Trautman v. StateTrautman v. State
Contrary to the claimants’ contention, the State demonstrated that its delay in implementing Project Identification Number (hereinafter PIN) 0051.21, instituted by the New York State Department of Transportation (hereinafter DOT) in 1968, to correct various deficiencies along an 11.4-mile section оf the Grand Central Parkway, inclusive of the Kew Gardens interchange, "stemmed from a legitimate ordering of priorities with other projects based on the availability of funding” (Freidman v State of New York,
Furthermore, there was a reasonable basis for the State’s determination in 1977 to amend the scope of the project to include only a 4.5-mile segment on the eastern side of the Union Turnpikе overpass, not including the Kew Gardens interchange. The Scope Change Report indiсated that the budgetary allocation for the project was insufficient for the 11.4-mile length of the Parkway originally contemplated. The State showed that its decision to narrow the sсope of the project was part of a reasonable plan of governmеntal services (see, Friedman v State of New York, supra, at 286), and that it had duly taken into account traffic conditions, as well as fiscаl practicability (Gutelle v State of New York, supra, at 795; Tomassi v Town of Union, supra; Weiss v Fote,
This court’s recent decision in Ames v City of New York (
We have examined the claimants’ rеmaining contentions and find them to be without merit. Kunzeman, J. P., Sullivan, Lawrence and Balletta, JJ., concur.