Stender v. 32 Slipstream, LLC

2024 NY Slip Op 33970(U)
CourtNew York Supreme Court, New York County
DecidedNovember 10, 2024
DocketIndex No. 153353/2018
StatusUnpublished

This text of 2024 NY Slip Op 33970(U) (Stender v. 32 Slipstream, LLC) is published on Counsel Stack Legal Research, covering New York Supreme Court, New York County primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Stender v. 32 Slipstream, LLC, 2024 NY Slip Op 33970(U) (N.Y. Super. Ct. 2024).

Opinion

Stender v 32 Slipstream, LLC 2024 NY Slip Op 33970(U) November 10, 2024 Supreme Court, New York County Docket Number: Index No. 153353/2018 Judge: Verna L. Saunders 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. INDEX NO. 153353/2018 NYSCEF DOC. NO. 301 RECEIVED NYSCEF: 11/07/2024

SUPREME COURT OF THE STATE OF NEW YORK NEW YORK COUNTY PRESENT: HON. VERNAL. SAUNDERS, JSC PART 36 Justice ---------------------------------------------------------------------------------X INDEX NO. 153353/2018 GEORGE STENDER, MOTION SEQ. NO. _ _0_0_4,'-·0_0_5_ _ Plaintiff,

- V-

32 SLIPSTREAM, LLC, RXR CONSTRUCTION SERVICES DECISION+ ORDER ON LLC, RXR 32 OLD SLIP OWNER, LLC, TRADITION MOTION AMERICA HOLDINGS, INC., TRADITION FINANCIAL SERVICES, INC., and JOHN GALLIN & SON, INC., Defendants. ---------------------------------------------------------------------------------X

32 SLIPSTREAM, LLC., Third-Party Plaintiff,

-against-

RXR 32 OLD SLIP OWNER LLC., Third-Party Defendant. --------------------------------------------------------------------------------X

JOHN GALLIN & SON, INC., Second Third-Party Plaintiff,

GODSELL CONSTRUCTION CORP., Second Third-Party Defendant. --------------------------------------------------------------------------------X

TRADITION AMERICA HOLDINGS, INC., and TRADITION FINANCIAL SERVICES, INC., Third Third-Party Plaintiff,

GODSELL CONSTRUCTION CORP., Third Third-Party Defendant. --------------------------------------------------------------------------------X GODSELL CONSTRUCTION CORP. Fourth Third-Party Plaintiff,

NEAD ELECTRIC, INC. Fourth Third-Party Defendant.

153353/2018 STENDER, GEORGE vs. 32 SLIPSTREAM, LLC Page 1 of 14 Motion No. 004 005

1 of 14 [* 1] INDEX NO. 153353/2018 NYSCEF DOC. NO. 301 RECEIVED NYSCEF: 11/07/2024

--------------------------------------------------------------------------------X

JOHN GALLIN & SON, INC., Fifth Third-Party Plaintiff,

NEAD ELECTRIC, INC., Fifth Third-Party Defendant. --------------------------------------------------------------------------------X

The following e-filed documents, listed by NYSCEF document number (Motion 004) 150, 151, 152, 153, 154, 155, 156, 157, 158, 159, 160, 161, 162, 163, 164, 165, 166, 167, 168, 169, 170, 171, 172, 173,198,200,201,202,203, 204,205,206,207,208,209,210,211,212,213,214,215,216,217,236,237,238,239,241,242,245,246,247, 248,249,250,251,260,262,263,264,265,268,269,270,271,272,273,274,275,276,277,278,279,280,281, 284,296 were read on this motion to/for SUMMARY JUDGMENT

The following e-filed documents, listed by NYSCEF document number (Motion 005) 174, 175, 176, 177, 178, 179, 180, 181, 182, 183, 184, 185, 186, 187, 188, 189, 190, 191, 192, 193, 194, 195,199,218,219,220,221,222,223, 224,225,226,227,228,229,230,231,232,233,234,235,240,243,244,252,253,254,255,256,257,258,259, 261,266,267,282,283,285,286,287,288,289,290,291,292,293,294,295,297 were read on this motion to/for SUMMARY JUDGMENT

This is an action to recover damages for personal injuries allegedly sustained by plaintiff, a carpenter, on March 7, 2018, when, while working at a construction site located at 32 Old Slip, New York, New York ("premises"), he tripped on debris, causing him to lose his balance and bump into a metal stud that he was in the process of installing, causing a clamp to come loose, which caused a metal brace on the stud to fall and strike his wrist. On the day of the accident, the premises was owned by 32 Slipstream, LLC and RXR 32 Old Slip Owner, LLC (collectively, "32 Slip"). 1 32 Slip leased a portion of the premises to Tradition American Holdings, Inc. ("Tradition"). Tradition hired John Gallin & Son, Inc. ("Gallin") as the general contractor for a project at the premises. Gallin, in tum, subcontracted electrical work to Nead Electric, Inc. ("Nead"), and carpentry work to Godsell Construction Corp ("Godsell"), plaintiff's employer at the time of the accident.

In Mot. Seq. 004, Godsell moves, pursuant to CPLR 3212, for summary judgment dismissing the second third-party complaint and the third third-party complaint as against it or, if necessary, for summary judgment in its favor against Nead (NYSCEF Doc. No. 150, notice of motion). In Mot. Seq. 005, plaintiff moves, pursuant to CPLR 3212, for summary judgment in his favor on his Labor Law§§ 240(1), 241(6) and 200 claims as against all defendants (NYSCEF Doc. No. 174, notice of motion). In relation to Mot. Seq. Nos. 004 and 005, Gallin cross-moves, pursuant to CPLR 3212, for summary judgment dismissing the complaint as against it and for summary judgment in its favor on its contractual indemnification cross-claim against Godsell (NYSCEF Doc. No. 218, notice of cross motion).

1 The two 32 Slip defendants are adverse to one another in the third-party action and the record does not indicate the resolution or discontinuance of the third-party action. That said, both parties are presently represented by the same counsel, and so this court will treat them as aligned in interest. 153353/2018 STENDER, GEORGE vs. 32 SLIPSTREAM, LLC Page 2 of 14 Motion No. 004 005

2 of 14 [* 2] INDEX NO. 153353/2018 NYSCEF DOC. NO. 301 RECEIVED NYSCEF: 11/07/2024

Mot. Seq. Nos. 004 and 005 are hereby consolidated for disposition.

In support of Mot. Seq. 005, plaintiff submits a copy of his own deposition testimony, wherein he testifies that on the day of the injury, Joseph Ralbovski, his foreman at Godsell, directed him and another Godsell employee, Taras Dyachenko, to do framing and sheetrocking work on the 27th floor of the premises. Plaintiff testifies that framing a wall involves putting a stud up, followed by placing a "brace from the stud going back to the wall. A clamp goes on that. When you put the clamp on that then you have to pin it and take the clamp off'. According to plaintiff, the electricians from Nead were "on man lifts" "running conduit pipe above" a relatively short distance behind where plaintiff was working, and in so doing, littered the floor with conduit, wires, and connectors. Plaintiff notes that when he informed his foreman about the debris, he was directed to continue with his responsibilities. He further posits that in an attempt to clean the debris generated by the electricians from his work area, he used his speed square to clear the spot in front of the stud he was installing. Plaintiff asserts that his foot made contact with some unseen debris as he was installing a stud and was injured as a result (NYSCEF Doc. No. 227, Stender deposition). Plaintiff submits a copy of the deposition testimony of his co- worker, Taras Dyachenko, who witnessed the injury (NYSCEF Doc. No. 165, Dyachenko deposition).

Plaintiff also submits the deposition testimony of Joseph Ralbovski, Godsell' s foreman, who avers that that on the day of the accident, he assigned Godsell workers to their location and that Gallin's laborers were responsible for cleaning up and removing debris from the work areas. He confirmed that electricians were working on the same floor as plaintiff on the day of the accident and that Gallin's superintendent was responsible for coordination at the premises (NYSCEF Doc. No. 290, Ralbovski depostion).

Plaintiff also furnishes copies of the following depositions: Keith Crosby, Gallin's project manager at the premises, who avers in his deposition testimony that his responsibility included meeting with the project superintendent, walking the site, attending meetings, and checking quality control and progress benchmarks.

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Bluebook (online)
2024 NY Slip Op 33970(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/stender-v-32-slipstream-llc-nysupctnewyork-2024.