Schoolcraft v. The City Of New York et al

Filing 15

RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Jamaica Hospital Medical Center.(Radomisli, Gregory)

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ITED STATES DISTRICT COURT OUTHERN DISTRICT OF NEW YORK - -- ---- --- --- ---- - - - --- - --------------- ---- ------- -- -- --- --- --- -- - - )( DRIAN SCHOOLCRAFT, RULE 7.1 STATEMENT Plaintiff, Index No.: 10 CIV 6005 -against- (RWS) HE CITY OF NEW YORK, DEPUTY CHIEF ICHAEL MARIO, Tax Id. 873220, Individually d in his Official Capacity, ASSISTANT CHIEF ATROL BOROUGH BROOKLYN NORTH ERALD NELSON, Tax Id. 912370, Individually and n his Offcial Capacity, DEPUTY INSPECTOR TEVEN MAURIELLO, Tax Id. 895117, Individually nd in his Official Capacity CAPTAIN THEODORE AUTERBORN, Tax Id. 897840, Individually and in is Offcial Capacity, LIEUTENANT JOSEPH GOFF, ax Id. 894025, Individually and in his Offcial apacity, SGT. FREDERICK SAWYER, Shield No. 576, Individually and in his Offcial Capacity, ERGEANT KURT DUNCAN, Shield No. 2483, ndividually and in his Official Capacity, IEUTENANT CHRISTOPHER BROSCHART, Tax d. 915354, Individually and in his Official Capacity, IEUTENANT TIMOTHY CAUGHEY, Tax Id. 85374, Individually and in his Offcial Capacity, ERGEANT SHANTEL JAMES, Shield No. 3004, ND P.O.'s "JOHN DOE" #1-50, Individually and in heir Offcial Capacity (the name John Doe being JURY TRIAL DEMANDED ictitious, as the true names are presently unown) collectively referred to as "NYPD defendants"), AMAICA HOSPITAL MEDICAL CENTER, DR. SAK ISAKOV, Individually and in his Offcial apacity, DR. LILIAN ALDANA-BERNIER, ndividually and in her Official Capacity and AMAICA HOSPITAL MEDICAL CENTER MPLOYEE'S "JOHN DOE" # 1-50, Individually and n their Offcial Capacity (the name John Doe being ictitious, as the true names are presently unown), Defendants. --- ---- --- ------- --- ------- ------ ---- ----- - -------------- ----- - ---- - )( I, Gregory J. Radomisli, attorney for defendant, JAMAICA HOSPITAL MEDICAL ENTER, having filed an initial pleading in the above-captioned matter, make the following isclosure to the Cour pursuant to Rule 7.1 of 503398-lDOC the Federal Rules of 2 Civil Procedure. JAMAICA HOSPITAL MEDICAL CENTER and its corporate parents and affiliates are the ownership of II completely private not-for-profit holdings, and no portion of those entities is xpected to be public in the foreseeable future. ated: New York, New York September 7, 2010 Yours, etc., ~~ MARTIN CLEARWATER & BELL LLP By: ~ Gregory J. Radomisli (GJR 2670) the Firm Attorneys for Defendant JAMAICA HOSPITAL MEDICAL CENTER 220 East 42nd Street New York, NY 10017 (212) 697-3122 A Member of OHEN & FITCH, LLP ttorneys for Plaintiff 25 Broadway, Suite 2700 ew York, New York 10007 212) 374-9115 A W OFFICES OF JON L. NORINSBERG ttorney for Plaintiff 25 Broadway, Suite 2700 ew York, New York 10007 212) 791-5396 503398_1.DOC 3

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