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  • Joshua Baker v. The City Of New York, Empire State Development Corporation, New York State Urban Development Corporation, New York State Urban Development Corporation D/B/A Empire State Development, New York Convention Center Operating Authority, New York Convention Center Operating Corporation, New York Convention Center Development Corporation, Jacob K. Javits Convention Center Of New York, Cardella Trucking Co. Inc., Lendlease (Us) Construction Lmb Inc., Lendlease Turner, A Joint Venture Between Lendlease (Us) Construction Lmb Inc. And Turner Construction Company, Turner Construction Company, Exterior Wall And Building Consultants, Inc.Torts - Other Negligence (Labor Law) document preview
  • Joshua Baker v. The City Of New York, Empire State Development Corporation, New York State Urban Development Corporation, New York State Urban Development Corporation D/B/A Empire State Development, New York Convention Center Operating Authority, New York Convention Center Operating Corporation, New York Convention Center Development Corporation, Jacob K. Javits Convention Center Of New York, Cardella Trucking Co. Inc., Lendlease (Us) Construction Lmb Inc., Lendlease Turner, A Joint Venture Between Lendlease (Us) Construction Lmb Inc. And Turner Construction Company, Turner Construction Company, Exterior Wall And Building Consultants, Inc.Torts - Other Negligence (Labor Law) document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 05/03/2022 03:17 PM INDEX NO. 160832/2021 NYSCEF DOC. NO. 37 RECEIVED NYSCEF: 05/03/2022 248 West 35th Street The Law Office of 8th Floor Erin M. McGinnis New York, NY 10001 Tel: 646-868-2425 Fax: 646-304-9300 May 3, 2022 Via ECF Re: Baker v. City of New York et al Index No.: 160832/2021 Dear Counselors: As you know, our office represents Defendant Exterior Wall and Building Consultants, Inc.. in the above referenced matter. Please note this is our second request. On January 5, 2022, we served a Demand for a Bill of Particulars and Combined Discovery Demands to all parties, however we have not yet received appropriate responses. To the extent you did not respond to our demands or did not receive them, please respond within 10 days of your receipt of this letter to avoid unnecessary motion practice. Should you have any questions or concerns regarding the foregoing, feel free to contact the undersigned. Respectfully, Erin M. McGinnis Esq. 1 of 1