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FILED: KINGS COUNTY CLERK 09/27/2019 11:57 AM INDEX NO. 515277/2018
NYSCEF DOC. NO. 33 RECEIVED NYSCEF: 09/27/2019
SUPREME COURT OF THE STATE OF NEWYORK
COUNTY OF KINGS
-------------------------------------------- X
ANTONIO ESPINOSA, Index No.: 515277/2018
Plaintiff, AMENDED VERIFIED ANSWER
- against -
MAC 60 LLC and ROYAL HOME
IMPROVEMENTS, INC.,
Defendants.
________ _ ___ _ ________________--------------------X
PLEASE TAKE NOTICE, that the defendants, MAC 60 LLC and ROYAL HOME
IMPROVEMENTS, INC., by their attorneys, Havkins Rosenfeld Ritzert & Varriale, LLP, as and
for their Amended Verified Answer to the plaintiff's Verified Complaint, states upon
information and belief, as follows:
AS AND FOR A FIRST CAUSE OF ACTION
ON BEHALF OF PLAINTIFF ANTONIO ESPINOSA
1. Deny knowledge or information sufficient to form a belief as to the allegations
"1"
contained in paragraph of the Verified Complaint, and refer all questions of law to the Court.
"2"
2. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"3"
3. Deny each and every allegation contained in paragraph of the Verified
Complaint, except admit that defendant MAC 60 LLC was a domestic limited liability company
duly organized and existing under and by virtue of the laws of the State of New York on January
11, 2018.
"4"
4. Deny each and every allegation contained in paragraph of the Verified
Complaint, except admit that defendant ROYAL HOME IMPROVEMENTS, INC. was a
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domestic corporation duly organized and existing under and by virtue of the laws of the State of
New York on January 11, 2018.
"5"
5. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"6"
6. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"7"
7. Deny each and every allegation contained in paragraph of the Verified
Complaint.
"8"
8. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"9"
9. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"10"
10. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"11"
11. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"12"
12. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"13"
13. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"14"
14. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
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"15"
15. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"16"
16. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"17"
17. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"18"
18. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"19"
19. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"20"
20. peny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"21"
21. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"22"
22. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"23"
23. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"24"
24. . Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"25"
25. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
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"26"
26. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"27"
27. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
28. Deny knowledge or information sufficient to form a belief as to the allegations
"28"
contained in paragraph of the Verified Complaint, and refer all questions of law to the
Court.
"29"
29. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"30"
30. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"31"
31. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"32"
32. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"33"
33. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"34"
34. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"35"
35. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"36"
36. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
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"37"
37. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"35"
38. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
AS AND FOR A SECOND CAUSE OF ACTION
ON BEHALF OF PLAINTIFF ANTONIO ESPINOSA
39. Defendants MAC 60, LLC and ROYAL HOME IMPROVEMENTS, INC. repeat,
"1" "38"
reiterate, and reallege all responses and allegations contained in paragraphs though
above as if fully set forth herein.
"40"
40. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"41"
41. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"42"
42. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
AS AND FOR A THIRD CAUSE OF ACTION
ON BEHALF OF PLAINTIFF ANTONIO ESPINOSA
43. Defendants MAC 60, LLC and ROYAL HOME IMPROVEMENTS, INC. repeat,
"1" "42"
reiterate, and reallege all responses and allegations contained in paragraphs though
above as if fully set forth herein.
"44"
44. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"45"
45. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
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"46"
46. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"47"
47. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
AS AND FOR A FOURTH CAUSE OF ACTION
ON BEHALF OF PLAINTIFF ANTONIO ESPINOSA
48. Defendant MAC 60, LLC and ROYAL HOME IMPROVEMENTS, INC. repeat,
"1" "47"
reiterate, and reallege all responses and allegations contained in paragraphs though
above as if fully set forth herein.
"49"
49. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"50"
50. Deny in the form alleged each and every allegation contained in paragraph
of the Verified Complaint and refer all questions of law to the Court.
"51"
51. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
"52"
52. Deny each and every allegation contained in paragraph of the Verified
Complaint, and refer all questions of law to the Court.
AS AND FOR A FIRST AFFIRMATIVE DEFENSE
53. If any injuries and/or damages were sustained by the plaintiff at the time and
place and in the manner alleged in the Verified Complaint, such injuries and/or damages are
attributable in whole or in part to the culpable conduct of the plaintiff, and plaintiff's recovery, if
any, shall be reduced by the proportionate share of culpability assigned to the plaintiff.
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AS AND FOR A SECOND AFFIRMATIVE DEFENSE
54. Any damages alleged to have been sustained by plaintiff were caused in whole or
in part by the culpable conduct, contributory negligence and/or assumption of risk of plaintiff or
other parties, without any culpable conduct on the part of the answering defendant, and therefore,
the amount of damages, if any, recoverable by plaintiff must be reduced pursuant to CPLR
Article 14, 14a and 16 in that proportion to which the culpable conduct attributed to the plaintiff
bear to the culpable conduct which caused the alleged damages.
AS AND FOR A THIRD AFFIRMATIVE DEFENSE
55. If any injuries and/or damages were sustained by the plaintiff at the time and
place and in the manner alleged in the Verified Complaint, plaintiff assumed a known or an open
and obvious risk for which plaintiff may not recover any damages, or plaintiff's damages must
be reduced accordingly.
AS AND__FOR A FOURTH AFFIRMATIVE DEFENSE
56. The plaintiff failed to properly mitigate his damages so as to prevent or reduce the
extent of the injuries sustained.
AS AND FOR A FIFTH AFFIRMATIVE DEFENSE
57. Any damages alleged to have been sustained by plaintiffs were caused in whole or
in part by the culpable conduct, contributory negligence and/or assumption of risk of plaintiffs
and/or other parties, without any culpable conduct on the part of the answering defendant, and
therefore, the amount of damages, if any, recoverable by plaintiffs must be reduced pursuant to
Article 16 of the New York City Practice Law and Rules in that proportion to which the culpable
conduct attributed to the plaintiffs bear to the culpable conduct which caused the alleged
damages.
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AS AND FOR A SIXTH AFFIRMATIVE DEFENSE
58. Liability cannot be imposed on this answering defendant because the sole
proximate cause of the plaintiff's injuries as alleged in the Verified Complaint, were his own acts
and/or omissions.
AS AND FOR A SEVENTH AFFIRMATIVE DEFENSE
worker"
59. The answering defendant hereby asserts the "recalcitrant defense.
AS AND FOR AN EIGHTH AFFIRMATIVE DEFENSE
60. Plaintiff's injuries, if any, were increased or caused by plaintiff's failure or
neglect to properly utilize safety equipment at the time of the occurrence, and, therefore, plaintiff
may not recover for those injuries which would not otherwise have been sustained.
AS AND FOR A NINTH AFFIRMATIVE DEFENSE
61. That all the alleged hazard which caused the plaintiff's claimed injuries were
trivial in nature.
AS AND FOR A TENTH AFFIRMATIVE DEFENSE
62. With respect to the happening of the alleged occurrence, the defendant had no
duty of care, custody or control and as such defendant is not liable to plaintiff.
AS AND FOR_AN ELEVENTH AFFIRMATIVE DEFENSE
63. In the event that any person or entity liable or claimed to be liable for injuries or
damages in this action has been given or may hereafter be given a release or covenant not to sue,
the answering defendants shall be entitled to protection under General Obligations Law 15-108.
AS AND FOR A TWELFTH AFFIRMATIVE DEFENSE
64. In the event the plaintiff recovers a verdict or judgment against this defendant
then said verdict or judgment must be reduced pursuant to CPLR 4545(c) by those amounts
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which have been, or will, with reasonable certainty, replace or indemnify plaintiff, in whole or in
part, for any past or future claimed medical expenses or other such economic loss, paid from any
workers'
collateral source such as insurance, social security, compensation or employee benefit
program.
AS AND FOR A THIRTEENTH AFFIRMATIVE DEFENSE
65. Plaintiff s action is barred by Workers Compensation Law 29(6), which prohibits
an employee from bringing a direct action against his employer.
AS AND FOR A FOURTEENTH AFFIRMATIVE DEFENSE
66. The plaintiff's claims and causes of action, as alleged in the Verified Complaint,
Workers'
are barred under the terms of the Compensation Law.
WHEREFORE, defendants, MAC 60, LLC and ROYAL HOME IMPROVEMENTS,
INC. hereby demand judgment dismissing the plaintiff's Verified Complaint in its entirety,
together with such other and further relief as this Court may deem just and proper.
Dated: Mineola, New York
September 27, 2019
HAVKINS ROSENFELD RITZERT
& VARRIALE, LLP
By:
Christopher M. Gibbons, Esq.
Attorneys for Defendants
MAC 60 LLC and ROYAL HOME
IMPROVEMENTS,'INC.
114 Old Country Road, Suite 300
Mineola, New York 11501
T: (516) 620-1700
F: (516) 746-0833
HRRV File No.: 10280-000205
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