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  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
  • Gregory Welch, Priscilla Welch v. Skylift Contractor Corp., 260-261 Madison Avenue, Llc, Bay Crane Service Inc., Marine & Industrial Supply Company, Inc., D/B/A Marine & Industrial Testing Solutions, Marine & Industrial Testing Solutions, Hanes Supply, Inc. As Successor-By-Merger To And/Or D/B/A Paul'S Wire Rope & Sling, Paul'S Wire Rope & Sling Torts - Other Negligence (Personal Injury) document preview
						
                                

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LITCHFIELD WRITER’S ADDRESS: 420 Lexington Avenue Suite 2104 New York, NY 10170 Attorneys at Law CAVO LLP 212-434-0100 212-434-0105 (fax) Morgan E. Mueller Email: muellerm@litchfieldcavo.com January 22, 2019 Via E-Filing and First Class Mail Supreme Court, New York County The Honorable Lynn R. Kotler 80 Centre St., Room 278 New York, New York 10013 Re: In Re: 260 Madison Avenue HVAC Unit Collapse Consolidated Index No.: 783000/2018 Our File No.: 5458-49 Beck, Richard v. 260-261 Madison Avenue, LLC et al. Index No.: 152458/2017 Our File No.: 5458-76 Kenneth Jones v. 260-261 Madison Avenue, LLC et al. Index No.: 155495/2015 Our File No.: 5458-57 Welch, Gregory v. 260-261 Madison Avenue, LLC Index No.: 162502/2015 Our File No.: 5458-56 Sentinel Ins. Co. a/s/o Giorgetti USA Inc. v. 260-261 Madison Avenue LLC et al. Index No.: 3628QCV2017 Our File No.: 5458-79 Admiral Indemnity Company a/s/o Zuma NYC LLC d/b/a Zuma Index No.: 162167/2015 Our File No. : 5458-58 McGann v. 260-261 Madison Avenue, LLC et al.; Index No.: 451751/2016 Our File No.: 5458-55 Chicago ● Hartford ● Boston ● New York ● New Jersey ● Pittsburgh ● Philadelphia ● Houston Los Angeles ● Fort Lauderdale ● Tampa ● Wisconsin ● West Virginia ● Salt Lake City ● Indiana ● St. Louis Atlanta ● Providence ● Las Vegas ● Dallas-Fort Worth ● Louisiana www.litchfieldcavo.com LITCHFIELD mm.y..n, CAVO uP January 22, 2019 Page 2 Dear Justice Kotler: We represent, 260-261 Madison Avenue, LLC (hereinafter "260-261"), and sometimes ASRR Construction, LLC (hereinaRe "ASRR") in the above-referenced matters. We write to supplement our letter to the court dated January 14, 2019, seeking the Court's guidance in effectüãting service on Paul's Wire Rope & Sling (hereinafter "Paul's Wire"). As set forth in Mr. Kaplan's letter to the Court dated January 17, 2019, Paul's Wire is a Connecticut corporation that dissolved in 2015. David Winters, the registered agent of Paul's Wire, died in 2013. Pursuant to the Connecticut Secretary of State website, the officers of Paul's wire at the time of dissolution were Paul Ciancola, Dale Ciancola and Paul Ciancola, Jr. Upon information and belief, Paul and Dale Ciancela have since relocated. Accordingly, our process server made several attempts to serve Paul's Wire at the resi.6== of Paul Jr. and exercised due diligence in so. Our process Ciancola, doing server's efforts were unsuccessful. Copies of our process server's affidavits of attempted service and Mr. Kaplan's letter dated January 17, 2019 are attached for your reference. While we previously informed your Honor that service would be complete on Paul's Wire pursuant to CPLR 308(4), we subs--dy realized that service on a corporation pursuant to CPLR 308(4) is improper without leave of court. Since our process server's efforts to serve Paul's Wire pursuant to CPLR 311(a)(1) have been futile, we respectfully request leave, pursuant to CPLR 311(b), to serve process on Paul's Wire by affixing the smmanses and complaints to the door of Mr. Ciancola's residence and mailing them to him at that address. In order to confirm that the second-thi-d party summons and complaint are properly served on Paul's Wire, we also seek an Order, pursuant to CPLR 306-b, extending ASRR and 260-261's time to effectuate service on Paul's Wire 120 days. Our current deadline to serve Paul's Wire is by January 24, 2019. To the extent the Court would like 260-261 and ASRR to make its spph=En via formal motion practice, please let us know. 260-261 and ASRR would be happy to do so. We thank for the Court's consideration. Should you have any questions or concerns, please do not hesitate to contact the undersigned, or Dennis Dozis, the partner supervising this matter. Very truly yours, Litchfield Cavo LLP Morgan E. Mueller Enclosures. LITCHFIELD CAVO LLP Attorneys at Law January 22, 2019 Page 3 TO: Paul’s Wire Rope & Sling 4 Indian Neck Ave. Branford, CT 06405 Paul’s Wire Rope & Sling 11 Circle Drive Branford, CT 06405 ***All Parties Via NYSCEF