Case 1:07-cv-00435-SLR
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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE ROBERT QUILL, Plaintiff, v. CATHOLIC DIOCESE OF WILMINGTON, INC., a Delaware corporation; ST. ELIZABETH'S CATHOLIC CHURCH, a Delaware corporation; Rev. FRANCIS G. DELUCA, individually and in his capacity; and Rev. MICHAEL A. SALTERELLI, in his official capacity, Defendants. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )
C.A. No.: 07-435 SLR JURY TRIAL DEMANDED
REVEREND FRANCIS G. DELUCA'S AMENDED ANSWER TO THE AMENDED COMPLAINT 1. Denied. I. JURISDICTION 2. The defendant admits diversity of jurisdiction. He has insufficient information to admit or deny the value of the case. 3. The defendant has insufficient information to admit or deny the averment. II. THE PARTIES 4. 5. 6. 7. 8. 9. The first three sentences are admitted. The last sentence is denied.. The defendant has insufficient information to admit or deny the averment. The defendant has insufficient information to admit or deny the averment. The first two sentences are admitted. The balance of the averment is denied. Denied. The first sentence is admitted. Defendant has insufficient information to admit or deny
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the balance of the averment. 10. 11. 12. Denied. Defendant has insufficient information to admit or deny the averment. The first sentence is denied. Defendant has insufficient information to admit or deny the balance of the averment. 13. 14. Defendant has insufficient information to admit or deny the averment. Denied. III. FACTS GIVING RISE TO THE ACTION 15 through 35. 36. 37. 38. 39. 40. 41. 42. 43. 44. 45. 46. 47. 48. 49. Denied. Denied. Denied. Denied. Defendant has insufficient information to admit or deny the averment. Denied. Denied. Defendant has insufficient information to admit or deny the averment. Denied. Denied. Denied as stated. Denied as stated. Denied as stated. Denied. The defendant has insufficient information to admit or deny these averments.
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50. 51. 52. 53. 54. 55. 56. 57. 58. 59. 60.
Denied. Denied. The first sentence is admitted. The balance of the averment is denied. Denied. Denied. Denied. Denied. Denied. Denied. Admitted. Defendant has insufficient information to admit or deny the last sentence. The balance of the averment is admitted.
61.
It is admitted that the plaintiff graduated in 1978. Defendant has insufficient information to admit or deny the balance of the averment.
62. 63. 64. 65. 66. 67. 68. 69. 70.
Admitted. Admitted. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Admitted. Denied. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment.
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71. 72. 73. 74. 75. 76. 77. 78.
Defendant has insufficient information to admit or deny the averment. Denied. Defendant has insufficient information to admit or deny the averment. Denied. Denied. Denied. Defendant has insufficient information to admit or deny the averment. It is admitted that the defendant was transferred to St. Elizabeth's in 1966. The balance of the averment is denied.
79. 80. 81. 82. 83. 84. 85. 86. 87. 88. 89.
Denied. Denied. Denied. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Admitted. Admitted. It is admitted that the plaintiff was an alter boy at St. Elizabeth's High School. The last sentence is admitted. The balance of the averment is denied.
90. 91.
The defendant has insufficient information to admit or deny the averment. The last sentence is admitted. The balance of the averment is denied.
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92. 93. 94. 95. 96. 97. 98. 99. 100.
Denied. Admitted. Denied. Denied. Denied. Denied. Defendant has insufficient information to admit or deny the averment. Denied. It is admitted that the defendant moved to Syracuse, New York. It is further admitted that he was arrested for various violations involving sexual conduct. It is admitted that he
pled guilty to three charges. The balance of the averment is denied. 101. 102. 103. 104. 105. 106. 107. 108. 109. 110. 111. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Denied. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment.
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112. 113. 114. 115. 116.
Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. COUNT I
117. 118. 119. 120.
Defendant repeats answers to paragraphs 1 through 116. Denied. Denied. Denied. COUNT II
121. 122. 123. 124. 125. 126.
Defendant repeats answers to paragraphs 1 through 120. Denied. Denied. Denied. Denied. Denied. COUNT III
127. 128. 129. 130. 131.
Defendant repeats answers to paragraphs 1 through 126. Denied. Denied. Denied. Denied.
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132. 133. 134.
Denied. Denied. Denied. COUNT IV
135. 136. 137. 138. 139. 140.
Defendant repeats answers to paragraphs 1 through 134. Denied. Denied. Denied. Denied. Denied. COUNT V
141. 142. 143. 144. 145. 146. 147. 148.
Defendant repeats answers to paragraphs 1 through 140. Denied. Denied. Denied. Denied. Denied. Denied. Denied. COUNT VI
149. 150.
Defendant repeats answers to paragraphs 1 through 148. Denied.
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151. 152. 153. 154.
Denied. Denied. Denied. Denied. COUNT VII
155. 156. 157. 158. 159. 160.
Defendant repeats answers to paragraphs 1 through 154. Denied. Denied. Denied. Denied. Denied. COUNT VIII
161. 162. 163. 164. 165. 166. 167. 168. 169. 170. 171.
Defendant repeats answers to paragraphs 1 through 160. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Denied. Denied. Denied. Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment.
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172. 173. 174. 175. 176. 177. 178. 179. 180. 181. 182. 183.
Defendant has insufficient information to admit or deny the averment. Defendant has insufficient information to admit or deny the averment. Denied. Denied. Denied. Denied. Denied. Denied. Denied. Denied. Denied. Denied. AFFIRMATIVE DEFENSES
184. 185.
The action is barred by the statute of limitations. The court has no jurisdiction to hear the case. Sole jurisdiction is with the Superior Court of the State of Delaware.
186.
Paragraphs 15 through 25 of the complaint should be stricken because it contains immaterial and impertinent matters.
187. 188.
All averments relating to subsequent conduct of defendant should be stricken. The "Child Victims Act," 10 Del. C. §8145 violates the Delaware Constitution and the United States Constitution.
189.
Application of the "Child Victims Act," 10 Del. C. §8145 under the circumstances in this case is barred by state and federal constitutional provisions.
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CASARINO, CHRISTMAN & SHALK, P.A. /s/ Stephen P. Casarino STEPHEN P. CASARINO, ESQ I.D. No. 174 800 N. King Street, Suite 200 Wilmington, DE 19899-1276 (302) 594-4500 Attorney for Defendant Rev. Francis G. Deluca Dated: November 26, 2007
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CERTIFICATE OF SERVICE I, Stephen P. Casarino, Esq., hereby certify that I have caused to be deposited in the mailbox at 800 North King Street, Suite 200, Wilmington, DE 19801, on this 26th day of November 2007, a true and correct copy of the attached Defendant DeLuca's Answer to the Amended Complaint to: Thomas S. Neuberger, Esq. The Neuberger Firm, P.A. Two East Seventh Street Suite 302 Wilmington, DE 19801 Robert Jacobs, Esq. Jacobs & Crumplar, P.A. Two East Seventh Street Suite 400 Wilmington, DE 19801 Anthony G. Flynn, Esq. Young Conaway Stargatt & Taylor, LLP 1000 West Street, 17th Floor P.O. Box 391 Wilmington, DE 19899-0391 Mark L. Reardon, Esq. Ezlufon Austin Reardon Tarlov & Mondell, P.A. 300 Delaware Avenue, Suite 1700 P.O. Box 1630 Wilmington, DE 19899-1630 Mary E. Sherlock, Esquire 8 The Green, Suite 4 Dover, De 19901
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CASARINO, CHRISTMAN & SHALK, P.A. /s/ Stephen P. Casarino STEPHEN P. CASARINO, ESQ I.D. No. 174 800 N. King Street, Suite 200 Wilmington, DE 19899-1276 (302) 594-4500 Attorney for Defendant Rev. Francis G. Deluca