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  • D.H An Infant By His Mother And Natural Guardian Sharon Hollis And Sharon Hollis Individually v. The City Of New York, New York City Department Of Education, Selby Transportation Corp., Association For Metroarea Autistic Children Inc., Walter Prince Torts - Other Negligence (fall) document preview
  • D.H An Infant By His Mother And Natural Guardian Sharon Hollis And Sharon Hollis Individually v. The City Of New York, New York City Department Of Education, Selby Transportation Corp., Association For Metroarea Autistic Children Inc., Walter Prince Torts - Other Negligence (fall) document preview
  • D.H An Infant By His Mother And Natural Guardian Sharon Hollis And Sharon Hollis Individually v. The City Of New York, New York City Department Of Education, Selby Transportation Corp., Association For Metroarea Autistic Children Inc., Walter Prince Torts - Other Negligence (fall) document preview
  • D.H An Infant By His Mother And Natural Guardian Sharon Hollis And Sharon Hollis Individually v. The City Of New York, New York City Department Of Education, Selby Transportation Corp., Association For Metroarea Autistic Children Inc., Walter Prince Torts - Other Negligence (fall) document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 10/03/2022 11:26 AM INDEX NO. 152981/2020 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 10/03/2022 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ...................----........................____-........____--...x . D.H. AN INFANT BY FilS MOTHER AND NATURAL Index No.: GUARDIAN SHARON HOLLIS, AND SHARON HOLLIS INDIVIDUALLY, CUARDIAN'S AFFIDAVIT Plaintiffs, -against- THE CITY OF NEW YORK, NEW YORK CITY D.SPARTMENT OF EDUCATION, SELBY TRANSPORTATION CORP., ASSOCIATION FOR METROAREA AUTISTIC CHILDREN, WALTER PRINCE, Defendants. ___....____...---....----......._____....._.....--...__....___.....___Ç STATE OF NEW YORK ) : SS COUNTY OF KINGS ) SHARON HOLLIS, being duly sworn, deposes and says: 1. I am the m.other and natural guardian of the Infant Plaintiff,Sharon Hollis. 2. 1 livewith infant Plaintiff at 82 Downing Street Apt B1, Brooklyn, NY 11238. 3. Deron Hamilton is 7 years old and was born on July 28, 2015. His social security number is 4. On February 27, 2019, at approximately 8:39 AM, my son, a special needs child, fellin the aisle of a school bus while unattended and unsupervised. 5. Following the occurrence my son was taken to Tisch Hospital, where he received 'A' emergency treatment. Copies of the medical records are annexed hereto as Exhibit 6. On or about March 19, 2019, I retained PAVLOUNIS & SFOUGGATAKIS, LLP and agreed that itscompensation would be all disbursements advanced plus a fee as determined under the terms of the said retainer agreement of thirty-three and one-third percent. 7. On or about 12, 2021, attorneys advised me that defense counsel for the May my Defendant SELBY TRANSPORTATION CORP has offered to settle Deron Hamilton's case 1 of 2 FILED: NEW YORK COUNTY CLERK 10/03/2022 11:26 AM INDEX NO. 152981/2020 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 10/03/2022 against them for a total of $40,000 and that Defendant THE CITY OF NEW YORK has offered to Deron Hamilton's case against a them for total of $1,500.00. I approve the terms of son's my settlement subject to the approval of the Court. 8. The expenses incurred by attorney's fees on Deron Hamilton's case total $1,688,85. attorney's fees on Deron Hamilton's case against 9. I have reviewed the request for the Infant Plaintiff will terms of the proposed seulement herein, the Defendant's. Under the LLP will receive PAVLOUNIS & SFOUGGATAKIS, net sum of $25,274.86 and receive the the sum of $13,269.06. lien in the amount of aware of a Medicaid Sfouggatakis are 10. Paviounis and $1,267.23. resultof his injuries time from school as a 11. Deron did not lose any his injuries experience lostwages as a resultof Deron did not any 12, claims for damages have made any member of son's family, Neither nor any my D. I, Deron's claims. occurrence rise to the giving as aresult of to be suffered alleged have had for loss claims I have or may and all with prejudice, any I hereby waive, .14. his servic'es. County. of granted in its applic tion be requested that this itis respectfully WHEREFORE, 0 ~LIS SHARON · i' before ESTEFANY MARTINEZ Sworn to MARIA b 2022 NEW YORK o PUBLIC-STATE OF 3 day NOTARY No.01MA6412552 --' Qualifiedin Kings County Expires01-04-2025 NOTARV PUBLIC Commission My 2 of 2