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EXHIBIT B
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
______ _ _ _.--------··-·-----------X
JUAN BATISTA JR.,
INDEX NO.: 703661/18
Plaintiff(s),
VERIFIED ANSWER,
-against - BILL OF PARTICULARS &
COMBINED DEMANDS
FRANCISCO PIMENTEL,
Our File No.: 1005577
Defendant(s). Case ID No.: 92563
------- --------------- -X Your File No.:
The Defendant(s) FRANCISCO PIMENTEL by their/his/her attorñcys, BAKER,
MCEVOY, MORRISSEY & MOSKOVITS, P.C. answering the Complaint of the Plaintiff
herein, respectfully shows and alleges upon information and belief,as follows:
ANSWER
Deny(ies) each and every allegation in the paragraphs of the Complaint designated as
follows: 14, 15, 16, 17, 18, 19, 21, 22.
Deny(ies) any knowledge or information thereof, sumcient to form a belief as to the truth
of the allegations contained in the paragraphs of the Complaint designated as follows: 1, 2, 3, 4,
8, 9, 10, 11, 12, 20, 23.
FIRST AFFIRMATIVE DEFENSE
The Court lacks personal jurisdiction over the answering Defendant(s) in that the
summons and complaint was not served upon the Defendant(s), and if the summons was served,
it was not effected in accordance with the applicable provisicas of Article 3 of the CPLR
governing the service of process.
SECOND AFFIRMATIVE DEFENSE
By reason of the provisions of Article 51 of the New York Comprehensive Motor Vehicle
Insurance Reparations Act, Sections 5101 to 5108, this Court lacks jurisdiction over the subject
matter of this action and Plaintiff(s) is/are expressly prohibited from maintaining this action.
THIRD AFFIRMATIVE DEFENSE
Pursuant to the C.P.L.R. Sections 1411 and 1412, any damages sustained by the
Plaintiff(s) was/were caused by the culpable conduct of Plaintiff(s), including contributory
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negligence or assumption of the risk, and not by the culpable conduct or negligence of the
answering Defendant(s).
FOURTH AFFIRMATIVE DEFENSE
Pursuant to C.P.L.R. 4545, Plaintiffs recovery should be reduced by any amounts
received or that will be received by Plaintiff(s) from collateral sources of payment.
FIFTH AFFIRMATIVE DEFENSE
If Plaintiff(s) suffered injury and damage in the manner and at the time and place alleged
in the Complaint, which Defendant(s) deny, and if itis determined that said injury and damage
were caused by and contributed to the Plaintiffs failure to use or properly use seat belts, shoulder
harness(es) or other restraining devices, pursuant to the authority of Spier V Barker, 35 N.Y.2d
444, 363 N.Y.S.2d 916, Defendant(s) pleads Plaintiff's failure to mitigate damages.
SIXTH AFFIRMATIVE DEFENSli
If itis determined that Plaintiff(s) or any party to this lawsuit has proceeded to arbitration
with respect to any issue related to this action that results in an adverse ruling to said Plaintiff(s)
or party, then the answering Defendant(s) pleads said adverse ruling or award on the theory of
collateral estoppel under the authority of Matter of American Insurance Co. (Messenger-Aetna
Cas. & Sur. Co.), 43 N.Y.2d 184, 401 N.Y.S.2d 36; Altman v. Queens Tr. Corp., 94 Misc.2d
549, 405 N.Y.S.2d 212; Dermatossian v. New York City Transit Authority, 67 N.Y.2d 219, 501
N.Y.S.2d 784; c.f.Baldwin v. Brooks, 83 A.D.2d 85, 443 N.Y.S.2d 906; Clemmens v. Apple, 65
N.Y.2d 746 and Schultz v. Boyscouts of America, 65 N.Y.2d 189.
SEVENTH AFFII.RMATIVE DEFENSE
The defendant-operator acted under emergency conditions not created by him, which
qualify under the "emergency doctrine". Such doctrine holds that those faced with a sudden and
unexpected circumstance, not of their own making, which leaves them with littleor no time for
reflection or reasonably causes them to be so disturbed that they are compelled to make a quick
decision without weighing alternative courses of conduct, may not be negligent iftheir actions
are reasonable and prudent in the context of the emergency, even if itlater appears that the actor
made a wrong decision, provided the actor has not created the emergency. Bello V. Transit Auth.,
(2"4
12 A.D. 3d 58, 60 Dept. 2004); Caristo v. Sanzone, 96 N.Y. 2d 172, 174 (2001); Rivera v.
New York City Tr. Auth., 77 N.Y.2d 322, 327 (1991); Kuci v. Manhattan & Bronx Surface Tr.
(2"d
Operating Auth., 88 N.Y. 2d 923 (1996); Pawlukiewicz v. Boisson, 275 A.D.2d 446 Dept.
(2nd
2000); Carmela Roviello v Schoolman Transportation System Inc., 10 A.D. 3d 356
2004).
RESERVATION OF RIGHTS
Defendant(s) reserve(s) the right to amend the answer, defenses, and/or any
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counterclaims and cross claims at a laterdate.
WHEREFORE, Defendant(s) demand(s) judgment dismissing the Complaint in its
entirety or diminishing the damages recoverable by Plaintiff(s) in proportion to the culpable
conduct attributable to Plaintiff(s), together with the costs, disbursciiicats, and attorney's fees of
this action.
Dated: April 12, 2018
Brooklyn, N.Y. Baker, voy, Morrissey & os ovits, PC
A rianne even, sq.
At y(s)for th Defenda t
FRANCISCO PI ENTEL
8th
One MetroTech enter, Floor
Brooklyn, New ork 112
Tel: 212-857-82
BHL LAW GROUP P.C.
Attorney(s) for the Plainti)f(t)
JUAN BATISTA JR.
67-08 ROOSEVELT AVENUE 2ND FL.
WOODSIDE, NY 11377
Tel: (718) 730-9496
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
------------------------------- ------------X
JUAN BATISTA JR., INDEX NO.: 703661/18
Plaintiff(s), A_TTORNEY VERIFICATION
-against - Our File No.: 1005577
Case ID No.: 92563
FRANCISCO PIMENTEL, Your File No.:
Defendant(s).
--------- ---------------------X
I,ADRIANNE J. LEVEN, an attorney admitted to the practice of law before the courts of
the State of New York, and not a party to the above-referenced action, affirm the following to be
true under the penalties of perjury:
1. Affirmant is a member of the law firm of Baker, McEvoy, Morrissey &
Moskovits, P.C., attorneys of record for answering Defendant(s)in the above-refercñced action.
2. Affirmant has read the VERIFIED ANSWER, BILL OF PARTICULARS, &
COMBINED DEMANDS and knows the contents thereof; that same is true to Affirmant's own
knowledge, except as to the matters therein stated to be alleged on information and belief, and as
to those matters Afrirmant believes them to be true.
3. This verification is made by Affirmant and not by answering Defendant(s),
because said Defendant(s) were not within the County in which Baker, McEvoy, Morrissey &
Moskovits, P.C. maintain their offices for the practice of law when this VERIFIED ANSWER,
BILL OF PARTICULARS, & COMBINED DEMANDS was drafted.
4. The grounds of Affirmant's belief as to all matters not stated upon Affirmant's
knowledge is as follows: BOOKS AND RECORDS MAINTAINED BY THE FIRM OF
BAKER, MCEVOY, MORRISSEY & MOSKOVITS, P.C. D INFORMATION SUPPLIED
BY AMERICAN TRANSIT INSURANCE COMPANY.
Dated: April 12, 2018
Brooklyn, NY
Adr rÃne J.Leve , Esq
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
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JUAN BATISTA JR., INDEX NO.: 703661/18
DEMAND FOR BILL OF
Plaintiff(s), PARTICULARS &
COMBINED DEMANDS
- against - Our File No.: 1005577
Case ID No.: 92563
FRANCISCO PIMENTEL, Your File No.:
Defendant(s).
------- -------------------- -------------X
PLEASE TAKE NOTICE that pursuant to Article 30 of the CPLR, you are hereby
required to file and serve upon the undersigned the following Verified Bill of Particulars of
Plaintiffs alleged cause of action herein within thirty (30) days from the date of service hereof.
1. The name and address of the Plaintiff(s).
2. The age and date of birth of the Plaintiff(s).
3. The social security numbers of Plaintiff(s).
4. The date and time of the occurrence.
5. State the location of the accident/occurrence in sufficient detail to permit identification of
the accident, providing in detail the direction in which each car was proceeding at the
time of the accident.
6. Separate statements setting forth allof the acts or omissions constituting the negligence
of each Defendant(s).
7. State what part(s) of each vehicle came in contact with each other, including c0ñtâcts
with each pedestrian, fixed object(s) or parked vehicle(s).
8. State the statutes, rules, laws and/or ordinances that alleged Defendant(s) has/have
violated. If property damag is being claimed, please set forth the applicable laws and
circumstances in full detail.
Plaintiff(s)'
9. State the make, model and the year of manufacture of vehicle, the reasonable
market value of same immediately prior to and immediately afler the alleged accident.
10. If personal injuries are being claimed, please set forth in full detail. Include the nature,
extent, location and duration of each and every injury alleged to have been sustained by
the Plaintiff(s) and ifany are claimed to be permanent.
I1. If Plaintiff(s) admitted to any hospital or emergency room resulting from the
accident/occurrence, state names and addresses of the facilities,treating physicians &
date of admission and discharge each facility.
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12. If applicable, the length of time, giving specific dates, that Plaintiff(s) was/were confined
to bed and to home as a result of the alleged injuries.
13. The length of time during which Plaintiff was incapacitated from employment and/or
homehold duties as a result of the alleged injuries, giving specific dates. Set forth the
amount of earnings or wages claimed to have been lost and the rate of wages or basis of
remuneration received by the Plaintiff(s).
14. If applicable, provide the amounts e!aimed for special damages for:
Physicians'
a. services,
b. Medical supplies,
Nurses'
c. services,
d. Hospital expenses,
e. X-ray expenses,
f. Chiropractors,
g. Physiotherapists
h. Drugs and medications,
i. Loss of earnings, and
j. Any other items of special damages claimed.
15. The names and last known addresses of any witness to the occurrence herein, pursuant to
Zayas V. Morales, 45 A.D.2d 610, 360 N.Y.S.2d 279.
16. The name and last known address of any person who has information concerning the
condition of the vehicle owned by the Plaintiff(s) and involved in the subject occurrence
herein, as itwas on the date of accident or at the time it was last in the custody and
control of the Plaintiff(s).
Plaintiff(s)'
17. State Plaintiffs occupation; name & address of employer at the time of the
accident. If Plaintiff(s) is/are self-employed, please state nature of business, business
name and address, and Federal I.D. number.
18. If Plaintiff(s) was a student at the time of the alleged occurrence, set forth the name and
address of the school attended at time of accident and designated class or grade, and the
length of time Plaintiff was unable to attend classes.
19. Set forth any and all collateral sources under C.P.LR. 4545(c), specifying date paid,
amount of collateral source payrsent, by whom paid, specifying name, address, file or
claim number and allparticulars identifying the payer.
20. State in what respect Plaintiff(s) has/have sustained a serious injury, as defined 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.
21. If Plaintiff(s) claims aggravation or precipitation of pre-existing injury or condition, state
the nature and extent of such. Provide the name and address of each hospital, clinic,
institution, physician, and other health care provider that treated or examined Plaintiff(s)
for such pre-existing injury.
22. If loss of service is claimed, state or describe the nature of such service, the length of
time each Plaintiff was deprived of such service, and the value of such service. If
wrongful death and/or conscious pain and suffering is claimed, as defined by law, please
set forth in reasonable detail.
23. If applicable, set forth the place and date of the marriage of the decedent, ifmarried, and
to whom at the time of death. If the Plaintiff was not married to decedent, set forth the
relationship at the time of death.
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24. If applicable, set forth with specificity, the name(s) and address(es) of the decedent's next
of kin, heirs at law and distributes.
25. If applicable, state the manner in which the damages allegedly sustained by decedent's
next of kin and heirs at law and distributes were computed.
Dated: April 12, 2018
Brooklyn, N.Y. Baker, McEvoy, Morrissey & Moskovits, PC
s/Adrianne 1 Leven
Adrianne J. Leven, Esq.
Attorney(s) for the Defendant
FRANCISCO PIMENTEL
8h
One Metrotech Center, p
Brooklyn, NY11201
Tel: (212) 857-8230
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
____________ _.-------X
JUAN BATISTA JR., INDEX NO.: 703661/18
Plaintiff(s), NOTICE FOR DISCOVERY
& INSPECTION
-against -
Our File No.: 1005577
FRANCISCO PIMENTEL, Case ID No.: 92563
Your File No.:
Defendant(s).
..--------------- -----------------X
PLEASE TAKE NOTICE, that pursuant to Rule 3120 of the Civil Practice Law and
Rules, Defendant(s) demands that Plaintiff(s) produce and permit discovery by him, his
attorneys, or another acting on his behalf of the following articles, documents, and things for
inspection, copying, testing, and photographing within thirty (30) days after receipt hereof, at
8d'
BAKER, MCEVOY, MORRISSEY & MOSKOVITS, PC, ONE METROTECH CENTER,
FLOOR, BROOKLYN, NY 11201, at which time said articles, documents and things will be
physically inspected, copied tested, photographed, and mechanically reproduced.
In lieu of strict compliance with the terms and conditions of this Notice, the undersigned
will accept clearly legible photocopies of the said items, ifreceived by the undersigned at least
Plaintiff(s)'
five (5) days prior to the return date hereof, together with a letter from the attorneys
advising as to the completeness of the items provided.
1. If applicable, provide a copy of Letters Testamentary or Limited Letters of
Administration.
2. Itemized statements of the alleged damages to Plaintiffs vehicle, together with the cost of
repairs of each item, the garage or shop that performed the repairs, along with the shop
license numbers.
3. If claim is made for loss of earnings, please provide W-2 forms or certified copies of tax
returns for one year prior to occurrence and the for the year at time of occurrence.
4. True copy of any statement of Defendant(s) and Plaintiff(s) herein, pursuant to CPLR
3101(e).
5. Photographs of any vehicle involved in the accident, the accident scene or of any of the
parties herein following the accident.
6. Records of inspection, maintenance, and report of the vehicle owned by the PlaintitY(s)
which was involved in this occurrence for a period of one year prior to the accident date
herein.
7. True copy of any accident report concerning this occurrence in the custody and control of
PlaintifY(s) made in the ordinary course of business, pursuant to C.P.L.R. 3101(g).
8. True copy of any MV 104 and police report filed by the operators of any motor vchicles
involved in this accident.
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9. Authorization to obtain no fault file, and/or worker's compensation file. All
authorizations must be HIPAA compliant pursuant to section 164.508 of the Federal
Mandated Final Privacy Rule.
10. Authorization to obtain employment record(s) and workers compensation record(s). All
Authorizations must be HIPAA compliant pursuant to section 164.508 of the Federal
Mandated Final Privacy Rule.
11. Notice of Arbitration and Award in any Arbitration Proceeding arising from the accident,
which is the subject of this action.
physician(s)'
12. Authorization to obtain all treating reports, bills, hospital records, surgical
reports, pathology reports, toxicology reports, autopsy reports and bills of any medical
condition(s) claimed to have been activated, precipitated or aggravated by the accident
which is the subject of this action. Authorizations must be HIPAA compliant pursuant to
Section 164.508 ofthe Federal Mandated Final Privacy Rule.
13. Copy of primary and/or eXcess insurance policy limits of Co-Defendant(s).
14. Produce authorization(s) to obtain any and all prior medical treatment records, reports
and diagnostic films, pertaining to any medical treatment for a prior injury to the same
body parts or systems, which Plaintiff(s) will allege were injured in the accident in issue.
15. Produce authorization(s) to obtain Summons and Complaint, Bill of Particulars (or like
pleading) and any and all Medical Record(s) and Report(s) exchanged in all prior
personal injury lawsuits brought by Plaintiff(s).
PLEASE TAKE FURTHER NOTICE that upon failure to comply with this demand, a
Motion to Compel or Strike Plaintiffs pleading will be made pursuant to CPLR 3120 and 3124.
PLEASE TAKE FURTHER NOTICE that the request for items specified in this
document is a continuing demand and should any of the information requested become available
or known in the future, you are required to furnish same at such time.
Dated: April 12, 2018
Brooklyn, N.Y. Baker, McEvoy, Morrissey & Moskovits, PC
s/Adrianne J. Leven
Adrianne J. Leven, Esq.
Attorney(s) for the Defendant
FRANCISCO PIMENTEL
8h
One Metrotech Center, p
Brooklyn, NYl 1201
Tel: (212) 857-8230
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
-------------------------- -----X
JUAN BATISTA JR., INDEX NO.: 703661/18
Plaintiff(s), NOTICE PURSUANT
TO CPLR 2103(e1
-against -
Our File No.: 1005577
FRANCISCO PIMENTEL, Case ID No.: 92563
Your File No.:
Defendant(s).
.___________ ____---..__--__.- -----X
PLEASE TAKE NOTICE that pursuant to CPLR 2103(e), demand is made upon
hereby
you to supply the undersigned, in writing, with a list of those parties who have appeared in the
action and the names and addresses oftheir attorneys.
Dated: April 12, 2018
Brooklyn, NY Baker, McEvoy, Morrissey & Moskovits, PC
s/Adrianne J. Leven
Adrianne J. Leven, Esq.
Attorney(s) for the Defendant
FRANCISCO PIMENTEL
Sh
One Metrotech Center, F1
Brooklyn, NYI1201
Tel: (212) 857-8230
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
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JUAN BATISTA JR., INDEX NO.: 703661/l8
Plaintiff(s), DEMAND FOR MEDICAL
INFORMATION & FOR
- against - PHYSICAL EXAMINATION
FRANCISCO PIMENTEL, Our File No.: 1005577
Case ID No.: 92563
Defendant(s). Your File No.:
----------------------- X
PLEASE TAKE NOTICE that pursuant to the Rules of Court, you are required to serve
upon and deliver to theundersigned and all other parties to the action, the following:
1. Copies of the medical reports of those physicians who have previously treated or
exmind the party seeking recovery and who will testify on his behalf. These shall
include a detailed recital of the injuries and conditions as to which testimony will be
technicians'
offered at the trial,referring to and identifying those x-rays and reports
which will be offered at the trial.
2. Duly executed and acknowledged written authorization permitting all parties to obtain
and make copies of all hospital records and such other records, including x-rays, MRI
films, surgical reports, toxicology reports, pathology reports, reports of all treating
technicians'
physicians and reports, as may be referred to and identified in the statement
of the examined party's physician. All authorizations must be HIPAA compliant pursuant
to Sec. 164.508 of the federally mandated and Final Privacy Rule.
The above shall be thebasis for the heiding of a physical examination(s), which is hereby
being demanded and will be held after all pertinent medicals are obtained by this office.
Dated: April 12, 2018
Brooklyn, NY Baker, McEvoy, Morrissey & Moskovits, PC
s/Adrianne J. Leven
Adrianne J. Leven, Esq.
Attorney(s) for the Defendant
FRANCISCO PIMENTEL
8h
One Metrotech Center, p
Brooklyn, NY11201
Tel: (212) 857-8230
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SUPREME COURT OF TIIE STATE OF NEW YORK
COUNTY OF QUEENS
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JUAN BATISTA JR., COMBINED DEMANDS FOR:
1. NAMES & ADDRESSES OF
Plaintiff(s), ALL WITNESSES
2. EXPERT DISCLOSURE
3. PRODUCTION OF ALL
- against - STATEMENTS TAKEN OF
ANSWERING DEFENDANT(S)
FRANCISCO PIMENTEL,
Our File No.: 1005577
Defendant(s). Case ID No.: 92563
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