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  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
  • Government Employees Insurance Company As Subrogee Of Randolph Ellis v. Alexis Rattray, John Doe, Being A Fictitious NameTorts - Motor Vehicle document preview
						
                                

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FILED: QUEENS COUNTY CLERK 02/24/2021 11:41 AM INDEX NO. 701299/2021 NYSCEF DOC. NO. 2 RECEIVED NYSCEF: 02/24/2021 Instructions: FILL IN THE NAMES OF THE PARTIES AND THE INDEX NUMBER. COMPLETE THE BLANK SPACES NEXT TO THE INSTRUCTIONS PRINTED IN BOLD TYPE. PRINT AND USE BLACK INK ONLY. SIGN YOUR NAME IN THE PRESENCE OF A NOTARY PUBLIC. SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF QUEENS ------ -------------- --------x 67ú\/d VAM6 Mp\O ê€ 5 \yfuv CAA ff COMPOn CtS 6 uby OC38e 0 IRWV10901ndex No. 76 Ems ANSWER Plaintiff, - against - CA 4 L i Gd naPY Defendant. n3 ___________________ ---X As and for his/her answer to the complaint herein, e e endant respectfully shows and alleges as follows: _. Admits the truth of the allegations of Paragraph(s) of the complaint. _t Denies knowledge or information sufficient to form a belief as to the truth of the allegations of Paragraph(s -3 Å ) a dL _ of the complaint. Denies the allegations of Paragraph(s) 0 W hW . \ X- WC S \ A O ft.. 1 AD 1 r f . b<Ùw of the complaint. 1 of 4 FILED: QUEENS COUNTY CLERK 02/24/2021 11:41 AM INDEX NO. 701299/2021 NYSCEF DOC. NO. 2 RECEIVED NYSCEF: 02/24/2021 COUNTERCLAIMS con4ents % ne crC Thf Same drP not teot th rY\ knct Edr. AS¾ emnex31¾vet y, ‰ cf th be. a hedPd J intzwmatcm onribehet o4 tnounedc nfavmcrhen and bc St mg te (c6 WHEREFORE, defendant prays that this Court dismiss the complaint of the plaintiff herein, with costs and disbursements to defendant, together with such other relief the Court finds to be just and proper. Dated: '2-l ZA 2 Signature £X( S 2crBraq Print Name 2 Z Î (AG 5 thdnu €_ am ct, NY BO05 ( CTQ 52z-r-1cq Defendant's Address and Telephone Number 3 2 of 4 FILED: QUEENS COUNTY CLERK 02/24/2021 11:41 AM INDEX NO. 701299/2021 NYSCEF DOC. NO. 2 RECEIVED NYSCEF: 02/24/2021 AFFIRMATIVE DEFENSES 2 3 of 4 FILED: QUEENS COUNTY CLERK 02/24/2021 11:41 AM INDEX NO. 701299/2021 NYSCEF DOC. NO. 2 RECEIVED NYSCEF: 02/24/2021 VERIFICATION , being duly sworn, deposes and says: I am the defendant. I have read the foregoing answer and know the ccñteñts thereof. The same are true to my knowledge, except as to matters therein stated to be alleged on infcimation and belief and as to those matters I believe them to be true. To the best of my kñowledge, information and belief, formed after an inquiry reasonable under the circumstances, the presentation of these papers or the contêñticñs therein are not frivolous as defined in subsection (c) of section 130-1.1 of the Rules of the Chief Administrator (22 NYCRR). Sign Name exis Raba t Print Name Sworn to before me this day of febeu#£1, 2Q03 / Notary Publ DONNA NELSON THOMPSON NotaryPublic,Stateof New York No. 01N26325377 in Queens Qualified County . My Commission ExpiresMay 26, 4 4 of 4