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HomeMy WebLinkAbout09-319AUGUST 11, 2009 JULY 14, 2009 (CARRIED 4 -3 PURPOSE: INITIATED BY: 09 -264 09 -319 PENDING RESOLUTION LOST LAID OVER WITHDRAWN ) DISALLOWANCE OF CLAIM BY LIBERTY MUTUAL LEGAL DEPARTMENT WHEREAS, the following claim has been referred to the City's insurance carrier which has recommended disallowance. NOW, THEREFORE, BE IT RESOLVED by the Common Council of the City of Oshkosh that the proper City officials are hereby authorized and directed to disallow the following claim against the City of Oshkosh: Liberty Mutual (on behalf of Thomas & Kay Mettlach) DATE OF LOSS: 4/23/2009 (for property damages alleged from a sewer back -up) BE IT FURTHER RESOLVED that the City Clerk is hereby directed to inform the claimant by certified mail of the disallowance and the fact that the claimant has six months from the date of service to appeal. BE IT FURTHER RESOLVED that the City Clerk is directed to send a copy of this resolution and notice of disallowance to the appropriate insurance carrier for the City of Oshkosh. 1700 Opdyke Court Dear Ms. Ubrig, June 16, 2009 City of Oshkosh Attn: Pamela Ubrig P.O. Box 1130 Oshkosh, WI 54903 -1130 ti p E C'<< HIN 19 2009 CITY CLERK'S OFFICE Re: Program: League of Wisconsin Municipalities Mutual Insurance Our Insured: City of Oshkosh Date of loss: 4/23/2009 Our Claim #: WI8 140926 Their Claim #: 603657000 Their Insured: Thomas & Kay Mettlach Claimant: Liberty Mutual Agency Markets Central Recovery Unit Attn: Forrest Packwood PO Box 6057 Indianapolis, IN 46206 -6057 Midwest Claims Service, Inc. administers the claims for the League of Wisconsin Municipalities Mutual Insurance who provides the insurance coverage for the City of Oshkosh. We are in receipt of the above - stated subrogation claim in which the claimant sustained damages due to a sewer backup. We have completed our investigation of this claim and recommend that the City of Oshkosh deny this claim pursuant to the Wisconsin statute for disallowance of claim 893.80(lg). The disallowance of the claim in this manner will allow us to shorten the statute of limitations period to 6 months. The basis of this denial should be that there was no negligence on behalf of the City of Oshkosh. Our investigation has revealed that the cause of the sewer backup was a debris blockage in the City's main sanitary sewer line that occurred during routine sewer maintenance flushing activities. The City of Oshkosh did not have prior notice of the blockage and upon notice remedied the situation. A municipality has no liability unless it knew, or should have known, of the existence of a defect and had a reasonable amount of time to repair the defect. Furthermore, the City would also have immunity from negligence based these acts involving the exercise of judgment and discretion during the routine sewer maintenance activities. Please send your denial letters to the above - listed claimant. The denial letter should be sent certified or registered mail (restricted) and must be received by the Claimant within 120 days after you received the claim. Please send copy of denial to our address as stated above. . have any further questions, please feel free to call me at 1- 800 - 225 -6561 (ext. 3134) { Sincerely, / J0 alvano , C-- A SUBSIDIARY Of HCC INS