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HomeMy WebLinkAbout2439 ~ ~ ~ _ _`f Y • . ~ T" r t _ia.. v.a ~i.•..+-~,~-. +,rr-r ~ ~~..s- . ~~'3C ...~~~•~--r~w...u. ~=_s t.-.1--+.j_a.~i. - a._,• .r.~ ...-1~-,. ~ at.. _ _ .a~~. - - _ _ (h) That a copy of the policy has been furnished to the Plaintiff and a copy thereof filed with the court. (i) The Defendant admits that the Plaintiff was the owner of the insured property on the date of the fire in question, and that the building and contents insured under its policy were to- tally destroyed by fire. The Defendant further admits that the policy was duly issued, but was voided by the actions of the Plaintiff des- cribed above. (j) The Plaintiff admits that he had been advised by the daughter of an ex-girlfriend that property of his might be burned during the week following the call. This information was not fur- nished to the insurance company. (k) The Plaintiff admits that he had a person stay in the building overnight during the week covered in the above statement, and stopped after the end of that week. (1) That-the value of the real property lost resulting from the fire exceeds the policy limits. (2) EVIDENCE. Documentary and other evidence listed and presented at the Pre-Trial Conference shall be admitted into evidence without objection except as hereinbelow reserved. PLAINTIFF NO DESCRIPTION OBJEC~~I~ ¢ 1 Insurance policy, a copy of which has been filed. None 2 Proof of Loss furnished by Aetna, being Exhibit B of the. Complaint. None 3 Proof of Loss furnished by Aetna, being Exhibit I of the Complaint. None 4 Letter on behalf of Aetna, being Exhibit J of the Complaint. None 5 Telegram on behalf of Aetna, being Exhibit R of the Complaint. None 6 Various documents from Roblegard Agency file relating to the transaction, copies of which were attached to deposition of Dudley Skaggs. None 7 Binder•and receipt. None 8 Refund check and cancellation notice. None 9 Business records not burned, copies of - which were displayed at Rochester statement. None r~2433