Preview
FILED: NEW YORK COUNTY CLERK 01/02/2019 11:53 AM INDEX NO. 154374/2018
NYSCEF DOC. NO. 54 RECEIVED NYSCEF: 01/02/2019
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK: PART 8
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YVETTE MCCLAMB, Index No. 154374/2018
(ECF)
Plaintiff,
v.
HOUSING PARTNERSHIP DEVELOPMENT
CORPORATION, KALAHARI CONDOMINIUM,
THE BOARD OF MANAGERS OF KALAHARI
CONDOMINIUM, WALLACK MANAGEMENT
CO., INC., RNC INDUSTRIES, LLC and WEST
NEW YORK RESTORATION OF CT, INC., Assigned Judge: Lynn R. Kotler
Defendants.
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VERIFIED REPLY TO CROSS-CLAIMS OF DEFENDANT
HOUSING PARTNERSHIP DEVELOPMENT CORPORATION
Cross-Claimant-Defendant West New York Restoration of CT, Inc. ("West New York"),
by and through its undersigned counsel, as and for its Verified Reply to the Cross-Claims of
Defendant Housing Partnership Development Corporation states as follows:
1. Cross-Claimant-Defendant West New York denies each and every allegation
"THIRTEENTH," "FOURTEENTH,"
contained in paragraphs numbered and designated as
"FIFTEENTH" "SIXTEENTH"
and of the Cross-Claims.
WHEREFORE, Cross-Claimant-Defendant West New York Restoration of CT, Inc.
demands judgment (i) dismissing the cross-claims of defendant Housing Partnership
Development Corporation or alternatively, if the cross-claims shall not be dismissed, that the
amount of damages otherwise recoverable against the party whom this/these cross-claims are
being asserted shall be diminished in the proportion which the culpable conduct attributable to
the parties asserting the cross-claims bear to the culpable conduct, if any, of said party against
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attorneys'
whom these cross-claims are being asserted, (ii) awarding fees, costs and
disbursements of this and such other and further relief in favor of Cross-
action, (iii) granting
Claimant-Defendant West New York Restoration of CT, Inc. as the Court may deem just and
proper.
ATTORNEY'S CERTIFICATION
The undersigned, an attorney admitted to practice in the courts of the State of New York,
hereby certifies that, to the best of the undersigned's knowledge, information, and belief, formed
after a reasonable inquiry under the circumstances, the presentation of the within Verified Reply
to Cross-Claims of Defendant Housing Partnership Development Corporation or the contentions
raised herein are not frivolous as defined in 22 NYCRR § 130-1.1(c).
Dated: New York, New York
January 2, 2019 Yours, etc
Scott H. Bernstein, Esq.
STRADLEY RONON STEVENS & YOUNG, LLP
ATTORNEYS FOR CROSS-CLAIMANT DEFENDANT
WEST NEW YORK RESTORATION OF CT, INC.
100 Park Avenue, Suite 2000
New York, New York 10017
Telephone: (212) 812-4132
Facsimile: (646) 682-7180
sbernstein@stradley.com
TO:
RHEINGOLD GIUFFRA RUFFO & PLOTKIN LLP
ATTORNEYS FOR PLAINTIFF YVETTE MCCLAMB
Jeremy A. Hellman, Esq.
29"'
551 Fifth Avenue, Floor
New York, New York 10176
PERRY, VAN ETTEN, ROZANSKI & PRIMAVERA, LLP
ATTORNEYS FOR DEFENDANT/CROSS-CLAIMANT
RNC INDUSTRIES, LLC
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NYSCEF DOC. NO. 54 RECEIVED NYSCEF: 01/02/2019
Kenneth J. Kutner, Esq.
60 Broad Street, Suite 3600A
New York, New York 10004
MARGARET G. KLEIN & ASSOCIATES
ATTORNEYS FOR DEFENDANTS/CROSS-CLAIMANTS
KALAHARI CONDOMINIUM, THE BOARD OF MANAGERS OF KALAHARI
CONDOMINIUM, AND WALLACK MANAGEMENT CO., INC.
Carol Morell, Esq.
2nd
200 Madison Avenue, FlOOr
New York, New York 10016
DEVITT SPELLMAN BARRETT, LLP
ATTORNEYS FOR DEFENDANT/CROSS-CLAIMANT
HOUSING PARTNERSHIP DEVELOPMENT CORPORATION
Kelly E. Wright, Esq.
50 Route 11, Suite 314
Smithtown, New YOrk 11787
3
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ATTORNEY'S VERIFICATION
STATE OF NEW YORK )
). SS:
COUNTY OF NEW YORK )
SCOTT H. BERNSTEIN, an attorney duly admitted to practice before the Courts of the
State of New York, affirms the following to be true under the penalties of perjury:
I am an attorney of the law firm of Stradley Ronon Stevens & Young, LLP, attorneys of
record for Cross-Claimant-Defendant West New York Restoration of CT, Inc., and I have read
the foregoing Verified Reply to Cross-Claims of Defendant Housing Partnership Development
Corporation and know the contents thereof; that the same are true to my own knowledge, except
as to those matters therein stated to be alleged upon information and belief, and that as to those
matters I believe them to be true. My belief as to those matters therein not stated upon
knowledge is based upon facts, records, and other pertinent information contained in my files.
The reason that this verification is made by me and not Cross-Claimant-Defendant West New
York Restoration of CT, Inc. is that Cross-Claimant-Defendant West New York Restoration of
CT, Inc. does not maintain itsoffices in the county wherein itsattorneys maintains their offices.
Dated: New York, New York
January 2, 2019
Scott H. Bernstein
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK: PART 8
Index No. 154374/2018
YVETTE MCCLAMB,
Plaintiff,
-against-
HOUSING PARTNERSHIP DEVELOPMENT
CORPORATION, KALAHARI CONDOMINIUM,
THE BOARD OF MANAGERS OF KALAHARI
CONDOMINIUM, WALLACK MANAGEMENT
CO., INC., RNC INDUSTRIES, LLC and WEST NEW
YORK RESTORATION OF CT, INC.,
Defendants.
VERIFIED REPLY TO CROSS-CLAIMS OF DEFENDANT
HOUSING PARTNERSHIP DEVELOPMENT CORPORATION
STRADLEY RONON STEVENS & YOUNG, LLP
Attorneys for Defe;;da;;t
100 Park Avenue, Suite 2000
New York, New York 10017
(212) 812-4124 (telephone)
Pursuant to 22 NYCRR 130-1.1, the undersigned, an attorney admitted to practice in the courts of New
York State, certifies that, upon information and belief and reasonable inquiry, the contentions contained
in the annexed document are not frivolous.
Dated: January 2, 2019 Signature:
Scott H. Bernstein
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