Mitchell v. Town of GreenburghMitchell v. Town of Greenburgh
In a proceeding pursuant to
Ordered that the order is reversed insofar as appealed from, on the law and the facts, and that branch of the petition which was for leave to serve a late notice of claim upon the Town of Greenburgh is denied.
In determining whether to grant an application for leave to serve a late notice of claim, the key factors that the court must consider are whether the public corporation acquired actual knowledge of the essential facts constituting the claim within 90 days after the claim arose or a reasonable time thereafter, whether the claimant made an excusable error concerning the identity of the public corporation, whether the delay would substantially prejudice the public corporation in its defense, and whether the claimant demonstrated a reasonable excuse for the failure to serve a timely notice of claim (see
The petitioner contends that the Town of Greenburgh acquired timely, actual knowledge of the facts constituting the claim by reason of an incident report that she filed with the Town of Greenburgh Police Department 21 days after the incident. The fact that the Town of Greenburgh Police Department
In addition, the petitioner failed to demonstrate a reasonable excuse for her 31/2-month delay in retaining an attorney.
Finally, the petitioner failed to establish that the Town would not be prejudiced by the eight-month delay, after the accident, in seeking leave to serve a late notice of claim (see Matter of Khalid v City of New York, 91 AD3d at 780; Matter of Valentine v City of New York, 72 AD3d 981, 982 [2010]; Matter of Felice v Eastport/South Manor Cent. School Dist., 50 AD3d 138, 153 [2008]; Matter of Aguilar v Town of Islip, 294 AD2d 358, 359 [2002]).
Accordingly, the Supreme Court should have denied that branch of the petition which was for leave to serve a late notice of claim on the Town.
Angiolillo, J.P., Florio, Leventhal and Lott, JJ., concur.