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  • Karen G. Wysong, Lowell Wysong v. Aerco International, Inc., Air & Liquid Corporation, As Successor-By-Merger To Buffalo Pumps, Inc., Atwood & Morrill Company, Aurora Pump Company, Bmce Inc., F/K/A United Centrifugal Pump, Borg Warner Morse Tec Llc, Cbs Corporation F/K/A Viacom Inc., Successor By Merger To Cbs Corporation F/K/A Westinghouse Electric Corporation, Crane Co., Electrolux Home Products, Inc., Individually, And As Successor To Tappan And Copes Vulcan, Flowserve Us, Inc., Solely As Successor To Rockwell Manufacturing Company, Edward Valve, Inc., And Nordstrom Valves, Inc., Fmc Corporation, Individually, And As Successor To Chicago Pump Company, Northern Pump Company, And Peerless Pump Company, Fort Kent Holdings, Inc., F/K/A Dunham-Bush, Inc., Foster Wheeler L.L.C., Gardner Denver, Inc., General Dynamics Corporation, Individually And As Successor In Interest To Bath Iron Works, General Electric Company, Goulds Pumps, Inc., Grinnell Llc, Honeywell International, Inc., F/K/A Allied Signal, Inc./ Bendix, Hopeman Brothers, Inc., Imo Industries, Inc., Ingersoll-Rand Company, International Paper Company, Itt Corporation, Individually, And As Successor In Interest To Bell & Gossett, Kennedy Valve Mfg. Co. Inc., And Hoffman Specialty, Johnson & Johnson, Inc., Johnson & Johnson Consumer, Inc., Minnesota Mining & Manufacturing Company, A/K/A 3m Company, Nash Engineering Company (The), Spirax Sarco, Inc., Trane U.S. Inc., F/K/A American Standard, Inc., Union Carbide Corporation, Velan Valve Corporation, Warren Pumps Llc, Zurn Industries, Inc., Individually And As Successor In Interest To Erie City Iron Works, Bath Iron Works Corporation Torts - Asbestos document preview
  • Karen G. Wysong, Lowell Wysong v. Aerco International, Inc., Air & Liquid Corporation, As Successor-By-Merger To Buffalo Pumps, Inc., Atwood & Morrill Company, Aurora Pump Company, Bmce Inc., F/K/A United Centrifugal Pump, Borg Warner Morse Tec Llc, Cbs Corporation F/K/A Viacom Inc., Successor By Merger To Cbs Corporation F/K/A Westinghouse Electric Corporation, Crane Co., Electrolux Home Products, Inc., Individually, And As Successor To Tappan And Copes Vulcan, Flowserve Us, Inc., Solely As Successor To Rockwell Manufacturing Company, Edward Valve, Inc., And Nordstrom Valves, Inc., Fmc Corporation, Individually, And As Successor To Chicago Pump Company, Northern Pump Company, And Peerless Pump Company, Fort Kent Holdings, Inc., F/K/A Dunham-Bush, Inc., Foster Wheeler L.L.C., Gardner Denver, Inc., General Dynamics Corporation, Individually And As Successor In Interest To Bath Iron Works, General Electric Company, Goulds Pumps, Inc., Grinnell Llc, Honeywell International, Inc., F/K/A Allied Signal, Inc./ Bendix, Hopeman Brothers, Inc., Imo Industries, Inc., Ingersoll-Rand Company, International Paper Company, Itt Corporation, Individually, And As Successor In Interest To Bell & Gossett, Kennedy Valve Mfg. Co. Inc., And Hoffman Specialty, Johnson & Johnson, Inc., Johnson & Johnson Consumer, Inc., Minnesota Mining & Manufacturing Company, A/K/A 3m Company, Nash Engineering Company (The), Spirax Sarco, Inc., Trane U.S. Inc., F/K/A American Standard, Inc., Union Carbide Corporation, Velan Valve Corporation, Warren Pumps Llc, Zurn Industries, Inc., Individually And As Successor In Interest To Erie City Iron Works, Bath Iron Works Corporation Torts - Asbestos document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 06/08/2020 03:53 PM INDEX NO. 190069/2020 NYSCEF DOC. NO. 56 RECEIVED NYSCEF: 06/08/2020 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK X IN RE NEW YORK CITY ASBESTOS LITIGATION X THIS DOCUMENT RELATES TO: Index No. 190069/2020 KAREN G. WYSONG ANSWER AND ACKNOWLEDGMENT OF RECEIPT OF WARREN PUMPS LLC X Defendant Warren Pumps LLC, (“Warren Pumps”) by its attorneys, Leader Berkon Colao & Silverstein LLP, hereby acknowledges receipt of the summons and verified complaint of Plaintiff in the above-captioned action (“Complaint”) and answers said complaint as follows: 1. Warren Pumps denies knowledge or information sufficient to form a belief as to the truth of the allegations contained in paragraphs 1 through 33 of the Complaint. 2. With regard to paragraph 34 of the Complaint, Warren Pumps states that it is a corporation that has done and/or transacted business in the State of New York. 3. Warren Pumps denies knowledge or information sufficient to form a belief as to the truth of the allegations contained in paragraphs 35 through 38 of the Complaint. 1 of 2 FILED: NEW YORK COUNTY CLERK 06/08/2020 03:53 PM INDEX NO. 190069/2020 NYSCEF DOC. NO. 56 RECEIVED NYSCEF: 06/08/2020 Warren Pumps hereby further answers the Complaint by reference to its Standard Answer filed pursuant to the governing NYCAL Case Management Order and raises against Plaintiffs each affirmative defense contained in its Standard Answer. Warren Pumps hereby raises the cross-claim contained in its Standard Answer. Dated: New York, New York June 8, 2020 LEADER BERKON COLAO & SILVERSTEIN LLP By: /s/ David J. Goodearl DAVID J. GOODEARL Attorneys for Defendant Warren Pumps LLC 630 Third Avenue New York, New York 10017 (212) 486-2400 2 2 of 2