In Covert v. Wisla Corp. (App. Div. 2nd Dept. July 29, 2015), the court affirmed the Supreme Court’s decision granting plaintiff’s motion to amend the complaint to add a cause of action alleging a violation of the Dram Shop Act (General Obligations Law § 11-101).
From the decision:
[W]here a plaintiff alleges that he or she was assaulted by an intoxicated individual, to establish prima facie entitlement to judgment as a matter of law dismissing a complaint alleging a violation of the Dram Shop Act, a defendant is required to establish either that it did not serve alcohol to [the plaintiff’s assailant] while he [or she] was visibly intoxicated or that its sale of alcohol to him [or her] had no reasonable or practical connection to the assault. Here, the defendants failed to establish their prima facie entitlement to judgment as a matter of law. The plaintiff alleges that he was assaulted by an intoxicated patron at approximately 1:30 a.m. on December 1, 2010, at a bar owned by the defendants. In support of their motion, the defendants submitted a copy of the plaintiff’s deposition testimony in which he testified that his assailant was at the bar when he arrived around midnight or 12:30 a.m., and that, upon his arrival, his assailant had a glass in his hand and was visibly intoxicated. Further, the defendants also submitted the deposition testimony of the defendant Krystian Kukulski, who tended bar on the night of the incident starting at 8 p.m. Kukulski testified that the plaintiff’s assailant was already in the bar when he started tending bar and that he eventually stopped serving the assailant hours later because the assailant was visibly intoxicated. Consequently, the evidence submitted by the defendants failed to eliminate triable issues of fact as to whether they served alcohol to the plaintiff’s assailant while he was visibly intoxicated or whether their sale of alcohol to him had a connection to the assault which occurred within their bar.