FILED: BRONX COUNTY CLERK 11/03/ :59 PM INDEX NO /2016E NYSCEF DOC. NO. 18 RECEIVED NYSCEF: 11/03/2016

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FILED: BRONX COUNTY CLERK 11/03/2016 03:59 PM INDEX NO. 25545/2016E NYSCEF DOC. NO. 18 RECEIVED NYSCEF: 11/03/2016 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX ------------------------------------------------------x OMAYRA MIRANDA, AS ADMINISTRATRIX OF THE ESTATE OF MIGUEL A. RIVERA A/K/A MIGUEL A. RIVERA FERNANDEZ, DECEASED, Plaintiff, Index No.: 25545/16E VERIFIED ANSWER TO COMPLAINT HANOVER RIVER HOUSE INC., TUDOR REALTY SERVICES CORP. AND HENRY LANIER, Defendants, ------------------------------------------------------x v. Defendant, Henry Lanier, by his attorneys, Varvaro, Cotter & Bender, answers the Complaint of the Plaintiffs by stating as follows: 1. Denies, upon information and belief, the allegations of paragraphs 4, 22, 28, 29, 30, 41, 43, 44, 45, 46, 47, 48, 50, 52 and 54. 2. Denies, upon information and belief, the allegations of paragraphs 19, 20, 23, 24, 25, 26 and 27 and respectfully refers all questions of law to this Honorable Court. 3. Denies having knowledge or information sufficient to form a belief as to the truth of the allegations of paragraphs 1, 2, 3, 6, 7, 8, 9, 10, 11, 12, 13, 14, 15, 16, 17, 18, 31, 32, 33, 34, 35, 36, 37, 38, 39, 40, 42, 51 and 53. 4. Responds to paragraph 49 of the Complaint by repeating, reiterating, and realleging all responses given to the paragraphs referred to therein with the same force and effect as if herein set forth at length. 1 of 25

AS AND FOR A FIRST AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 5. The injuries alleged to have been suffered by the Plaintiffs were caused, in whole or part, by the conduct of Plaintiffs. Plaintiffs' claims therefore are barred or diminished in the proportion that such culpable conduct of Plaintiffs bears to the total culpable conduct causing the damages. AS AND FOR A SECOND AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 6. The injuries and damages alleged in the Complaint were caused or contributed to by the culpable conduct including contributory negligence, assumption of the risk and/or product misuse of persons over whom this Defendant had no authority or control. AS AND FOR A THIRD AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 7. Pursuant to CPLR Article 16, the liability of this Defendant for non-economic loss shall not exceed the equitable share of this Defendant determined in accordance with the relative culpability of each person/party causing or contributing to the total liability for noneconomic loss. AS AND FOR A FOURTH AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 8. Upon information and belief the causes of action alleged in the Complaint fail to properly state, specify or allege a cause of action on which relief can be granted as a matter of law. AS AND FOR A FIFTH AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 9. That recovery, if any, by the Plaintiffs shall be reduced by the amounts paid or reimbursed by collateral sources in accordance with CPLR 4545(c). 2 of 25

AS AND FOR A SIXTH AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 10. That if it is determined that this answering Defendant is responsible for the acts alleged in the Complaint then Plaintiffs failed to take appropriate action to mitigate any damages. AS AND FOR A SEVENTH AFFIRMATIVE DEFENSE THIS ANSWERING DEFENDANT ALLEGES AS FOLLOWS: 11. The injuries and damages alleged in the Complaint of the Plaintiffs were caused or contributed to by Plaintiff s culpable conduct in assuming the risk under the conditions and circumstances existing. AS AND FOR A CROSS-CLAIM FOR CONTRIBUTION AGAINST: HANOVER RIVER HOUSE INC. AND TUDOR REALTY SERVICES CORP. 12. If any plaintiff recovers against this Defendant, then this Defendant will be entitled to an apportionment of responsibility for damages between and amongst the parties of this action and will be entitled to recover from each other party for its proportional share commensurate with any judgment which may be awarded to the plaintiff. AS AND FOR A CROSS-CLAIM FOR COMMON LAW INDEMNITY AGAINST: HANOVER RIVER HOUSE INC. AND TUDOR REALTY SERVICES CORP. 13. If any plaintiff recovers against this Defendant, then this Defendant will be entitled to be indemnified and to recover the full amount of any judgment from the Hanover River House Inc. and Tudor Realty Services Corp. WHEREFORE, this Defendant demands judgment dismissing the Complaint, together with costs and disbursements, and in the event any judgment or settlement is recovered herein against this Defendant, then this Defendant further demands that such judgment be reduced by the amount which is proportionate to the degree of culpability of 3 of 25

any plaintiff, and this Defendant further demands judgment against each other party on the respective crossclaims and/or counterclaims. DATED: November 3, 2016 White Plains, New York Yours, etc., VARVARO, COTTER & BENDER Attorneys for Defendant HENRY LANIER 1133 Westchester Avenue, Suite S-325 White Plains, New York 10604 (914) 989-6650 By: To: Rose M. Cotter The Yankowitz Law Firm, P.C. Attorneys for Plaintiff, Omayra Miranda, as Administratrix of the Estate of Miguel A. Rivera 175 East Shore Road 3rd Floor Great Neck, New York 11023 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Hanover River House Inc. 65 Broadway, Suite 742 New York, New York 10006 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Tudor Realty Services Corp. 65 Broadway, Suite 742 New York, New York 10006 4 of 25

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX -------------------------------------------------------x OMAYRA MIRANDA, AS ADMINISTRATRIX OF THE ESTATE OF MIGUEL A. RIVERA A/K/A MIGUEL A. RIVERA FERNANDEZ, DECEASED, Index No.: 25545/16E VERIFICATION Plaintiff, HANOVER RIVER HOUSE INC., TUDOR REALTY SERVICES CORP. AND HENRY LANIER, Defendants, ------------------------------------------------------x v. Rose M. Cotter, an attorney duly admitted to practice law before the Courts of New York State, hereby affirms under the penalties of perjury pursuant to CPLR 2106: I am a member of the firm of VARVARO, COTTER & BENDER, attorneys for the Defendant, Henry Lanier. I submit the following statement upon information and belief, based upon an inspection of the records maintained by this office, which records I believe to be true. That I have read the contents of the attached VERIFIED ANSWER TO COMPLAINT for Defendant Henry Lanier and believe it to be true based on information available or maintained by this firm. I make this verification because this Defendant is either a foreign corporation or is not located in Westchester County. DATED: November 3, 2016 White Plains, New York Rose M. Cotter 5 of 25

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX ------------------------------------------------------x OMAYRA MIRANDA, AS ADMINISTRATRIX OF THE ESTATE OF MIGUEL A. RIVERA A/K/A MIGUEL A. RIVERA FERNANDEZ, DECEASED, Index No.: 25545/16E NOTICE PURSUANT TO CPLR 2103 Plaintiff, HANOVER RIVER HOUSE INC., TUDOR REALTY SERVICES CORP. AND HENRY LANIER, Defendants, ------------------------------------------------------x v. PLEASE TAKE NOTICE that Defendant Henry Lanier, by his attorneys, VARVARO, COTTER & BENDER, hereby serve(s) Notice upon you pursuant to Rule 2103 of the Civil Practice Law and Rules that it expressly rejects service of papers in this matter upon them by electronic means. PLEASE TAKE FURTHER NOTICE that waiver of the foregoing may only be affected by express prior written consent to such service by VARVARO, COTTER & BENDER and by placement thereby of VARVARO, COTTER & BENDER electronic 6 of 25

communication number in the address block of papers filed with the Court. DATED: November 3, 2016 White Plains, New York Yours, etc., VARVARO, COTTER & BENDER Attorneys for Defendant HENRY LANIER 1133 Westchester Avenue, Suite S-325 White Plains, New York 10604 (914) 989-6650 By: To: Rose M. Cotter The Yankowitz Law Firm, P.C. Attorneys for Plaintiff, Omayra Miranda, as Administratrix of the Estate of Miguel A. Rivera 175 East Shore Road 3rd Floor Great Neck, New York 11023 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Hanover River House Inc. 65 Broadway, Suite 742 New York, New York 10006 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Tudor Realty Services Corp. 65 Broadway, Suite 742 New York, New York 10006 7 of 25

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX -------------------------------------------------------x OMAYRA MIRANDA, AS ADMINISTRATRIX OF THE ESTATE OF MIGUEL A. RIVERA A/K/A MIGUEL A. RIVERA FERNANDEZ, DECEASED, Plaintiff, Index No.: 25545/16E COMBINED DISCOVERY DEMANDS AND NOTICE OF DEPOSITION HANOVER RIVER HOUSE INC., TUDOR REALTY SERVICES CORP. AND HENRY LANIER, Defendants, ------------------------------------------------------x v. PLEASE TAKE NOTICE, that Defendant Henry Lanier, by his attorneys, VARVARO, COTTER & BENDER, demands that each adverse party afford us the disclosure which this notice and demand specifies: DEPOSITIONS OF ADVERSE PARTIES UPON ORAL EXAMINATION A. Each adverse party is to appear for deposition upon oral examination pursuant to CPLR 3107: (1) At this date and time: December 2, 2016 at 10:00 am (2) At this place: Varvaro, Cotter & Bender 1133 Westchester Avenue Suite 325 White Plains, NY 10604 Pursuant to CPLR 3106(d) we designate the following as the identity, description or title of the particular officer, director, member, or employee of the adverse party specified whose deposition we desire to take: ALL PARTIES 8 of 25

C. Each deposition witness thus examined is to produce at such time and place, pursuant to CPLR 3111, all books, papers, and other things which are relevant to the issues in the action and within that adverse party's possession, custody, or control to be marked as exhibits, and used on the examination. PARTY STATEMENTS Each adverse party is to serve on us, pursuant to CPLR 3101(e) and CPLR 3120, within thirty (30) days from the service of this Demand, a complete and legible copy of any statement made by or taken from any individual party or any officer, agent, or employee of said party. INSURANCE POLICIES Each adverse party is to serve, pursuant to CPLR 3101(f) and CPLR 3120, within thirty (30) days from the service of this Demand, a complete and legible copy of each primary or excess insurance agreement under which any person carrying on an insurance business may be liable to satisfy part or all of any judgment which may be entered in this action or to indemnify or reimburse for payments made to satisfy any such judgment. ACCIDENT REPORTS Each adverse party is to serve, pursuant to CPLR 3101(g) and CPLR 3120, within thirty (30) days from service of this Demand, a complete and legible copy of every written report of the accident or other event alleged in the complaint prepared in the regular course of that adverse party's business operations or practices. PHOTOGRAPHS AND VIDEOTAPES Each adverse party is to serve within thirty (30) days from the service of this Demand, complete and legible photographic or videotape reproductions of any and all 9 of 25

photographs, motion pictures, maps, drawings, diagrams, measurements, surveys of the scene of the accident or equipment or instrumentality involved in the action or photographs of persons or vehicles involved (if applicable) made either before, after or at the time of the events in question, including any photographs or videotapes made of the plaintiff at any time since the incident referred to in the Complaint. WITNESSES Each adverse party is to serve within thirty (30) days from the service of this Demand, the name and address of each witness to any of the following: 1. The accident, occurrence or any other event set forth in the complaint. 2. Any fact tending to prove actual or constructive notice of any condition which may give rise to the liability of any person, whether or not a party, for any damages alleged in this action. 3. Any admission, statement, writing or act of our client. EXPERT WITNESS MATERIAL Each adverse party is to serve, pursuant to CPLR 3101(d)(1), within thirty (30) days from the service of this request, a statement specifying all of the following data as to each person whom that adverse party expects to call as an expert witness at trial: A. The identity of each expert; B. The subject matter on which each expert is expected to testify, disclosed in reasonable detail; C. The substance of the facts and opinions on which each expert is expected to testify; D. The qualifications of each expert; and 10 of 25

E. A summary of the grounds for each expert's opinion. PLEASE TAKE FURTHER NOTICE that we will object at trial to the offer of any proof of an expert's qualifications which are different from or additional to those which the adverse party calling the expert had disclosed in reference to sub-paragraph D. COLLATERAL SOURCE INFORMATION Each plaintiff seeking to recover for the cost of medical care, dental care, custodial care or rehabilitation services, loss of earnings or other economic loss is to serve, pursuant to CPLR 4545(c), within thirty (30) days from the service of this Demand, a statement of all past and future cost and expense which has been or will, with reasonable certainty, be replaced or indemnified, in whole or in part, from any collateral source such as insurance (except life insurance), social security, workers' compensation, or employee benefit programs. Each such statement is to set forth the name, address, and insurance policy (or other account) number of each collateral source payor; and, separately stated for each payor, a list specifying the date and amount of each payment and the name, address, and social security number or other taxpayer identification number of each payee. PRODUCTION OF OTHER INFORMATION INCLUDING MEDICAL REPORTS AND AUTHORIZATIONS Each plaintiff is to serve upon and deliver to us the following pertaining to the decedent within thirty (30) days from the service of this Demand:: -authorizations for any and all medical records, including toxicology records -A list of the names of each of the decedent s children with their dates of birth and age as well as their addresses 11 of 25

-Any documentation/writings that would prove each and every item of the claimed pecuniary loss in this matter including but not limited to proof of what financial and/or emotional support and guidance the decedent provided to his wife (if he had one), to each of his children and to any others -Funeral and Burial Expense Records and Bills -Miguel Rivera Hernandez s Complete Autopsy Report -Miguel Rivera Hernandez s Certificate of Death -Marriage License Pertaining to Miguel Rivera Hernandez and his wife if he was married on the date of the incident -Divorce Decree Pertaining to Miguel Rivera Hernandez and his wife if he was - married at time(s) prior to the date of the incident -Records of all Child Support and Other Payments Made by Miguel Rivera Hernandez on behalf of any of his children -Copies of all Life Insurance Policies Covering Miguel Rivera Hernandez at the Time of His Death -Records of Any Death Benefits Paid to or For the Benefit of Miguel Rivera Hernandez spounse and/or dependnats and/or survivors, if any Medical Reports and Bills: Copies of the medical reports and bills of those health professionals who have previously treated or examined the plaintiff. Those reports shall include a detailed recital of the injuries and conditions as to which testimony will be offered at the trial, referring to and identifying those diagnostic tests and technicians' reports which will be offered at the trial. 12 of 25

Medical Authorizations: Duly executed and acknowledged written medical authorizations, complying with the Health Insurance Portability and Accountability Act ( HIPAA ), 45 C.F.R. 164.508(a), (using attached form) permitting all parties to obtain and make copies of the records and notes including any intake sheets, diagnostic tests, X- Rays, MRI's and cat scan films, of all treating and examining hospitals, physicians and other medical professionals. MEDICARE DOCUMENTS Plaintiff is to serve, pursuant to CPLR 3120(1)(i), within thirty (30) days from the service of this demand, a complete and legible copy of: 1. Plaintiff s Medicare Insurance Card 2. All Medicare statements of conditional payments for medical treatment arising out of the incident which is the subject of this lawsuit. 3. Plaintiff s Social Security card. 4. All documents pertaining to Medicare benefits received for treatment provided to plaintiff for injuries and illness arising out of the incident which is the subject of this lawsuit. PRODUCTION OF RECORDS AND AUTHORIZATIONS Each plaintiff is to serve upon and deliver to us within thirty (30) days from the service of this demand duly executed, fully addressed and acknowledged written authorizations permitting all parties to obtain and make copies of each of the following: A. All workers' compensation records and reports of hearings pertaining to the incident alleged to have occurred in plaintiff's complaint maintained by the workers' compensation Board and workers' compensation carrier. 13 of 25

B. All records of present and past employment of plaintiff. C. All records in the no-fault file of any carrier issuing benefits to the plaintiff arising out of the incident alleged to have occurred in the complaint. D. All records of the Internal Revenue Service filed by the plaintiff for the calendar year prior to the date of the incident alleged in the complaint and for the two subsequent years. Please use IRS form 4506 and attach 2 copies of identification of the plaintiff, with photo and signature as required by the IRS. E. All records of schools attended by plaintiff. F. All records of each collateral source that has provided and/or in the future will be providing any payment or reimbursement for expenses incurred because of this incident. NAMES AND ADDRESSES OF ATTORNEYS Each adverse party is to serve on us, within thirty (30) days from service of this Demand, the names and addresses of all attorneys having appeared in this action on behalf of any adverse party. Medical Reports and Bills: Copies of the medical reports and bills of those health professionals who have previously treated or examined the plaintiff. Those reports shall include a detailed recital of the injuries and conditions as to which testimony will be offered at the trial, referring to and identifying those diagnostic tests and technicians' reports which will be offered at the trial. Medical Authorizations: Duly executed and acknowledged written medical authorizations, complying with the Health Insurance Portability and Accountability Act 14 of 25

( HIPAA ), 45 C.F.R. 164.508(a), (using attached form) permitting all parties to obtain and make copies of the records and notes including any intake sheets, diagnostic tests, X- Rays, MRI's and cat scan films, of all treating and examining hospitals, physicians and other medical professionals. MEDICARE DOCUMENTS Plaintiff is to serve, pursuant to CPLR 3120(1)(i), within thirty (30) days from the service of this demand, a complete and legible copy of: 5. Plaintiff s Medicare Insurance Card 6. All Medicare statements of conditional payments for medical treatment arising out of the incident which is the subject of this lawsuit. 7. Plaintiff s Social Security card. 8. All documents pertaining to Medicare benefits received for treatment provided to plaintiff for injuries and illness arising out of the incident which is the subject of this lawsuit. PRODUCTION OF RECORDS AND AUTHORIZATIONS Each plaintiff is to serve upon and deliver to us within thirty (30) days from the service of this demand duly executed, fully addressed and acknowledged written authorizations permitting all parties to obtain and make copies of each of the following: A. All workers' compensation records and reports of hearings pertaining to the incident alleged to have occurred in plaintiff's complaint maintained by the workers' compensation Board and workers' compensation carrier. B. All records of present and past employment of plaintiff. 15 of 25

C. All records in the no-fault file of any carrier issuing benefits to the plaintiff arising out of the incident alleged to have occurred in the complaint. D. All records of the Internal Revenue Service filed by the plaintiff for the calendar year prior to the date of the incident alleged in the complaint and for the two subsequent years. Please use IRS form 4506 and attach 2 copies of identification of the plaintiff, with photo and signature as required by the IRS. E. All records of schools attended by plaintiff. F. All records of each collateral source that has provided and/or in the future will be providing any payment or reimbursement for expenses incurred because of this incident. NAMES AND ADDRESSES OF ATTORNEYS Each adverse party is to serve on us, within thirty (30) days from service of this Demand, the names and addresses of all attorneys having appeared in this action on behalf of any adverse party. PLEASE TAKE FURTHER NOTICE THAT THESE ARE CONTINUING DEMANDS, and that each demand requires that an adverse party who acquires more than thirty (30) days from the service of this demand any document, information, or thing (including the opinion of any person whom the adverse party expects to call as an expert witness at trial) which is responsive to any of the above demands, is to give us prompt written advice to that effect; and, within thirty (30) days (but no less than sixty (60) days before trial), is to serve all such information on us and allow us to inspect, copy, test, and photograph each such document or thing. 16 of 25

PLEASE TAKE FURTHER NOTICE that we will object at trial, and move to preclude as to any adverse party who does not timely identify any witness, serve any report, or produce any document, information, or thing which is responsive to a discovery demand set forth in any of the ensuing paragraphs: A. From calling any event or notice witness not identified to us or medical expert whose reports have not been served on us; B. From calling any other expert witness whose identity, qualifications, and expected fact and opinion testimony (together with a summary of the grounds for each such opinion) have not been served on us; C. From putting in evidence any exhibit not served on us or produced for us to discover, inspect, copy, and photograph in accordance with any of the ensuing paragraphs; and 17 of 25

this action. D. From offering any other proof not timely disclosed pursuant to a court order in DATED: November 3, 2016 White Plains, New York Yours, etc., VARVARO, COTTER & BENDER Attorneys for Defendant HENRY LANIER 1133 Westchester Avenue, Suite S-325 White Plains, New York 10604 (914) 989-6650 By: Rose M. Cotter To: The Yankowitz Law Firm, P.C. Attorneys for Plaintiff, Omayra Miranda, as Administratrix of the Estate of Miguel A. Rivera 175 East Shore Road 3rd Floor Great Neck, New York 11023 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Hanover River House Inc. 65 Broadway, Suite 742 New York, New York 10006 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Tudor Realty Services Corp. 65 Broadway, Suite 742 New York, New York 10006 18 of 25

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX ------------------------------------------------------x OMAYRA MIRANDA, AS ADMINISTRATRIX OF THE ESTATE OF MIGUEL A. RIVERA A/K/A MIGUEL A. RIVERA FERNANDEZ, DECEASED, Index No.: 25545/16E DEMAND FOR VERIFIED BILL OF PARTICULARS Plaintiff, HANOVER RIVER HOUSE INC., TUDOR REALTY SERVICES CORP. AND HENRY LANIER, Defendants, ------------------------------------------------------x v. PLEASE TAKE NOTICE, Defendant, HENRY LANIER, by his attorneys, Varvaro, Cotter & Bender, demands pursuant to CPLR 3041-3044, that each Plaintiff furnish, within thirty (30) days of the date of this demand a Verified Bill of the following particulars: A. Liability Issues: 1. The legal name, address, date of birth and social security number of each plaintiff, 2. The date and approximate time of day of the alleged accident. 3. The location of the alleged accident. 4. (a) A statement of the acts or omissions constituting any negligence or other culpable conduct claimed against this defendant. (b) If breach of warranty is alleged, state whether said warranty was: i. expressed or implied; 19 of 25

ii. iii. iv. oral or written; if written, set forth a copy thereof; and if oral, state by whom and to whom the alleged warranty was made, specifying the time, place and persons in sufficient detail to permit identification. 5. If actual notice is claimed, a statement of when, by whom and to whom actual notice was given and whether such notice was in writing; also, if such notice was in writing, the statement is to include the name and address of anyone who has any copy of it. 6. If constructive notice is claimed, a statement of how long any allegedly dangerous or defective condition existed before the occurrence and who has first-hand knowledge of any such facts. 7. If any violation is claimed, a citation to each statute, ordinance, regulation, and other federal, state, or local rule which it is claimed that any defendant we represent has violated. 8. If any prior similar occurrence is claimed, a statement of its date, approximate time of day and approximate location. 9. If any subsequent repair or other remedial action is claimed, a statement of its date, approximate time of day, approximate location, who made such repair or took such other action and who has first-hand knowledge of either. B. Damage Issues: Personal Injury: 10. A statement of the injuries claimed to have been sustained by plaintiff as a result of the accident and a description of any injuries claimed to be permanent. 20 of 25

11. In any action under Ins. Law, 5104(a), for personal injuries arising out of negligence in the use or operation of a motor vehicle in this state, in what respect and to what extent any plaintiff has sustained: (a) (b) serious injury, as defined by Insurance Law,5102(b); economic loss greater than basic economic loss, as defined by Insurance Law, 5102 (a). 12. If plaintiff was treated at a hospital or hospitals, the name and address of each hospital and the exact dates of admission or treatment at each. 13. The name and address of all medical professionals that treated or examined plaintiffs with regard to the injuries claimed, and the exact dates of treatment received from each. 14. If loss of earnings is claimed, the name and address of plaintiff's employer, the nature of plaintiff's employment, and the exact dates that the plaintiff was incapacitated from employment. 15. A statement of the exact dates that each plaintiff was: (a) (b) (c) hospitalized; confined to bed; confined to house; 16. Total amounts each plaintiff claims as special damages for: (a) (b) (c) physicians' services; medical supplies loss of earnings to date, with the name(s) and address(es) of plaintiff's employer(s); 21 of 25

(d) loss of earnings in the future, stating how the figure was calculated; (e) (f) (g) hospital expenses; nurses' services; any other special damages claimed. 17. If any plaintiff claims loss of services, a statement of all such losses claimed, including the nature and extent of the lost services and all special damages claimed. 18. The name, address and amounts received from each collateral source that has paid or reimbursed plaintiff for any of the expenses incurred as a result of this accident. DAMAGE ISSUES: MEDICARE 19. Set forth plaintiff s Medicare Health Insurance number. 20. State whether plaintiff is receiving Medicare benefits. 21. In the event that plaintiff is not receiving any Medicare benefits, state whether plaintiff has received Medicare benefits in the past. 22. State when plaintiff first received any Medicare benefits. 23. In the event that plaintiff received Medicare benefits in the past, state when the Medicare benefits ceased. 24. State whether plaintiff received any Medicare benefits due to the injuries or illness arising out of the incident which is the subject matter of this lawsuit. 22 of 25

25. In the event that plaintiff has received Medicare benefits, due to treatment provided for injuries or illness arising out of the incident, which is the subject matter of this lawsuit, please state the amount received to date. 26. Identify any documents received pertaining to any Medicare benefits received for the treatment provided for the injuries or illness arising out of the incident, which is the subject matter of this lawsuit. 27. State the name, address and policy number of any additional medical insurance. 23 of 25

28. State all names that plaintiff has been known by or has used. DATED: November 3, 2016 White Plains, New York Yours, Etc., VARVARO, COTTER & BENDER Attorneys for Defendant HENRY LANIER 1133 Westchester Avenue, Suite S-325 White Plains, New York 10604 (914) 989-6650 By: To: Rose M. Cotter The Yankowitz Law Firm, P.C. Attorneys for Plaintiff, Omayra Miranda, as Administratrix of the Estate of Miguel A. Rivera 175 East Shore Road 3rd Floor Great Neck, New York 11023 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Hanover River House Inc. 65 Broadway, Suite 742 New York, New York 10006 Flynn, Gibbons & Down, Esqs. Attorneys for Co-Defendant, Tudor Realty Services Corp. 65 Broadway, Suite 742 New York, New York 10006 24 of 25

Index No.: 25545/16E SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX OMAYRA MIRANDA, AS ADMINISTRATRIX OF THE ESTATE OF MIGUEL A. RIVERA A/K/A MIGUEL A. RIVERA FERNANDEZ, DECEASED, Plaintiff, against HANOVER RIVER HOUSE INC., TUDOR REALTY SERVICES CORP. AND HENRY LANIER, Defendants, VERIFIED ANSWER TO COMPLAINT, NOTICE PURSUANT TO CPLR 2103, DEMAND FOR VERIFIED BILL OF PARTICULARS AND VARIOUS DISCOVERY DEMANDS VARVARO, COTTER & BENDER Attorneys for Defendant Henry Lanier 1133 Westchester Avenue, Suite S-325 White Plains, New York 10604 (914) 989-6650 25 of 25