On September 23, 2020 a
Stipulation,Agreement
was filed
involving a dispute between
Esmelin Pena,
Leonela Pena,
and
Van Courtlandt Assets Llc,
for Other Matters - Contract - Other
in the District Court of Bronx County.
Preview
APPENDIX D CI)
SUPREME COURT, COUNTY OF BRONX
IND IVID UAL ASSIGNMENT PART [OR JUST ICE) 6
------------------------------------------------------------x INDEX NO. 30724/202 0E
ESMELIN PENA and LEONELA PENA
Plaintiff(s), PRELIMINARY CONFERENCE
STIP ULATION AND ORDER
-against- (Sections 202.8 and
VAN COURTLANDT ASSETS LLC,
202,12 of the Uniform Rules)
Defendant (s),
------------------------------------------------------------x
[All items on the fo rm must be completed unless inapplicable ,)
It is hereby STIPULAT ED and ORDERED that disclosure shall proceed as follows :
( I) Insurance Coverage CCPLR 3 101 CD): Ifnot already provided, sha ll be furnished by
___________________________onorbefure.______________________
(2) Bill of Particulars:
(a) Demand for a bill of particulars shall be served by _D_ nd_a_nt___________ on or
ef_e_
before 6/30/2021
(b) Bill of particulars shall be served by _D_ef_e_nd_a_nt_______________on or before
6/30/2021
(3) Medical Reports and Autho rizations:
Shall be served as fo llows: NIA
(4) Physical Examination:
(a) Examination of _N_I_A_ _ _ _ _ _ _ _ _ _ _ _ _ _shall be held
(b) A copy of the physician' s report shall be furnished to plaintif!{s) within
_ _ _ _ _ _ _ _ _ _ _ _ _ _days of the examination.
(5) Depositions: Choose (a) or (b)
(a)
Deponent Date and Time
[Attach add itional sheet if necessary]
(b) The,r};to/ shall set a schedule for depositions to be held no later than
? Z( and shall provide the court with the schedule.
Optional:
/ / If o ne depositio n fails to take place as sched uled , the remaining parties'
depos itio ns shall nonetheless proceed as schedu led, except that priorities between
defendants and plaintiffs shall be preserved.
(6) Other Disclosure:
(a) All parties, on or before , shall exchange names and
addresses of all eyewitnesses and notic witnesses, statements of oppo sing parties
and photographs, or, if none, provide an affirmation to that effect.
(b) Authorizations fo r plaintiff(s)' employment reco rds for the period ~ J/ jJ.
shall be furnished o n or before . ~
(c) Demand for dis,COve yy and inspection shall be served bY ....o:c
h-.::o:::..J.!"'--4-'=-'-'-'=",,-__
on or before '3
j!;/ ZI ' The items so ught sha ll be p duced to
the e, tent fot obje~ted lo, and objections, if any, shall be stated on or before
Cj' 12Q L2..r '
I I
(d) Acc ident reports prepared in the regular course ofbusiness sha ll be exchanged
pursuant to CPLR 3101 (g) by _N_/A_ __ _ _ _ __ _ _ __ _ _ _
All such 'sclo ure, unless otherwise noted herein, shall be completed by
, 31 2Z-.
(I) Plaintiff shall provide aut 10rizations for the following collateral source providers
(CPLR 4545) within p(!, days:
(7) 1m leader' Mot ion s s, or to add arties: Sha ll be completed
o n or before - - -4-=+-''"'-''=-- - - -- -
(8) Comp liance conference: Shall be held on _ _ _ _ _ _ _ _ __ __ _ _ _'
(9) End Date for All Disclosure, other than eXPFrt djsclosure [must be within 12 months,
' /-BL.!..IfL.=l.Z.
or I 5 months for a complex easel :_ _--'-; = =--___________
f I
( 10) Expert Disclosure :
Pia int iff( s) shall pro vide expert disclosure by_ _ -'-'...c(f-!:::-.?_o-+!-=l.c-''-,--,--+<---,--,----_
Defendant(s) sha ll provide expert disclosure by_ __' __f -!../.L/,f-1L 2.=o---+!-"Z,,--,-I_ _
(II ) ositive motion(s) (CPU) 321 1 and 3212) shall be made on or before
~~~~~~,~~
~~*'~~
(12) Note of Issue: -~~~~~~~--~~~~~- I shall file a note of
issue/certificate of readiness on or before lZ- , A copy of
the st ipulation and order, an affirmation stating e terms of the stipulat ion and
order have been complied with, and an affida vit of service of the a ffirmation and note
of issue sha ll be served and filed with the note of issue on o r befo re said date.
( 13) T he parties shall ensure that a stipulation of disco ntinuance sha ll be promptly fil ed if
the case settles befo re the next meeting w ith the Co urt.
Fa ilu re to comply w ith any of these direct ions may result in the imposit ion of costs or
sanctions or other actio n authorized by law.
Atto rney fo r Defendant(s)
Micheli I. Perez. Esq.
Novick Edelstein Pomerantz, P.C.
Dated:
SO ORD ERED :
J. S. C.
ADDITIONAL DIRECTIVES
In addition to the directives set forth on the annexed pages, it is further ORDERED as follows:
Dated:
SO ORDERED:
J. S. C.
Document Filed Date
June 08, 2021
Case Filing Date
September 23, 2020
Category
Other Matters - Contract - Other
For full print and download access, please subscribe at https://www.trellis.law/.