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IN THE UNITED STATES DISTRICT COURT FOR THE
EASTERN DISTRICT OF NEW YORK
UNITED STATES OF AMERICA,
Plaintiff, CASE NO. CV 92-5146
vs
COUNTRY CLUB GARDEN OWNERS
ASSOCIATION, INC.
Defendant.
PLAINTIFF'S FIRST SET OF INTERROGATORIES TO DEFENDANT
TO: Barry L. Warren, Esq.
Cohen & Warren, P.C.
80 Maple Ave.
P.O. Box 768
Smithtown, N.Y. 11787-0768
Country Club Garden Owners Association, Inc., defendant herein, is
hereby requested to answer within 30 days the following Interrogatories, in
writing and under oath, pursuant to Rule 34, Fed. R. Civ. P.
For purposes of these Interrogatories, the terms "identify" and
"set
forth the identity of" are defined as follows:
- when used in reference to a natural person, they mean to state the
person's
full name, current residence and business addresses, current residence and
business telephone numbers and, if applicable, his or her title, dates of
employment, and job description. If current addresses are unknown, provide
the
last known business and residence address;
- when used in reference to a document, they mean to state the type of
document (e.g., letter, memorandum, telegram, chart, etc.), its author and
originator, its date or dates, all addressees and recipients, and its
present
location or custodian. If any such document was but is no longer in your
possession or subject to your control, state what disposition was made of
it,
including the date that it left your possession or control and identify the
person to whom you transferred it.
- In the event an interrogatory is objectionable in part, the
unobjectionalbe portion of the interrogatory must be answered, pursuant to
Rule
33, Fed. R. Civ. P.
- The term "in your possession," as used herein, refers to any
document
contained in any file or archive maintained by the Board or an officer
thereof;
in the possession of any present or former member of Defendant's Board of
Directors; or in the possession of any entity which performs management
services
on behalf of the Board, or of any individual now or formerly employed by
such
entity.
- The term "Board" refers to the Board of Directors of the defendant
Country Club Garden Owners Association, Inc.
- The term "242 Farber Drive" refers to the cooperative apartment at
that
address owned by Joseph and Josephine Palasciano.
- INTERROGATORY NO. 1: Please describe the form of organization of
defendant, with reference to the provision of New York or other law pursuant
to
which defendant is organized, and set out the date on which defendant was
organized.
INTERROGATORY NO. 2: Please identify each person who is now a
member
of the Board, or has been a member since January 1, 1983, and set out the
inclusive dates of each such person's service on the Board.
INTERROGATORY NO. 3: Please identify the organization or individual
which
sold 242 Farber Drive to Joseph and Josephine Palasciano ("seller"), and the
date
on which the contract of sale was executed.
INTERROGATORY NO. 4: Please state whether any real estate marketing
firm
or individual represented seller in connection with such sale. If so,
please
identify such firm and each representative or representatives of such firm
who
dealt directly with Joseph and Josephine Palasciano in connection with the
sale.
INTERROGATORY NO. 5: Please state whether, at or about the time of
the
sale, Joseph or Josephine Palasciano had any discussion with any
representative
of defendant, or of any organization identified in response to the
foregoing
Interrogatory, with respect to Mr. and Mrs. Palasciano's desire to
construct
temporary steps giving access from the rear deck of 242 Farber Drive to the
adjacent parking lot. If so, please set out the substance of those
discussions,
and identify any document which memorializes or refers to such discussions.
INTERROGATORY NO. 6: Please state whether any representative of
defendant
ever communicated with Joseph or Josephine Palasciano, prior to 1989,
regarding
the temporary steps referred to in the foregoing Interrogatory. If so,
please
state the substance of such communication and when and in what form such
communication was made and identify each person who was present, and
identify all
documents referring to or memorializing such communication.
INTERROGATORY NO. 7: Please state whether the Board or any
representative
thereof received at any time a complaint from any person regarding the
temporary
steps referred to in the foregoing Interrogatory. If so, please state when
and
in what form such complaint was made and identify each person who made it,
describe the substance of the complaint, state what if any action defendant
took
in response, and identify all documents referring to or memorializing such
complaint or any discussion of such complaint by the Board.
INTERROGATORY NO. 8: Please state at what meeting or meetings the
Board
discussed a proposal to replace rear decks at Country Club Garden, including
that
at 242 Farber Drive, describe the substance of all such discussions, and
identify
all minutes or other document which refer to such proposal.
INTERROGATORY NO. 9: Please state whether the temporary steps referred
to
in Interrogatory No. 3 were discussed at any meeting of the Board, and if
so,
state who was present at each such meeting, describe the substance of such
discussions, and identify all minutes or other document which refer to such
proposal.
INTERROGATORY NO. 10: Please state whether the Board, or any committee
or
representative thereof, decided not to permit Mr. and Mrs. Palasciano to
reconstruct the temporary steps after the construction of a new deck at 242
Farber Drive. If so, please state the date of and reasons for such
decision,
identify the persons who participated in reaching it, and identify all
documents
in defendant's possession which memorialize or refer to such decision or
the
discussions which led to it.
INTERROGATORY NO. 11: If the answer to the foregoing Interrogatory is
affirmative, please state when, in what manner and by whom the decision was
communicated to Mr. and Mrs. Palasciano, and identify any documents which
make
or memorialize such communication.
INTERROGATORY NO. 12: Please state whether the Board, or any committee
or
representative thereof, decided during 1989 to paint over the markings
designating a handicapped parking space adjacent to the rear of 242 Farber
Drive.
If so, please state the date of and reasons for such decision, the date on
which
it was carried out, identify the persons who participated in reaching it,
and
identify all documents in defendant's possession which memorialize or refer
to
such decision or the discussions which led to it.
INTERROGATORY NO. 13: If the answer to the foregoing Interrogatory is
affirmative, please state when, in what manner and by whom the decision was
communicated to Mr. and Mrs. Palasciano, and identify any documents which
make
or memorialize such communication.
INTERROGATORY NO. 14: Please state, with respect to each of the
following
documents, whether it was communicated by the recipient to the Board or a
member
thereof; if so, the date and manner of the communication; whether the Board
discussed the contents of the document at a meeting; and what action, if
any,
defendant took in response to the document. (Each of the documents in
question
has been previously furnished to defendant, and is referred to below by a
tab
number assigned to it by the Department of Housing and Urban Development
pursuant
to its investigation of this matter.)
- Undated, handwritten letter on "Hearts" notepaper, addressed to "Marie
Mallon" and signed by "J[oseph] Palasciano." [Tab B-6]
- Undated, handwritten letter on "Hearts" notepaper, addressed to "Mr.
Goldstein" and signed by "Mr. and Mrs. Palasciano," and enclosing two
photographs
of the rear of 242 Farber Drive. [Tab B-6]
- Letter dated August 31, 1989, to "Mr. Goldstein" of Total Community
Management from Kleo J. King, Esq. of the Eastern Paralyzed Veterans
Association.
[Tab B-7]
- Letter dated September 14, 1989, to "Mr. Goldstein" of Total Community
Management from Kleo J. King, Esq., enclosing a copy of a letter from
Joseph
Ransohoff, M.D. addressed "To whom it may concern"; a copy of a letter from
Dr.
Ransohoff to Donald Holzer, M.D.; and a drawing showing a front and side
view of
a proposed flight of steps leading from the rear deck of 242 Farber Drive.
[Tab
B-10]
- Letter dated September 14, 1989, to Michael Cohen, Esq. from Kleo J.
King,
Esq. [Tab B-11]
- Letter dated October 16, 1989, to Michael Cohen, Esq. from Kleo J. King,
Esq.
[Tab B-12]
- Letter dated October 23, 1989, to Michael Cohen, Esq. from Kleo J. King,
Esq.
[Tab B-16]
- Letter dated November 1, 1989, to Michael Cohen, Esq. from Kleo J.
King,
Esq., enclosing letter addressed "To whom it may concern" from Gerald
Goldberg,
M.D., and various medical records pertaining to Josephine Palasciano. [Tab
B-13]
INTERROGATORY NO. 15: Please identify each document which
memorializes
any discussion held or action taken by the Board with respect to any of the
communications described in the forgoing Interrogatory.
INTERROGATORY NO. 16: Please state whether it is defendant's
contention
the construction of steps from the rear deck of 242 Farber Drive,
perpendicular
to the long axis of the building, as requested by Mr. and Mrs. Palasciano,
would
have imposed any administrative burden or expense on defendant. If your
answer
is in the affirmative, please describe fully the nature of each such
anticipated
burden or expense.
INTERROGATORY NO. 17: Please set forth each and every respect in which
the
defendant believes or believed that allowing the construction of steps as
described in the foregoing Interrogatory would have caused a hardship,
burden,
or detriment to defendant or to any resident of Country Club Garden.
INTERROGATORY NO. 18: With respect to each alleged hardship, burden,
or
detriment identified in your answer to Interrogatory No. 17, describe in
full
every fact, survey, or study on which defendant relied in concluding that
such
hardship, burden, or detriment was likely to take place.
INTERROGATORY NO. 19: Please set out each and every reason, not
described
in the answers to Interrogatories Nos. 16-18, for which defendant, at any
time,
refused the request of Mr. and Mrs. Palasciano to construct steps
perpendicular
to the long axis of the building from the rear deck of 242 Farber Drive.
Describe in full every fact, survey, or study on which defendant relied in
concluding that the request should not be granted for such reason.
INTERROGATORY NO. 20: Please state whether the defendant has in its
possession, or is aware of, any evidence which tends to show that Josephine
Palasciano is not now handicapped within the meaning of 42 U.S.C.
(h),
or that she was not handicapped at any time since January 1, 1989. If so,
please
fully describe such evidence, and identify each person whose testimony may
comprise such evidence.
INTERROGATORY NO. 21: Identify each liability insurance policy held
by
Defendant which may indemnify Defendant for the claim asserted in this
action.
State any dollar limitation on the amount of each such policy's coverage.
INTERROGATORY NO. 22: Please identify each person who has not
previously
been identified in your answers to these Interrogatories who has
information
pertaining to the subject matter of this action, and summarize the
knowledge
possessed by each such person.
__________________________
Harvey L. Handley III
Attorney
Housing and Civil Enforcement Section
Civil Rights Division
Department of Justice
Washington, D.C. 20035
(202) 514-4756
[cited in
Civil Rights Resource Manual 60]
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