cnvh petition to ag schneiderman 7 of 7

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  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    1/85

    Coa.1it:i~

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    2/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511{a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room incompliance with NY State law and the needs of the lower West Side of Manhattan. and New YorkState.Inspecific, under New York State N-PCL Section511(a)-(b) St. VIncent's is required to serve you with notice of the saletransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(e)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said TIThe closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve." and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. 11This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    . { ) ( 0 !~ f

    ,\.1. \ c .Coalition for aNew ViilageHospita1304 Park Ave. S.# 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    3/85

    Petition to N .ew York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of 81. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. 1/This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    ZIPCODE

    / G ~ " ICoalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemanriAHospitaLblogspot.com

    /1

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    4/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. ttThis is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    ZIPCODE

    \ ~ ~Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    5/85

    Petition to N .ew York State Attorney GeneralThe Honorable Eric T (> SchneidermanWE THE UNDERSIGNED callupon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale ofthe former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL SectionSl l (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of 81.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " an d "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. II TIlls is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of afull service. hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAMoE ZIPCODE

    IL . Coa li ti on f or a N ew VillageHospital 304 P ark A ve. S. # 2 06 , N ew y ork, NY 10010 DemandAHosp it aLblog spo t. com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    6/85

    , ... :' :Pctltionto New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale ofthe former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with anemergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) S1.Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is forconsideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501 (c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IIThis is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE ZIPCODERINT NAMEl\!j!(

    i)'/

    ff ./ r:/ .. ,.)/:~,_j()

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.hlogspotcom

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    7/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the fanner St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL SectionSl Ifaj-Ib) St. Vincent's is required to serve you with notice of the saltransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501 ( c) 3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said 'The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities a/New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side 0/Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality." .This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely.

    SIGNATURE PRINT NAME ZIPCODE( () C / /

    / (i ,'-~(( I l~~_

    /O f) l 2~,ri

    Coalition for a New Village Hospital 304 Park Ave. S. #206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    8/85

    Petition toNew York State Attorney GeneralThe Honorable Er.ic T$Schneiderman\\IE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former 8 1 . Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of th e saletransaction, an d under Section 51 1(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale an d the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood. entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME ZIPCODE

    ~. . _ _ ; / ,/Coalition for a New Village Hospital 304!ParkAve. S.# 206, NewYork, NY 10010 Dcmandaflospital.biogspot.com1

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    9/85

    Petition to New York State Auorney GeneralThe Honorable Eric T..Schneiderman'WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 51l(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Sectiort511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 51 1 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve." and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IIThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.

    \. Sincerely,SIGNATURE PRINT NAME ZIPCODE

    i

    . . . . . , . . . . _i t .ir~r A ., ' ) , , _ . . . . . . . . -

    ( ,. II !1 ' ,

    Coalition for aNew VillageHospital 304 Park Ave. S. # 206, New York , NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    10/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section S11(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Sectiort511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is inthe best interests of the community.We also believe that this sale does not comply with the provisions of501(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality, IIThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME ZIPCODE

    ,f ( ) I (/Coalition for a New VillageHospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspotcom

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    11/85

    Petitio~~to New York State A""Jrney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCJ'_-Section 51 1(a)-(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section S11(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is inthe best interests of the community.We also believe that this sale does not comply with the provisions of 5 0 1 (c )3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. "and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. trThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    ZIPCODEIGNATURE

    // j7o ; I~~ io~or a New Village Hospital 304 Park Ave. S. # 206, N e w York, NY 10010 DemandAHospita1.blogspot.com( - " , - , / -

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    12/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority inc1udingNew YorkState N-PCL Section 511(a)-(b) and Section 511(a)( 4) to block the sale of the fanner St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 51l(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, M r. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. rr and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /IThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE ZIPCODERlNTNAME

    , ,j)1 )

    /lef(

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    13/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 51 1(a)-(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow/orGreenwich Village, Chelsea and the entire West Side 0 /Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities a/New Yorkers will go without the adequate healthservices they deserve. "and "The bottom line is: the west side a/Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IfThis is your opportunity to in fact ensure that reality and fulfill your campaign promise, We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    100 \ \i 1i I

    l)

    ,0\\

    J - _ : : : : : . . : : > c. .~_r'-."""Coalition for a\ew Village Hospita1J 3~ Park Ave~s. # 206, J e w .

    "'~ ""- '.~~ \ < '

    xrk, NY lOOI~)DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    14/85

    Petition to New York State Attorney GeneralThe Honorable Eric T~SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the satransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. rs and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IIThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODEi; 7~ ~

    /1 )1 . r ~ ~ ~ , J C - ; J l/('~'

    I.. -~. . . . . ~ \_) ; \. \'; I

    '\

    Coalition for aNew VillageHospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    15/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PC,L Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former S1.Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section S11(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side a/Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of afull service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME ZIPCODE')I i . Z : : - : 7 ,&L.-__~.I /~

    Coalition for aNew Village Hospital 304 Park Ave. S.#206, NewYork,NY I0010 DcmandAHospltaLblogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    16/85

    Petitionto New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCJ_,Section 511 (a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an. emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(aHb) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of SOlCe)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan -.Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IIThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    Coalition for a New Village Hospital 304 Park Ave. S.# 206,NewYork, NY 10010 DemandAHospita1.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    17/85

    Petitici.zo New York State At.vrney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call uponAttomey General Eric T. Schneiderman to use his authority including New YorkState N-PCJ_,Section 511(a)-(b) and Section 511(a)(4) to block the sale of the fanner St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an. emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N -PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 ( a )( 4 ) mu st show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of SOl (c )3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as i t is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. nand "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. ITThis is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    18/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. Schneiderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 51 1 (a ) ( 4) to block the sale of the fanner St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 51 1 (a)-(b) S1. Vincent's is required to serve you with notice of the saltransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is:in the best :interests of the community.We also believe that this sale does not comply with the provisions of 50 1 (c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman. you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side a/Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. 'IThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of afull service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    ZIPCODE

    Coalition for a New Village Hospital 304 Park Ave. S.# 206, New York, NY 10010 DemandAHospital.blogspotcom

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    19/85

    Petition to New York State Attorney Gener~~,,~_The Honorable Eric 'L'Schnelderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 51l(a)-(b) and Section 511 (a)(4) to block the sale of the fanner St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section51 1(a)-(b) St. Vincent's is required to serve you with notice of the saltransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 50 1 (c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. nand "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. ItThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME ZIPCODE

    ~)Coalition for a New VillageHospital 304 Park Ave. S.# 206, New York,NY WOlD DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    20/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED can upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 51 1(a)-(b) and Section 511(a)(4) to block the sale of the former S1. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section Sl1(a)-(b) S1. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Me Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow jarGreenwich Village, Chelsea and the entire West Side oj Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side o fManhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /IThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this, sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    ! O O ( ) ' 1(

    t/u25?~\ O O i \

    .New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Dernandxltospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    21/85

    . , - _ - - : . . . . - ... ' _ - - "Petition toNew York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511 (a)-(b) and Section 511 (a)( 4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501 (c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S1. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side oj Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    22/85

    Petitiouto New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(aHb) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a fun service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center llias a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-17ouracute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    i l(, l'

    " " " 7 r'-LeG'7 fi:yj ;>t;v/IL 16(\ /f

    /f304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    23/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..Schneiderman

    WE THE UNDERSIGNED call upon .Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCJ_, Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions ofS01(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities a/New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything-and everything should be done to make certain that becomes a reality. /!This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    /C)O 't \

    .:

    DemandxHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    24/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..Schneiderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PC]..,Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saltransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community,We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospitaLLast year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entirecommunities of New Yorkers will go without the adequate healthservices they deserve. s r and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /IThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME ZIPCODE

    ")!- (\ New York, NyLiOOlO DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    25/85

    PetitiCA to New York State A~iorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED callupon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) S1.Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is inthe best interests of the community.We also believe that this sale does not comply with the provisions of SOl (c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood. entire communities of New Yorkers will go without the adequate healthservices they deserve." and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IfTbis is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of afull service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    " .;{ I//)/1" '-I'v, / '7} -c '1 f\ /00 /-ifj(}0J I if

    li~: ~" Coalition for a New VillageHospital 304 Park Ave, S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    26/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..Schneiderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 51 I (a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) S1.Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions ofSOl(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of st. Vincent's as it is required to, namely af u n service hospital.Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowforGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities a/New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the 1-vestside 0/Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME

    Coalition for a New Village Hospital 304 Park Ave. S.# 206, New York, NY 10010 DemandAliospitaJ.blogspotcom

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    27/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former S1.Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S 1 . Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /IThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    .l)ovL

    ZIPCODE

    ILl~) I l

    ) c : J (:J,t i o t i

    Coalition for a New Village Hospital 304 Park Ave. S.# 206,NewYork, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    28/85

    Petition to New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 51 1(a)-(b) and Section Sll(aX4) to block the sale of the former St. Vincent's Catholic MedicalCenter ofManbattan to the Rudin Organization in the absence of the inclusion of a fun service hospital with anemergency room in compliance with Nr' State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section.S 11(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests oftheconununity.We also believe that this sale does not comply with the provisions of 501{c)3 ofthe Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. "and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    \,.-~/" "'.'~,"'"Coalition for a NewVillage Hospital 304 ParkAve. S. # 206,New York, NY 10010 DemandAHospital.bIogspot.com

    PRINT NAME

    \ .. \1 -< -\ \ 't.

    ZIPCODE

    I

    I

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    29/85

    .:.: : : : . - . - .: . : ' : -Petition to New York State Attorney GeneralThe Honorable Eric T..Schneiderman

    \VI: THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the fanner s t. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New YorkState N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions ofS01(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers wil! go without the adequate healthservices they deserve." and "The bottom line is: the west side a/Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRlNTNAME.~' ,JC{_L~1

    ZIPCODE

    I f

    coaiftiort for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DernandAHospitaLblogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    30/85

    Petitio.ito New York State A-.,,,orneyGeneral. ' .-: 'The Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attomey General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, urid.f)$i~w York State N-PCL Section SU(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)( 4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is inthe best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of s t. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side a/Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. "and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IIThis is your opportunity to in fact ensure th:y: reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service ,0fjpital and compliance with all relevant state and other applicable laws.L~j , .Sincerely, -~

    PRINT NAME ZIPCODE

    -"t:.,-f\'\ Ic"t,\t:'k(_#(J

    !3 {,'

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    31/85

    .. . , ..., .. " : : - . : : . . .Petition to New York State Attorney GeneralThe Honorable Eric T. SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T Schneiderman to use his authority including New YorkState N-PCL Section 511(a}(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 51 1(aHb) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of Sf. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities o f New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. ttThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRINT NAIVIEc,.~

    ZIPCODE

    //.3

    1 0 0 0 e r

    304 Park Ave. S. # 206, New York, NY 10010 DernandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to AG Schneiderman 7 of 7

    32/85

    Petition to New York State Attorney GeneralThe Honorable Eric T. Schneiderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the fonner St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) 81.Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is inthe best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of S t: Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. "and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality, "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block tillssale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    "SIGNATURE PRINT NAME

    f oc: ( ; ; J - -

    304 Park Ave. S. # 206, New York , NY 10010 DemandAHospi taLblogspot .cQm

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    Petition to New York State Attorney GeneralThe Honorable Eric T G SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N~PCL Section 511(a)~(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL SectionSl lfaj-Ib) 81.Vincent's is required to serve you with notice of the saletra ns ac tio n, a nd under Section 5 11 ( a) (4 ) m u st show the disposition of substantially al l assets is for consideration that isfair and reasonable and that the sale is in th e best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, M r. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side a/Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities a/New Yorkers will go without the adequate healthservices they deserve. " and 'The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. IIThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of aMI service hospital and compliance with all relevant state and other applicable laws .. Sincerely,

    ZIPCODEIGNATURE PRINT NAME00(3

    100

    Coalition for a New VillageHospital 304 Park Ave. S. # 206, New York, NY 100lD DemandAHospitatblogspot.com

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    Petition to New York State Attorney GeneralThe Honorable Eric 'r,SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCLSection 51 I(a)-(b) and Section 511(a)(4) to block the sale of the former 81. Vincent's Catholic Medical Center ofManhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.In specific, under New York State N-PCL Section 51 J (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the lnterna I Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Cente r was a tragic blowforGreenwich Village, Che l s e a and the entire FVe s !Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the }vest side of Manhattan both deserves and needs an acute carehospital with an emergency roo 111 . Anything and everything should be done /0 make certain that becomes a reality. ttThis is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the iclusion of a full service hospital and compliance with all relevant state and other applicable laws,Sincerely,

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    Petition to New York State Attorney GeneralThe Honorable Eric To Schneiderman\E THE UNDERSIGNED callupon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 51 1 (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.

    We also believe that this sale does not comply with the provisions of501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. "and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE PRlNTNAME ZIPCODE

    Ito -ii 1,-1. . .~-.H-""f"'~"J0/'nn c/ j_~-/Ser)/)eir;

    304 Park Ave. S. # 206, New York, NY I0010 DernandAHospital.blogspot. com

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    Petition to New York State Attorney GeneralThe Honorable Eric T e SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCLSection 511 (a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center ofManhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an emergency room incornpl iance with NY State law and the needs of the lower West Side of Manhattan, and New York State.In specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)( 4) must show the disposition of su bstantially all assets is for consideration that isfair and reasonable and that the saleis in the best interests of the community.We also believe that this sa le does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S1. Vincent's as it is requ ired to, namely afu I t service hospital.Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medica! Center lvas a tragic blow forGreenwich Village, Chelsea and {he entire "Ves!Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate healthservices they deserve, " and "The bottom line is: the lvesi side ofManhattan both deserves and needs an acute carehospital with 011 emergency room. Anything and everything should be done to make certain that becomes a reality."This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We cal! upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws,Sincerely,

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New VOI'k, NY IfJOlO Dcmand Al+ospltal.btogspot.com

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    Petition to New York State Attorney GeneralThe Honorable Eric 'r.SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to lise his authority including New York State N-PCLSection 511 (a)-(b) and Section 51! (a)(4) to block the sale of the former St. Vincent's Catholic Med ical Center ofManhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an emergency room incom pl lance with NY State law and the needs of the lower West Side of Manhattan, and New York State,In specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)( 4) must show the disposition of substantia lly all assets is tor consideration that isfair and reasonable and that the sale is in the best interests of the community,We also bel ieve that this sale does not comply with the provisions of 50 I(c)3 of the Internal Revenue Code in that th issaleand the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center fl'!{JS a tragic blowforGreenwich Village, Chelsea and the en/ire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate healthservices they deserve, " and "The bottom line is: the west side ofManhattan both deserves and needs an acute carehospital with an emergency room, Anything and everything should be done to make certain that becomes a reality. nThis is your opportunity to in fact ensure that reality and fulfil! your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws,Sincerely,

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY IOnlO DemandAllospital.blogspot.com

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    Petition to New York State Attorney GeneralThe Honorable Eric T. Schneiderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState NPCL Section 5 11 (a).(b) and Section 51I(a)(4) to block the sale of the former S1. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is fOT consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    SIGNATURE ZIPCODE

    I/ < /

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    Petition to New York State Attorney GeneralThe Honorable Eric T..SchneidermanWE THE [INDERSIGNED call upon Attorney' General Eric T. Schneiderman to use his authority including New York State N-PCLSection 51 1(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medica! Center ofManhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room incompliance with NY State Im N and the needs of the lower West Side of Manhattan, and New York State.In specific, under New York State N-PCL Section 5 J I (a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 511 (a)(4) must 5110\0\ / the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also bel ieve that this sale does not comply with the prov isions of 50 I (c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of st. Vincent's as it is required to, namely afull service hospital. 'Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow/orGreenwich Village, Chelsea and [he entire liVestSide ofManhattan. Unless a 24-houf' acute care hospital with anemergency room opens in this neighborhood entire communities ofNew Yorkers will gowithout the adequate healthservices they deserve." and "The bot/om line is: the H'est side ofManhattan both deserves and needs an acute carehospital with all emergency room, Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws,Sincerely,

    ZIPCODE ---\

    Coalition for a New \'iUage Hospital 304 Park Ave, S. # 206, New York, N"I' 10010 OemandAHospitaLblogspot.com

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    Petition to New York State Attorney GeneralThe Honorable Eric 'r.SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCLSection Sll(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center ofManhattan to the Rudin Organization in the absence of tile inclusion ofa full service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.In specific, under New York State N-PCL Section 51 ] (a)-(b) St. V incents is requ ired to serve you with notice of the saletransaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that thissale an d the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely afu1Isen/ice hospital.Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic ..Medical Center was a tragic blow forGreenwich Village. Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency 1'00111 opens in this neighborhood, entire communities (~ f Nnv Yorkers wi l l go without the adequate healthservices {hey deserve .. , and "The bottom line is: the 1 1 Jest side of Manhattan both deserves and needs an acute carehospital with an emergency 1'00/1/. Anything and everything should be done 10make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New Ynrk, N' 10010 DemandAHospital.b!ogspot.com

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    Petition to New York State Attorney GeneralThe Honorable Eric T..Schneiderman

    WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former s t. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section 511(a)-(b) s t. Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve, " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,r---------~-=~~==------------,_--------~~~----------------,_--~==~~.------SIGNATURE PRINT NAME ZIPCODE

    l

    ({ ; t~iI C f "

    /{

    304 Park Ave. S. # 206, New York, NY 100 I0 DemandAHospitaL blogspot. com

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    Petition to New York State Attorney GeneralThe Honorable Eric T o SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(aHb) and Section 511(a)(4) to block the sale of the former S1.Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.Inspecific, under New York State N-PCL Section S11(a)-(b) St.Vincent's is required to serve you with notice of the saletransaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions of SOl(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow forGreenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24~JJOuracute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room, Anything and everything should be done to make certain that becomes a reality. nThis is your opportunity to in fact ensure that reality and fulfill your campaign promise, We call upon you to block thissale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.Sincerely,

    PRINT NAME ZIPCODE

    304 Park Ave. S, # 206, New York, NY 10010 DemandAHospital.blogspot.com

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    Petition to New York State Attorney GeneralThe Honorable Eric T, Schneiderman

    "W E THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New YorkState N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic MedicalCenter of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law an d the needs of the lower West Side of Manhattan, and New YorkState.In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the saletransaction, and under Section 51 I (a)(4) must show the disposition of substantially all assets is for consideration that isfair and reasonable and that the sale is in the best interests of the community.We also believe that this sale does not comply with the provisions ofS01(c)3 of the Internal Revenue Code:in that thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely afull service hospital.Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blowforGreenwich Village, Chelsea and the entire West Si