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  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 08/09/2018 02:51 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 125 RECEIVED NYSCEF: 08/09/2018 FILED: NEW YORK COUNTY CLERK 08/09/2018 02:51 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 125 RECEIVED NYSCEF: 08/09/2018 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK -----------------------------------------------------------------------------X GREGORY WELCH and PRISCILLA WELCH, Index No. 162502/2015 Plaintiffs, AFFIDAVIT OF DUE - against - DILIGENCE 260-261 MADISON AVENUE LLC, SKYLIFT CONTRACTOR CORP., and BAY CRANE SERVICE INC., Defendants. X -----------------------------------------------------------------------------X SKYLIFT CONTRACTOR CORP., Third-Party Plaintiff, - against - MARINE xvxnouwuu & INDUSTRIAL uwuvuxaxrxu SUPPLYus uviol vvxvii COMPANY,J.axe x> INC., xxsv.> d/b/a uiuiu MARINE & INDUSTRIAL TESTING SOLUTIONS; MARINE & INDURSTRIAL TESTING SOLUTIONS; HANES SUPPLY, INC., as successor-by-merger to and/or d/b/a PAUL'S WIRE ROPE 0 SLING; and PAUL'S WIRE ROPE & SLING, Third-Party Defendants. -----------------------------------------------------------------------------X 260-261 MADISON AVENUE LLC, Second Third-Party Plaintiff, - against - MARINE & INDUSTRIAL SUPPLY COMPANY, INC., d/b/a MARINE & 1NDUSTRIAL TESTING SOLUTIONS; MARINE & INDURSTRIAL TESTING SOLUTIONS; HANES SUPPLY, INC., as successor-by-merger to and/or d/b/a PAUL'S WIRE ROPE & SLING; and PAUL'S WIRE ROPE & SLING, Second Third-Party Defendants. X -------------------------------------------------------------------------------X I, MARISOL WILLIAMS, being duly sworn and under oath, states the following to be true: 1. I am over eighteen (18) years old and am competent to testify. FILED: NEW YORK COUNTY CLERK 08/09/2018 02:51 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 125 RECEIVED NYSCEF: 08/09/2018 2. I am a legal secretary at LITCHFIELD CAVO LLP, counsel for defendant/second third-party plaintiff 260-261 MADISON AVENUE LLC (hereinafter 260-261 MADISON), and I am responsible for a process server - in this case PM Legal - with the providing third-party documents to be personally served. I am also responsible for creating records of emails received and maintaining those records in the regular course of business and part of my job responsibilities as a legal secretary. As such, I have knowledge of the facts set forth herein. 3. When a documents requires personal service, itis my custom and practice to email the third-party process server and notify them that our office requires their process serving services with copies of the papers enclosed. It is further custom and practice that, the process server confirms receipt of the assignment. Itis custom and practice that upon receipt of the requisite documents and confirmation of the assignment, the process server timely serves them. 4. It is also my custom and practice to follow-up with the third-party process server with respect to the execution of service. The third-party vendor typically transmits the affidavit of service reflecting service of a document to our office and e-files the requisite affidavits. It ismy understanding that our office has not had any instances in which the third-party process server failed to properly execute service using the above procedure. 5. Following the aforementioned custom and practice, on June 25, 2018, I e-mailed the process server and notified them that we have documents that require service - i.e. third-party a second third-party summons and complaint against Marine & Industrial Supply Company, Inc., d/b/a Marine & Industrial Testing Solutions; Marine & Industrial Testing Solutions; Hanes Supply, Inc., as successor-by-merger to and/or d/b/a Paul's Wire Rope & Sling; and Paul's Wire Rope & Sling (hereinafter second third-party defendants). Attached as Exhibit J is a true and accurate FILED: NEW YORK COUNTY CLERK 08/09/2018 02:51 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 125 RECEIVED NYSCEF: 08/09/2018 copy of an email I sent to the third-party process server. The third-party process server confirmed receipt of the assignment. Attached as part of Exhibit K is a true and accurate copy of a record of an email pursuant to my job duties at Litchfield Cavo. 6. I thereafter diligently followed with the third-party process server. It was my understanding that the third-party process server timely and properly served the second third-party defendants with the second third-party pleadings. However, my office did not receive therequisite affidavits, nor did they receive confirmation that they had been filed. Accordingly, on July 5, 2018, I called the third-party process server to obtain copies of the requisite affidavits reflecting service of that pleading upon the second third-party defendants. The third-party process server did not have any record of the affidavits. I therefore asked PM Legal to immediately locate the affidavits, and in an overabundance of caution, asked them to serve the second third-party defendants and file the affidavits to the extent ithad not already been done. Thereafter, PM Legal confirmed that all entities had been served. Attached as Exhibit M is a true and accurate copy of a record of an email pursuant to my job duties at Litchfield Cavo. I reasonably relied on this representation and believed all requisite affidavits had been filed with the Court. s MARISOL WILLIAMS Subscribed and Sworn to before me this ~4 day of /A gf . , 2018. NOTARY PUBLIC TAMIRA RIVERA NOTARY PUBLIC-STATE OF NEW YORK No. 01816268191 Qualified In Bronx County My Commission Expires 03-26-2020