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  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
  • Cartessa Aesthetics, Llc, a New York Limited Liability Company v. Dr. Steven Demko ,individual Commercial Division document preview
						
                                

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FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU ARTHUR FIRMBACH and DIANA FIRMBACH, Index No.: 603298/2019 Plaintiffs, -against- VERIFIED BILL OF ST. JOSEPH HOSPlTAL, CATHOLIC HEALTH PARTICULARS AS TO SERVICES OF LONG ISLAND, BIRENDRA K. DEFENDANT TRIVEDI, M.D., ISLAND NEURO CARE, P.C., SHLOMO KUPERMAN, M.D. _KAUSER YASMEEN, M.D., HICKSVILLE MEDICAL CARE P.C., NORTHWELL HEALTH, INC., NORTH SHORE UNIVERSITY HOSPITAL, . RICHARD B. LIBMAN, M.D., ELLIOTT D. SALAMON, D.O., GLEN COVE HOSPITAL, MARTIN B. MOSKOWITZ, M.D., LYUBOV RUBIN, M.D., JUSTIN I. WEINER, D.O., JIWON HONG, M.D., JEFFREY M. KATZ, M.D., ANAND V. PATEL, M.D., ZUNAIRA H. CHOUDHARY, M.D., YELENA KREYMER, M.D., SHLOMO KUPERMAN, M. D., NEGIN HAJIZADEH, M.D., COLD SPRING HILLS CENTER FOR NURSING AND REHABILITATION and EXCELSIOR CARE GROUP LLC, Defendants. --------------------------------------------------------------------X Plaintiffs, ARTHUR FIRMBACH and DIANA FIRMBACH, by their attorney ALAN H. FIGMAN, PLLC, as and for their Verified Bill of Particulars as to defendant SHLOMO KUPERMAN, M.D. allege as follows, upon information and belief: 1. The negligence and malpractice occurred on or about October 7, 2016 through November 16, 2016, inclusive, at North Shore University Hospital in Manhasset, New York. "1" 2. See Particular no. above. 1 1 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 3. During the aforesaid times, defendant SHLOMO KUPERMAN, M.D., his agents, servants and/or employees, were careless, reckless, negligent and committed medical malpractice, in deviating and departing from accepted and proper medical, hospital, emergency medicine, and internal medicine practices and standards extant in the community; in failing to timely and properly diagnose and treat plaintiff's condition; in failing to carry out and perform adequate and proper physical examinations; in failing to obtain adequate family, social and medical histories; in failing to timely and properly diagnose and treat stroke(s) and cerebrovascular accident(s); in failing to properly monitor plaintiff; in failing to timely and properly address cerebrovasculr issues; in failing to timely and properly heed findings on radiology studies; in failing to timely and properly medicate plaintiff; in failing to heed plaintiff's ongoing signs, symptoms and corsplaiñts; in failing to timely refer plaintiff to a stroke unit; in failing to timely and properly transfer plaintiff to an institution equipped to treat stroke patients; in causing plaintiff to suffer advancing strokes and in failing to timely and properly diagnose and treat same; in failing to carry out and perform timely, adequate and proper anti-coagulative therapies; in failing to promulgate and enforce adequate rules and protocols regardiñg stroke treatment; in failing to properly train, instruct and supervise house staff; in failing to keep proper records; in failing to promulgate and enforce adequate and proper proctocols and standard operating procedures relative to the treatment of stroke patieñts and the timely implementation of pharrñacological anti-coagulative therapies; among other acts and/or omissions. 4. The identities of any persons for whom this defendant is vicariously liable is presently unknown. At plaintiffs are aware of the persons the 10/7/2016 - present, following during 2 2 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 11/16/2016 admission of plaintiff to defendant NORTH SHORE UNIVERSITY HOSPITAL who performed the aforesaid acts and/or failed to act and for whom defendant NORTH SHORE UN1VERSITY HOSPITAL is vicariously liable: Elliott Salamon, D.O., Jiwon Hong, M.D., Jeffrey M. Katz, M.D., Anand V. Patel, M.D., Zunaira H. Choudhary, M.D., Yelena Kreymer, M.D., Shlomo Kuperman, M.D. and Negin Hajizadeh, M.D. The identities of other persons for whom defendant is vicariously liable shall be furnished if and when available. 5. It is presently unknown whether improper, unavailable or defective equipment plaintiffs' caused or contributed to damages. 6. Objected to as evidentiary in nature and beyond the scope of a bill of particulars Paterson v. Jewish Hospital, 94 Misc. 2d 780, 405 N.Y.S.2d 194 (Sup. Ct., 1978), affd. 65 A.D.2d 553, 409 N.Y.S.2d 124 (2d Dept., 1978); Dellagio v. Paul, 250 A.D.2d 806, 673 N.Y.S.2d 212 (2d Dept., 1998). 7. a) Defendant ignored complaints, signs and symptoms of a cerebrovascular accident. b) The claim to correct diagnosis was ongoing and impending strokes. c) Defendant failed to timely and properly administer radiology studies and pharmacological therapies to treat embolic events. d) To be supplied. e) To be supplied. "7(c)" f) See Particular No. above. g) Radiology studies and coagulation tests. 8. a) Physical examinations that were performed were inadequate in terms of 3 3 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 evaluating the nature and extent of the cerebrovascular accident. Defer±dents:3 by their agents, servants and/or employees, failed to carry out and perform adequate and proper therapies and protocols with respect to stemming an ongoing and worsening stroke. b-c) Not applicable. 9. The following serious personal injuries were caused, precipitated, exacerbated and/or accelerated by the negligence and malpractice of the defedants herein: Functional spastic quadriplegia; Inability to move any part of the body below the neck while still having the sensation of numbness, tingling and pain throughout the body; Complete bed immobility; Multiple uncontrolled and untreated cerebrovascular accidents; Acute left lateral medullary infarct and small right medullary infarct involving the pyramid and causing left hemiparesis; Occlusion of the distal V3 segment and V4 segment of the left for vertebral artery; Multifocal recurrent posterior circulation infarcts; Right frontal cortical punctate infarcts; Expansion of bilateral medial medullary infarcts; Cerebral edema and brain compression; Left intra-dural vertebral calcification and occlusion; Cerebral embolism with cerebral innudion secondary to embolic stroke; Concurrent right middle cerebral artery distribution stroke along with posterior circulation strokes; 4 4 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 Atrial fibrillation; Retroperitoneal bleed with pelvic cavity hemorrhage that was stabilized; Dysphagia; Inability to speak; Inability to swallow; Plaintiff can only communicate by the shaking and nodding of his head and through the use of a video computer program that allows him to use his eyes to choose letters to form words to communicate by printing out and sending text and email messages; Chronic respiratory failure; Hypoxia; Hypercapnia; Permanent tracheostomy; Necessity for constant respiratory ventilation; Copious nasal/oral secretionsthat he is unable to control independently; Necessity for interval suctioning of mucus secretions from tracheostomy and on and as needed basis; Hypothyroidism; Chronic ischemic heart disease; Hyperlipidemia; Necessity for gastrostomy; Necessity for a PEG feeding tube; Necessity for Oxycodone every eight (8) hours and Tylenol for chronic pain; 5 5 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 Pressure ulcer of the sacral region, stage III, length 3.0 cm., width 3.5 cm., depth .5 cm.; Pressure ulcer of the left buttock, stage II; Pressure ulcer of the buttock, stage II; Severe lower back pain; Severe head trauma sustained on November 1, 2016 when the sling that was being used to transport him from bed to chair broke causing him to strike his head; Chronic pain; Necessity for constant Percoset (oxycodone) administration; Major recurrent depressive disorder; Plaintiff experiences severe anxiety, fearfhiness, irritability, moodiness and difficulty communicating with his family due to extreme emotional distress; Suicidal ideation; Necessity for Prozac and other anti-depressants; Inability to resume his prior modus vivendi; Inability to resume any avocational and vocational activities; Loss of enjoyment of life; Necessity for extensive speech and occupational therapy which have all now been discontinued due to an inability to see any progression; 9a. Upon information and belief, all of the foregoing are of a permanent and lasting nature except for those that are superficial and nature. 10. Plaintiff is confined to bed in the Grand Rehabilitation and Nursing Home at Great Neck, located at 15 St. Paul's Place, Great Neck, New York 11021, where he has been 6 6 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 admitted on January 20, 2017 to date. Prior to that he was confined to St. Joseph Hospital from September 11, 2016 to September 22, 2016; thereafter, he was confined to North Shore University Hospital from September 22, 2016 to October 2, 2016; thereafter, he was confined to Glen Cove Hospital from October 2, 2016 to October 7, 2016; thereafter, he was confined to North Shore University Hospital from October 7, 2016 to November 16, 2016; thereafter, he was confined to Cold Spring Hills Rehabilitation and Nursing in Woodbury, New York from November 16, 2016 to November 22, 2016; thereafter, he was confined to Syosset Hospital from November 22, 2016 to January 20, 2017. "10" 11. See Particular no. above. 12. Plaintiffs claim the following amounts as special damages: a) Physicians services: approximately $500,000 to date and continuing; b) Nurses services: approximately $500,000 to date and continuing; c) Medical supplies: approximately $100,000 to date and continuing; d) Hospital expenses: approximately $750,000 to date. 13. At the time of the subject events, plaintiff ARTHUR FIRMBACH was employed by Arpa Industriale, 350 Fifth Avenue, Suite 4610, New York, New York 11590 as a sales manager earning approximately $90,000 per year. Plaintiff also had a second job as a salesman with Fortunoff's, 1504 Old Country Road, Westbury, New York 11590, earning approximately $40,000 per year. Plaintiff claims past loss of earnings in the sum of $500,000.00 and future loss of 7 7 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 earnings in the sum of $3,000,000.00. 14. Not applicable. "13" 15. See Particular no. above. 16. Not applicable. 17. Upon information and belief, it is anticipated that future medical expenses will exceed $5,000,000.00. 18. Plaintiff ARTHUR FIRMBACH was born in 1957. Plaintiff DIANA FIRMBACH was born in 1964. At the time of the subject events, plaintiff ARTHUR FIRMBACH resided with his family at 3977 Wellwood Road, Seaford, New York 11783. Since January 20, 2017, he has been confined to the Grand Rehabilitation and Nursing Home at Great Neck, located at 15 St. Paul's Place, Great Neck, New York 11021. Plaintiff DIANA FIRMBACH presently resides in the Wellwood Road family residence. plaintiffs' 19. Social Security Numbers: As disclosing Social Security Numbers in the course of litigation necessarily makes that information public, it is impermissible pursuant to New York State General Business Law § 399-dd, 5 U.S.C. § 552 [b][6] and the Federal Privacy Act of 1974 § 7 (Public Officers Law § 93-579). To do so has been held to be "an unwarranted invasion of privacy". See, Norwood v, FAA, 993 F.2d 570; International Brotherhood of Electric Workers v. U.S. Dept. of Housing and Urban Developiñeñt, 852 F.2d 87 ; Bibeau v. Cantiague (2nd Figure Skating Club, Inc., 294 A.D.2d 525, 742 N.Y.S.2d 864 Dep't., 2002); Seelig v. (1" Sielaff 201 A.D.2d 298, 607 N.Y.S.2d 300 Dep't., 1994). 20. It is presently unknown whether defendants violated any statute, ordinance, rule or 8 8 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 regulation other than those provisions of the Public Health Law pertaining to lack of informed consent. This information will be supplemented if and when available. 21. Upon information and belief, no information or disclosure was provided to plaintiff or his family by the defendants named herein. Further particularization is objected to as being evidentiary hearing in nature and beyond the scope of a bill of particulars. 22. a) Plaintiffs were married on August 13, 1988. b) Plaintiffs lived together continuously following their marriage. c) Plaintiff DIANA FIRMBACH was a housewife. d) By reason of the aforesaid negligence, malpractice and statutory violations of the defendants herein, plaintiff DIANA FIRMBACH has been deprived of and caused to lose the services of her husband, and has been caused to suffer a loss of his services, society, solace, relations, companionship and felicitude, and has been caused to undertake extraordinary nursing and other services to attend to him, and has been caused to expend and/or become obligated to expend sums of money for his medical care and treatment. e) Unknown at the present time. f) Unknown at the present time. g) All elements of plaintiff's loss of services claim are permanent. 23. Unknown at the present time. This information will be supplemented upon conclusion of depositions. 24. Unknown at the present time. This information will be supplemented upon conclusion of depositions. 25. Objected to as calling for conclusions of fact and law, seeking material that is 9 9 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 exclusively evidentiary in nature, and as invading the purview of the fact-finder at trial. Dated: New York, New York August 23, 2019 Yours, etc. ALAN H. FIGMAN, PLLC ' By: ALAN H. FIGM Attorney for Plaintiffs ARTHUR FIRMBACH and DIANA FIRMBACH Office and P.O. Address 150 Broadway, Suite 712 New York, New York 10038 212.804.5777 To: KERLEY, WALSH, MATERA & CINQUEMANI, P.C. Attorneys for Defendants WSNCHS, INC. d/b/a ST. JOSEPH HOSPITAL and CATHOLIC HEALTH SERVICES OF LONG ISLAND 2174 Jackson Avenue Seaford, New York 11783 516.409.6200 VIGORITO, BARKER, PATTERSON, NICHOLS & PORTER, LLP Atttorneys for Defendants KAUSER YASMEEN, M.D. and HICKSVILLE MEDICAL CARE, P.C. 300 Garden City Plaza, Suite 308 Garden City, New York 11530 516.282.3355 KELLY, RODE & KELLY, LLP Attorneys for Defendant JUSTIN I. WEINER, M.D. 330 Old Country Road, Suite 305 10 10 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 Mineola, New York 11501 516.739.0400 GABRIELE & MARANO, LLP Attorneys for Defendant ELLIOTT J. SALAMON, D.O. s/h/a ELLIOTT D. SALAMON, D.O. 100 Quentin Roosevelt Blvd. P.O. Box 8022 Garden City, New York 11530 516.542.1000 LAW OFFICES OF BENVENUTO & SLATTERY Attorneys for Defendants BIRENDRA K. TR1VEDI, M.D. ISLAND NEURO CARE, P.C., NORTHWELL HEALTH, INC., NORTH SHORE UN1VERSITY HOSPITAL, RICHARD B. LIBMAN, M.D., GLEN COVE HOSPITAL, MARTIN B. MOSKOWITZ, M.D., LYUBOV RUBIN, M.D., JIWON HONG, M.D., JEFFREY M. KATZ, M.D., ANAND V. PATEL, M.D. and SHLOMO KUPERMAN, M.D. 1800 Northern Blvd. Roslyn, New York 11576 516.775.2236 KAUFMAN BORGEEST & RYAN LLP Attorneys for Defendants COLD SPRING ACQUISITION LLC d/b/a COLD SPRING HILLS CENTER FOR NURSING AND REHABILITATION and EXCELSIOR CARE GROUP LLC 1205 Franklin Avenue, Suite 200 Garden City, New York 11530 516.248.6000 11 11 of 16 FILED: NASSAU COUNTY CLERK 08/23/2019 03:10 PM INDEX NO. 603298/2019 NYSCEF DOC. NO. 112 RECEIVED NYSCEF: 08/23/2019 ATTORNEY'S VERIFICATION ALAN H. FIGMAN, an attorney duly admitted to practice before the Courts of the State of New York, affirms the following to be true under penalty of perjury: That I am member of ALAN H. FIGMAN, PLLC, attorney for the plaintiff in the within action. That I have read the within VERIFIED BILL OF PARTICULARS AS TO DEFENDANT SHLOMO KUPERMAN, M.D., and know the contents thereof, and that the same is true to my own knowledge, except as to the matters therein stated to be alleged upon information and belief, and that as to those matters, I believe it to be true. That the sources of this information and knowledge are investigations and records on file. That the reason this verification is made by deponent, and not by the plaintiff, is that the plaintiffs do not reside within the County where the attorney has his office. Dated: New York, New York August 23, 2019 ALAN H. FI AN 12