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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
  • 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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FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ---- -------------------------------- ----------X Index No.: 162502/2015 GREGORY WELCH and PRISCILLA WELCH, Plaintiff(s), VERIFIED ANSWER -against- TO FOURTH THIRD-PARTY COMPLAINT FOR TIMBIL MECHANICAL, LLC 260-261 MADISON AVENUE LLC, SKYLIFT CONTRACTOR CORP., and BAY CRANE SERVICE INC., Defendants. ______ ______ _ ________________ X SKYLIFT CONTRACTOR CORP., Third-party Plaintiff -against- MARINE & INDUSTRIAL SUPPLY COMPANY, INC., d/b/a MARINE & INDUSTRIAL TESTING SOLUTIONS; MARINE & INDUSTRIAL TSTING SOLUTIONS; HANES SUPPLY, INC., as successor-by-merger to and/or d/b/a PAUL'S WIRE ROPE & SLING; and PAUL'S WIRE ROPE & SLING, Third-party Defendants. ____________ ______ ------------------------------X 260-261 MADISON AVENUE LLC, Second Third-Party Plaintiff, -against- 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; and PAUL'S WIRE ROPE & SLING Second Third-Party Defendants. --X 1 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 ---------------------X SKYLIFT CONTRACTOR CORP., Third Third-Party Plaintiff, -against- JOHNSON CONTROLS, INC., Third Third-Party Defendant. ___________. --------X 260-261 MADISON AVENUE LLC, Fourth Third-Party Plaintiff, -against- PENGUIN AIR CONDITIONING CORP., TIMBIL MECHANICAL, LLC and JOHNSON CONTROLS, INC. Fourth Third-Party Defendants. ----------- ------------------------- X Fourth Third-Party Defendant, TIMBIL MECHANICAL, LLC, by and through its attorneys, Gartner + Bloom, P.C. as and for a Verified Answer to the Fourth Third-Party Complaint, states as follows: 1. Denies knowledge or information sufficient to form a belief as to the allegations contained in paragraphs "1", "2", "3", "4", "6", "8", "9", "10", "11", "12", "13", "14", "15", "16", "17", "18", "19", "20", "21", "23", "24", "25", "26", "27, "28", "29", "30", "31", "32", "33", "38" "39" "34", "35", "36", "37", and of the Fourth Third-Party Complaint. "5" "7" Third- 2. Denies the allegations contained in paragraphs and of the Fourth Party Complaint. 2 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 AS AND FOR A FIRST CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT, PENGUIN 3. Defendant, TIMBIL MECHANICAL, LLC, repeats and reiterates each and every "1" "39" denial set forth in paragraphs numbered through with the same force and effect as though "40" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 4. Denies knowledge or information sufficient to form a belief as to the allegations "47" "48" Third- contained in paragraphs "41", "42", "43", "44", "45", "46", and of the Fourth Party Complaint. AS AND FOR A FIRST CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. TIMBIL 5. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "48" denial set forth in paragraphs numbered through with the same force and effect as though "49" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 6. Denies knowledge or information sufficient to form a belief as to the allegations "56" "57" contained in paragraphs "50", "51", "52", "53", "54", and of the Fourth Third-Party Complaint. "55" 7. Denies the allegations contained in paragraphs of the Fourth Third-Party Complaint. AS AND FOR A FIRST CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. JOHNSON 8. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "57" denial set forth in paragraphs numbered through with the same force and effect as though "58" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 3 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 9. Denies knowledge or information sufficient to form a belief as to the allegations "64" "66" "67" Third- contained in paragraphs "60", "61", "62", "63", "65", and of the Fourth Party Complaint. AS AND FOR A SECOND CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. PENGUIN 10. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "67" denial set forth in paragraphs numbered through with the same force and effect as though "68" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Coñiplaiñt. 11. Denies knowledge or information sufficient to form a belief as to the truth of the "70" "71" allegations set forth in paragraphs numbered "69", and of the Fourth Third-Party Complaint. AS AND FOR A SECOND CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. TIMBIL 12. Defendant, TIMBIL MECHANICAL, LLC, repeats and reiterates each and every "1" "71" denial set forth in paragraphs numbered through with the same force and effect as though "72" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. "73" 13. Denies the allegations contained in paragraphs of the Fourth Third-Party Complaint. 14. Denies knowledge or information sufficient to form a belief as to the truth of the "74" "75" allegations set forth in paragraphs numbered and of the Fourth Third-Party Complaint. AS AND FOR A SECOND CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT, JOHNSON 15. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "75" denial set forth in paragraphs numbered through with the same force and effect as though "76" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 4 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 16. Denies knowledge or information sufficient to form a belief as to the truth of the "78" "79" allegations set forth in paragraphs numbered "77", and of the Fourth Third-Party Complaint. AS AND FOR A THIRD CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. PENGUIN 17. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "79" denial set forth in paragraphs numbered through with the same force and effect as though "80" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaiñt. 18. Denies knowledge or information sufficient to form a belief as to the truth of the "82" "83" allegations set forth in paragraphs numbered "81", and of the Fourth Third-Party Complaint. AS AND FOR A THIRD CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. TIMBIL 19. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "83" denial set forth in paragraphs numbered through with the same force and effect as though "84" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaiñt. "85" 20. Denies the allegations contained in paragraphs of the Fourth Third-Party Complaint. 21. Denies knowledge or information sufficient to form a belief as to the truth of the "86" "87" allegations set forth in paragraphs numbered and of the Fourth Third-Party Complaint. AS AND FOR A THIRD CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. JOHNSON 22. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "87" denial set forth in paragraphs numbered through with the same force and effect as though "88" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 5 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 23. Denies knowledge or information sufficient to form a belief as to the truth of the "90" "91" allegations set forth in paragraphs numbered "89", and of the Fourth Third-Party Complaint. AS AND FOR A FOURTH CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT, PENGUIN 24. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "91" denial set forth in paragraphs numbered through with the same force and effect as though "92" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 25. Denies knowledge or information sufficient to form a belief as to the truth of the "98" "99" allegations set forth in paragraphs numbered "93", "94", "95", "96", "97", and of the Fourth Third-Party Complaint. AS AND FOR A FOURTH CAUSE OF ACTION SOUNDING IN BREACH OF CONTRACT AGAINST FOURTH THIRD-PARTY DEFENDANT. TIMBIL 26. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "99" denial set forth in paragraphs numbered through with the same force and effect as though "100" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 27. Denies knowledge or information sufficient to form a belief as to the truth of the "103" "104" Third- allegations set forth in paragraphs numbered "101", "102", and of the Fourth Party Complaint. "106" "107" 28. Denies the allegations contained in paragraphs "105", and of the Fourth Third-Party Complaint 6 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 AS AND FOR A FOURTH CAUSE OF ACTION SOUNDING IN BREACH OF CONTRACT AGAINST FOURTH THIRD-PARTY DEFENDANT. JOHNSON 29. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "107" denial set forth in paragraphs numbered through with the same force and effect as though "108" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 30. Denies knowledge or information sufficient to form a belief as to the truth of the "114" "115" aUegations set forth in paragraphs numbered "109", "110", "111", "112", "113", and of the Fourth Third-Party Complaint. AS AND FOR A FIFTH CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. PENGUIN 31. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "115" denial set forth in paragraphs numbered through with the same force and effect as though "116" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 32. Denies knowledge or information sufficient to form a belief as to the truth of the "122" "123" allegations set forth in paragraphs numbered "117", "118", "119", "120", "121", and of the Fourth Third-Party Complaint. A_S AND FOR A FIFTH CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. TIMBIL 33. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "123" denial set forth in paragraphs numbered through with the same force and effect as though "124" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 34. Denies knowledge or information sufficient to form a belief as to the truth of the 7 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 "129" "131" Third- allegations set forth in paragraphs numbered "125", "126", and of the Fourth Party Complaint. "128" "130" 35. Denies the allegations contained in paragraphs "127", and of the Fourth Third-Party Complaint. AS AND FOR A FIFTH CAUSE OF ACTION AGAINST FOURTH THIRD-PARTY DEFENDANT. JOHNSON 36. Defendant, TIMBIL MECHANICAL, LLC., repeats and reiterates each and every "1" "131" denial set forth in paragraphs numbered through with the same force and effect as though "132" fully set forth herein in response to paragraph numbered of the Fourth Third-Party Complaint. 37. Denies knowledge or information sufficient to form a belief as to the truth of the "138" "139" allegations set forth in paragraphs numbered "133", "134", "135", "136", "137", and of the Fourth Third-Party Complaint. AS AND FOR A FIRST AFFIRMATIVE DEFENSE 38. Any injuries and/or damages sustained by the plaintiff as alleged in the Fourth Third-Party Complaint herein were caused in whole or in part by the contributory negligence and/or culpable conduct of said plaintiff and not as a result of any contributory negligence and/or culpable conduct on the part of the answering Fourth Third-Party defendant. AS AND FOR A SECOND AFFIRMATIVE DEFENSE 39. Plaintiff's claim is barred for failure to state a cause of action, and facts in support thereof, upon which relief can be granted. 8 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 AS AND FOR A THIRD AFFIRMATIVE DEFENSE 40. Pursuant to CPLR Section 4545, any recovery by plaintiff should be reduced in whole or in part, by reason of and the amount of plaintiff's indemnification and/or reimbursement from their insurance company or other collateral sources. AS AND FOR A FOURTH AFFIRMATIVE DEFENSE 41. That at all times alleged in the Fourth Third-Party Complaint the plaintiff êñgaged in an activity which involved certain risks and hazards; that the plaintiff entered into such activity knowing the risks, hazards and the possible dangers of injury resulting therefrom, and voluntarily accepted and assumed the same upon entering into and continuing in said activity. AS AND FOR A FIFTH AFFIRMATIVE DEFENSE 42. Ifthere is any liability as to the answering defendant, Section 1601 of the CPLR applies as to joint and several liability and limits the liability of the answering Fourth Third-Party defendant and the answering Fourth Third-Party defendant claims entitlement to the benefits set forth. AS AND FOR A SIXTH AFFIRMATIVE DEFENSE 43. That the accident and/or injury to the plaintiff, if any, occurred as a result of the activities and/or acts of omission and/or commission of other parties over whom the answering defendant had no control. AS AND FO__R A SEVENTH AFFI_RMATIVE DEFENSE 44. Plaintiff failed to join necessary and indispensable parties. 9 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 AS AND FOR AN EIGHTH AFFIRMATIVE DEFENSE 45. That at all times hereinafter mentioned, plaintiff failed to mitigate, obviate, diminish or otherwise act to lessen or reduce the damages alleged in the Fourth Third-Party Complaint. AS AND FOR A FIRST CROSS-CLAIM OVER AGAINST ALL OTHER THIRD- PARTY DEFENDANTS 46. Upon information and belief, ifplaintiff or fourth third-party plaintiffs were caused to sustain any of the injuries claimed or the damages alleged at the time and place set forth in the complaint or for which has been denied fourth third- third-party complaint, liability by answering party defendant, said damages will have been sustained by the reason of the culpable conduct and negligence of the other fourth third-party defendants, in whole or part, and therefore, answering fourth defendant is entitled to contribution based on fact and law from the other third- third-party party defendants, in accordance with the relative responsibilities of the parties hereto. 47. By reason of the foregoing, if any judgmeñt is recovered in this action, the other fourth third-party defendants will be liable to answering third-party defendant herein, in the proportion of such relative responsibility, together with the costs and disbursements of this action, attorneys' including fees. AS AND FOR A SECOND CROSS-CLAIM AGAINST ALL OTHER FOURTH THIRD-PARTY DEFENDANTS 48. Upon information and belief, ifplaintiff or fourth third-party plaintiffs were caused to sustain any of the injuries claimed or the damages alleged at the time and place set forth in the or for which has been denied fourth third- complaint, third-party complaint, liability by answering party defendant herein, said damages will have been sustained by reason of the culpable conduct, 10 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 negligence, and breach of contract of the other fourth third-party defendants, and therefore, based upon an agreement to indemnify and defend, answering fourth third-party defendant herein is entitled to contractual iñdemñification based on fact, law and/or agreement from the other fourth third-party defendants. 49. By reason of the foregoing, if any judgment is recovered in this action against answering fourth third-party defendant herein, the other fourth third-party defendants will be liable to answering fourth third-party defendant herein for the amount thereof, together with the costs and disbursements of this action, including attorneys fees. AS AND FOR A THIRD CROSS-CLAIM AGAINST ALL OTHER FOURTH THIRD-PARTY DEFENDANTS 50. Upon information and belief, ifplaintiff or fourth third-party plaintiffs were caused to sustain any of the injuries claimed or the damages alleged at the time and place set forth in the complaint or third-party complaint, allof which has been denied by answering fourth third-party defendant, said damages will have been sustained by the reason of the culpable conduct and negligence of the other fourth third-party defendants, and therefore, answering fourth third-party defendant is entitled to common law indemnification based on fact and law from the other fourth third-party defendants. 51. By reason of the foregoing, if any judgment is recovered in this action, the other fourth third-party defendants will be liable to answering fourth third-party defendant herein, for attorneys' the amount thereof, together with the costs and disbursements of this action, including fees. 11 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 WHEREFORE, Fourth Third-Party defendant, TIMBIL MECHANICAL, LLC, demands judgment in its favor dismissing the Fourth Third-Party Complaint together with legal fees, and the costs and disbursements of this action. Dated: New York, New York April 17, 2019 Yours etc., G RTN R + BLOOM, P. . ESSICA G. PRICE Attorneys for Defendant TIMBIL MECHANICAL, LLC. 801 Second Avenue, 11th Floor New York NY 10017 (212) 759-5800 Our File No.: 10351 To: LITCHFIELD CAVO, LLP Attorneys for Defendant/Second Third-Party Plaintiff/Fourth Third-Party Plaintiff 420 Lexington Avenue, #2104 New York, New York 10170 Telephone: (212) 434-0100 ROTH LAW GROUP PLLC Attorneys for Plaintiffs 2nd 188 Summerfield Street, FlOOr Scarsdale, New York 10583 12 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 GALLO VITUCCI KLAR LLP Attorneys for Defendant, Bay Crane Service, Inc. 12th 90 Broad Street, FlOOr New York, New York 10004 LONDON FISCHER LLP Daniel W. London Attorneys for Defendant/Third-Party Plaintiff PENGUIN AIR CONDITIONING CORP., 39th 59 Maiden Lane, FlOOr New York, New York 10038 (212) 972-1000 13 of 14 FILED: NEW YORK COUNTY CLERK 04/23/2019 01:00 PM INDEX NO. 162502/2015 NYSCEF DOC. NO. 214 RECEIVED NYSCEF: 04/23/2019 ATTORNEY'S VERIFICATION STATE OF NEW YORK ) ) s.s.: COUNTY OF NEW YORK ) I, Jessica G. Price, the undersigned, am an attorney admitted to practice in the courts of New York State and say that I am the attorney of record for the Fourth Third-Party defendant, TIMBIL MECHANICAL, LLC. I have read the foregoing Verified Answer to Fourth Third-Party Complaint and know the contents thereof; the same is true to my knowledge, except as to the matters therein stated to be alleged on information and belief, and as to those matters I believe them to be true. That deponent's sources of information were based upon conversations with the client and facts contained in the file. That this verification is made by deponent because her client does not have an office within the County where deponent's office is located I affirm that the foregoing statements are true under the penalties of perjury. Dated: New York, New York April 17, 2019 JESSICA G. PRICE 14 of 14