arrow left
arrow right
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
  • Wayne Norton v. Robert Norton, Bruce NortonReal Property - Other (Partition) document preview
						
                                

Preview

FILED: ONONDAGA COUNTY CLERK 05/13/2022 02:13 PM INDEX NO. 008543/2020 NYSCEF DOC. NO. 33 RECEIVED NYSCEF: 05/13/2022 EXHIBIT B FILED: ONONDAGA COUNTY CLERK 05/13/2022 02:13 PM INDEX NO. 008543/2020 NYSCEF DOC. NO. 33 RECEIVED NYSCEF: 05/13/2022 INDEX NO. 008543/2020 FILED: ONONDAGA COUNTY CLERK 2 0 1 11 : 1 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 01/07/2021 SUPREME COURT COUNTY OF ONONDAGA STATE OF NEW YORK WAYNE NORTON, Plaintiff, VERIFIED ANSWER vs. Index No.: 008543/2020 ROBERTNORTON andBRUCENORTON, Defendants. The above Defendant, Bruce Norton, by and through his attorney, Richard H. Jarvis, Esq., answering the Complaint of the Plaintiffs submits as follows: 1. ADMITS the allegations contained in Paragraphs 3, 4 and 5. 2. DENIES knowledge and information sufficient to form a belief in the defense to the allegations contained in Paragraph 1, 2, 6 through and including 59, therefore DENIES. 3. DENIES each and every other allegation not here and before, specifically admitted or denied. WHEREFORE, Defendant Bruce Norton is named in the foregoing, specifically in Paragraph 3, as it pertains to his residence. Thereafter, Defendant Bruce Norton is not named in any adversarial manner or otherwise in Plaintiff's Complaint and seeks relief from the Court as it pertains to Defendant Bruce Norton's unnecessary expenses, including but not limited to reasonable costs and attorney's fees associated with being named in an action involving his brothers, Wayne Norton and Robert Norton and for other relief deemed reasonable by the Court. Dated: January ) , 2020 RICHARD Fi. RVIS, ESQ. Attorney for Defendants 315 West Fayette Street 1 of 3 FILED: ONONDAGA COUNTY CLERK 05/13/2022 02:13 PM INDEX NO. 008543/2020 NYSCEF DOC. NO. 33 RECEIVED NYSCEF: 05/13/2022 FILED : ONONDAGA COUNTY CLERK 1 INDEX NO. 008543/2020 11: NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 01/07/2021 Syracuse, NY 13202 Telephone No.: (315) 426-1525 TO: Erin M. Tyreman, Esq. Attorney for Plaintiff 217 South Salina Street, Suite 700 Syracuse, NY 13202 Telephone No. (315) 298-5192 2 of 3 FILED: ONONDAGA COUNTY CLERK 05/13/2022 02:13 PM INDEX NO. 008543/2020 NYSCEF DOC. NO. 33 RECEIVED NYSCEF: 05/13/2022 INDEX NO. 008543/2020 FILED: ONONDAGA COUNTY CLERK 01/07/2021 11:18 A$ NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 01/07/2021 STATE OF NEW YORK ) COUNTY OF OSWEGO ) BRUCE NORTON, being duly sworn, depose and say that Deponent has read the foregoing Answer and know the contents thereof and that the same is true to Deponent's own knowledge except as to those matters stated to be alleged on information and belief and as to those matters deponent believes it to be true. The grounds of Deponent's belief as to all matters are based upon his own knowledge. Sworn to before me this day of January, 2020. Notary Pub RICHARD H. JARVIS Notary Public, State of New York Qualified in Onondaga Co. No. 4854488 Cominission Expires March 28. 20h 3 of 3