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  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
						
                                

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FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 EXHIBIT DDD FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 EXHIBIT A FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 SUPREME COURT OF THE STATE OF NEW YORK: COUNTY OF SUFFOLK: ------------------------------------------- --X D&L Realty Partners, LLC, Plaintiff, INDEX #619585/2018 -against- AMENDED Eugene Hubbard, VERIFIED ANSWER Defendant. _______------------------------------------------------X Defendant Eugene Hubbard by Richard T. Haefeli, Esq., his attorney as and for his verified answer to the Complaint herein, respectfully alleges: FIRST: Denies knowledge or information sufficient to form a belief with respect to the allegations contained in paragraphs designated 1, 3, 5, 12, 15, and 25 of the Complaint. SECOND: Denies the allegations contained in paragraphs designated 2, 3, 16-24, 26 and 27 of the Complaint. THIRD: Admits the Defendant entered into a contract with the Plaintiff as alleged in paragraph 6 of the Complaint but denies knowledge or information sufficient to form a belief as to the remainder of the paragraph and as to Exhibit A attached. FOURTH: Denies knowledge or information sufficient to form a belief as to paragraph 9 of the Complaint and refers the Court to the true meening and intent of paragraphs 13 and 14 as alleged in said paragraph. FIFTH: Denies knowledge or information sufficient to form a belief as to paragraph 11 of the Complaint and refers the Court to the determination of the Westhampton Beach Zoning Board of Appeals (hereinafter referred to as Zoning Board) denial of Plaintiff's variance request as to its true meaning and intent. FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 SIXTH: As to paragraph 13 admits the allegations set forth in said paragraph but refers the Court to said letter set forth therein as to its true meaning and intent. SEVENTH: As to paragraph 28 admits that the Plaintiff is entitled to a return of the down payment ifit isdenied specific performance but denies that the Plaintiff is entitledto damages and interest and that Plaintiff has refused to allow the release of the down payment. EIGHTH: As and for a first separate and distinct afÈumative defense the Complaint must be dismissed based upon documentary evidence. NINTH: As and for a second separate and distinct a firmative defense the Complaint is barred by res adjudicata. TENTH: As and for a third separate and distinct affinnative defense the Complaint is barred by statute of limitations. ELEVENTH: As and for a fourth separate and disti ct affirmative defense, the action has to be dismissed since the Plaintiff's claim is based upon an alleged waiver of contract conditions and the Plaintiff failed to give or allege that itgave written notice of such waiver as required by Section 28(b) of the contract, prior to the commencement of the action. The Defendant as and for his counter claim respectfully alleges. TWELFTH: The contract was subject to and conditioned upon the Plaintiff obtaining a building permit for a 2,800 square foot house. THIRTEENTH: Upon information and belief in order to obtain a building permit the Plaintiff required variances from the Zoning Board. FOURTEENTH: The Plaintiff applied to the Zoning Board for the required variances. FIFTHTEENTH: During the course of the hearing Nefore the Zoning Board itwas determined the subdivision of the property that occurred in 198 1 required as a condition of FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 approval that a certain covenant which included a set back equirement from the water had to be filed in the Suffolk County Clerk's Office. SIXTEENTH: That itwas further determined that the required covenant was never filed in the Suffolk County Clerk's Office. SEVENTEENTH: Based upon the fact that the required covenant was never filed the Zoning Board denied the variance application on July 17, 2014 finding that the filing of the covenant was a condition that had to be complied with to complete the subdivision process and until such time as that condition was complied with there was no separate lot so that the Zoning Board did not have jurisdiction to grant variance relief. EIGHTEENTH: The Defendant from the date of the Zoning Board determination on July 17, 2014 until July 26, 2018 attempted in good faith and worked with the Plaintiff to comply with the Zoning Board determination without success. NINETEENTH: The Defendant on August 29, 2018 advised the Plaintiff in writing that since he did not have the ability to transfer titleto the purcilaser the contract was void , canceller an tenninated. TWENTEETHi That the Defendant having acted in good faith in the unsuccessful attempt to obtain subdivision approval is entitled to and rei nests a judgment rescinding the contract. WHEREFORE, the Defendant demands judgement dismissing the Complaint and dismissing the notice of pendency and further demands judgment rescinding the contract together with the costs and disbursements of this action. FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 Dated: Westhampton Beach, New York April 11, 2019 Yours etc. RICHARD T HAEFELI, ESQ. Attorney for Defendant Office and P.O. Address 48G Main Street P.O. Box 1112 Westhampton Beach, N.Y. 11978 TO: Ruskin Moscou Faltischek P.C. Attorneys for Plaintiff 15th East Tower P1OOr 14325 RXR Plaza Uniondale, New York 115456 FILED: SUFFOLK COUNTY CLERK 01/29/2020 04:45 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 198 RECEIVED NYSCEF: 01/29/2020 STATE OF NEW YORK) SS.: COUNTY OF SUFFOLK) Eugene Hubbard, being sworn, say: I am the Defendant in the within action; I have read the foregoing amended answer and know the contents thereof; the same is true to my own knowledge, except as to the matters therein stated to be alleged on infonnation and belief,and as to those matters I believe itto be true. En ne Hubbard . Sworn to before me this 115 day of April, 2019 otary Public RICHARD T. HAEFELi Notary State Public, of New York No. 01MA1618207 QusMedin Suffolk Term ExpiresMarch 30,