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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 01/30/2023 02:18 PM INDEX NO. 152981/2020 NYSCEF DOC. NO. 34 RECEIVED NYSCEF: 01/30/2023 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK --------------------------------------------------------------------X Index No.: 152981/2020 D.H. AN INFANT BY HIS MOTHER AND NATURAL GUARDIAN SHARON HOLLIS, ANDSHARON HOLLIS INDIVIDUALLY, PHYSICIAN'S Plaintiffs, AFFIRMATION -against- THE CITY OF NEW YORK, NEW YORK CITY DEPARTMENT OF EDUCATION, SELBY TRANSPORTATION CORP., ASSOCIATION FOR METROAREA AUTISTIC CHILDREN, WALTER PRINCE, Defendants. ___________________________________ x SUPREME COURT OF THE STATE OF NEW YORK TIMUR HANAN M.D., duly affirms as follows: 1. I am the Medical Doctor duly licensed to practice in the State of New York with anoffice located at 3226 Kings Highway Brooklyn, New York 11234. 2. Infant,D.H., born on July 28, 2015, was 3 years of when he was injured in an accident that occurred on February 27, 2019. 3. As a result of the accident, Infant sustained a laceration to the head. 4. Infant Plaintiff D.H. received emergency room treatment Tisch Hospital, 550 First Avenue, New York, New York 10016. 5. On May 28, 2020, infant D.H. was examined by Dr. Hubert Weinberg. Dr. Weinberg examined the scar and noted that in view of the length of time since the accident occurred, the scar as it exists at the present time is permanent in nature, and no further treatment is necessary or required. 6. On August 11, 2022, I examined Infant Plaintiff. It is my medical opinion that there is no functional disability or any residual problems resulting from the accident. It is my medical opinion that infant D.H. has made a good recovery and does not need future treatment. 1 of 2 FILED: NEW YORK COUNTY CLERK 01/30/2023 02:18 PM INDEX NO. 152981/2020 NYSCEF DOC. NO. 34 RECEIVED NYSCEF: 01/30/2023 7. Infant D.H. is able to perform allthe activities of a person his age. 8. I am not interested in this application for leave of compromise on behalf of either parties hereto or their attorneys. Dated: Brooklyn, New York y , 2022 TI R HANAN, M.D. 2 of 2