UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WASHINGTON ) ) ) ) ) ) ) ) ) ) ) ) )



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Case :-cv-000-tor Document Filed 0/0/ 0 John T. John, WSBA # Daniel J. Oates, WSBA # 0 Alaskan Way, Suite 00 Seattle, Washington Telephone: ( -00 Email: jjohn@grahamdunn.com doates@grahamdunn.com Attorney for Defendants COMPLAINT - m-.docx UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WASHINGTON CHELAN COUNTY, WASHINGTON, vs. Plaintiff, BANK OF AMERICA CORPORATION, a Delaware Corporation; and BANK OF AMERICA, N.A., a national banking association, Defendants. No. :-CV-000-TOR Honorable Thomas O. Rice DEFENDANTS BANK OF AMERICA CORPORATION AND BANK OF AMERICA, N.A. S ANSWER TO COMPLAINT Defendants Bank of America Corporation and Bank of America, N.A. (referred to collectively as BANA, hereby answer the Plaintiff s Second Amended Complaint ( Complaint as follows: I. PARTIES. BANA admits the allegations contained in Paragraph of the. BANA admits the allegations contained in first sentence of Paragraph of the No response is required to the second sentence of Paragraph Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 of the BANA admits that Bank of America, N.A. conducts business in this district. The remainder of the allegations in Paragraph of the Complaint are denied. BANA further denies that Bank of America Corporation is a proper party to this action. corporation. COMPLAINT - m-.docx II. JURISDICTION AND VENUE. BANA admits that Bank of America Corporation is a Delaware In answering paragraph, BANA admits that this Court has jurisdiction and that venue is proper. Any remaining allegations in Paragraphs are denied.. In answering paragraph, BANA admits that this Court has jurisdiction and venue is proper. Any remaining allegations in Paragraphs are denied.. In answering paragraph, BANA admits that this Court has jurisdiction and venue is proper. Any remaining allegations in Paragraphs are denied. III. FACTS. BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the allegations contained in Paragraph of the Complaint and, therefore, denies the same.. BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the allegations contained in Paragraph of the Complaint and, therefore, denies the same.. BANA admits that Chelan County maintained accounts with BANA. BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the remainder of the allegations contained in Paragraph of the Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 Complaint and, therefore, denies the same.. The allegations contained in Paragraph of the Complaint refer to documents which speak for themselves. To the extent the allegations contained in Paragraph are inconsistent with the contents of said documents, said allegations are denied. 0. The allegations contained in Paragraph 0 of the Complaint refer to documents which speak for themselves. To the extent the allegations contained in Paragraph 0 are inconsistent with the contents of said documents, said allegations are denied.. BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the allegations contained in Paragraph of the Complaint and, therefore, denies the same.. BANA admits the allegations contained in the first sentence of Paragraph of the COMPLAINT - m-.docx BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the allegations contained in the second sentence of Paragraph of the Complaint and, therefore, denies the same.. BANA admits that on April,, two ACH payment orders were received by BANA from the Chelan County Disbursement Account in the amount of $, and $,00. BANA further admits that the payment orders were processed by BANA. BANA denies the remainder of the allegations contained in Paragraph of the. BANA admits that on April,, an ACH payment order was received by BANA from the Chelan County Disbursement Account in the amount of $0,. BANA further admits that the payment order was processed by Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 BANA. BANA denies the remainder of the allegations contained in Paragraph of the. Paragraph of the Complaint contains no factual allegations and therefore no response is required. To the extent a response is required, BANA denies the same. BANA objects to Plaintiff s characterization of the transfers as unauthorized and will refer to the three transfers on April and, totaling approximately $,00,0.00 as the Transfers. COMPLAINT - m-.docx Discovery of Fraud and Partial Recovery. BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the allegations contained in the first sentence of Paragraph of the Complaint and, therefore, denies the same. BANA admits that on Monday, April,, Chelan County contacted BANA regarding the payment orders initiated. The remainder of the allegations contained in Paragraph are denied.. BANA denies the allegations contained in Paragraph of the. BANA admits that it recovered approximately $0,000 of the Transfers. The remainder of the allegations in Paragraph of the Complaint are denied.. BANA is without sufficient knowledge or information to form a belief as to the truth or falsity of the allegations contained in Paragraph of the Complaint and, therefore, denies the same. COUNT ONE- LIABILITY PURSUANT TO RCW A.A-, ET SEQ.. BANA incorporates its answer to Paragraphs through of the Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 Complaint as if fully set forth.. Paragraph of the Complaint contains a legal conclusion and therefore no response is required. To the extent a response is required, BANA denies the same.. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the COMPLAINT - m-.docx COUNT TWO - BREACH OF CONTRACT. BANA incorporates its answer to Paragraphs through of the Complaint as if fully set forth.. The allegations contained in Paragraph of the Complaint refer to documents or rules which speak for themselves. To the extent the allegations contained in Paragraph are inconsistent with the contents of said documents or rules, said allegations are denied.. Paragraph of the Complaint contains a legal conclusion and therefore no response is required. To the extent a response is required, BANA denies the same.. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the 0. BANA denies the allegations contained in Paragraph 0 of the Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the. BANA denies the allegations contained in Paragraph of the COMPLAINT - m-.docx IV. AFFIRMATIVE DEFENSES BANA further answers Plaintiff s Complaint and reserves ( its right to amend or supplement its response to Plaintiff s Complaint as information is gathered through discovery; and ( the right to rely upon the following affirmative defenses to the extent supported by the evidence developed, without assuming the burden of proof on any such defense that would otherwise rest on Plaintiff: FIRST AFFIRMATIVE DEFENSE Plaintiff s Complaint fails in whole or in part to state a claim upon which relief can be granted. SECOND AFFIRMATIVE DEFENSE Plaintiff s claims are barred because Plaintiff s alleged injuries were caused by other events, conditions, instrumentalities, and/or acts or omissions of an Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 individual or entity over whom BANA exercised no control. COMPLAINT - m-.docx THIRD AFFIRMATIVE DEFENSE To the extent fault is attributed to such instrumentality, person, or entity, this defendant relies upon the provisions of the Revised Code of Washington..00 and other statutes for the apportionment of fault. FOURTH AFFIRMATIVE DEFENSE Plaintiff s claims are barred in whole or in part in Plaintiff s own negligence which proximately caused any alleged damage. FIFTH AFFIRMATIVE DEFENSE Plaintiff s claims are barred to the extent that Plaintiff failed to mitigate, minimize, or avoid any damages allegedly sustained. SIXTH AFFIRMATIVE DEFENSE Plaintiff s claims are barred by the Uniform Commercial Code. and BANA. Plaintiff. SEVENTH AFFIRMATIVE DEFENSE Plaintiff s claims are barred by the terms of the agreements between Plaintiff EIGHTH AFFIRMATIVE DEFENSE BANA denies that it breached any duty or obligations alleged owed to NINTH AFFIRMATIVE DEFENSE Plaintiff s claims are barred for failure to join an indispensable party. TENTH AFFIRMATIVE DEFENSE At all material times, BANA acted with due care and complied with applicable statutory, regulatory, and common law requirements. Accordingly, some or all of Plaintiff s claims are barred and/or pre-empted by BANA s Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 compliance with applicable state, federal and local laws and regulations. COMPLAINT - m-.docx ELEVENTH AFFIRMATIVE DEFENSE Plaintiff s injuries and damages, if any, were solely and proximately caused by intervening and superseding events over which this defendant had no control; TWELFTH AFFIRMATIVE DEFENSE BANA is entitled to all amounts of all permissible deductions and/or setoffs including all payments made by any collateral source and funds paid in settlement on behalf of other alleged joint tortfeasors and settling parties, if any. THIRTEENTH AFFIRMATIVE DEFENSE Defendant Bank of America Corporation is not a proper party to this action. Bank of America, N.A. and Bank of America Corporation are separate legal entities. Bank of America Corporation is not a bank; it is a holding company. have. FOURTEENTH AFFIRMATIVE DEFENSE BANA specifically reserves all separate or affirmative defenses that it may RELIEF REQUESTED Having answered Plaintiff s Second Amended Complaint, BANA asks the Court for the following relief:. That Plaintiff s Second Amended Complaint be dismissed; Plaintiff take nothing thereby; and BANA be awarded its costs, disbursements, and attorneys fees incurred herein. /// /// ///. That the Court order such other relief as is just and equitable. Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 Dated: August,. BANK OF AMERICA, N.A. By Counsel s/ Daniel J. Oates Daniel J. Oates, Esquire John T. John, Esquire GRAHAM & DUNN, P.C. Pier 0 Alaskan Way- Suite 00 Seattle, Washington Tel: -0- Fax: -0- DOates@GrahamDunn.com JJohn@GrahamDunn.com Heather A. Britton, Esquire Admitted pro hac vice McGUIREWOODS LLP 0 Tysons Boulevard, Suite 00 Tysons Corner, Virginia 0 hbritton@mcguirewoods.com Counsel for Defendants COMPLAINT - m-.docx Seattle, Washington - ( -00/Fax: ( 0-

Case :-cv-000-tor Document Filed 0/0/ 0 CERTIFICATE OF SERVICE I hereby certify that on this day, I electronically filed the foregoing with the Clerk of the Court using the CM/ECF system which will send notification of such filing to each of the following: Spencer Hall Colin M. George Hall Zanzig Claflin McEachern 0 Fifth Avenue, Suite Seattle, WA 0 I declare under penalty of perjury under the laws of the state of Washington that the foregoing is true and correct to the best of my knowledge. Signed this th day of August, at Seattle, Washington. s/ Daniel J. Oates Daniel J. Oates, WSBA # COMPLAINT - 0 m-.docx Seattle, Washington - ( -00/Fax: ( 0-