On February 19, 2020 a
Order to Show Cause
was filed
involving a dispute between
Lg 55 Doe,
and
Joseph A. Grasso,
for Torts - Child Victims Act
in the District Court of Monroe County.
Preview
INDEX NO. E2020001864
NYSCEF DOC. NO. 239 RECEIVED NYSCEF: 02/27/2024
MONROE COUNTY CLERK’S OFFICE THIS IS NOT A BILL. THIS IS YOUR RECEIPT.
Receipt # 3760435
Book Page CIVIL
Return To: No. Pages: 3
MICHAEL R. WOLFORD
350 Linden Oaks Instrument: AFFIRMATION
Third Floor
Rochester, NY 14625 Control #: 202402271913
Index #: E2020001864
Date: 02/27/2024
DOE, LG 55 Time: 5:59:36 PM
GRASSO, JOSEPH A.
Total Fees Paid: $0.00
Employee:
State of New York
MONROE COUNTY CLERK’S OFFICE
WARNING — THIS SHEET CONSTITUTES THE CLERKS
ENDORSEMENT, REQUIRED BY SECTION 317-a(5) &
SECTION 319 OF THE REAL PROPERTY LAW OF THE
STATE OF NEW YORK. DO NOT DETACH OR REMOVE.
JAMIE ROMEO.
MONROE COUNTY CLERK
MM
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INDE& HOE 2€2
FLEE? MONROE COUNTY CLERK 0272772024 05:58 PM 861864
NYSCEF DOC. NO. 239 RECEIVED NYSCEF: 02/27/2024
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF MONROE
LG 55 DOE,
AFFIRMATION
Plaintiff,
Index No. E2020001864
V
JOSEPH A. GRASSO,
Defendant.
Jerid M. Fisher, Ph.D., affirms upon penalty of perjury the following:
1 | am a Board-Certified Neuropsychologist and have been retained by Counsel for
the Defendant to interview, test, and evaluate the claims of Plaintiff. As a result of
that evaluation, | prepared an extensive report dated November 11, 2022.
| am submitting this Affirmation in support of Defendant’s Motion for an Order
permitting me to testify by Zoom during the week of March 11, 2024, rather than
appear in person at the trial of this case which will commence on March 5, 2024.
Over the past two years since purchasing a home in Florida, | routinely take 4-6
week breaks to spend time there. | schedule these trips many months in
advance. The current trip was scheduled 8 months ago and cannot be changed
because of personal and professional obligations that | have in Florida, as well as
my professional commitments that are scheduled in mid-April upon my return to
New York. However, | am willing to testify to the contents of my 11-22 report from
Florida on Zoom.
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FLEE? MONROE COUNTY CLERK 0272772024 05:58 PM INDEXxN8 E 2820100804
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NYSCEF DOC. NO. 239 RECEIVED NYSCEF: 02/27/2024
4 | am prepared to testify by Zoom during the week of March 11, 2024, and my
testimony will essentially deal with the report that | submitted to Defense Counsel
which was provided to Plaintiff's Counsel.
As | affirm this IS say of February 2024, under the penalties of perjury under the
laws of New York which may include a fine or imprisonment that the foregoing is
true, and | understand that this document may be filed in an action and
proceeding in a Court of law.
(Aa
Jerid . isher, Ph.D., ABN
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Document Filed Date
February 27, 2024
Case Filing Date
February 19, 2020
Category
Torts - Child Victims Act
Status
Disposed-Court Date/Application Pending
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