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  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
  • WALGREEN EASTERN COMPANY, INC. v. BRIDGEPORT, CITY OFA10 - Appeals - Taxation document preview
						
                                

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DOCKET NO.: HHB-CV-16-6034087-S SUPERIOR COURT WALGREEN EASTERN COMPANY, INC. J.D. OF NEW BRITAIN Vv AT NEW BRITAIN CITY OF BRIDGEPORT OCTOBER 3, 2016 ANSWER COUNT ONE: 1 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 2. The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 3 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 4. Admitted. 5 Denied. 6 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 7 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 8 Denied. COUNT TWO: 1-5. Paragraphs 1 through 5 of Count One are incorporated herein and made Paragraphs 1 through 5 of this Count Two as if more fully set forth. 6 Denied. 7 Denied. COUNT THREE: 4 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 2 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 3 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 4 Admitted. 5. Denied. 6 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 7. The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 8 Denied. COUNT FOUR: 4-5. Paragraphs 1 through 5 of Count One are incorporated herein and made Paragraphs 1 through 5 of this Count Four as if more fully set forth. 6 Denied. 7 Denied. COUNT FIVE: 1 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 2 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 3 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 4 Admitted. 5 Denied. 6 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 7 The Defendant lacks sufficient knowledge or information upon which to form a belief and, therefore, leaves the Plaintiff to their burden of proof. 8 Denied. COUNT SIX: 1-5. Paragraphs 1 through 5 of Count One are incorporated herein and made Paragraphs 1 through 5 of this Count Six as if more fully set forth. 6 Denied. 7. Denied. THE DEFENDANT BY: Rus ell D. Liskov Associate City Attorney OFFICE OF THE CITY ATTORNEY 999 Broad Street — 2 Floor Bridgeport, CT 06604 Telephone: 203-576-7647 Juris No. 06192 CERTIFICATION This is to certify that a copy of the foregoing was mailed via first-class mail, postage prepaid, on this 3 day of October, 2016, to all counsel and pro se parties of record as follows: Laura A. Cardillo, Esq. Pullman & Comley, LLC 90 State House Square Hartford, CT 06103 ssell D. Liskov