Marcellus v. Forvarp
Opinion of the Court
Defendants established their entitlement to judgment as a matter of law by showing that the injuries plaintiff sustained to her right shoulder were not serious within the meaning of Insurance Law § 5102 (d). Defendants submitted evidence showing that plaintiff had previously injured her right shoulder in a 2004 accident, including her surgeon’s operative report and an MRI report finding degenerative changes in the shoulder, and the affirmed report of their orthopedic expert who found full range of motion and opined that any right shoulder injury had fully resolved postoperatively (see McArthur v Act Limo, Inc., 93 AD3d 567 [1st Dept 2012]).
In opposition, plaintiff failed to raise a triable issue of fact. Although plaintiff submitted medical evidence of recent limitations and MRI findings of right shoulder injuries, she failed to show such injuries were caused by the 2008 accident. In conclud
Dismissal of the 90/180-day claim was warranted in light of plaintiffs bill of particulars and deposition testimony wherein she alleged that she was confined to home for several days, and missed just four days of work after the accident (see Cruz v Rivera, 94 AD3d 576 [1st Dept 2012]).
The court properly denied leave to renew since plaintiffs new evidence of contemporaneous limitations did not address the causation issue, and thus would be insufficient to defeat summary judgment. Concur — Gonzalez, P.J., Mazzarelli, Acosta and Román, JJ
Case-law data current through December 31, 2025. Source: CourtListener bulk data.