Tuesday, December 31, 2024

Welcome To MY Smokehouse.


Law Office of John J. Tormey III, Esq.
John J. Tormey III, PLLC
1636 Third Avenue, PMB 188
New York, New York  10128  USA
(212) 410-4142 (phone)
(212) 410-2380 (fax)
jtormey@optonline.net
https://www.tormey.org
 
REQUEST UNDER THE NEW JERSEY OPEN PUBLIC RECORDS ACT (“OPRA”)
 
Tuesday, December 31, 2024
 
VIA U.S. MAIL and E-MAIL:
grua@elizabethnj.org
Giovanna Rua, A.B.C. Board Secretary
Municipal Board of Alcoholic Beverage Control of the City of Elizabeth, New Jersey (A.B.C. Board)
City Hall, Room 106
50 Winfield Scott Plaza
Elizabeth, New Jersey  07201-2462  USA
 
VIA U.S. MAIL and E-MAIL:
srodrigues@elizabethnj.org
Sydnie Rodrigues, Assistant A.B.C. Board Secretary
Municipal Board of Alcoholic Beverage Control of the City of Elizabeth, New Jersey (A.B.C. Board)
City Hall, Room 106
50 Winfield Scott Plaza
Elizabeth, New Jersey  07201-2462  USA
 
Re:                 
(Plenary) Retail License No.: 2004-33-227-001
Business: “Front Street Smokehouse & Saloon, Inc.” – (908) 354-1818 – www.frontstreetsmokehouse.com
Location: One South Front Street, Elizabeth, New Jersey 07206 USA (Elizabeth Avenue and Front Street).
Possible Aliases: a/k/a “Lava Lounge”, f/k/a “South Seas Bar”.
Principal: Bruce Edward Tucker, [___] Piermont Place, Piermont, New York 10968.
Principal: Philip Costanza, 523 3rd Avenue, Elizabeth, New Jersey 07202.
Principal: Bruce L. Kain, 1147 Debra Drive, Linden, New Jersey 07036.

Dear Secretary Rua and Assistant Secretary Rodrigues:
 
I am an attorney in New York. I am a citizen and resident of the Town of Orangetown, and the County of Rockland. Under the New Jersey Open Public Records Act (“OPRA”), P.L. 2001, c. 404, N.J.S.A. 47:1A-1 et seq.:
https://nj.gov/opra/
https://www.nfoic.org/new-jersey-sample-foia-request
https://en.wikipedia.org/wiki/Open_Public_Records_Act
… request is hereby made that your office provide to this, my law office, full and complete copies of each and every document and other item of material (collectively, “Records”) which may be at all responsive to the following itemized and specific OPRA requests:
 
1. Time-Frame. I am seeking all Records reflecting, referencing, or otherwise relating to the above-referenced bar, restaurant, businesses, location, and/or individuals from January 1, 2000 forward to the present day.
 
2. License. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to Retail License No.: 2004-33-227-001. As a point of reference, Records which I have located thusfar from media sources relating to this Retail License and the bar and restaurant can be found at:
https://unhandpiermont.blogspot.com/2024/12/piermont-mayor-bruce-tuckers-foray-into.html




3. The Restaurant And Bar. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to “Front Street Smokehouse & Saloon, Inc.”.
 
4. The Phone Number. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to the phone number of Front Street Smokehouse & Saloon, Inc. identified as: “(908) 354-1818”.
 
5. The Website. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to the Internet website of Front Street Smokehouse & Saloon, Inc. identified as: www.frontstreetsmokehouse.com
 
6. The Location. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to the location of One South Front Street, Elizabeth, New Jersey 07206 USA – found, as you know, at the corner of Elizabeth Avenue and Front Street.
 
7. Lava Lounge. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to “Lava Lounge”, an apparent alias of the bar and restaurant.
 
8. South Seas Bar. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to “South Seas Bar”, the apparent prior name of a bar at the same location.
 
9. Bruce Edward Tucker. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to one Bruce Edward Tucker, [___] Piermont Place, Piermont, New York 10968 USA. You may recognize this individual's name, as he currently serves as the Mayor of the Village of Piermont, New York, while at one point apparently maintaining an ownership interest in the subject bar and restaurant in Elizabeth, New Jersey.
 
10. Philip Costanza. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to one Philip Costanza, 523 3rd Avenue, Elizabeth, New Jersey 07202 USA.
 
11. Bruce L. Kain. Specifically and without limitation to the foregoing, I am seeking all Records reflecting, referencing, or otherwise relating to one Bruce L. Kain, 1147 Debra Drive, Linden, New Jersey 07036 USA.
 
12. The “Smokehouse Parties” – Possible Types Of Records. Next, for your ease of reference, I will now refer to these following people, places, and businesses, collectively, as, simply, the “The Smokehouse Parties”:
- Retail Licensee No.: 2004-33-227-001.
- Front Street Smokehouse & Saloon, Inc.
- One South Front Street, Elizabeth, New Jersey 07206 USA (Elizabeth Avenue and Front Street)
- “Lava Lounge”.
- “South Seas Bar”.
- Bruce Edward Tucker, [___] Piermont Place, Piermont, New York 10968 USA.
- Philip Costanza, 523 3rd Avenue, Elizabeth, New Jersey 07202 USA.
- Bruce L. Kain, 1147 Debra Drive, Linden, New Jersey 07036 USA.

I am seeking, in each case to the extent as may be existing:
 
(a). Applications And Renewals. All Records reflecting, referencing, or otherwise relating to any applications or renewals of, by, for, or otherwise concerning The Smokehouse Parties or any of them – including without limitation the applications themselves.
 
(b). Retail Licenses, Permits, And Renewals. All Records reflecting, referencing, or otherwise relating to any retail licenses, licensure, permits, or renewals of, by, for, or otherwise concerning The Smokehouse Parties or any of them – including without limitation the licenses themselves.
 
(c). Alcohol Licenses, Permits, And Renewals. All Records reflecting, referencing, or otherwise relating to any alcohol-related or other licensure, licenses, permits, or renewals of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(d). Adverse Actions Against Licenses Or Permits. All Records reflecting, referencing, or otherwise relating to any license, permit, or other suspensions, cancellations, revocations, or terminations, of or otherwise concerning The Smokehouse Parties or any of them – if any.
 
(e). License Transfers. All Records reflecting, referencing, or otherwise relating to any retail license or other transfers of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(f). Premises Expansions. All Records reflecting, referencing, or otherwise relating to any premises expansions of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(g). Objections. All Records reflecting, referencing, or otherwise relating to any objections to expansions, transfers, or other proposed or completed actions by, of, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(h). Stock. All Records reflecting, referencing, or otherwise relating to any “stockholding” or stockholder information or changes thereto, of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(i). Property Documentation. All Records reflecting, referencing, or otherwise relating to any property record, property title, or other property documentation of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(j). Insurance or Bonding Documentation. All Records reflecting, referencing, or otherwise relating to any insurance or bonding documentation of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(k). Tax Documentation. All Records reflecting, referencing, or otherwise relating to any tax, tax payment, tax history, tax credit, tax arrearage, tax warrant, or other tax-related documentation of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(l). Fee Documentation. All Records reflecting, referencing, or otherwise relating to any fee, fee payment, fee history, fee credit, fee arrearage, or other fee-related documentation of, by, for, or otherwise concerning The Smokehouse Parties or any of them.
 
(m). Incidents. All Records reflecting, referencing, or otherwise relating to any accidents, incidents, injuries, health matters, environmental matters, or other untoward occurrences, at the subject location of One South Front Street, Elizabeth, New Jersey 07206 USA, or otherwise relating to The Smokehouse Parties or any of them – if any.
 
(n). Inspections. All Records reflecting, referencing, or otherwise relating to any inspections of, or otherwise concerning, the subject location of One South Front Street, Elizabeth, New Jersey 07206 USA, or otherwise relating to The Smokehouse Parties or any of them.
 
(o). Employment And Labor Matters. All Records reflecting, referencing, or otherwise relating to any other labor or employment matters of, or otherwise concerning, The Smokehouse Parties or any of them.
 
(p). Complaints. All Records reflecting, referencing, or otherwise relating to any customer, patron, consumer, or other complaints about, concerning, or otherwise relating to The Smokehouse Parties or any of them – if any.
 
(q). Proceedings. All Records reflecting, referencing, or otherwise relating to any administrative, legal, or other proceedings about, concerning, or otherwise relating to The Smokehouse Parties or any of themif any.
 
(r). Claims And Litigations. All Records reflecting, referencing, or otherwise relating to any claims, mediations, arbitrations, or litigations about, concerning, or otherwise relating to The Smokehouse Parties or any of them – if any.
 
(s). Enforcement Actions. All Records reflecting, referencing, or otherwise relating to any enforcement or comparable actions against, about, concerning, or otherwise relating to The Smokehouse Parties or any of them – if any.
 
(t). Fines Or Other Penalties. All Records reflecting, referencing, or otherwise relating to any fines or other penalties assessed against or otherwise imposed upon The Smokehouse Parties or any of them – if any.
 
(u). Violations. All Records reflecting, referencing, or otherwise relating to any violation or claimed violation of any other laws, statutes, ordinances, regulations, rules, requirements, or standards by, concerning, or otherwise relating to The Smokehouse Parties or any of them – if any.
 
(v). E-Mails And Correspondence. All Records of any e-mails, memos, notes, correspondence, or other writings to, from, referencing, or otherwise relating to The Smokehouse Parties or any of them.
 
(w). Land Use. All Records of planning, certified plans, engineering, zoning, applications, approvals, permits, permissions, variances, inspections, code enforcement, compliance vel non, stop-work orders, land use, intended land use, soil conservation, erosion, sediment control, sedimentation, stormwater management, land disturbance, environmental concerns, building, construction, insurance, bonding, escrows, taxation, financing, complaints, or neighborhood opposition, including inter alia e-mails, minutes, resolutions, and deliberative materials, relating to The Smokehouse Parties or any of them.
 
(x). All Other Records. All other Records of any other kind or nature relating to The Smokehouse Parties or any of them.
 
13. Violations Of Laws – IF Any. Specifically and without limitation to the foregoing, I am hereby seeking, to the extent if at all existing, each and every Record reflecting any “violation”, “reporting violation”, or other past, present, future, or anticipated violation, breach, or other transgression of federal, state, county, town, local, or other ordinance, rule, regulation, requirement, or other law or standard - including without limitation any violation of rules, regulations or other laws enforced by or otherwise relating to or concerning the Environmental Protection Agency (EPA), Centers For Disease Control (CDC), Agency for Toxic Substances and Disease Registry (ATSDR), Health Resources and Services Administration (HRSA), National Institutes of Health (NIH), United States Department Of Justice (USDOJ), U.S. Department Of Justice Environment and Natural Resources Division (ENRD), U.S. Attorney’s Office (USATTY), Federal Bureau Of Investigation (FBI), U.S. Department of Health & Human Services (USHHS), Office of the Inspector General, Department of Health and Human Services (OIG), U.S. Department of Homeland Security (USDHS) including without limitation its division known as the Federal Emergency Management Agency (FEMA), Office of the New Jersey Governor (NJ GOV), New Jersey Office of Homeland Security and Preparedness (NJOHSP), New Jersey Office of Emergency Management (NJOEM), New Jersey Office of the Attorney General (NJAG), New Jersey Department Of Environmental Protection (NJDEP), New Jersey Department of Health (NJDOH), Union County Department of Health Management (UCDOH), Union County Utilities Authority (UCUA), New Jersey Office of the Attorney General (NJAG), State of New Jersey, Department of Law & Public Safety, Division of Alcoholic Beverage Control (NJABC), your Municipal Board of Alcoholic Beverage Control of the City of Elizabeth, New Jersey (Elizabeth A.B.C. Board), Occupational Safety and Health Administration (OSHA), United States Department of Labor (USDOL), New Jersey Department of Labor and Workforce Development (NJDOL), NJAG Division of Consumer Protection/Regulated Business Section (DCA/OCP), State of New Jersey Department Of Banking And Insurance (NJDBI), New Jersey Board of Examiners of Electrical Contractors (NJBEEC), all other New Jersey state and local agencies, and any other potentially-relevant authority.
 
14. Definition Of “Records”. “Records” should be construed in the broadest sense and manner possible and should include any information kept, held, filed, produced or reproduced by, with or for your agency or office in any physical form whatsoever, including without limitation all audio recordings, blog posts, correspondence, data maintained electronically, data, e-mails, executive summaries, extracts, faxes, instant messages, Internet posts, letters, log-book entries, memos, paper records, personal messages, social media communications, spreadsheets, summaries, synopses, telephone records, test-reports, visual recordings, and any other materials.
 
15. Headings. The headings and sub-headings for numbered Items #1 through #18 herein are for purposes of your convenience of reference only, and should not be construed to be words of limitation or otherwise of any substantive significance relative to this OPRA request.
 
16. Costs. If there are any copying or other fees for this, please let me know what they are and how they are calculated, before fulfilling the request and forwarding the Records to me. As this OPRA request should be considered a matter of public importance, and as its results will be shared with the general public, I am asking that any otherwise-applicable fees be waived for this production of Records. I am also asking that all Records be provided to me electronically to the full extent possible, so as to obviate the need for any photocopying expense.
 
17. Appeals. In the event that any portion of my request is denied, please inform me of each of the specific reasons for any such denial in writing - and provide me with the name, address, and other contact information of the person or entity to whom an appeal should be directed.
 
18. Additional OPRA Requests. This OPRA request is not intended to be exhaustive, and I may need to make additional or follow-up requests.
 
I will appreciate a response from you and your office as soon as possible. I look forward to hearing from you shortly.
 
Respectfully, and with thanks,

John J. Tormey III, Esq.
 
cc:
VIA U.S. MAIL and E-MAIL:
grc@dca.state.nj.us
Government Records Council (GRC)
PO Box 819
Trenton, New Jersey 08625 USA

Piermont Mayor Bruce Tucker's Foray Into The Elizabeth, New Jersey Restaurant Business: "Limp And Soggy" Fries, And Alcoholic Beverage Control.




























 

Saturday, December 7, 2024

CINCO de MAYOR: Piermont's Bruce Tucker TAKES FIVE.


Right now, Piermont Mayor Bruce Tucker and Piermont Village Hall are facing intense scrutiny from a bunch of people with power. Here are some examples - and this is just a tally from yesterday:
When we look back on Bruce Tucker's failed Piermont mayoral administration, the most salient memory will be his silence. He refuses to answer questions even in the public forum of Piermont Village Hall. He refuses to communicate to the taxpaying resident voters and neighbors who put him in mayoral office in the first place, about any matter of real significance. 

Meanwhile, Tucker's pet project remains the abominably crooked land-use deal known as "447-477 Piermont Avenue" - actually intended to be built, in part, on the site of an old Sunoco gasoline station which had underground tanks. Why? Because Tucker misspent Piermont into a deep financial hole. He is now desperately trying to make-up the money with developer infusions, at the expense of all else including the sanctity of Piermont itself. 

No wonder Bruce Tucker has stayed so mum throughout the year. 

Everyone noticed.

Therefore, it is a fair question to ask. What will Bruce Tucker's answers under oath likely be, if or when called to account to the administrative authorities, the criminal authorities, or even the Almighty? How will Bruce Tucker answer to his failed mayoral reign, his harmful fiscal malfeasance, and in particular, his despicable and injurious zoning scheme so well-befitting a garmento reject out of Elizabeth, New Jersey like himself?

The answer is simple. 

Bruce Tucker will exercise his right against self-incrimination under the Fifth Amendment of the United States Constitution.

He will TAKE FIVE.

Thus - Cinco de Mayor.

Now, there are a bunch of different ways that one can Take Five. For example, before Congress years ago, during the steroid scandal in Major League Baseball, slugger Mark McGwire simply testified "I'm not here to talk about the past".

Yet even that statement takes effort. The thing is, Bruce Tucker is not the athlete that Mark McGwire was. If ever held to account, Bruce Tucker will need to Take Five under cross-examination so many times, that he will really need to conserve his energy. Bruce would then probably end up just feebly holding up the five fingers of one of his hands, in response to each question. Or, perhaps Bruce could instead tattoo the number "5" on his forehead and just point to it with one finger, as constituting each answer, and thereby expend even less effort to communicate.

There is one main thing to recognize. There is an absolute commonality between: (A) Tucker's recidivist failures to make disclosures to his taxpaying resident voter neighbors in Piermont, on the one hand - and (B) the manner in which Tucker would be most likely to "answer" real questions during future cross-examination under oath if or when occurring, on the other hand. 

Either way, with his characteristic goofy smirk signifying nothing other than contempt - contempt for the questioner, and ultimately contempt for himself - Bruce Tucker will brandish that Five. You can COUNT on it.

A simulation of how that type of future cross-examination would go, follows below. Please, when you see Bruce Tucker next, jump in with your own questions at any time, too.

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and the other hacks in Piermont Village Hall proceeded with the 447-477 Piermont Avenue project intentionally disregarding that it was the former site of a Sunoco gasoline station with underground gasoline tanks?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that to date, you never communicated anything substantive to the Piermont taxpaying resident voters, your neighbors, about that untenable and unacceptable environmental situation at 447-477 Piermont Avenue?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn't it true that you and the Village of Piermont are currently under a "Risk Assessment" by the Office of the New York State Comptroller (OSC) due to your fiscal mismanagement of Village government over the past seven years - leading OSC to just spend up to three weeks to date and counting, pulling extracts from your Village books and records? For that matter, isn't it true that the statistical majority of those OSC "Risk Assessments" lead directly to a plenary audit?

BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Moreover, isn't it true that to date you disclosed nothing of substance, regarding the OSC "Risk Assessment" of you and your Piermont government, to your taxpaying resident voter neighbors - you know, the same ones who voted you into office as Mayor of Piermont? Isn't it true that you are pretending that the OSC "Risk Assessment" does not even exist?

BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and your Village Hall cronies repeatedly do everything possible to suppress public comment and to prevent dissemination of the content of public proceedings to the Piermont taxpaying resident voters?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that, as late as October 10, 2024, you falsely attested and certified to a Rockland County governmental agency that the 447-477 Piermont Avenue project would have little to no environmental impact? Isn't it true that you submitted former Planning Board Chair Dan Spitzer’s name on that same certification and attestation as well as your own name, thereby throwing Spitzer under the proverbial bus?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that at meetings in Piermont Village Hall, you rarely if ever respond to the public comment and instead just sit there with a smug-looking smirk on your face while refusing to answer?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Did you and your Village Hall lackeys ever do any due diligence on Jerry Polidoro, an original on-record owner of one of the parcels at 447-477 Piermont Avenue and the first-known owner of Piermont Developers LLC – who turned out to have an abominable environmental record in the State of New Jersey that you yourself could have found if you had ever bothered to look for it?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Alternatively, did you know full well of Polidoro’s disastrous environmental record in New Jersey in advance, and then purposefully conceal it from disclosure from the Piermont taxpaying resident voters in April 2024 and thereafter?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and your Village Hall minions did little to no due diligence on Frank DeCarlo of Frank DeCarlo Construction (FDC), the current identified owner of Piermont Developers LLC – who turns out to be a developer with a Paramus foundation-crack to his credit, a Jersey flipper of single-family houses, an oft-cited silt-violator in Bergen County, and a guy with a disgusting Troy, New York record as a landlord?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that during your 7-year term as Mayor of Piermont, you have actually done little to nothing to remediate the Village’s problems with flooding, parking, and traffic – even resulting in residents forced to build or rebuild their homes on stilts?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn't it true that you deliberately forestalled visible flooding remediation in the Village of Piermont, so as to not scare away developer money expected to be coming in from 447-477 Piermont Avenue and from other projects?

BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and your Piermont Village Hall enablers floated a fake law to facilitate spot-zoning for the 447-477 Piermont Avenue project alone - and that you then tried to ram it all through Piermont Village government before Village taxpaying resident voters woke up to figure out how harmful your corrupted development plot really was?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that your practices as Mayor are destroying the historic character, charm, and aesthetics of the Village of Piermont?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that your malfeasance got the Village of Piermont sued in State Supreme Court two times and counting - and that you have now wasted sums estimated to be in excess of US$100,000 to litigate against the very own taxpaying resident voters and neighbors who elected you into mayoral office in the first place?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you have endeavored to hide the names and faces of the Village officials from view, and for the most part have purposefully kept those images off of the Village website and other Internet platforms – as opposed to effecting any semblance of transparency in Piermont Village government such that the Piermont public officials are actually identifiable and accessible to the public?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you purposefully concealed Piermont Village financials from the Village’s Internet website for a period of approximately four years, and then and thereafter only uploaded those financials to the Village website once you were shamed and forced into doing so?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and Piermont Village government failed to meet even an extended deadline of the New York State Comptroller’s office (OSC), and thereby permanently defaulted in inclusion of Piermont financial information in the Comptroller’s Fiscal Stress Monitoring System for the prior year - thus preventing Stress Monitor evaluation of Piermont by the public for that time-period, forever?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that, notwithstanding your bragging in a public meeting and to a local hack blogger’s rag to the contrary, you actually don’t have US$3,200,000 banked and accessible as an “unassigned Fund balance”? Isn't it true that, instead, you, by yourself or else in other cases through others, are pathetically begging residents for money to fix the crumbling Piermont Pier tip and even begging for US$10,000 for Christmas lights for the Village?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you misspent Piermont taxpayer resident money down from an initial US$800,000 surplus into a negative US$7,600,000 Net Position deficit hole, over your seven years in office as Piermont Mayor?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that, throughout Year 2024, people have been jumping out of your abhorrent mayoral “administration” like rats jumping off of a sinking ship?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you threatened and terrorized a vulnerable fellow Piermont Trustee for disagreeing with you and thinking independently, and that you are still all-consumed with your intended objective of destroying that man’s political future?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you were once clueless enough to actually consent in a signed writing to designating the Orangetown Zoning Board of Appeals (ZBA) as the lead agency for the 447-477 Piermont Avenue project?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that your method of communication with taxpaying Village residents is planting occasional propagandized stories with hack ersatz journalists in fifth-rate local "publications"?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and your administration failed to effect needed inspections of the Piermont Pier and the pier-tip dock for a period of seven years, the same period of time as your woeful mayoral reign - leading to the pier-tip dock's degradation, imminent collapse, and now closure?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that for a time this summer you actually thought it was a good idea to eliminate the Village’s little league baseball field and pave it over in favor of parking, particularly once and after you lost parking for the 447-477 Piermont Avenue project due to Reilly’s withdrawal of a land-strip therefrom?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that, as between you and the Piermont taxpaying residents and neighbors who voted you into office, you blame the victims at every opportunity rather than take any responsibility for your own failures like an adult would instead do?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you were trying to stick Frank DeCarlo and FDC Construction with a confiscatory first-year tab of up to US$312,000 for the 447-477 Piermont Avenue project, comprised of US$112,000 in taxes and up to US$200,000 in permit fees – all to try to make up for the negative US$7,600,000 Net Position deficit hole into which you misspent Piermont resident taxpayers during your seven years as Mayor?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you hired Nelson Pope Voorhis to run propaganda as a “planner” for the 447-477 Piermont Avenue project, when in fact Nelson Pope’s real claim to infamy is inserting an anti-NIMBY clause into a contract with Southold, New York to try to crush resident opposition to development?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you still intentionally disregard the fact that the 447-477 Piermont Avenue project is within 792 feet of a Superfund site?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and your administration have wantonly sought to obstruct New York’s Freedom of Information Law (FOIL) and Open Meetings Law at every conceivable turn?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you have publicly uploaded the most embarrassing and unprofessional photos to social media and the Internet, of any Rockland County, New York official, ever – including countless photos of you getting drunk on alcohol, and even photos of you emulating murderous guerilla leader Che Guevara?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you continue to support Piermont’s yearly celebration of France’s Bastille Day, instead of properly celebrating the American holiday of Flag Day?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that this year in 2024 you busted through the Rockland County tax cap and instead hit your taxpaying resident neighbors with a harsh 6.9% tax increase – due to your own malfeasance and rank mismanagement of Village of Piermont finances?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you were functionally useless in your non-reaction to an oil spill from a residential construction site into the Sparkill Creek this summer - and that under your mayoral “administration”, local officials were even denied entry into the subject premises while that oil spill was still continuing?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that the Wall Street Journal, the Atlanta Constitution, and Good Housekeeping exposed you in 2006 while you were still a garmento wholesaler, for falsifying the thread-counts in the sheets that you sold to unsuspecting retailers – ultimately leading you in turn to sell-off your business after less than three years in your Manhattan showroom?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you actually put your family home in hock repeatedly in an effort to fund your business as a sheet and towel salesman?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you proceed at all times in willful disregard of your Piermont resident neighbors, running a local government which is less transparent than North Korea or the Kremlin?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you stated in an April 2024 public meeting and then told a local rag in a July 2024 interview that you intended to keep the bulk of a US$3,200,000 “unassigned Fund Balance” in Village Hall coffers and not remit the bulk of it back to taxpaying Piermont residents - while also admitting that to be your way of manipulating the Village’s credit rating before the bond market and Wall Street?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you never select committee members, pro tempore Trustees, or Village Hall personnel unless you are first certain that they themselves will function as your mindless puppets and fellow political hacks without exercising any independent discretion or original thought of their own?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you and the Village of Piermont tried to game the Judge and the Rockland County Department of Planning in the Janice Young v. Piermont litigation before losing it, and even at one point flouted a court order of Honorable Hal Greenwald, J.S.C.?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that when you lost the case of Janice Young v. Piermont, you immediately thereafter hid from view like a petulant coward - as opposed to communicating with your Piermont constituents about the outcome, and as opposed to apologizing to them for wasting their money on that litigation which you yourself induced and caused?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you continue to threaten to waste even more Piermont taxpayer money by the still-pending filed Notice of Appeal in the Janice Young v. Piermont case, thereby threatening to appeal Justice Greenwald’s decision in that case at the further and unnecessary expense of Piermont taxpaying residents?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that the best you could do to select a replacement for a Trustee vacancy, was to select a substitute Trustee whose best "qualification" for the job was the fact that she is a sculptress? Are you KIDDING me?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that you stood behind an Affidavit of Jennifer DeYorgi Maher wherein she attested that she mailed a referral to the Rockland County Department of Planning - which attorneys for the County then attested was in fact never received by the Rockland County Department of Planning?
 
BRUCE TUCKER'S ANSWER:

QUESTION (TO BRUCE TUCKER): Isn’t it true that your deplorable mismanagement of Piermont village government has now caused “moles” within your midst to inform on you, inexorably leading to the justifiable end of your political career?
 
BRUCE TUCKER'S ANSWER:

(Adjourned at 4:47 P.M.)