Consumer reviews and reports on scam companies, bad products and services
ClaimTek Systems Kyle Farhat ClaimTek Systems involved in Lawsuit Irwine, California
3rd of Apr, 2012 by User252512

CV-l1 4334 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF NEW YORK --------------------------~-----------------------------------------X TECFOLKS, LLC, Plaintiff, -against- CLAIMTEK SYSTEMS, SYDASOFT, Inc., KYLE FARHAT and NISHAT KURTZ: Defendants. --------------.----------------------------------------------------X RECEIVED IN CLERK'S OfFICE . .. US DiSTRiCT COURT E.D.N.Y Index
No.:* SEP 0 9 2011 * VERIFIED COMPLAINT ISLAND OFFICE JURY TRlAL DEMANDED HURLEY,J WALL: M.J. Plaintiff, Tecfolks, LLC (hereinafter "Tecfolks") by its attorneys, the Law Office of Vincent R Fontana, P.C., complains of defendants Claimtek Systems (hereinafter "Claimtek"), Sydasoft , Inc. (hereinafter "Sydasoft"), Kyle Farhat (hereinafter "Farhat") and Nishat Kurtz (hereinafter ''Kurtz''), as follows: NATURE OF CLAIM I. This is an action based on breach of contract, 'fraud in the inducement and to rescind the contract ab initio. 2. Plaintiff seeks declaratory relief, compensatory and punitive damages, liquidated damages, attorney's fees and such other and further relief as the Court deems just and proper. JURISDICTION AND VENUE 3. The jurisdiction of this Court is invoked pursuant to 28 u.s.c. § §1332(a)(1), CPLR Section 311 and Business Corporation Law Section 307. 4. Venue is proper pursuant to 28 U.S.C. §1391(a) in that the events giving rise to the claims occurred in the Eastern District of New York. PARTIES 5. Plaintiff is a citizen of the United States and resides at 2 Kenneth Street, Plainview, New York 11803, which is within the Eastern District of New York. 6. Upon information and belief, defendant ClaimTek Systems is a California Corporation doing business in the state of New York. 7. Upon information and belief, defendant Sodasoft is a California corporation doing business in the state of New York. 8. Upon information and belief, defendant Farhat is president of ClaimTek. Farhat is sued herein personally and in his capacity as president of ClaimTek. 9. Upon information and belief, defendant Kurtz is the Business Manager at ClaimTek and is sued herein in official and personal capacity. FACTUAL ALLEGATIONS 10. On or about November 30, 2010 the parties purportedly entered into a contract whereby defendant was to provide plaintiff a medical claims processing system for medical insurance claims and billing center functions, including but not limited to the following: training manuals, video tapes, medical billing software, technical support, and other items related to medical claims processing (Exhibit“A”). 11. In. consideration for the promises made by defendants before and after November 3, 2010, plaintiff paid defendants the sum of $15,095 on signing the contract and executed a promissory note in the amount of $5,000 (Exhibit "A"). 12. Pursuant to paragraph 13 of the Addendum to the contract defendants were to provide the costs and details of the dealership at the time of signing the contract. However, defendants failed to provide plaintiff Electronic Medical Records ("EMR") distributorship and failed to disclose the costs, details of the EMR dealership and contracts. 13. Defendants failed to provide technical support and correct errors in the MedOffice software in violation of the terms and conditions of paragraph 15 of the contract, even when the defendants were advised of the problems. 14. Defendants failed to provide technical support and correct errors in the DentOffice software in violation of the terms and conditions of paragraph 15 of the contract, even when the defendants were advised of the problems. 15. Defendants were in violation of paragraph 3 of the contract when it failed to provide a customized Enterprise-Level, Optimized Website valued at $18,000 under the Preferred Plus package. 16. Defendants are in violation of Section 16(i) of the contract addendum because it failed to provide 1700 new brochures. 17. Defendants were in default of Sections 3 and 5 of the contract when they failed to provide full technical, business and marketing support. 18. Defendants are in violation of Section 4 of the contract When it failed to supply all services and support to plaintiff. 19. Defendants are in violation of Section 12 of the contract by putting its logo on all promotional material that plaintiff was to distribute to its customers, thus making that material useless. 20. Defendants falsely advertised that it provides Certification Commission for Health Information Technology ("CCHIT") and information necessary to function under the American Recovery and Reinvestment Act ("ARRA"). 21. Defendants violated the contract by not providing full tech support 24/7 as stated it would. 22. Defendants violated the terms of the contract because it failed to provide plaintiff proper training. The DVD's and CD's were of poor quality and full of errors. AS AND FOR A FIRST CAUSE OF ACTION FOR FRAUD AGAINST ALL DEFENDANTS 23. Plaintiff repeats, realleges and restates each and every allegation set forth.in paragraphs "1" through “22" as if fully set forth herein. 24. Defendants knew at the time it fraudulently entered into the contract with plaintiff that it was incapable of satisfying the terms and conditions of the contract. 25. Defendants' fraudulent conduct was intentional and engaged in to induce plaintiff to enter into a contract with defendants that it would not have done had the defendants not engaged in the fraudulent misrepresentations. 26. Plaintiff has been damages in an amount to be determined at trial but not less than $250,000. AS AND FOR A SECOND CAUSE OF ACTION FOR BREACH OF CONTRACT AGAINST ALL DEFENDANTS 27. Plaintiff repeats, realleges and restates each and every allegation set forth in paragraphs "1" through "26" as if fully set forth herein. 28. Defendants' conduct as set forth herein constitutes a breach of the terms and conditions of the contract to the detriment of the plaintiff. 29. Plaintiff has been damages in an amount to be determined at trial but not less than $250,000. PRAYER FOR RELIEFW HEREFORE, plaintiff respectfully requests that this Court enter judgment against defendants: (1) voiding the contract between plaintiff and defendants ab initio thus declaring the contract null and void; (2) in the alternative, declaring that the defendants are in breach of the terms and conditions of the contract. Dated: Garden City, New York September 6, 2011 Yours, etc Law Office of Vincent R. Fontana P.C. . BY~,~ Vincent R. Fontana
Attorneysfor Plaintiff
1010 Franklin Avenue, Suite 200
Garden City, New York 11530
(516) 640-4505
Fax: (516) 640-4983

Post your Comment

Complaint Details


Get new code


 

Recently Updated Reports

1
1501 days ago by thestoryofdianegerrish
goldendoodle world - goldendoodle world lake ridge kennels Vulgar,...
I just came across this page a few minutes ago. I am Sandra Johnson and although this page was...
2
1725 days ago by freeinfofraud
Bitky.io - Unable to withdraw funds
Bitky be Aware! Unable to withdraw money! Bitky idoes not allow you to withdraw your funds, do...
4
1729 days ago by ned l.
Bi Polar Bullies - Bi Polar Bullies Kennel Karen Wolfe BUYERS BEWERE OF THIS...
thank you for bringing this to my attention...my name is Karen Wolfe, i'm the owner of...
7
1730 days ago by ned l.
ServiceMagic ServiceMagic scams and cheats contractors...
Jason - I'm sorry to hear about your experiences with your leads recently. The leads that...
     

User Registration

Already a ScamExposure.com member? Log in now.
Username
E-mail address
Password
 
Get new code

User Registration

A confirmation email was sent to "".
To confirm your account, please click the link in the message.

If you don't see the email in your Inbox, please check your Spam box.

User Login

Not a member of ScamExposure.com? Register now.
E-mail address
Password
Forgot your password?
E-mail address
Back
Loading, please wait...
Your password has been sent to the specified email address. Log in