FILED: NEW YORK COUNTY CLERK 08/17/ :21 AM INDEX NO /2019 NYSCEF DOC. NO. 107 RECEIVED NYSCEF: 08/17/2020

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SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK

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TIMOTHY POPLAWSKI, Index No. 162081/2019E

ANSWER TO CROSS-CLAIM Plaintiff,

-against

111 WALL STREET LLC, 230 CENTRAL CO., LLC, CUSHMAN & WAKEFIELD, INC.,

THYSSENKRUPP ELEVATOR CORPORATION, LEC CONSULTING AND INSPECTION GROUP

INC., and MURRAY AND SENA-, LLC,

Defendants.

-X

Defendant, MURRAY AND SENA, LLC, by its attorneys GOTTLIEB SIEGEL &

SCHWARTZ, LLP, as and for an Answer to the Cross-Complaint of the defendant 111 WALL STREET LLC, respectfully alleges upon information and beliefs as follows:

AS AND FOR AN ANSWER TO THE FIRST CROSS-CLAIM 1. Denies each and every allegation alleged in paragraphs "21", "22"

and "23"

of the first cross-claim as same relates to this defendant and denies any knowledge or information sufficient to form a belief as to each and every allegation in the aforesaid paragraph as same relates to the other defendants.

A_S AND FOR AN ANSWER TO THE SECOND CROSS-CLAIM 2. Denies each and every allegation alleged in paragraph "24"

of the second cross-claim as same relates to this defendant and denies any knowledge or information sufficient to form a belief as to each and every allegation in the aforesaid paragraph as same relates to the other defendants.

AS AND FOR AN ANSWER TO THE THIRD CROSS-CLAIM

3. Denies each and every allegation alleged in paragraphs "25"

and "26"

of the third cross- claim as same relates to this defendant and denies any knowledge or information sufficient to forfn a belief as to each and every allegation in the aforesaid paragraph as same relates to the other defendants.

WHEREFORE, this answering defendant demands judgment dismissing said cross-

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complaint and for all fees and disbursements incurred in the defense of said cross-complaint,

along with such other and further relief as this Court deems just and proper.

Dated: New York, New York

August 14, 2020

Yours, etc.

GOTTLIEB SIEGEL & SCHWARTZ, LLP

By:

- L H. GOTTLIEB

Attorneys for Defendant

MURRAY & SENA, LLC.

CORPORATION 207 East 94*

Street Mezzanine Level

New York, New York 10128

646-449-8141

To:

WHITE & McSPEDON, P.C.

Attorneys for Defendant 111 WALL STREET LLC

875 Avenue of the Americas, Suite 800

New York, New York 10001

212-564-6633

THE PERECMAN LAW FIRM PLLC Attorneys for Plaintiff

250 West 57*

Street, Suite 401

New York, New York 10107

212-977-7033

EUSTACE, PREZIOSO & YAPCHANYK

Attorneys for Defendants

CUSHMAN & WAKEFILED, INC.

55 Water Street 28*

Floor

New York, New York 10041

212-612-4200

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BABCHIK & YOUNG LLP

Attorneys for Defendant

THYSSENKRUPP ELEVATOR CORPORATION 245 Main Street, Suite 330

White Plains, New York 10601

LEC CONSULTING AND INSPECTION GROUP INC.

2279 Arby Ct.

Wantagh, New York 11793-3853

230 CENTRAL CO., LLC 240 Central Park South

New York, New York 10019

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AFFIDAVIT OF SERVICE

STATE OF NEW YORK )

)ss.:

COUNTY OF NEW YORK) .

Norma Collado, being duly swom, deposes and says: that deponent is not a party to this action, is over 18 years of age and resides at Bronx County, New York,

On the 1781

day of August 2020 deponent served the within:

ANSWER TO CROSS-CLAIM Upon

WHITE & McSPEDON, P.C.

Attorneys for Defendant 111 WALL STREET LLC

875 Avenue of the Americas, Suite 800

New York, New York 10001

212-564-6633

THE PERECMAN LAW FIRM PLLC Attorneys for Plaintiff

250 West 57d'

Street, Suite 401

New York, New York 10107

212-977-7033

EUSTACE, PREZIOSO & YAPCHANYK

Attorneys for Defendants

CUSHMAN & WAKEFILED, INC.

55 Water Street 28th Pl0Or

New York, New York 10041

212-612-4200

BABCHIK & YOUNG LLP Attorneys for Defendant

THYSSENKRUPP ELEVATOR CORPORATION 245 Main Street, Suite 330

White Plains, New York 10601

LEC CONSULTING AND INSPECTION GROUP INC.

2279 Arby Ct.

Wantagh, New York 11793-3853

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230 CENTRAL CO., LLC 240 Central Park South

New York, New York 10019

at the address designated by said attorney for that purpose by depositing a true copy of same enclosed in a postpaid, properly addressed wrapper, in an official depository under the exclusive care and custody of the United States Post Office within the State of New York.

Norma Collado Sworn to before me this

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d of August 2020

MIC .AEL H. GOTTLIEB NOTARY PUBLIC-STATE OF NEW YORK

No, 02G006000838

Quanfied in Westchester Cou y My Commission Expires 12-31

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COUNTY OF NEW YORK

______.__....__...__..--- ---X

TIMOTHY POPLAWSKI,

Plaintiff,

-against-

Index No.: 162081/2019

111 WALL STREET, LLC, 230 CENTRAL CO., LLC,

CUSHMAN & WAKEFIELD, INC., THYSSENKRUPP ELEVATOR CORPORATION, LEC CONSULTING AND INSPECTION GROUP INC. and MURRAY

AND SENA, LLC,

~ Defendants.

---..---. ... --- X

ANSWER TO CROSS-CLAIM

GOTTLIEB SIEGEL & SCHWARTZ, LLP

ATTORNEYS FOR DEFENDANT

MURRAY AND SENA, LLC 207 East 94*

Street, Mezzanine Level New York, New York 10128

(646) 449-8141

Pursuant to 22 NYCRR 130-1.1, the undersigned an attorney admbd to practice in the courts ofNew York State, certifies that, upon information and belief and redesüà'sic inquiry, the contentions contained in this arsiexed document are not frivolous.

Due Service of the within

is hereby admitted this day of

, 2020

Attorney for

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