Lam v. DongLam v. Dong
Defendants established their entitlement to judgment as a matter of law by submitting affirmed medical reports of an orthopedist and a neurologist who concluded that plaintiff did not sustain a “permanent consequential limitation of use” or “significant limitation of use” of his head, neck or left knee (
In opposition, plaintiff failed to raise a triable issue of fact. He presented an affirmed report of his orthopedist, who found limited ranges of motion in the neck and left knee over one year after the accident, and concluded that the injuries were causally related to the accident. However, absent admissible contemporaneous evidence of alleged limitations, plaintiff cannot raise an inference that his injuries were caused by the accident (see
Dismissal of plaintiffs 90/180-day claim was also appropriate, since plaintiff failed to raise a triable issue of fact as to causation or submit medical proof in support of the claim (see Amamedi v Archibala, 70 AD3d 449, 450 [2010], lv denied 15 NY3d 713 [2010]; Valentin v Pomilla, 59 AD3d 184, 186-187 [2009]). Concur—Saxe, J.P, Catterson, Acosta, Abdus-Salaam and Román, JJ.