· 5/15/1883
Brooks v. New York & Greenwood Lake Railroad
Citations
- 37 N.Y. Sup. Ct. 47
How courts have described this case
Verbatim parenthetical descriptions written by other courts when citing this decision. Ranked by citation-network relevance.
- leave to amend liberally “subject to the qualification that any amendment may not introduce a new cause of action after the statute of limitations has run its course”
- where a plaintiffs cause of action was implicit in the original complaint, plaintiff could amend complaint after the statute of limitations period had run to amplify original claim as long as the defendant was not prejudiced
- intervening negligence of third party
- intervening negligence of third party
- intervening negligence of third party
Source: CourtListener parenthetical corpus (CC0).
Judges: Daniels, Davis
Read full opinion on CourtListenerSourced from CourtListener / Free Law Project (CC0).
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