Maldonado v. DePaloMaldonado v. DePalo
—Order, Supreme
A prior order granted plaintiffs’ motion for partial summary judgment on the issue of liability and directed an inquest upon plaintiffs’ filing of a note of issue. Such order was based on defendants’ failure to come forward with evidence tending to show they were not at fault for rear-ending plaintiffs’ vehicle, without mentioning the issue of serious injury. Defendants did not appeal this order or seek to reargue it before the IAS Court. Instead, almost three months after receiving the note of issue, defendants moved to vacate the note of issue and reinstate their answers. The IAS Court denied the motion, ruling that its prior order finally resolved the issue of serious injury in favor of plaintiffs and limited defendants to contesting only the amount of damages to be awarded at the inquest. Such was indeed the effect of the order. Serious injury is a “threshold” issue (see, Licari v Elliott,