified complaint. 9. Denies knowledge or information sufficient to form a belief as to the
truth of allegations contained in paragraph "9" of the plaintiffs verified complaint. 10. truth of complaint. 11. truth of complaint. Denies knowledge or information sufficient to form a belief as to the allegations contained in paragraph "11" of the plaintiff's verifie Denies knowledge or information sufficient to form a belief as to the allegations contained in paragraph "10" of the plaintiffs verifi.e
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12.
verified complaint. 13. Admits the allegations contained in paragraph "13" of the plaintiff
verified complaint. 14. Admits the allegations contained in paragraph "14" of the plaintiff
verified complaint. 15. Admits the allegations contained in paragraph "15" of the plaintiff
verified complaint. 16. Deny upon information and belief each and every allegation i
paragraph "16" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 17. Deny upon information and belief each and every allegation i
paragraph "17" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 18. Deny upon information and belief each and every allegation- i
paragraph "18" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 19. Deny upon information and belief each and every allegation i
paragraph "19" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
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20.
paragraph "20" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 21. Deny upon information and belief each and every allegation i
paragraph "21" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 22. Deny upon information and belief each and every allegation i
paragraph "22" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 23. Deny upon information and belief each and every allegation i
paragraph "23" of the plaintiffs verified complaint and refer all questions of law t this honorable court. 24. Deny upon information and belief each and every allegation i
paragraph "24" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 25. Deny upon information and belief each and every allegation i
paragraph "25" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 26. Deny upon information and belief each and every allegation i
paragraph "26" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
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27.
paragraph "27" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 28. Deny upon information and belief each and every allegation i
paragraph "28" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 29. Deny upon information and belief each and every allegation i
paragraph "29" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 30. Deny upon information and belief each and every allegation i
paragraph "30" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 31. Deny upon information and belief each and every allegation i
paragraph "31" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 32. Deny upon information and belief each and every allegation i
paragraph "32" ofthe plaintiffs verified complaint and refers all questions oflaw t this honorable court. 33. Deny upon information and belief each and every allegation i
paragraph "33" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court.
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34.
paragraph "34'' of the plaintiff's verified complaint and refers all questions of law t this honorable court. 35. Deny upon information and belief each and every allegation i
paragraph "35" of the plaintiffs verified complaint and refers all questions of law to this honorable court. 36. Deny upon information and belief each and every allegation i
paragraph "36" of the plaintiffs verified complaint and refers all questions of law to this honorable court. 37. Deny upon information and belief each and every allegation
paragraph "37" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 38. Deny upon information and belief each and every allegation
paragraph "38" of the plaintiffs verified complaint and refers all questions oflaw to this honorable court. 39. Deny upon information and belief each and every allegation
paragraph "39" of the plaintiffs verified complaint and refers all questions oflaw to this honorable court. 40. Deny upon information and belief each and every allegation
paragraph "40" of the plaintiffs verified complaint and refers all questions oflaw to this honorable court.
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41.
paragraph "41" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 42. Deny upon information and belief each and every allegation i
paragraph "42" of the plaintiffs verified complaint and refers all questions of law to this honorable court.
foregoing allegations as though more fully set forth herein. 44. Deny upon information and belief each and every allegation i
paragraph "44" of the plaintiffs verified complaint and refers all questions of law to this honorable court. 45. Deny upon information and belief each and every allegation i
paragraph "45" of the plaintiffs verified complaint and refers all questions oflaw to this honorable court. 46. Deny upon information and belief each and every allegation i
paragraph "46" of the plaintiffs verified complaint and refers all questions of law to this honorable court. 47. Deny upon information and belief each and every allegation i
paragraph "47" of the plaintiffs verified complaint and refers all questions of law to this honorable court.
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48.
paragraph "48" of the plaintiffs verified complaint and refers all questions oflaw to this honorable court.
foregoing allegation as though more fully set forth herein. 50. Admits the allegations contained in paragraph "50" of the plaintiffs
verified complaint. 51. Deny upon information and belief each and every allegation i
paragraph "51" of the plaintiffs verified complaint and refers all questions of law to this honorable court. 52. Deny upon information and belief each and every allegation i
paragraph "52" of the plaintiffs verified complaint and refers all questions .of law_ to_ this honorable court. 53. Deny upon information and belief each and every allegation i
paragraph "53" of the plaintiffs verified complaint and refers all questions of law to this honorable court. 54. Deny upon information and belief each and every allegation i
paragraph "554" of the plaintiffs verified complaint and refers all questions of la to this honorable court.
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55.
paragraph "55" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
foregoing allegation as though more fully set forth herein. 57. Deny upon information and belief each and every allegation i
paragraph "57" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 58. Deny upon information and belief each and every allegation i
paragraph "58" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 59. Deny upon information and belief each and every allegation i
paragraph "59" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 60. Deny upon information and belief each and every allegation i
paragraph "60" ofthe plaintiffs verified complaint and refers all questions of law t this honorable court. 61. Deny upon information and belief each and every allegation
paragraph "61" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
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62.
paragraph "62" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
foregoing allegation as though more fully set forth herein. 64. Deny upon information and belief each and every allegation i
paragraph "64" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 65. Deny upon information and belief each and every allegation
paragraph "65" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 66. Deny upon information and belief each and every allegation i
paragraph "66" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 67. Deny upon information and belief each and every allegation i
paragraph "67" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
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69.
paragraph "69" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 70. Deny upon information and belief each and every allegation i
paragraph "70" of the plaintiff's verified complaint and refers all questions of law t this honorable court. 71. Deny upon information and belief each and every allegation i
paragraph "71" of the plaintiff's verified complaint and refers all questions of law t this honorable court. 72. Deny upon information and belief each and every allegation i
paragraph "72" of the plaintiff's verified complaint and refers all questions oflaw t this honorable court.
foregoing allegation as though more fully set forth herein. 74. Deny upon information and belief each and every allegation i
paragraph "74" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 75. Deny upon information . and belief each and every allegation i
paragraph "75" of the plaintiff's verified complaint and refers all questions of law t this honorable court.
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76.
paragraph "76" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 77. Deny upon information and belief each and every allegation
paragraph "77" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court.
foregoing allegation as though more fully set forth herein. 79. Deny upon information and belief each and every allegation i
paragraph "79" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 80. Deny upon information and belief each and every allegation i
paragraph "80" of the plaintiffs verified complaint and refers all q1.1estions of law to this honorable court. 81. Deny upon information and belief each and every allegation i
paragraph "81" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 82. Deny upon information and belief each and every allegation i
paragraph "82" of the plaintiffs verified complaint and refers all questions of law t this honorable court.
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83.
paragraph "83" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court.
foregoing allegation as though more fully set forth herein. 85. Deny upon information and belief each and every allegation
paragraph "85" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court. 86. Deny upon information and belief each and every allegation i
paragraph "86" of the plaintiffs verified complaint and refers all questions of law t this honorable court. 87. Deny upon information and belief each and every allegation i
paragraph "87" of the plaintiffs verified complaint and refers all questions oflaw t this honorable court.
caused by plaintiffs own fault and negligence, and/or culpable conduct, and/o
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assumption of risk, wholly or partially. Accordingly, any damages to which plainti may become entitled should be diminished in the same proportion, as plaintiffs ow negligent and/or culpable conduct, and/or assumption of risk bears to the tota negligent and/or culpable conduct responsible for the injuries sustained.
liability being specifically denied, then the answering defendant's liability is limite pursuant to the provisions of Article 16 of the CPLR.
losses were or will be replaced or indemnified in whole or in part from collatera sources and, therefore, any award for economic loss should be reduced thereb pursuant to CPLR 4545.
were caused by the culpable conduct of some third person or persons over whom thi answering defendant exercised no control, direction or supervision.
complaint, said injuries and damages were caused by the independent intervenin
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conduct of a person over whom this answering defendant exercised no d:irection, control or supervision.
time and place and in the manner alleged in the complaint, such damages an injuries are attributable, in whole or in part, to intervening, superseding causes t which the defendant had no controL
alleged in the Verified Complaint were at the time and place mentioned obvious an apparent and were known by the plaintiff and voluntarily assumed by the plaintiff. Accordingly, plaintiffs claims are barred by the assumption of risk doctrine.
if plaintiffs have been injured and damaged as alleged in the verified complaint, which defendant denies, any amount recovered must be diminished as a result o plaintiffs' failure to minimize and/or mitigate its damages.
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KENNY & ZONGHETTI, LLC Attorneys for Defendant Leake And Watts Services, Inc.
Kenneth B. Danielsen 26 Broadway New York, New York 10004 (212) 422-6111 Our File No. 245-4328
TO:
Jacob Oresky & Associates, PLLC Jacob Oresky, Esq. Attorneys for Plaintiffs 155 East 149th Street Bronx, New York 10451 Rutherford & Christie, LLP David S. Rutherford, Esq. Attorneys for Defendants Joseph Person, Andrew Duncan, Steven McSween, and Clifton Caballero 369 Lexington Avenue, Sth Floor New York, New York 10017
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) ) SS: )
Kenneth B. Danielsen, an attorney-at-law, duly admitted to practice law the State of New York, hereby affirms pursuant to the C.P.L.R. and subscribing as true under the penalties of perjury, as follows: That the Affirmant is an associate of the firm of KENNY & ZONGHETTI, LLC, attorneys of record for the answering defendant(s) in the above entitle action. That the Affirmant has read the foregoing Answer and knows the contents thereof; that same is true to his own knowledge, except as to the matters therein stated to be alleged upon information and belief, and as to those matters, he believes them to be true. This Verification is made by Mfirmant and not by the defendant(s) because said defendant(s) do/does not reside within the County in which the firm of KEN
& ZONGHETTI, LLC, maintain their offices for the practice oflaw.
The grounds of Affirmant's belief as to all matters not stated upon his knowledge are as follows: BOOKS AND RECORDS MAINTAINED BY THE LAW FIRM OF KENNY & ZONGHETTI AND INFORMATION PROVIDED BY THE PHILADELPHIA INDEMNITY INSURANCE COMPANY AND BY THE DEFENDANT HEREIN
Dated:
By:
Kenneth B. Danielsen
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ss: )
Arthur Pearson, being duly sworn, deposes and says that deponent is not a party to this action, is over 18 years of age and resides in Staten Island, New York. That, upon the 71h day of February 2013, deponent served copies of the within: VERIFIED ANSWER TO VERIFIED COMPLAINT DEMAND FOR A VERIFIED BILL OF PARTICULARS COMBINED DEMANDS NOTICE TO TAKE DEPOSITIONS UPON: Jacob Oresky, Esq. JACOB ORESKY & ASSOCIATES, PLLC 155 East 1491h Street Bronx, New York 10451 Attorneys for Plaintiffs Rutherford & Christie, LLP DavidS. Rutherford, Esq. 369 Lexington Avenue, 8th Floor New York, New York 10017 Attorneys for Defendants Joseph Person, Andrew Duncan, Steven McSween, and Clifton Caballero attorney(s) in this action, at the above address(es), the address(es) designated by said attorney(s) for the purpose, by depositing same in a post-paid properly addressed wrapper, in a post office official depository under the exclusive care and custody of the United States Post Office Department within the State of New York.
NOTARY PUBLIC Kenneth B. Danielsen Notary Public, State of New York No. 02DA6212907 Qualified in Nassau County Commission Expires October 26, 2013
Index No.: 309395/2012 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX SHEILA R. FOSTER AS ADMINISTRATRIX OF THE ESTATE OF COREY A. FOSTER, DECEASED, AND SHEILA R. FOSTER, INDIVIDUALLY, Plaintiffs, -againstLEAKE AND WATTS SERVICES, INC., JOSEPH PERSON, ANDREW DUNCAN, STEVEN MCSWEEN, AND CLIFTON CABALLERO, Defendants.
KENNY & ZONGHETTI, LLC Attorney(s) for Defondant Office and Post Office Address 26 Broadway - 27th Floor New York, New York 10004 (212) 422-6111