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FILED: NEW YORK COUNTY CLERK 12/07/2020 07:03 PM INDEX NO. 154062/2020
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"B"
EXHIBIT
FILED: NEW YORK COUNTY CLERK 12/07/2020 07:03 PM INDEX NO. 154062/2020
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
X
PRISCILLA MARTINEZ,
Index No: 154062/2020
Plaintiff(s),
VERIFIED ANSWER TO
- against - PLAINTIFF'S COMPI.AINT
WITH AFFIRMATIVE DEFENSES
RITE AID OF NEW YORK CITY INC., and CATS 3531
BROADWAY, LLC,
Defendant(s).
X
Defendants, RITE AID OF NEW YORK, INC. incorrectly sued herein as RITE AID OF NEW
YORK CITY INC., and R.A. REAL ESTATE, INC. sued herein as CATS 3531BROADWAY, LLC, by
and through their attorneys, RUBINE + CHA, LLC answers the Complaint of plaintiff,
PRISCILLA MARTINEZ, upon information and belief as follows:
1. defendants lack sufficient knowledge or information to admit or
Answering
the allegations as stated in the corresponding paragraph of the plaintiff'sComplaint.
deny
2. defsadants lack sufficient knowledge or information to admit or
Answering
the allegations as stated in the corresponding paragraph of the plaintiff'sComplaint.
deny
3. Answering defendant, RITE AID OF NEW YORK, INC.incorrectly sued herein as
RITE AID OF NEW YORK CITY INC., admits that at all times relevant, itwas and silliis a
corporation doing business in the State of New York.
4. Answering defendant, RITE AID OF NEW YORK, INC. incorrectly sued herein as
RITE AID OF NEW YORK CITY INC., denies the allegations as stated and directed to this
defendant in the corresponding paragraph of the plaintiff's Complaint.
5. Admitted in part and denied in part. Answering defendant, RITE AID OF NEW
YORK, INC.Incorrectly sued herein as RITE AID OF NEW YORK CITY INC., admits that alltimes
relevant, itoperated a Rite Aid retail pharmacy lccated at 3539 Broadway in New York,
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New York. The remaining allegations as stated and directed to this defendant in the
corresponding paragraph of the plaintiff'sComplaint are denied and all questions of law
are referred to thisCourt.
6. Answering defendant, RITE AID OF NEW YORK, INC.incorrectly sued herein as
RITE AID OF NEW YORK CITY INC., denies the allegations as stated and directed to this
defendant in the corresponding paragraph of the plaintiff's Complaint and allquestions of
law are referred to this Court.
7. Answering defendant, RITE AID OF NEW YORK, INC.incorrectly sued herein as
RITE AID OF NEW YORK CITY INC., denies the allegations as stated and directed to this
defendant in the corresponding paragraph of the piciatiff'sComplaint and aliquestions of
law are referred to this Court.
8. Answering defendant, RITE AID OF NEW YORK, INC.incorrectly sued herein as
RITE AID OF NEW YORK CITY INC., denies the allegations as stated and directed to this
defendant in the paragraph of the plaintiff'sComplaint and allquestions of
corresponding
law are referred to this Court.
9. defendant, R.A. REAL ESTATE, INC. sued herein as CATS
Answering
3531BROADWAY, LLC, admits that at alltimesrelevant, it was and is a
still corporation doing
business in the State of New York.
10. Answering defendant, R.A. REAL ESTATE, INC. sued herein as CATS
3531BROADWAY, LLC, admits that at alltimes relevant, itowned the premises located at
3539 Broadway in New York, New York.
11. Answering defendant, R.A. REAL ESTATE, INC. sued herein as CATS
3531BROADWAY, LLC, denies the allegations as stated and directed to this defendant in
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the corresponding paragraph of the plaintiff's Complaint and all questions of law are
referred to this Court.
12. Answering defendant, R.A. REAL ESTATE, INC. sued herein as CATS
3531BROADWAY, LLC, denies the allegations as stated and directed to this defendant in
the corresponding paragraph of the plaintiff's Complaint and all questions of law are
referred to this Court.
13. Answering defendant, R.A. REAL ESTATE, INC. sued herein as CATS
35318ROADWAY, LLC, denies the allegations as stated and directed to this defendant in
the coresponding paragraph of the plaintiff's Complaint and all questions of law are
referred to this Court.
14. Answering defendant, R.A. REAL ESTATE, INC. sued herein as CATS
3531BROADWAY, LLC, denies the allegations as stated and directed to this defendant in
the corresponding paragraph of the plaintiff's Complaint and all questions of law are
referred to thisCourt.
15. Answering defendants deny the allegations as stated in the corresponding
paragraph of the plaintiff's Complaint and refers all questions of law to this Court.
16. Answering defendants deny the allegations as stated in the corresponding
paragraph of the plaintiff's Complaint and refers all questions of law to this Court.
17. Answering defendants deny the allegations as stated in the corresponding
paragraph of the plaintiff's Complaint and refers all questions of law to this Court.
18. Answering defendants deny the allegations as stated in the corresponding
paragraph of the plaintiff's Complaint and refers all questions of law to this Court.
19. Answering defendants deny the allegations as stated in the coresponding
paragraph of the plaintiff's Complaint and refers all questions of law to this Court.
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20. Answering defendants deny the allegations as stated in the corresponding
paragraph of the plaintiff's Complaint and refers allquestions of law to this Court.
flRST AEEIRMATIVE DEFENSE
21. Ifthe plaintiff sustained the Injuries and damages alleged in the Verified
Complaint, the same were wholly caused by the culpable conduct of and/or assumption
of the riskof the plaintiff and the answering defendants are entitled to judgment dismissing
the Verified Complaint in itsentirety with prejudice.
22. Ifthe plaintiff sustained the injuries and damages alleged in the Verified
Complaint, then same were caused, ifnot in whole, then in part, by the culpable conduct
and/or assumption of risk of the plaintiff and the answering defendants are entitled to
judgment and the degree to which the culpable conduct of the plaintiffs
assessing fixing
contributed to said injuries and damages and the proportion to whichsuch damages shall
be diminished thereby.
SECOND AFFIRMATIVE DEFEliSE
23. If theplaintiff recovers any judgment against the answering defendants, then
the defendants demand that any such Judgment be diminished in accordance
answering
with Article 16 of the CPLR and more particularly, Section 1601 thereof.
THIRD AFFIRMATIVE DIEFENSE
24. Ifany past or future expenses incurred or to be incurred by the plaintiff for
medical care, dental care, custodial care or rehabilitative services, loss of earnings or other
economic loss, has been or will with reasonable certainty be replaced or indemnified in
whole or in part from a collateral source as defined by CPLR 4545(c). Ifany damages are
recoverable against the answering defendants, the amount of such damages shall be
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diminished by the amount of funds which plaintiff has or shall receive from such collateral
source.
FOURTH AFFIRMATIVE DEFENSE
25. Plaintiff,PRISCILLA MARTINEZ, claims and any right of recovery for her alleged
damages must be barred, precluded, reduced, and/or limited due to the plaintiff's failure
to mitigate her damages.
FIFTH AFFIRMATIVE DEFENSE
26. Upon information and belief, the condition alleged in the plaintiff's Verified
Complaint was open and obvious and not inherently dangerous.
SIXTH AFFIRMATIVE DEFENSE
27. The injuries alleged by the plaintiff was not proximately caused by any
culpable conduct or violation by the answering defendants.
statutory
SliVENTH AFFIRMATIVE DEFENSE
28. defendants did not create or havenotice of the condition alleged
Answering
in the Verified Complaint and, therefore, may not be held liable to the plaintiff for her
alleged injuries.
EIGHTH AFFIRMATIVE DEFENSE
29. Plaintiff's own culpable conduct was the sole proximate cause or
contributing cause of the injuries and damages of which the plaintiff complains and,
therefore, her recovery, ifany, should be barred or limited.
NINTH AFFIRMARVE DEFENSE
30. PiGint|ff assumed the risks of the activities that she was engaged in at the
time of the occurrence alleged in the Complaint.
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TENTH AFFIRMATIVE DEFENSIE
31. The damages as allegedin the plaintiff'sVerified Complaint were the result of
the negligence, superseding negligence, and/or culpable conduct of third parties over
whom the answering defendants exercised no control and with whom the answering
defendants had no legal relationship.
ELEVENTH AFFJRMATIV-E_DEEENSE
32. Ifthe plaintiff did sustain any injuries and damages as alleged, such injuries
and damages were directly and proximately caused by independent, intervening and/or
superseding acts or omissions which the answering defendants could not reasonably have
foreseen and for which itis not responsible or liable.
TWELFTN AFFIRMATIVE DEFENSE
33. Answering defendants acted reasonably and with due care and violated no
duty owed to the plaintiff.
THIRTEENTH AFFIRMATIVE DEFENSE
34. The plaintiff's Verified Complaint fallsto state a claim upon which reliefmay
be granted.
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WHEREFORE, answering defendants, RITE AID OF NEW YORK, INC. incorrectly sued
herein as RITE AID OF NEW YORK CITY INC., and R.A. REAL ESTATE, INC. sued herein as CATS
3531BROADWAY, LLC, demand judgment dismissing the plaintiff's Verified Complaint in its
satirsty with prejudice and for such other and furtherrelief as this Honorable Court deems
Just and proper.
Dated: Glen Rock, New Jersey
July 15, 2020 RUBI + A, LL
BY: ..
S B. RUBINE Q.
Attomeys for Defendants,
RITE AID OF NEW YORK, INC. incorrectly
sued herein as RITE AID OF NEW YORK CITY
INC., and R.A. REAL ESTATE, INC. sued
herein as CATS 3531BROADWAY, LLC
65 Harristown Road, Suite 203
Glen Rock, New Jersey 07452
(201) 857-5815
*** ***
New York Office
114 Old Country Road, Suite 560
Mineola, New York 11501
*** ***
Reply to New Jersey Office
TO:
Peter May, Esq.
SUBIN ASSOCIATES, LLP
Attorneys for Plaintiff,
PRISCILLA MARTINEZ
150 Broadway
New York, New York 10038
(212) 285-3800
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
------------ X
PRISCILLA MARTINEZ,
Index No: 154062/2020
Plaintiff(s),
- against - VERIFICATION
RITE AID OF NEW YORK CITY INC., and CATS 3531
BROADWAY, LLC,
Defendant(s).
X
I, SETH B. RUBlNE, am an attorney admitted to practice in the Courts of the State of
New York and the attomey for the answering defendants, RITE AID OF NEW YORK, INC.
incorrectly sued herein as RITE AID OF NEW YORK CITY INC., and R.A. REAL ESTATE, INC.sued
herein as CATS 3531BROADWAY, LLC, and LANCASTER REALTY MGMT. CORP., in the instant
action. I have read the foregoing ANSWER WITH AFFIRMATIVE DEFENSES and know the
contents thereof. The same is true of my own knowledge, except as to the matters therein
alleged to be based upon information and belief and as to those matters that I believe to
be true. The reason for thisverification is made by me and not the answering defendant is
that the answering defendant's principal place of business isin a county other than the
county where I maintain my office.
The grounds of my belief as to allmatters not stat own knowledge are
as follows: the contents of the filewhich constitutes a ey work product.
Dated: Glen Rock, New Jersey
July I5, 2020 ,
S H B. RUBINÈ, ESQ.
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
INDEX NO. 154062/2020
PRISCILLA MARTINEZ,
Plaintiff(s),
- against -
RITE AID OF NEW YORK CITY INC., CATS 3531
BROADWAY, LLC,
Defendant(s).
VERIFIED ANSWER WITH AFFIRMATIVE DEFENSES
RUBINE + CHA, LLC
Attorneys for Defendants.
RITE AID OF NEW YORK, INC.
Incorrectly sued herein as RITE AID OF
NEW YORK CITY INC., and
R.A. REAL ESTATE INC. sued herein as
CATS 3531 BROADWAY, LLC
65 Harristown Road, Suite 203
Glen Rock, NJ 07452
Tel. (201) 857-5815
Fax. (877) 533-9898
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