Moore v. Navillus Tile, Inc.

276 F. Supp. 3d 110
CourtDistrict Court, S.D. New York
DecidedSeptember 20, 2017
DocketNo. 14 Civ. 8326; No. 15 Civ. 8441
StatusPublished
Cited by4 cases

This text of 276 F. Supp. 3d 110 (Moore v. Navillus Tile, Inc.) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Moore v. Navillus Tile, Inc., 276 F. Supp. 3d 110 (S.D.N.Y. 2017).

Opinion

McMahon, C.J.:

Following a bench trial, the Court, for its findings of fact, conclusions of law, and verdict:

Findings of Fact on Liability

I.The Parties

1. Plaintiffs in Moore v. Navillus Tile, Inc., No. 14 Civ. 8326 (“the Moore Action”), are Trustees of four different groups of multi-employer fringe benefit funds.

2. Plaintiffs Terrence Moore, Kevin Kelly, John Coffey, Ronald Richardson, Michael Salgo, Michael Anderson, and Kevin O’Brien are Trustees of the Metal Lathers Local 46 Pension Fund, the Metal Lathers Local 46 Trust Fund, the Metal Lathers Local 46 Annuity Fund, the Metal Lathers Local 46 Vacation Fund, the Metal Lathers Local 46 Apprenticeship Fund, and the Metal Lathers Local 46 Scholarship Fund (collectively, the “Local 46 Funds”). (Joint Pretrial Order Stipulations (“JPTO Stip”), § III.B ¶ 1.)

3. The Local 46 Funds are “employee benefit plans” and “multiemployer plans” within the meaning of 29 U.S.C. § 1002(3) and (37), with their principal place of business at 61-02 32nd Avenue, Woodside, NY 11377. The Local 46 Funds are jointly administered by a Board of Trustees, comprised of an equal number of labor and management representatives in accordance with Section 302(c)(5) of the Labor Management Relations Act of 1947 (“LMRA”), 29 U.S.C. § 186(c)(5). (JPTO Stip. § III.B ¶1.)

4. Plaintiffs Angelo Angelone, Eric Lee, and Michael Salgo are Trustees of the Cement & Concrete Workers Pension Trust Fund, the Cement & Concrete Workers Welfare Trust Fund, the Cement & Concrete Workers Annuity Trust Fund, and the Cement <& Concrete Workers Scholarship Trust Fund. Plaintiff Kieran O’Sullivan is Trustee of the Cement & Concrete Workers Training and Education Trust Fund (collectively, the “Cement Workers Funds”). (JPTO Stip. § III.B ¶ 2.)

5. The Cement Workers - Funds are “employee benefit plans” and “multiera-ployer plans” within the meaning of 29 U.S.C. § 1002(3).and (37), with their principal place of business at 35-30 Francis Lewis Boulevard, 2nd Floor, Flushing, NY 11358. The Cement Workers Funds are jointly administered by a Board of Trustees, comprised of an equal number of labor and management representatives in accordance with LMRA § 302(c)(5), 29 U.S.C. § 186(c)(5). (JPTO Stip. § III.B ¶ 2.)

6. Plaintiffs Gino Castignoli, Michael Rendina, Robert Bertuzzi, Eddie Barbaria, Frank Martorano, Jr., Joseph Mitrione, Michael Salgo, and Kevin O’Brien are Trustees of the Cement Masons’ Local 780 Trust Fund, the Cement Masons’ Local 780 Pension Fund, the Cement Masons’ Local 780 Annuity Fund, the Cement Masons’ Local 780 Vacation Fund, and the Cement Masons’ Local 780 Apprenticeship [116]*116Fund (collectively, the “Local 780 Funds”). (JPTO Stip. § III.B ¶ 3.)

7. The Local 780 Funds are “employee benefit plans” and “multiemployer plans” within the meaning of 29 U.S.C. § 1002(3) and (37), with their principal place of business at 1983 Marcus Avenue, Suite C116, New Hyde Park, NY 11042. The Local 780 Funds are jointly administered by a Board of Trustees, comprised of an equal number of labor and management representatives in accordance with LMRA § 302(c)(5), 29 U.S.C. § 186(c)(5). (JPTO Stip. § III.B ¶ 3.)

8. Plaintiffs Joseph Geiger, Stephen Mclnnis, Michael Cavanaugh, Paul Capur-so, John Sheehy, Paul Tyzner, David Mé-berg, Kevin O’Callaghan, John DeLollis, and Catherine Condon are Trustees of the New York City District Council of Carpenters Pension Fund, the New York City District Council of Carpenters Welfare Fund, the New York City District Council of Carpenters Apprenticeship, Journeyman Retraining, Educational and Industry Fund, and the New York City District Council of Carpenters Annuity Fund (collectively, the “Carpenters Funds”). (JPTO Stip. § III.B ¶4.)

9. The Carpenters Funds are “employee benefit plans” and “multiemployer plans” within the meaning of 29 U.S.C. § 1002(3) and (37), .with their principal place of business at 395 Hudson Street, New York, NY 10014. The Carpenters Funds are jointly administered by a Board of Trustees, comprised of an equal number of labor and management representatives in accordance with LMRA § 302(c)(5), 29 U.S.C. § 186(c)(5). (JPTO Stip. § III.B ¶ 4.)

10. Plaintiffs in Gesualdi v. Navillus Tile, Inc., 15 Civ. 8441 (the “Gesualdi Action”), are Trustees of a fifth group of multi-employer benefit funds, set up to benefit the members of the Teamsters Local 282 (“Local 282”).

11. Plaintiffs Thomas Gesualdi, Louis Bisignanó, Darin Jeffers, Michael O’Toole, Michael Bourgal, Frank H. Finkel, Joseph A. Ferrara, Sr., Marc Herbst, Denise Richardson, and Thomas Corbett' are Trustees and Fiduciaries of the Local 282 Welfare Trust Fund, the Local 282 Pension Trust Fund, the Local 282 Annuity Trust Fund,-the Local 282 Job Training Trust Fund, and the Local 282 Vacation and Sick Leave Trust Fund (collectively, the “Local 282 Funds”). The Local 282 Funds are “employee benefit plans” and “multiemployer plans” within the meaning of 29 U.S.C. § 1002(3) and (37), with their principal place of business at 2500 Marcus Avenue, Lake Success, NY 1Í042. (JPTO Stip. § III.B ¶ 5.)

12. Defendant Navillus Tile, Inc. d/b/a Navillus Contracting (“Navillus”) is a New York corporation with offices at 633 Third Avenue, New York, NY 10017. (JPTO Stip. § III.C ¶ 1.) Navillus is one of the largest unionized subcontractors in New York, serving primarily as a, masonry and concrete subcontractor on large union construction projects. (D. O’Sullivan Deck ¶ 39, DX-171; Tr. at 198:24-199:02.)1

13. Defendant Advanced Contracting Solutions, LLC, d/b/a ACS NY LLC (“ACS”) is a Delaware limited liability company, formed on July 16, 2013. (PX-25.) On September 30, 2013, ACS filed as a foreign corporation in New York under the name ACS NY LLC. (JPTO Stip. § III.C ¶2.) ACS is an open-shop subcontractor that primarily performs concrete foundar tion and superstructure work. (Moriarty Decl. ¶ 2, DX-172.)

14. Defendant Time Square Construction, Inc. (“TSC”) is a New York corporation with offices at 355 Lexington Avenue, [117]*117New York, NY 10017. (JPTO Stip. § III.C ¶ 3.) TSC is principally a general contractor. (K. O’Sullivan Decl. ¶¶ 20-22, DX-176.)

15. Defendant HDK Construction, LLC (“HDK”) .is a Delaware-limited liability company, authorized to do business in New York, maintaining its principal offices for doing business at 355 Lexington . Avenue, New York, NY 10017. (JPTO Stip. § III.C ¶ 4.)

16. Defendant Donal O’Sullivan is currently the sole owner of Navillus.

17.

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276 F. Supp. 3d 110, Counsel Stack Legal Research, https://law.counselstack.com/opinion/moore-v-navillus-tile-inc-nysd-2017.