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  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
						
                                

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FILED: NEW YORK COUNTY CLERK CLERK 06/26/2018 04:04 PM INDEX INDEX NO.NO. 150083/2014 150083/2014 FILED : NEW YORK COUNTY 03/11/2014| NYSCEF DOC. NYSCEF DOC. NO.NO. 8143 RECEIVED NYSCEF: 03/11/2014 RECEIVED NYSCEF: 06/26/2018 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ___----------...--------------------X — ROSENBAUM, ROSENFELD & SONNENBLICK, LLP R&R PROPERTIES LLC AND COMPUTERIZED Index No.: 150083/2014 DIAGNOSTIC SCANNING ASSOCIATES, P.C., Plaint0% VERIFIED ANSWER -against- EXCALIBUR GROUP NA, LLC, A SUPERIOR SERVICE AND REPAIR CO., INC., HOME SYSTEMS ENGINEERING, INC., PHILIPS HEALTHCARE, PHILIPS MEDICAL SYSTEMS NORTH AMERICA COMPANY, PHILIPS ELECTRONICS NORTH AMERICA CORPORATION, PHILIPS MEDICAL SYSTEMS NORTH AMERICA, INC., PHILIPS HEALTHCARE INFORMATICS, INC. and ESTATE OF MERLE H. EISESTEIN, Defendants. ----__-------------..------------------X The defendant, Excalibur Group, NA LLC., by and through their attorneys, GAMBESKI & FRUM, hereby answer the complaint as follows: 1. Denies knowledge or information sufficient to form a belief as to the allegations contained in cc'n aa2'n ac3>t ac4ttac6>t cc7>t ac8t'>cc9>'l cc Ptt ca tt cc2't> ac 3>t ac 4tt ca 5t> aa 61'>cc 7>t paragraphs numbered "1", "2", "3", "4", "6", "7", "8", "9", "10", "11", "12", "13", "14", "15", "16", "17", ca]8» aa]9>t aa2ptt cc2]» ca22» cc23>t cc24n cc25n ac26» ca27n a>28n cc29n cc3pn ca3]n ca32n cc33>' cc34n aa35n "18", t "19", "20", "21", "22", "23", "24", t "25",t "26", "27", "28", "29", "30", "31", "32", "33", "34", t "35", ca33» cc34>t ca34>t ac36tt cc37>tt>38tt ac39>t cc4ptt t> a>42>t cc43>t ac44>t aa45>t a>46>t cc47t> cc48>t ca49't'> ac5p!t "33", "34", "34", "36",t "37","38", t "39",t "40", t"41", "42", t"43", 't "44", "45", 1 "46",t"47", t "48", "49", "50", cc5]n cc52» cc53>t cc54n ca55n cc56>t aa57n cc58n aa59» ac6Qn a>6]n ac62» a>63» cc64» aa65n ca66>t ca67n ac68n "51", t "52", "53",t "54",'t "55",t "56", "57", "58", "59", "60", "61", "62", "63",'t "64",t "65",t "66", "67", "68",t ca69» ac7Qn n cc72n ca73n cc74n cc75» ca76n ca77n cc78» cc79n aa8pn n ca82>> cc83» ca84» "85" "69", "70", t "71", "72",t "73", "74", "75", t "76", "77", "78", t"79", "80", t "81",t "82", "83", 1"84", '> and "86" of the complaint. 2. Denies any knowledge or information sufficient to form a belief as to any of the allegations "5" contained in paragraph numbered of the complaint, except admits the defendant, EXCALIBUS GROUP NA, LLC., is a foreign limited liability company organized and existing pursuant to the laws of the State of New Jersey, having its principal place of business located at Hopelawn, New Jersey. AS AND FOR A FIRST CAUSE OF ACTION "87" 2. The Defendant, answering paragraph numbered repeats and reiterates the answer to each and "1" "86" every allegation contained in paragraphs through inclusive as if set forth at length herein. 3. Denies knowledge or information sufficient to form a belief as to the allegations contained in "88» "89» paragraphs numbered and of the complaint. FILED: NEW YORK COUNTY CLERK 06/26/2018 04:04 PM INDEX NO. 150083/2014 NYSCEF DOC. NO. 143 RECEIVED NYSCEF: 06/26/2018 AS AND FOR A SECOND AFFIRMATIVE DEFENSE "90" 4. The Defendant, answering paragraph numbered repeats and reiterates the answer to each and "1" "89" every allegation contained in paragraphs through inclusive as if set forth at length herein. 5. Denies knowledge or information sufficient to form a belief as to the allegations contained in "91" "92" paragraphs numbered and of the complaint. AS AND FOR A THIRD AFFIRMATIVE DEFENSE "93" 6. The Defendant, answering paragraph numbered repeats and reiterates the answer to each and "1" "92" every allegation contained in paragraphs through inclusive as if set forth at length herein. 7. Denies knowledge or information sufficient to form a belief as to the allegations contained in "94" "95" paragraphs numbered and of the complaint. AS AND FOR A FOURTH AFFIRMATIVE DEFENSE "96" 8. The Defendant, answering paragraph numbered repeats and reiterates the answer to each and "1" "95" every allegation contained in paragraphs through inclusive as if setforth at length herein. 9. Denies knowledge or information sufficient to form a belief as to the allegations contained in "97" "98" paragraphs numbered and of the complaint. AS AND FOR A FIFTH AFFIRMATIVE DEFENSE "99" 10. The Defendant, answering paragraph numbered repeats and reiterates the answer to each and "1" "98" every allegation contained in paragraphs through inclusive as if set forth at length herein. 11. Denies knowledge or information sufficient to form a belief as to the allegations contained in "100" "101" paragraphs numbered and of the complaint. AS AND FOR A SIXTH AFFIRMATIVE DEFENSE "102" 12. The Defendant answering paragraph numbered repeats and reiterates the answer to each and "1" "101" every allegation contained in paragraphs through inclusive as if set forth at length herein. 13. Denies knowledge or information sufficient to form a belief as to the allegations contained in "103" "104" paragraphs numbered and of the complaint. AS AND FOR A SEVENTH AFFIRMATIVE DEFENSE "105" 14. The Defendant answering paragraph numbered repeats and reiterates the answer to each and "1" "104" every allegation contained in paragraphs through inclusive as if set forth at length herein. FILED: NEW YORK COUNTY CLERK 06/26/2018 04:04 PM INDEX NO. 150083/2014 NYSCEF DOC. NO. 143 RECEIVED NYSCEF: 06/26/2018 15. Denies knowledge or information sufficient to form a belief as to the allegations contained in "109" "110" paragraphs numbered "106", "107", "108", and of the complaint. AS AND FOR A FIRST AFFIRMATIVE DEFENSE 1. Pursuant to CPLR 4545 (c), any award to the plaintiff for economic loss shall be reduced by the amount of economic recovery received from collateral source. AS AND FOR A SECOND AFFIRMATIVE DEFENSE 2. The accident or occurrence complained of was caused in whole or in part by the culpable conduct attributed to the plaintiff including contributory negligence and/or assumption of the risk and that by reason thereof the amount of damages recoverable, if any, shall be diminished in whole or in part by that portion of which the culpable conduct attributed to the plaintiff bears to the alleged conduct of the defendant which allegedly caused the damages. AS AND FOR A THIRD AFFIRMATIVE DEFENSE 3. The limited liability provisions of Article 16 of the CPLR are applicable. AS AND FOR A FORTH AFFIRMATIVE DEFENSE 4. The Court lacks personal jurisdiction over the answer defendants. AS AND FOR A FIFTH AFFIRMATIVE DEFENSE 5. That the allegations set forth in the complaint failto state a cause of action against the answering defendant. AS AND FOR A SIXTH AFFIRMATIVE DEFENSE 6. Plaintiff failed to take all necessary and proper steps available to mitigate its damages. CROSS CLAIM 1. As and for a Cross-Claim against the Co-Defendants, A SUPERIOR SERVICE AND REPAIR CO., INC., HOME SYSTEMS ENGINEERING, INC., PHILIPS HEALTHCARE, PHILIPS MEDICAL SYSTEMS NORTH AMERICA COMPANY, PHILIPS ELECTRONICS NORTH AMERICA CORPORATION, PHILIPS MEDICAL SYSTEMS NORTH AMERICA, INC., PHILIPS HEALTHCARE INFORMATICS, INC. and ESTATE OF MERLE H. EISESTEIN, the answering defendant respectfully alleges as follows: plaintiff(s)' 2. That if the plaintiffs were caused to sustain damages at the time and place set for in the plaintiff(s)' complaint through any carelessness, and recklessness, and/or negligence other than the own negligence, carelessness and recklessness, said damages were sustained by reason of the primary FILED: NEW YORK COUNTY CLERK 06/26/2018 04:04 PM INDEX NO. 150083/2014 NYSCEF DOC. NO. 143 RECEIVED NYSCEF: 06/26/2018 recklessness and negligence and/or affirmative acts of mission and the Co- carelessness, commission, by Defendants individually or their agents, servants and/or employees, with the negligence, if any, on the part of the answering defendant, Excalibur Group, NA LLC, being secondary and/or derivative only. 3. That by reason of the foregoing, the AFORENAMED CO-DEFENDANTs will be liable to the answering defendants in the event and in the amount of recovery herein by the plaintiff or in such amount as the Court or Jury may direct. WHEREFORE, the defendant, Excalibur Group, NA LLC., demands judgment dismissing the complaint of the plaintiff herein, and judgment on the cross-claim, together with costs and disbursement of this action and for such other and further relief as to this Court may seem just and proper. Dated: Elmsford, NY March 11, 2014 Yours, etc., GAMB UM By: George P. Gambeski, Attorneys for Defendant Excalibur Group, NA LLC. 565 Taxter Road - Suite 220 Elmsford, NY 10523 914-347-5522 To: LIPSIUS-BENHAIM LAW, LLP Attorney for Plaintiff 80-02 Kew Gardens Road, Suite 1030 Kew Gardens, NY 11415 212-981-8440 HOME SYSTEMS ENGINEERING, INC. 229 Emerson Lane Berkeley Heights, NJ 07922 PHILLIPS HEALTHCARE 3000 Minuteman Road Andover, MA 01810 FILED: NEW YORK COUNTY CLERK 06/26/2018 04:04 PM INDEX NO. 150083/2014 NYSCEF DOC. NO. 143 RECEIVED NYSCEF: 06/26/2018 PHILIPS ELECTRONICS NORTH AMERICA CORPORATION 3000 Minuteman Road Andover, MA 01810 ESTATE OF MERILE H. EISENSTEIN 1200 US Highway 46 Clifton, NJ 07013 A SUPERIOR SERVICE AND REPAIR CO., INC. 393 Elvin Street Staten Island, NY 10314 PHILIPS MEDICAL SYSTEMS NORTH AMERICA COMPANY 3000 Minuteman Road Andover, MA 01810 11 L 1 I~ ~l . ~ I ;T I I I J r FILED: NEW YORK COUNTY CLERK 06/26/2018 04:04 PM INDEX NO. 150083/2014 NYSCEF DOC. NO. 143 RECEIVED NYSCEF: 06/26/2018 ATTORNEY'S VERIFICATION George P. Gambeski, an attorney duly admitted to practice in the courts of New York State, hereby affirms under penalty of perjury and pursuant to CPLR § 2106 as follows: Affirmant is associated with the GAMBESKI & FRUM, the attorneys of record for the defendant, Excalibur Group, NA LLC., in the within action and as such is fully familiar with the facts and circumstances heretofore had herein by virtue of the file maintained by this office. Affirmant has read the foregoing VERIFIED ANSWER and the same is true to affirmant's own knowledge except as to the matters therein stated to be alleged upon information and belief, and as to those matters affirmant believes them to be true. This verification is made by an attorney because the defendant, Excalibur Group, NA LLC. is not in the same County where your affirmant's office is located. Dated: Elmsford, NY March 11, 2014 George P. Gambeski