Bunn v. Faxton-St. Luke's Healthcare

2022 NY Slip Op 34670
CourtNew York Supreme Court, Oneida County
DecidedOctober 4, 2022
StatusUnpublished

This text of 2022 NY Slip Op 34670 (Bunn v. Faxton-St. Luke's Healthcare) is published on Counsel Stack Legal Research, covering New York Supreme Court, Oneida County primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Bunn v. Faxton-St. Luke's Healthcare, 2022 NY Slip Op 34670 (N.Y. Super. Ct. 2022).

Opinion

Bunn v Faxton-St. Luke's Healthcare 2022 NY Slip Op 34670(U) October 4, 2022 Supreme Court, Oneida County Docket Number: Index No. EFCA2017-002702 Judge: Bernadette T. Clark Cases posted with a "30000" identifier, i.e., 2013 NY Slip Op 30001(U), are republished from various New York State and local government sources, including the New York State Unified Court System's eCourts Service. This opinion is uncorrected and not selected for official publication. FILED: ONEIDA COUNTY CLERK 10/04/2022 03:59 PM INDEX NO. EFCA2017-002702 NYSCEF DOC. NO. 296 RECEIVED NYSCEF: 10/04/2022

At a term of Supreme Court of the State of New York held in and for the County of Oneida at the Oneida County Courthouse 200 Elizabeth Street, Utica, New York on the 4 th day of October, 2022.

PRESENT: HONORABLE BERNADETTE T. CLARK Justice Presiding

STATE OF NEW YORK SUPREME COURT COUNTY OF ONEIDA

GAYLE BUNN and PETER BUNN, SR.,

Plaintiffs, DECISION AND ORDER

-vs- Index No. EFCA2017-002702 RJI No. 32-19-0525 FAXTON-ST. LUKE'S HEALTHCARE AND FAIRBROTHER PROPERTY MAINTENANCE , LLC,

Defendants.

APPEARANCES: BRINDISI, MURAD & BRINDISI PEARLMAN, LLP Anthony A. Murad, Esq. Attorneys for Plaintifft, Gayle Bunn and Peter Bunn, Sr. 213 7 Genesee Street Utica, New York 13501 (315) 733-2396

GALE, GALE & HUNT Kirsten Lerch Kroft, Esq. Attorneys for Defendant, Faxton-St. Luke's Healthcare P.O. Box 6527 Syracuse, New York 13217-6527 (315) 637-3667

ROSSI & ROSSI Vincent J. Rossi, Jr., Esq. Attorneys for Defendant, Fairbrother Property Maintenance, LLC 587 Main Street;-Suite302 New York Mills, New York 13417 (315) 362-8966

1 of 19 [* 1] FILED: ONEIDA COUNTY CLERK 10/04/2022 03:59 PM INDEX NO. EFCA2017-002702 NYSCEF DOC. NO. 296 RECEIVED NYSCEF: 10/04/2022

Clark, Bernadette T.

Presently before the Court are three motions. The first of these motions, which was

brought py defendant Paxton-St. Luke's Healthcare (hereinafter FSLH), seeks summary

dismissal of the plaintiffs complaint on the ground that there was a storm in progress at the time

of the plaintiffs accident. The second motion was brought by defendant Fairbrother Property

Maintenance, LLC, (hereinafter Fairbrother). This motion, first of all, seeks summary dismissal

of the plaintiffs direct claims against Fairbrother on two grounds, namely, that, as a third-party

contractor, Fairbrother owed no duty to the plaintiff and, moreover, even if a duty existed, that

duty, as asserted by FSLH in its own motion, was suspended by a storm in progress.

Additionally, the motion by Fairbrother seeks summary dismissal of the cross-claims asserted

against it by FSLH for contribution and indemnification. The third, and final, motion before the

Court was brought by the plaintiff, and, by this motion, the plaintiff requests, pursuant to CPLR

§ 3126 and owing to Fairbrother's alleged spoliation of certain evidence, that this Court

determine as a matter of law that Fairbrother created the dangerous condition that caused the

plaintiffs fall and an order precluding Fairbrother from offering any evidence about the

condition of the sidewalk upon which the plaintiffs accident occurred.

In support of its motion for summary judgment, FSLH submitted a notice of motion; a

memorandum of law; a statement of material facts; an affidavit by Mr. Wayne Mahar, which

referenced and was accompanied by his curriculum vitae, as well the weather data and a

photograph upon which he relied; additional affidavits by Mr. Christopher Kilmartin and

_ _ _ _ _Nicholas~Eairbrother;_and,_finall)':,-an..affirmation..b__y_Kirsten I,erch,Esq...,,___._.__,.LU<,...._.........,'-------------------1

accompanied by numerous exhibits, namely, (A) the summons and complaint in this matter, (B)

FSLH's answer, (C) FSLH's demand for a bill of particulars and the plaintiffs response, (D) the 2

2 of 19 [* 2] FILED: ONEIDA COUNTY CLERK 10/04/2022 03:59 PM INDEX NO. EFCA2017-002702 NYSCEF DOC. NO. 296 RECEIVED NYSCEF: 10/04/2022

plaintiffs combined discovery demands and FLSH's response, (E) surveillance footage of the

plaintiffs fall, (F) the plaintiffs supplemental summons and complaint, (G) FSLH's answer to

the plaintiffs amended complaint, (H) the plaintiffs notice to produce as to Fairbrother and

Fairbrother' s response thereto, (I) the plaintiffs supplemental bill of particulars, (J) the

plaintiffs third notice to produce and FSLH's response, (K) a report as to an incident involving

Ms. Bonnie Steele-Johnson, (L) surveillance footage relative to that incident, (M) the deposition

testimony of the plaintiff, (N) the deposition testimony of Mr. Peter Bunn, (0) the deposition

testimony of Mr. Michael Fairbrother, (P) the deposition testimony of Mr. Nicholas Fairbrother,

(Q) the deposition testimony of Mr. Allen Hurd, (R) the deposition testimony of Ms. Tracy

Hilderbran, (S) the deposition testimony of Ms. Carly Insel, (T) the deposition testimony of Ms.

Carolynn Lyman, (U) the deposition testimony of Ms. Kelli Thomas, (V) the deposition

testimony of Mr. Christopher Kilmartin, (W) the deposition testimony of Mr. Kevin Leach, (X)

the deposition testimony of Mr. David Siriano, (Y) the deposition testimony of Ms. Brandy

Stack, (Z) the deposition testimony of Dr. Juleen Qandah, (AA) a sworn statement by Ms.

Steele-Johnson, (BB) FSLH's amended answer to the plaintiffs amended complaint, and,

finally, (CC) records of the Kunkel Ambulance Service. In addition to the above-mentioned

items, this Court also considered several items submitted by FSLH that were offered in reply to

the plaintiffs opposition to this motion, including an affirmation by Ms. Christine Sullivan, Esq.,

an additional memorandum of law, and a response to the plaintiffs counterstatement of material

facts. Lastly, the Court considered papers submitted by FSLH in response to the motion brought

r..._es.iJ-.l>.,._..,_>,L...__~----+ - - - - - + · •y-Fairbr0ther,which-paper.s-consisted-0£another-affirmation...b_y.-Ms..B..ullhran,_Es.q...,..,. .a. . . .

to Fairbrother's statement of facts, and yet another memorandum oflaw.

3 of 19 [* 3] FILED: ONEIDA COUNTY CLERK 10/04/2022 03:59 PM INDEX NO. EFCA2017-002702 NYSCEF DOC. NO. 296 RECEIVED NYSCEF: 10/04/2022

Fairbrother, in support of its motion, submitted a notice of motion; a memorandum of

law; a statement of material facts; the same affidavit by Mr. Mahar that was submitted by FSLH

in support of its own motion, including the exhibits upon which he relied; an affidavit by Mr.

Nicholas Fairbrother; and, finally, an affidavit by Mr. Evan Rossi, Esq. The Court considered

each of these items with regard to Fairbrother's motion, along with the several exhibits that were

annexed to the latter affidavit, including (A) the plaintiffs initial summons and complaint, (B)

FSLH's answer to that initial complaint, (C) the plaintiffs amended complaint, (D) FSLH's

answer to that amended complaint with cross-claims against Fairbrother, (E) Fairbrother's

answer to the plaintiffs amended complaint, (F) a document prepared by FSLH outlining the

scope of snow plowing services to be provided by Fairbrother, (G) Fairbrother's demand for a

bill of particulars, (H) the plaintiffs bill of particulars as to Fairbrother, (I) the plaintiffs second

bill of particulars as to Fairbrother, (J) the plaintiffs third bill of particulars as to Fairbrother, (K)

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2022 NY Slip Op 34670, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bunn-v-faxton-st-lukes-healthcare-nysupctoneida-2022.