117.
Sample Complaint
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BK 3869
IN THE UNITED STATES DISTRICT COURT FOR THE
EASTERN DISTRICT OF NEW YORK
UNITED STATES OF AMERICA,
Plaintiff,
v. CIVIL ACTION NO.:
CADMAN TOWERS, INC.;
And SYDELLE LEVY,
Defendants.
COMPLAINT
The United States of America alleges:
- This Court has jurisdiction over this action pursuant to 28
U.S.C.
and 42 U.S.C. (o).
- This action is brought by the United States of America on behalf of
Phyllis
E. Shapiro pursuant to 𨾄(o) of the Fair Housing Act, as amended, 42
U.S.C.
(o).
- The defendant Cadman Towers, Inc., is a cooperative housing
corporation,
incorporated under the laws of the State of New York and operated through
its
Board of Directors. The corporation owns and operates two buildings,
collectively known as Cadman Towers in Brooklyn, New York, in the Eastern
District of New York. One building is located at 10 Clinton Street and has
121
dwellings and 136 garage parking spaces; the other building is located at
101
Clark Street, and has 302 dwellings and 66 garage parking spaces.
- The defendant, Sydelle Levy, is President of the Board of Directors.
- The units in Cadman Towers are dwellings within the meaning of 42
U.S.C.
§(b).
- Phyllis E. Shapiro resides in an apartment at 101 Clark Street, in
Cadman
Towers.
- Since 1975, Ms. Shapiro has suffered from Multiple Sclerosis ("MS") and
is
a "handicapped person," as defined by 𨽺(h) of the Fair Housing Act,
as
amended, 42 U.S.C. (h).
- On or about June 11, 1992, Phyllis E. Shapiro filed a housing
discrimination
complaint with the United States Department of Housing and Urban
Development
(hereinafter referred to as "HUD"), pursuant to 𨾂(a) of the Fair
Housing
Act, as amended, 42 U.S.C. (a). In her complaint, Ms. Shapiro
alleged
that Defendant Cadman Towers, Inc., discriminated against her on account of
her
handicap by refusing from on or about May 1, 1992 and continuing until the
time
of her complaint to provide her a parking space at 101 Clark Street in
Cadman
Towers. Provision of a parking space to Ms. Shapiro was necessary to afford
her
equal opportunity to use and enjoy her dwelling.
- On or about November 24, 1992, Ms. Shapiro amended her HUD complaint
to
include Sydelle Levy, President of the Board of Directors of Cadman Towers,
Inc.,
as a respondent.
- Pursuant to the requirements of 42 U.S.C. §(a) and (b),
the
Secretary of HUD (hereinafter referred to as "Secretary") conducted an
investigation of Ms. Shapiro's complaint, attempted conciliation without
success,
and prepared a final investigative report. Based on the information
gathered in
this investigation, the Secretary, pursuant to 42 U.S.C. (g)(1),
determined that reasonable cause exists to believe that the discriminatory
housing practices alleged by Ms. Shapiro had occurred.
- On November 29, 1993, the Secretary issued a Determination of
Reasonable
Cause and Charge of Discrimination, pursuant to 42 U.S.C.
(g)(2)(A),
charging that Cadman Towers, Inc. and Sydelle Levy engaged in
discriminatory
housing practices in violation of the Fair Housing Act, as amended.
- On December 8, 1993, Ms. Shapiro elected to have the charge resolved in
a
federal civil action pursuant to 42 U.S.C. (o).
- On December 8, 1993, the Secretary, through HUD's General Counsel,
authorized
the Attorney General to file this action on behalf of Phyllis E. Shapiro,
pursuant to 42 U.S.C. (o)(1).
- Ms. Shapiro requested a parking space as a reasonable accommodation
which was
necessary, in light of her handicap, to afford her an equal opportunity to
use
and enjoy her dwelling. The defendants denied that request. By refusing
to
provide Ms. Shapiro a parking space at 101 Clark Street, in Cadman Towers,
Defendants violated 𨽼(f)(3)(B) of the Fair Housing Act, as amended,
42
U.S.C. (f)(3)(B), in that they refused to make a reasonable
accommodation in their rules, policies, practices, or services, when such
an
accommodation was necessary to afford Ms. Shapiro equal opportunity to use
and
enjoy a dwelling.
- As a result of Defendants' conduct as described above, Ms. Shapiro has
suffered damages.
- The discriminatory actions of Defendants were intentional, willful, and
taken
in disregard for the rights of Ms. Shapiro.
WHEREFORE, the United States of America prays that this Court enter an
ORDER that:
- Declares that the discriminatory housing practices of Defendants, as
set
forth above, violated the Fair Housing Act, as amended, 42 U.S.C.
§-3619;
- Requires defendants to provide Ms. Shapiro a garage parking space on
the
first floor of the garage at 101 Clark Street, Cadman Towers, which is
wheel-chair accessible;
- Enjoins Defendants, their agents, employees, and successors, and all
other
persons in active concert or participation with any of them, from:
- discriminating on the basis of handicap against any person in
any
aspect of the sale or occupancy of a dwelling; and
- failing or refusing to notify the public that all dwellings made
available
for rental by Defendants are available to all persons on an equal
opportunity
basis;
- Awards such damages as will fully compensate Ms. Shapiro for injuries
caused
by Defendants' discriminatory conduct, pursuant to 42 U.S.C. (o)(3)
and
42 U.S.C. (c); and
- Awards punitive damages to Phyllis E. Shapiro pursuant to 42 U.S.C.
(d)(1)(B) and 42 U.S.C. (c).
- The United States further prays for such additional relief as the
interests of justice may require.
JANET RENO
Attorney General
_____________________
ZACHARY CARTER
United States Attorney
JAMES P. TURNER
Acting Assistant Attorney General
_____________________
GARY BROWN
Asst. United States Attorney
1 Pierrepont Plaza
11th Floor
Brooklyn, New York 11201
(718) 330-7000
PAUL F. HANCOCK
Chief, Housing and Civil
Enforcement Section
______________________
ISABELLE M. THABAULT
BARBARA KAMMERMAN
Attorneys
Housing and Civil
Enforcement Section
Civil Rights Division
U.S. Department of Justice
P.O. Box 65998
Washington, D.C. 20035
(202) 514-1006
[cited in
Civil Rights Resource Manual 60]
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