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  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
  • Costello, Cooney & Fearon, Pllc v. Melinda Burdick BoweTorts - Other (Unjust Enrichment/Convers) document preview
						
                                

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FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 EXHIBIT B FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 STATE OF NEW YORK SUPREME COURT COUNTY OF ONONDAGA Index No. 003917/2021 COSTELLO, COONEY & FEARON, PLLC, Plaintiff, RESPONSE TO DEFENDANT'S -vs- REQUEST FOR INTERROGATORIES MELINDA BURDICK BOWE, Defendant. The Plaintiff, Costello, Cooney & Fearon, PLLC ("CC&F"), as and for its Responses to Defendant's Request for Interrogatories, states as follows: COSTELLO, COONEY & FEARON, PLLC GENERAL OBJECTIONS 1. CC&F objects to the Defendant's Request for Interrogatories to the extent that the requests and demand requests information subject to and/or protected by the attorney-client privilege and rules governing confidentiality, possessed by parties to this action and persons and entities not parties to this action, the work-product exemption or other applicable privilege or protection. If any privileged infoiriiation is inadvertently produced, CC&F does not waive or intend to waive any privilege or protection pertaining to such information or to any other information, and expressly reserves the right to object to the introduction or other use of any such information. 2. CC&F objects to Defendant's Request for Interrogatories to the extent the requests and demands request information which is unreasonably cumulative, duplicative, or obtainable from some other source which is more convenient, less burdensome or less expensive. 3. CC&F objects to Defendant's Request for Interrogatories to the extent the requests and demands seek information already known to Defendant or otherwise available to Defendant FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 from documents in her own files,possession, control, public records or documents, exhibits or previously produced by CC&F. 4. CC&F objects to Defendant's Request for Interrogatories to the extent the requests and demands are vague, burdensome, oppressive or prejudicial, unlimited as to time and do not seek information or material necessary to the prosecution of actions, allegations, claims, defenses or disputes asserted in the case or reasonably calculated to lead to the discovery of admissible evidence. 5. CC&F objects to Defendant's Request for Interrogatories to the extent the requests and demands call for information, items or materials which are irrelevant, immaterial, incompetent or not reasonably calculated to lead to the discovery of admissible evidence. CC&F's responses COSTELLO, COONEY & FEARON, PLLC are not to be deemed a waiver of its rights to object to the Request for Interrogatories or parts thereof, nor as consent to responding other than as set forth in this Response. Further, by responding, CC&F does not concede that any of the information, items or materials sought is relevant or material to any cause or alleged cause of action, the claims asserted, or subject in question, is admissible, in evidence or is reasonably calculated to lead to the discovery of admissible evidence. CC&F specifically reserves all objections or other questions and issues as to the competency, relevance, materiality, privilege or admissibility in any subsequent proceeding in, or at trial of this or any other action for any purpose whatsoever of any information, items or materials provided in these responses. 6. CC&F objects to Defendant's Request for Interrogatories to the extent the demands call for information, items or materials not presently within the possession, custody or control of CC&F. CC&F's Responses to Defendant's Request for Interrogatories are based on CC&F's possession, custody or control of documents, information, items or materials. Discovery is not yet completed and each response isat all times subject to such additional or different information -2- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 which discovery or further investigation may disclose. These Responses are subject to modification and supplementation as appropriate in view of such additional or different information as discovery or further investigation may reveal. CC&F specifically reserves the right to make use of or produce at any motion, hearing or trial, information or documents responsive to the Request for Interrogatories, but discovered or developed subsequent to the date of these Responses. 7. CC&F objects to Defendant's Request for Interrogatories to the extent the demands exceed the scope of permissible discovery permitted under the Civil Practice Law and Rules. 8. CC&F objects to Defendant's Request for Interrogatories to the extent the demands seek responses or information relating to conduct and/or events which occurred or may have COSTELLO, COONEY & FEARON, PLLC occurred after the commencement of this Lawsuit. 9. Each of the foregoing objections are incorporated into each of the following specific responses and all objections are stated without waiver of any of the foregoing general objections. DEFINITIONS AND INSTRUCTIONS 1. CC&F objects to Defendant's definitions and instructions to the extent they are overbroad, vague, ambiguous and overly burdensome. CC&F further objects to the definitions and instructions imposed in Defendant's Request for Interrogatories to the extent they seek to impose requirements beyond those specified under the Civil Practice Law & Rules. 2. CC&F objects to Defendant's definitions and instructions to the extent they exceed the scope of discovery pet mined under the Civil Practice Law and Rules and/or the local rules. -3- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 RESPONSE TO INTERROGATORIES INTERROGATORY NO. I: State the amount and date of each payment made by Plaintiff to Defendant pursuant to the Of Counsel Agreement. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts. Furthermore, CC&F objects to this request as seeking information, material and documents already in Defendant's possession or previously provided to Defendant. Subject to and COSTELLO, COONEY & PEARON, PLLC without waiving those objections, response to this Interrogatory will be provided under separate cover and included within CC&F's second supplemental document production. INTERROGATORY NO. 2: State the amount and date of each payment made by Plaintiff to Defendant in the fiscal years 2020 and 2021 pursuant to Defendant's status as a member of the Plaintiff. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts. Furthermore, CC&F objects to this request as seeking information, material and documents already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, response to this Interrogatory will be provided under separate cover and included within CC&F's second supplemental document production. -4- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 INTERROGATORY NO. 3: Identify the individuals who were involved in making the decision to make distributions to Plaintiff's members for fiscal years 2020 and 2021. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms, assumes facts not in evidence, and presumes disputed legal and factual conclusions. Furthermore, CC&F objects to this request as seeking information and material already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, response to COSTELLO, COONEY & FEARON, PLLC this Interrogatory will be provided under separate cover. INTERROGATORY NO. 4: Identify all members of Plaintiff with negative capital accounts at the end of fiscal year 2020 and at the beginning of fiscal year 2021. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms, and assumes facts not in evidence. Furthermore, CC&F objects to this request as seeking information, materials and production of documents already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, documents providing this information have been previously produced in CC&F' s document production and further response will follow under separate cover. -5- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 INTERROGATORY NO. 5: Identify all clients for whom Defendant performed work through Plaintiff pursuant to the Of Counsel Agreement. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence. Additionally, CC&F objects to this request as seeking information and materials which are wholly irrelevant to the causes of action, claims, counterclaims and defenses in this matter, and not reasonably calculated to lead to the discovery of admissible COSTELLO, COONEY & FEARON, PLLC evidence. Furthermore, CC&F objects to this request as seeking information and materials already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, documents providing this information have been previously produced in CC&F's document production and further response will follow under separate cover. INTERROGATORY NO. 6: Identify all clients originated by Defendant from whom Plaintiff received fees for work performed by Plaintiff (other than Defendant) on or after the execution of the Of Counsel Agreement. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence. Additionally, CC&F objects to this request as seeking information and materials which are wholly irrelevant to the causes of action, claims, counterclaims and defenses in this matter, and not reasonably calculated to lead to the discovery of admissible -6- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 evidence. Furthermore, CC&F objects to this request as seeking information and materials already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, documents providing this information have been previously produced in CC&F's document production and further response will follow under separate cover. INTERROGATORY NO. 7: Provide a list of all payments received by Plaintiff for work performed by Defendant on or after the execution of the Of Counsel Agreement through the present, along with the date each payment was received. RESPONSE: COSTELLO, COONEY & FEARON, PLLC Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence. Additionally, CC&F objects to this request as seeking information and materials which are wholly irrelevant to the causes of action, claims, counterclaims and defenses in this matter, and not reasonably calculated to lead to the discovery of admissible evidence. Furthermore, CC&F objects to this request as seeking information and materials already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, documents providing this information have been previously produced in CC&F' s document production and further response will follow under separate cover. INTERROGATORY NO. 8: Provide a list of all payments received by Plaintiff from clients originated by Defendant for work performed by others within the Plaintiff (other than Defendant) on or after the execution of the Of Counsel Agreement, and the date that each payment was received. -7- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence. Additionally, CC&F objects to this request as seeking information and materials which are wholly irrelevant to the causes of action, claims, counterclaims and defenses in this matter, and not reasonably calculated to lead to the discovery of admissible evidence. Furthermore, CC&F objects to this request as seeking information and materials already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, documents providing this information have been previously produced in CC&F's COSTELLO, COONEY & FEARON, PLLC document production and further response will follow under separate cover. INTERROGATORY NO. 9: State the amount of profit distributions made to each of Plaintiff's members for the fiscal year 2020 and the dates the payments were made. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence. Additionally, CC&F objects to this request as seeking information and materials which are wholly irrelevant to the causes of action, claims, counterclaims and defenses in this matter, and not reasonably calculated to lead to the discovery of admissible evidence. Furthermore, CC&F objects to this request as seeking information and materials already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, reports providing this information have been previously produced in CC&F' s document production and further response will follow under separate cover. -8- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 INTERROGATORY NO. 10: State the amount of profit distributions made to each of Plaintiffs members for the fiscal year 2021 and the dates the payments were made. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence, and seeks confidential and proprietary information. Additionally, CC&F objects to this request as seeking information and materials which are wholly irrelevant to the causes of action, claims, counterclaims and defenses in this matter, and not reasonably COSTELLO, COONEY & FEARON, PLLC calculated to lead to the discovery of admissible evidence. Subject to and without waiving those objections, CC&F will provide relevant responsive information in its second supplemental production and further response will follow under separate cover. INTERROGATORY NO. 11: State the date or dates that Plaintiff received year-end capital account calculations for fiscal year 2020 from its accountant along with the capital account calculations for each member. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms and assumes facts not in evidence. Furthermore, CC&F objects to this request as seeking production of documents and things already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, responsive information to this Interrogatory has previously been provided in CC&F's document production, and further response will follow under separate cover. -9- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 INTERROGATORY NO. 12: Describe the fiduciary duty that is allegedly owed to the Plaintiff by Defendant, including any citations to relevant law upon which the Plaintiff relies, for the proposition that Defendant owes a fiduciary duty to Plaintiff as a former member of Plaintiff. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms, assumes facts not in evidence, presumes disputed legal and factual conclusions, seeks materials prepared in anticipation of litigation, seeks attorney work product and/or legal opinions or conclusion. This COSTELLO, COONEY & FEARON, PLLC Interrogatory is palpably improper. INTERROGATORY NO. 13: Identify and provide copies of any meeting notices, agendas, minutes, or any other documents reviewed or discussed during an Executive Committee or general membership meetings held in 2020 or 2021 relating to: a. The calculation of distributions and/or profits for the fiscal years 2020 and/or 2021; b. The decision to reclassify any distributions from fiscal year 2020 as advances on fiscal year 2021 profit distributions; and c. The status of Defendant as a member or former member with respect to (a) and (b) above. RESPONSE: Besides the General Objections, CC&F objects to this request on the grounds it is ambiguous, overly broad, unduly cumbersome, burdensome, employs undefined terms, assumes facts not in evidence, presumes disputed legal and factual conclusions, seeks materials prepared in -10- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 anticipation of litigation and seeks attorney work product. Furthermore, CC&F objects to this request as seeking production of documents and things already in Defendant's possession or previously provided to Defendant. Subject to and without waiving those objections, documents responsive to this demand were previously provided in CC&F's document production and/or supplemental document production and further documents responsive to this demand in its second supplemental production. Further response will follow under separate cover. PLEASE TAKE NOTICE THAT PLAINTIFF SPECIFICALLY RESERVES THE RIGHT TO AMEND AND/OR SUPPLEMENT ANY OF THESE RESPONSES AT ANY REASONABLE TIME PRIOR TO THE TRIAL OF THIS ACTION. DATED: January 18, 2022 COSTELLO, COONEY & FEARON, PLLC /) CULA.A.A. PAUL G. FERRAI DANIEL R. ROSE Attorneys for Plaintiff Office and Post Office Address 500 Plum Street, Suite 300 Syracuse, New York 13204-1401 Telephone: (315) 422-1152 TO: Andrew J. Ryan, Esq. WOODS OVIATT GILMAN LLP Attorneys for Defendant Office and Post Office Address 1900 Bausch & Lomb Place Rochester, New York 14604 -11- FILED: ONONDAGA COUNTY CLERK 05/11/2022 04:40 PM INDEX NO. 003917/2021 NYSCEF DOC. NO. 53 RECEIVED NYSCEF: 05/11/2022 STATE OF NEW YORK COUNTY OF ONONDAGA ) ss.: JOHN R. LANGEY, being duly sworn, deposes and says that deponent is Chief Executive Officer of Costello, Cooney & Fearon, PLLC, that deponent has read the foregoing Response to to Defendant's Request for Interrogatories and knows the contents thereof; that the same is true to the knowledge of the deponent, except as to matters therein stated to be alleged upon information and belief, and that as to those matters, deponent believes them to be true. This verification is made by deponent because Costello, Cooney & Fearon, PLLC is a professional limited liability company. Deponent is Chief Financial Officer of said company. The grounds of deponent's belief as to all matters not stated upon deponent's own knowledge are as follows: Investigations COSTELLO, COONEY & FEARON, PLLC which deponent has caused to be made concerning the subject matter of this Complaint and information acquired by deponent in the course of deponent's duties as Chief Financial Officer of said company and from the books and papers of said corporation. JOHN R. LANGEY Subscribed and sworn to before me this is--g) day of January, 2022. V)M,a(-e- (-) Notary Public LAURIE ). ALESCI notary Public in the State of New York Qualified in Oswego Co. No. 01AL4873119 My Commission Expires October 6, 20 ga,