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  • Atlantic Casualty Insurance Company v. Eastern Fruit & Vegetables Inc. Commercial - Contract document preview
  • Atlantic Casualty Insurance Company v. Eastern Fruit & Vegetables Inc. Commercial - Contract document preview
						
                                

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FILED: KINGS COUNTY CLERK 08/09/2021 08:23 PM INDEX NO. 510798/2018 NYSCEF DOC. NO. 359 RECEIVED NYSCEF: 08/09/2021 L . BLAKE MORRIS ATTORNEY AT LAW OFFICE ADDRESS MAIL ADDRESS 1214 CORTELYOU ROAD P.O. Box 3289 BROOKLYN, NEw YORK 11218-5404 CHURCH STREETSTATION TELEPHONE 826-8401 NEW YORK, NEW YORK 10008-3289 (718) www.lbla ke mo r r is .c o m March 31, 2021 Debra M. Krebs, Esq. Kiedel, Weldon & Cunningham, LLP 925 Westchester Avenue, Suite 400 White Plains, NY 10604 Re: Atlantic Casualty Insurance Company v. Eastern Fruit & Vegetables Inc. Dear Ms. Krebs, Plaintiff, Atlantic Casualty Insurance Company ("Atlantic"), in it's First Notice for Discovery & Inspection to defendant, Easter Fruit & Vegetables Inc. ("Eastern Fruit"), dated October 28, 2019 and e-filed on October 28, 2019 (NYSCEF Doc. No. 66, paras. 11[d], 12, 15, and 16), requested production of the defendant's corporate tax returns, quarterly payroll returns, and gross receipts on yearly tax return form 1120, limited by the court order dated November 4*, 2020 and entered November 9*, 2020 (NYSCEF Doc. No. 154) and the court order dated February 25, 2021 and entered on March 2, 2021. (NYSCEF Doc. No. 185) to the relevant policy periods of 2016 and 2017. Defendant, Eastern Fruit, upon consultation with its attorney and a review of the forgoing is declining to provide authorization to the IRS for the 2016 and 2017 Eastern Fruit corporate tax filings, the quarterly payroll returns (end date 2016 and 2017), and gross receipts on yearly tax return form 1120 (end date 2016 and 2017). 5incerely, L. Blake Morris.