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  • IRONHORSE AUTO, LLC, D/B/A CENTRAL HYUNDAI v. MATTSON, BRENTT90 - Torts - All other document preview
  • IRONHORSE AUTO, LLC, D/B/A CENTRAL HYUNDAI v. MATTSON, BRENTT90 - Torts - All other document preview
  • IRONHORSE AUTO, LLC, D/B/A CENTRAL HYUNDAI v. MATTSON, BRENTT90 - Torts - All other document preview
  • IRONHORSE AUTO, LLC, D/B/A CENTRAL HYUNDAI v. MATTSON, BRENTT90 - Torts - All other document preview
						
                                

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DOCKET NO.: WWM-CV21-6022016-S : SUPERIOR COURT : IRONHORSE AUTO, LLC d/b/a : J.D. OF WINDHAM CENTRAL HYUNDAI : : VS. : AT PUTNAM : BRENT MATTSON : APRIL 26, 2022 MOTION TO STRIKE SPECIAL DEFENSES TO COUNTERCLAIM Pursuant to sections 10-39 et seq. of the Practice Book, the defendant- counterclaim plaintiff, Brent Mattson, hereby moves to strike the plaintiff-counterclaim defendant’s special defenses to his counterclaim, as set forth in the plaintiff’s Answer to Special Defenses and Counterclaim, dated April 25, 2022 (125.00), on the grounds that the plaintiff has failed to meet its obligation of fact pleading. A supporting memorandum of law is filed herewith. DEFENDANT- COUNTERCLAIM PLAINTIFF, BRENT MATTSON By 403444 William J. O’Sullivan O’Sullivan McCormack Jensen & Bliss PC 180 Glastonbury Boulevard, Suite 210 Glastonbury, CT 06033 Phone: (860) 258-1993 Fax: (860) 258-1991 wosullivan@omjblaw.com Juris # 407344 His Attorneys CERTIFICATION I hereby certify that on April 26, 2022, a copy of the above was or will immediately be mailed or delivered electronically or non-electronically to all counsel and self- represented parties of record and that written consent for electronic delivery was received from all counsel and self-represented parties of record who were or will immediately be electronically served. Service list: John Wolfson, Esq. Feiner Wolfson LLC One Constitution Plaza Hartford, CT 06103 jwolfson@feinerwolfson.com 403444 William J. O’Sullivan 2