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By successfully filing your claim, you have certified that all information provided is true and correct to
the best of your knowledge and belief. You also understand that the willful making of any false
statement of material fact herein may subject you to criminal penalties and civil liabilities.
201800042196
You uploaded:
Claim Form: 1
Supporting Documents:1
3/15/2018 11:34 AM
Claimant Last Name:Kenny
Claimant First Name:Cathleen
Office of the New York City Comptroller
1 Centre Street
New York City Comptroller
New York, NY 10007
Scott M. Stringer
Form Version: NYC-COMPT-BLA-PI1-D
Phone:
*Email Address:
*Retype Email
Address:
Occupation: Flight Attendant
City Employee? Yes No ()NA
Gender Male G Female 0 Other
Address:
Address 2:
City:
*State: NEW YORK
Borough: STATEN ISLAND (RICHMOND)
*Manner in which
claim arose: -SEE ATTACHED-
The items of $15 Million Dollars (Pain and Suffering, Mental Anguish and Punitive Damages)
damage or injuries
claimed are
(include dollar
amounts):
Office of the New York City Comptroller
1 Centre Street
New York City Comptroller
New York, NY 10007
Scott M. Stringer
Address: Address
Address 2: Address 2:
City: City:
State: State:
Zip Code: Zip Code: Phone:
Date Treated in Format: MM/DD/YYYY
Witness 2 Information
Emergency Room:
Was claimant taken to hospital by 0 Yes 0 No 0 NA Last Name:
an ambulance?
First Name:
Employment Information (If claiming lost wages) Address
Employer's Name: Address 2:
Address City:
Address 2: State:
City: Zip Code: Phone:
State:
Witness 3 Information
Zip Code:
Last Name:
Work Days Lost:
First Name:
Amount Earned
Weekly: Address
Address 2:
Treating Physician Information
City:
Last Name:
State:
First Name:
Zip Code: Phone:
Address:
Address 2:
City:
State:
Address Address
Address 2: Address 2:
City: City:
State: State:
Zip Code: Zip Code:
City:
City vehicle information
State:
Plate #:
Zip Code:
Policy #:
0 Motorcyclist ® Other
The Total Amount Claimed can only be entered once the following
required fields are entered:
I certify that all information contained in this notice is true and correct to the best of my knowledge and belief I understand that the willful
making of any false statement of material fact herein will subject me to criminal penalties and civil liabilities.
Claimant alleges she is legally married to Respondent CHRISTOPHER MONAHAN, as a
Captain assigned to the Police Department City of New York.
Claimant alleges since March 28, 2014, Respondent CHRISTOPHER MONAHAN has subjected
her and her minor children to violent drunken outbursts and verbal assaults culminating with her
'false arrest' on February 24, 2017, that was ultimately DISMISSED.
Claimant alleges Respondent CHRISTOPHER MONAHAN, is a Vice President with the NYPD
Captains Endowment Association. He, along with the entire Board of Directors are on release
time as Captains of Police (with other designations), Police Department City of New York
compensated with taxpayer and membership monies.
Claimant alleges Respondents' CITY OF NEW YORK and JAMES P. O'NEILL are fully aware
Respondents' ROY RICHTER and CHRISTOPHER MONAHAN and other members of the
Board of Directors are engaging in such conduct prejudicial to the good order of the department
but, fails to discipline them aka 'White Shirt Immunity.'
Claimant alleges since March 28, 2014, she and her minor children are the victims of domestic
violence and related police abuses.
Claimant alleges Respondents' CITY OF NEW YORK, ROY RICHTER, members of the Board
of Directors and their agents failed to follow paragraph (c) of subdivision 4 of Section 140.10 of
the Criminal Procedure Law (Primary Physical Aggressor).
Claimant alleges Respondents' CITY OF NEW YORK and JAMES P. O'NEILL'S repeated
failures to arrest, discipline and terminate Respondent CHRISTOPHER MONAHAN and his
agents caused them irreplaceable harm.
Claimant alleges despite Respondents' CITY OF NEW YORK and JAMES P. O'NEILL'S direct
knowledge of Respondent CHRISTOPHER MONAHAN'S criminal conduct, he wasn't
suspended, arrested and terminated.
Claimant alleges from March 28, 2014 through March 2, 2017, she and her minor children
endured Respondent CHRISTOPHER MONAHAN'S sporadic violent drunken outbursts, verbal
and physical assaults. Over the same time period, Respondent CHRISTOPHER MONAHAN
regularly returned to the martial home drunk bragging how he's 'banging 3 women on the side.'
Claimant alleges on or about January 19, 2017, with a divorce petition pending before the
Supreme Court of the State of New York, County of Richmond, the Honorable Catherine M.
DiDomenico presiding, she requested an Order of Protection against Respondent
CHRISTOPHER MONAHAN.
Claimant alleges Judge DiDomenico denied her request for an Order of Protection because 'she
didn't want to create a hardship for his position with the police department.'
Claimant alleges on or about January 30, 2017, in violation of Judge DiDomenico's 'Order,'
Respondent CHRISTOPHER MONAHAN was drinking alcohol inside of the marital home.
Claimant alleges she filed a Domestic Incident Report (DIR) with the 120th Precinct.
Claimant alleges on or about February 24, 2018, Respondent RICHARD DINKLE despite
having information Respondent CHRISTOPHER MONAHAN provided 'false' information to
the police, 'falsely arrested' her for Assault in the third degree.
Claimant alleges after 9 hours or so in custody, she was Released on Her Own Recognizance
(ROR).
Claimant alleges on or about March 1, 2017, based upon the 'false arrest' initiated by
Respondent CHRISTOPHER MONAHAN after conspiring with Respondents' EBONY
WASHINGTON, MELISSA EGER, ROBERT BOCCHINO and RICHARD DINKLE her
Global Entry Program Membership was 'REVOKED.'
Claimant alleges on or about March 2, 2017, one of the minor children accused Respondent
CHRISTOPHER MONAHAN of Assault in the third degree.
Claimant alleges shortly thereafter, members of the Internal Affairs Bureau received information
that Respondent CHRISTOPHER MONAHAN wasn't assaulted.
Claimant alleges despite information from a direct eyewitness there was no assault, Respondents'
CITY OF NEW YORK and JAMES P. O'NEILL failed to suspend and arrest Respondent
CHRISTOPHER MONAHAN for Falsely reporting an incident in the third degree.
Claimant alleges from March 1, 2017 through May 23, 2017, each time she traveled, she would
be detained by the United States Customs and Border Protection due to the 'false arrest.'
Claimant alleges on or about March 23, 2017, based upon the 'false arrest' initiated by
Respondent CHRISTOPHER MONAHAN after meeting with Respondents' EBONY
WASHINGTON, MELISSA EGER, ROBERT BOCCHINO and RICHARD DINKLE her
employer determined she was ineligible for travel into Canada which restricts entry to persons
accused of crimes.
Claimant alleges at the time, her employment as a 22-year veteran international flight attendant
was in jeopardy due to the 'false arrest.'
Claimant alleges on or about May 23, 2017, all criminal charges were DISMISSED and records
sealed under Section 160.50 (c) of the Criminal Procedure Law.
Claimant alleges to this day, due to the criminal acts of Respondents' CITY OF NEW YORK;
JAMES P. O'NEILL; EBONY WASHINGTON; MELISSA EGER; ROBERT BOCCHINO;
ROY RICHTER; RICHARD DINKLE and their agents, she continues to suffer from loss of
compensation and acute emotional distress.