Posillico Defendants deny knowledge or information sufficient to form a belief as to the truth or falsity of the allegations contained within paragraphs “1”, “2”, “5”, “6”, “7”, “8”, “9”, “10”, “11”, “12”, “18”, “19”, “20”, “21”, “22”, “23”, “24”, “25”, “26”, “27” and “28” of plaintiff’s Verified Complaint.
Posillico Defendants deny each and every allegations contained within paragraphs “17” of plaintiff’s Verified Complaint with respect to Posillico Civil, Inc. and refer all questions of law to be determined by the Court and questions of fact for the trier thereof; and deny knowledge or information sufficient to form a belief as to the truth or falsity of the allegations with respect to the remaining defendants.
Plaintiff failed to mitigate, obviate, diminish or otherwise act to lessen or reduce the injuries, damages and disabilities as alleged in the Verified Complaint.
PARTNERS LLC and POSILLICO CONSTRUCTION COMPANY, INC. is or will be responsible by virtue of the terms covenants, warranties and causes and by way of a third- party beneficiary provision contained in said agreements.
I, Daniel J. Morse, the undersigned, being an attorney duly admitted to practice before the Courts of the State of New York and fully aware of the penalties of perjury, hereby affirms as follows: Affirmant is a member of the law firm of WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER, LLP, attorneys for Defendants “All Posillico Entities”, in the within action, and is fully familiar with the facts and circumstances involved in this matter from reviewing the file regarding the same maintained in the offices of said law firm.