Preview
FILED: QUEENS COUNTY CLERK 05/10/2018 11:25 AM INDEX NO. 704701/2018
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NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 05/10/2018
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
X
BANSARI PATEL,
ANSWER
Plaintiff,
-against- Index No. 704701/18
DIANNA COSTA and LAURENCE D. COHEN,
Defendants.
X
'l
The Defendant(s) DIANNA COSTA and LAURENCE D. COHEN by the Law
Offices of Karen L. Lawrence, as and for his/her/their Answer to the complaint herein, alleges as
follows:
1. Denies/deny any knowledge or information sufficient to form a belief as to the
allegation(s) contained in paragraph(s) designated as "FOURTH, SIXTH, SEVENTH, EIGHTH
FOURTEENTH"
and of the Complaint herein.
2. Upon information and belief, denies/deny each and every allegation contained
in paragraphs designated as "FIRST, NINITH, TENTH, ELEVENTH, TWELFTH,
FIFTEENTH"
THIRTEENTH and of the Complaint herein.
AS AND FOR A FIRST AFFIRMATIVE DEFENSE
THIS (THESE) ANSWERING DEFENDANT(S) ALLyGE(S):
j~GE(S);
Any damages sustained by the Plaintiff(s) were caused by the culpable conduct of
the Plaintiff(s), including contributory negligence or assumption of risk, and not by the culpable
conduct or negligence of this(these) answering Defendant(s).
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AS AND FOR A SECOND AFFIRMATIVE DEF2NSE,
THIS(THESE) ANSWERING DEFENDANT(S) ALLEGE(S):
That the Court lacks jurisdiction over the person of the Defendant(s) DIANNA
COSTA and LAURENCE D. COHEN by reason of the non-service of the summons upon the
Defendant(s) DIANNA COSTA and LAURENCE D. COHEN, either personally or by
substituted service.
AS AND FOR A THIRD AFFIRMATIVE DEFENSE
THIS(THESE) ANSWERING DEFENDANT(S) ALLEGE(S):
That to the extent plaintiff recovers any damages for the cost of medical care,
dental care, custodial care or rehabilitation services, loss of earnings and/or economic loss, the
amount of the award shall be reduced by the sum total of all collateral reimbursements, from
whatever source, whether itbe insurance, social security payments, nobiault payments, Workers
Compensation, employee benefits or other such programs, in accordance with the provisions of
the CPLR 4545.
AS AND FOR A FOURTH AFFIRMATIVE DEFENSE
THIS(THESE) ANSWERING DEFENDANT(S) ALLEGE(S):
In the event that any person or entity liable or claimed to be liable for the injury
alleged in this action has been given or may hereafter be given a release or covenant not to sue,
defendant will be entitled to protection under General Obligations Law 15-108 and the
corresponding reduction of any damages which may be determined to be due against this
answering defendant.
WHEREFORE, this answering Defendant(s) demand(s) judgment dismissing the
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complaint herein with costs.
DATED: Garden City, NY
May 01, 2018
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Yours, etc.,
Law Offices of Karen L. Lawrence
Eileen S. Lobelson
Attorney for Defendant
DIANNA COSTA and LA(ÏJRENCE D.
COHEN
1225 Franklin Avenue, Suite 100
Garden City, NY 11530
Telephone: 516-877-5631
Our File No. 0495462244.1-
TO: ROSENBERG, MINC, FALKOFF & WOLFF, LLP
Attorneys for the Plaintiff
122 E 42nd St Ste 3800
New York NY 10168-0068
212-697-9280
Our File No.: 31398
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C
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
X
BANSARI PATEL, COMBINED DEMAND FOR
DISCOVERY AND INSPECTION
Plaintiff,
Index No. 704701/18
-against-
DIANNA COSTA and LAURENCE D. COHEN,
Defendants.
X
SIRS:
PLEASE TAKE NOTICE that pursuant to CPLR 3101 et seq., it is hereby
demanded that you serve upon the office of the undersigned, within thirty days the following:
1. The names and addresses of all witnesses known to the Plaintiff(s) and the
Plaintiff's representatives, who itwill be claimed were witnesses to the following:
(a) The alleged occurrence in question.
(b) Any alleged defective condition.
(c) The site of the alleged occurrence immediately prior and
immediately subsequent to the alleged occurrence.
(d) The actions of any of the parties, or of any non-parties, before,
during, or after the alleged occurrence.
2. Any statements, oral, written or electronically redÀrded, from any party we
represent, in the possession of the Plaintiff(s) or the Plaintiff(s) representatives.
3. Any photographs of the following:
(a) The site of the alleged occurrence.
(b) Any instrumentalities involved.
4. Any accident reports made in the normal course of business. Pataki v.
Kiseda, 80 A.D.2d 100, 437 N.Y.S.2d 692 (1981).
5. Any diagrams, drawings, notes, records, etc., made from any information
provided by any client we represent.
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6. Any notes, records, memoranda, diagrams, drawings, photographs made
or taken by any investigator employed by the Plaintiff(s) or the Plaintiff(s) representatives, even
ifmade in contemplation of litigation.
7. The name and address of each and every person you expect to call as an
expert witness at the trialof this action;
(a) In reasonable detail, the subject matter on which each expert is
expected to testify;
(b) The substance of the facts and opinions on which each expert is
expected to testify;
(c) The qualification of each expert witness, and;
(d) A summary of the grounds for each expert's opinion.
8. Duly executed authorization allowing the undersigned to obtain the
employment records of the party seeking recovery for the period commencing one (a) year prior
to the date of the subject occurrence and continuing to the present This authorization shall
dateg
the' Plaintiff(s)'
allow access to, but shall not be limited to, records regarding the salary and
attendance.
(a) If Plaintiff is a student: duly executed authorization(s) allowing the
undersigned to obtain the school records of the Plaintiff for the
period commencing one (1) year prior to the date of the occurrence
and continuing to the present date.
Plaintiff(s)'
9. Copies of the City, State and Federal Income Tax Records for
the period commencing two (2) years prior to the date of the subject occurrence and for all
subsequent years up to and including the present. If such records or a portion thereof are
unavailable, authorizations to obtain such records from the Internal Revenue Service and/or New
York State Department of Taxation. If income tax returns were not filed for such period or a
portion thereof, so state in reply to this demand.
10. Duly executed and acknowledged original authorizations permitting
this/these Defendant(s) to obtain and copy No-Fault medical and wage records for each Plaintiff
for the period from the date of occurrence to the present.
11. If a claim has or will be made pursuant to the terms' of ARTICLE 51 of the
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Insurance Law of the State of New York (No-Fault Law); with respect to each and every
application:
(a) Set forth the name, address, policy number and claim number of
each company to which a claim has been or will be made.
(b) Set forth duly executed and acknowledged written authorizations
enabling the undersigned to obtain the records relating to the
Plaintiff from each company identified in the response to
paragraph "(a)".
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Workers'
12. If a claim has or will be made pursuant to ths terms of the
Compensation Law, with respect to each and every application:
(a) Set forth the name, address, policy number and claim number to
Workers'
which a claim has been or will be made, together with the
Compensation Board file number.
(b) Set forth duly executed and acknowledged written authorizations
enabling the undersigned to obtain the records relating to the
Plaintiff from each company identified in the response to
paragraph "(a)".
13. If a disability claim has or will be made pursuant to the terms of the Social
Security Laws, with respect to each and every application:
(a) Set forth the claim office, the address and the claim number
assigned.
(b) Set forth duly executed and acknowledged written authorizations
enabling the undersigned to obtain the records relating to the
Plaintiff.
14. Pursuant to CPLR Section 4545(a) produce and permit the undersigned
attorneys to inspect and the contents of: '~I
copy
(a) Each and every collateral source of payment, including but not
Workers'
limited to, insurance agreements, Social Security,
Compensation or employee benefit programs, and any other
collateral source of payment for past or future costs or expenses
alleged to have been incurred by the Plaintiffs and for which
recovery is sought in the instant action and
(b) A written statement setting forth any and allsuch collateral sources
and their amounts.
(c) Duly executed written authorizations permitting the undersigned
attorneys to obtain and make copies of all records relating to
collateral source information as set forth herein.
15. If it is claimed that the Plaintiff husband/wife is married to Plaintiff
husband/wife. Please set forth a copy of their Marriage Certificate.
16. If it isclaimed that the infant Plaintiff is the natural son/daughter of the
Plaintiff mother/father or natural guardian set forth a copy of the Birth Certificate of infant.
17. Withholding statements, pay envelopes, depe$it slips, or any other
evidence of income earned by Plaintiff(s) for the current calendar year.
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18. Copies of and all statements or receipts to non-
any bills, relating any
medical expense claimed as damages in this lawsuit which have not been produced in response
to any of the preceding paragraphs.
19. Any releases, and any other type of settlement agreements between
Plaintiff(s) and any other party which may have been responsible for the damages claimed by
Plaintiff(s).
20. Any and all photographs, blow-ups, recordings, charts, graphs, sketches
and any other tangible items or documentary evidence which you intend to use during the trialof
thiscase and which have not been produced in response to any of the preceding paragraphs.
21. All documents, papers or evidence to be introduced at trial.
PLEASE TAKE FURTHER NOTICE that the within demands are continuing
demands. In the event any of the above items are obtained after service of this demand, they are
to be furnished to this office upon receipt.
DATED: Garden City, NY
May 01, 2018
Yours, etc.,
Law Offices of Karen L. Lawrence
Eileen S. Lobelson
Attorney for Defendant
DIANNA COSTA and LA! JRENCE D.
COHEN
1225 Franklin Avenue, Suite 100
Garden City, NY 11530
Telephone: 516-877-5631
Our File No. 0495462244.1-
TO: ROSENBERG, MINC, FALKOFF & WOLFF, LLP
Attorneys for the Plaintiff
122 E 42nd St Ste 3800
New York NY 10168-0068
212-697-9280
Our File No.: 31398
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
X
BANSARI PATEL, DEMAND FOR VERIFIED BILL OF
PARTICULARS WITH NOTICE
Plaintiff, PURSUANT TO CPLR 3042(C)
-against- Index No. 704701/18
DIANNA COSTA and LAURENCE D. COHEN,
Defendants.
X
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SIRS:
PLEASE TAKE NOTICE that you are hereby required to file and serve the
following verified particulars of Plaintiffs alleged cause for action herein, within thirty (30) days
from the date of service hereof:
1. The day and time of occurrence.
2. State the location of the accident in sufficient detail to permit
identification, giving direction of the vehicle and position of the Plaintiff.
3. Statement of the acts or omissions constituting the negligence claimed.
4. State what part of the Defendant's vehicle allegedly came into contact with
the person of the Plaintiff.
If personal injuries are being claimed set forth: ':I
5. The nature, extent, location and duration of each and alleged every injury
to have been sustained by the Plaintiff and which, ifany, are claimed to be permanent.
6. The length of time, giving specific dates, Plaintiff was confined to (a) the
hospital, (b) to bed and (c) to home as a result of the alleged injuries.
7. The length of time incapacitated from employment, and/or household
duties as a result of the alleged injuries. If Plaintiff is a student, the length of time incapacitated
from school as a result of the alleged injuries.
8. Total amounts claimed as special damages for:
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physicians'
(a) services;
(b) medical supplies;
(c) loss of earnings;
nurses'
(d) services;
(e) hospital expenses;
(f) x-ray expenses;
(g) any other item of special damage;
(h) name and address of Plaintiffs employer at the time of the
accident. If Plaintiff is self-employed, please state nature of
business, business name and address. If Plaintiffis a student, name
and address of school attending at the time of accident and
designated class or grade.
9. State in what respect Plaintiff has sustained a serious defined injury, as in
subdivision (d) of section 5102 of the Insurance Law, or economic loss greater than basic
economic loss, as defined in subdivision (a) of section 5102 of the Insurance Law.
10. If negligent entrustment is alleged, set forth, vyth specificity, each and
every fact which constitutes the basis of the claim.
I l. Set forth the manner in which it is claimed the negligent entrustment
occurred.
12. If itis alleged that the owner of the vehicle had prior knowledge of some
propensity to be alleged by the Plaintiff in regards to the operation of the vehicle set forth:
a. What propensities or actions it is alleged the owner of the vehicle
was aware.
b. Set forth if the owner of the vehicle had actual or constructive
notice.
c. If actual Notice is alleged:
1. Set forth the date, time and place which will be alleged that
the owner was made aware of the propensities, actions, or
traits.
2. Set forth the names and addresses of the individuals itwill
be alleged so advised the owner of our vehicle of the
propensities, actions or traitsof ou5 operator.
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13. If the Plaintiff prayed for general relief, state the total damages that each
Plaintiff deems himself/herself entitled.
14. As regards paragraph 13, state each category of damages and the amount
demanded in each category.
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PLEASE TAKE FURTHER NOTICE that if a copy of the verified bill of
Plaintiffs'
particulars of the alleged cause of action is not served within 30 days of receipt of this
notice, an appropriate motion to preclude will be made pursuant to thiÛnotice at the time of the
trialof this action.
DATED: Garden City, NY
May 01, 2018
Yours, etc.,
Law Offices of Karen L. Lawrence
Eileen S. Lobelson
Attorney for Defendant
DIANNA COSTA and LAURENCE D.
COHEN
1225 Franklin Avenue, Suite 100
Garden City, NY 11530
Telephone: 516-877-5631
Our File No. 0495462244.1-
TO: ROSENBERG, MINC, FALKOFF & WOLFF, LLP
Attorneys for the Plaintiff
122 E 42nd St Ste 3800 0
New York NY 10168-0068
212-697-9280
Our File No.: 31398
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
X
BANSARI PATEL, DEMAND FOR COPIES OF
PLAINTIFF'S MEDICAL REPORTS
Plaintiff,
Index No. 704701/18
-against-
DIANNA COSTA and LAURENCE D. COHEN,
Defendants.
X
PLEASE TAKE NOTICE that pursuant to the uniform Rules for the New York
State Trial Courts, demand ishereby made upon the Plaintiff(s) or his/her/their attorney to:
1. Serve upon and deliver to the attorney for the Defendant(s) copies of the
medical reports of those physicians who have previously treated or
examined the Plaintiff(s) and who will testify on his behalf. These shall
include a detailed recital of the injuries and conditions as to which
will be offered at the to and those x-
testimony trial, referring identifying
rays and technician's reports, that will be offered at the trial.
2. Serve upon and deliver to the attorney for the Defendant(s) duly executed
and acknowledged written HIPAA compliant authorizations permitting all
parties to obtain and make copies of all hospital records and such other
records, including x-rays and technician's reporth as to be referred to and
identified in the statement of the Plaintiff(s) physitians.
3. Serve upon and deliver to the attorney for the Defendant(s) copies of all
graphic, numerical, symbolic, digital, film, video, computer generated,
computer enhanced or otherwise produced electronically and/or digitally,
photographic or pictorial representations regarding any procedures,
treatments, admissions, office visits, injuries, scene of the accident or the
vehicles or instrumentalities involved, disabilities, medical or diagnostic
procedures or tests, performed by or on behalf of the plaintiff(s) herein or
by any facilityregarding the claims of the plaintiff(s) herein.
PLEASE TAKE FURTHER NOTICE that upon his failure to comply with this
demand, the Plaintiff(s) will be precluded upon the trialof the within action from offering in
evidence or testifying as to any of the reports, records or examination demanded herein.
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DATED: Garden City, NY
May 01, 2018
Yours, etc.,
Law Offices of Karen L. Lawrence
Eileen S. Lobelson
Attorney for Defendant
DIANNA COSTA and LAURENCE D.
COHEN
1225 Franklin Avenue, Suite 100
Garden City, NY 11530
Telephone: 516-877-5631
Our File No. 0495462244.1-
TO: ROSENBERG, MINC, FALKOFF & WOLFF, LLP
Attorneys for the Plaintiff ':I
122 E 42nd St Ste 3800
New York NY 10168-0068
212-697-9280
Our File No.: 31398
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS t
X
BANSARI PATEL, NOTICE OF EXAMINATION
BEFORE TRIAL
Plaintiff,
Index No. 704701/18
-against-
DIANNA COSTA and LAURENCE D. COHEN,
Defendants.
X
SIRS:
PLEASE TAKE NOTICE that pursuant to Article 31 of the Civil Practice Law
and Rules, the undersigned will take the testimony of, all Adverse Parties, in the manner
following:
TO BE DETERMINED AT THE PRELIMINARY CONFERENCE
upon all the relevant facts and circumstances surrounding the accident which is the subject of
this action, including negligence, contributory negligence and damages; and for the purposes
authorized by Rule 3111 of the Civil Practice Law and Rules said Plaintiff(s) is required to
produce at such examination the following:
All books, papers and records relating to said action in the possession, custody or
control of said Plaintiff(s)/Co-Defendant(s).
DATED: Garden City, NY
May 01, 2018
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Yours, etc.,
Law Offices of Karen L. Lawrence
Eileen S. Lobelson
Attorney for Defendant
DIANNA COSTA and LAURENCE D.
COHEN G
1225 Franklin Avenue, Suite 100
Garden City, NY 11530
Telephone: 516-877-5631
Our File No. 0495462244.1-
TO: ROSENBERG, MINC, FALKOFF & WOLFF, LLP
Attorneys for the Plaintiff
122 E 42nd St Ste 3800
New York NY 10168-0068
212-697-9280
Our File No.: 31398
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
X
BANSARI PATEL, DEMAND PURSUANT TO 306(a)
Plaintiff, Index No. 704701/18
-against-
DIANNA COSTA and LAURENCE D. COHEN,
Defendants.
X
IT IS HEREBY DEMANDED that you serve upon the undersigned, either a
copy of the receipt for the index number purchased or the date the index number was purchased
as per said receipt.
DATED: Garden City, NY
May 01, 2018
Yours, etc.,
Law Offices of Karen L. Lawrence
Eileen S. Lobelson
Attorney for Defendant
DIANNA COSTA and LAURENCE D.
COHEN
1225 Franklin Avenue, Suite 100
Garden City, NY 11530
Telephone: 516-877-5631
Our File No. 0495462244.1-
TO: ROSENBERG, MINC, FALKOFF & WOLFF, LLP
Attorn