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  • State Of New York, New York State Department Of Environmental Conservation v. James C. Stevens IiiTort document preview
						
                                

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RIEHLMAN SHAFER AND SHAFER ATTORNEYS&COUNSELORSAT LAW* ROBERT M.SHAFER TIMOTHY G. RIEHLMAN 397 Route 281,P 0 Box 430,Tully, NY 13159-0430 MATTHEW R. NEUMAN CHARLES E. SHAFER (315)696-8918 FAX (315)671-1217 JOEL i, ROSS OF COUNSEL e-mail - mmccloskey@rsands1aw.com JULIE A, VAN ERDEN-RICHARDSON 39 Church Street, Cortland, NY 13045 MARY ANNE McCLOSKEY ZACHARY M. PRIMROSE(1983 - 2015) (607) 756-4006Reply to Tully olTice Legal Assislanl April 25,2016 Hon. Phillip R. Rumsey Supreme Court Chambers 46 Greenbush Street, Suite 301 Cortland, New York 13045 RE: New York v. Stevens Index No.: EF14-553 Dear Justice Rumsey: I am in receipt ofthe proposed Decision and Order in the above-noted civil action file. I requested that counsel include an additional paragraph to read: "It is further found that Plaintiff has withdrawn its claim that Defendant failed to restore the project site to its pre-project condition." Mr. Kowalczyk refused to insert this finding despite the State's withdrawal of that claim as part of the stipulated settlement. I request that the court include this provision in the Decision and Order. Thank you. Respectfully, I Robert M. Shafer RMS/mam cc: Joseph M. Kowalczyk, Esq. * Partnership made up of Professional Limited Liability Companies 1 of 1