Petition to New York State Attorney General The Honorable Eric T..Schneiderman WE THE llN DERSIGNED call upon Attorney General Eric T. Schneiderman to usc his authority including New York State N-PCL Section 51 I(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of Manhattan to the Rudin Organization in the ab ence of the inclusion ora full service hospital with an emergency room in compliance with NY State law and the needs of tile lower West Side of Manhattan, and New York State. In specific, under New York State N-PCL Section 511 (a)-(b) S1. Vincent's is required to serv you with notice of the sale transaction, and under Section 51 1(a)( 4) must show the disposition of substantially all assets is for consideration that is fair and reasonable and that the sale is in the best interests of the community. We also bel ieve that this sale does not comply with the rovisions of 501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a full service hospital. Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center H'DS a tragic Mow for Greenwich Village, Chelsea and the en/ire West Side ofManhattan. Unless a 2.f.-hour acute care hospital with an emergency room opens in this neighborhood. entire communities ofNew Yorkers 1,1'i11o without the adequate health services they deserve .. r and "The bottom line is: the lvest side cf Manhattan both deserves and needs' an acute care hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. fI This is your opportunity to in fact ensure that reality and fulfil! your campaign promise. We call upon you to block this sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws. Sincerely, Coalition for a New Village Hospital 304 ark Ave. S. # 2G6, New York, NY 10010 Demand.vl+ospitat.hlngapot.corn
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DERSIGNED call upon Attorney General Eric T. Schneiderman to usc his authority including New York State N-PCL
Section 51 I(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion ora full service hospital with an emergency room in
compliance with NY State law and the needs of tile lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511 (a)-(b) S1. Vincent's is required to serve you with notice of the sale
transaction, and under Section 51 1(a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also bel ieve that this sale does not comply with the provisions of 501 (c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center H'DS a tragic Mow for
Greenwich Village, Chelsea and the en/ire West Side ofManhattan. Unless a 2.f.-hour acute care hospital with anemergency room opens in this neighborhood. entire communities ofNew Yorkers 1,1'i11o without the adequate health
services they deserve .. r and "The bottom line is: the lvest side cf Manhattan both deserves and needs' an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. fI
This is your opportunity to in fact ensure that reality and fulfil! your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 2G6, New York, NY 10010 Demand.vl+ospitat.hlngapot.corn
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 51l(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 51 1(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 ( a) ( 4 ) must show the disposition of substantially al l assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME ZIPCODE
/
L o o I f
C .. ition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital. blogspot.comV
WE TIlE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former S 1 . Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 51 1(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code inthat this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE
. 1.-
PRINT NAME ZIPCODE
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C . .a,) Ci
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Coali,ii for a New Village Hospital 304 Park Ave. S.# 206, New York, NY 10010 DemandAHospita1.blogspot.comV
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section S11(a)-(b) and Section S 1 1 (a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section SU(a)-(b) S 1 . Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of S O l (c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "171ebottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. 'I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block tills
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRJNTNAME ZIPCODE
~ -, "" "
~J. - v v J~ l~ { 3 l~ie v i
Coalition for a New Village Hospital 304 Park Ave. S.# 206, NewYork, NY 10010 DemandAHospital.blogspotcom
DERSIGNED call upon Attorney General Eric T. Schneiderman to usc his authority including New York State N-PCL
Section 51 I (a)-(b) and Section 51 J (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion ora full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West S ide of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51! (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (21)(4) must show the disposition of substantially a II assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
\Ne also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin pJan docs not continue the charitable mission ofSt. Vincent's as it is required to, namely a
fu n service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the en/ire TVestSide of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve .. s and "The bottom line is: the lvest side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. n
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Demand.'!dfospitnl.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale isin the best interests of the community.
'v V e also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blow/or
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side ofManhattan both deserves and needs' an acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
DERSIGNED call upon Attorney General Eric T. Schneiderman to usc his authority including New York State N-PCL
Section 51 1(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Cathol ic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511 (a)-(b) St. V incenf s is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable an d that th e sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501 (c)3 of the Internal Revenue Code in that th is
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medica! Center was a tragic blowfor
Greenwich Village, Chelsea and the entire TVes!Side of Manhattan. Unless a 24-h01l1'acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the lvest side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. rr
This is your opportunity to in tact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and cornpl iance with all relevant state and other applicable laws.
Sincerely,
" ;Coantrbn for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DcmaudxHospitat.hlogspot.com
The Honorable Eric T ..Schneiderman . y ' ' iWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to Lisehis authority including New York State N-PCL
Section Sll(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section Sll(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does 110t comply with the provisions of 50 l(c)3 ofthe Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire FVestSide ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood. entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side ofManhattan both deserves and needs' an acute care
hospital with all emergency room. Anything and everything should he done to make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition fnra New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Domand.AHospital.blegspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to usc his authority including New York State N-PCL
Section S11(a)-(b) and Section 511(a)(4) to block the sale ofthe former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific. under New York State N-PCL Section 51! (a)-(b) St. V incents is required to serve you with notice of the sale
transaction, and under Section 51 I (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that th is sale does not comply with the provisions of 501 (c)3 of the r nternal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure q/SI. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, en/ire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom fine is: the H'estside ofManhattan both deserves and needs all acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
) ~\ '/~}~-~-""~:,.-:~:~!-
J // f'~il' ~.liLl
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
DERSIGN1<:n call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 51 1 (a)-(b) and Section 51 1(a)(4) to block the sale of the former St . Vincent's Catholic Medical Center of
M anhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51] (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, an d under Section 51 ] (a)( 4) must show the disposition of substantially a I I assets is for consideration that is
fair and reasonable and that the sale is in the best interests or tile community.
We also believe that this sale does not comply with the provisions of 5 0 I ( e) 3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center H'as a tragic blowfor
Greenwich Village, Chelsea LInd the entire Wesf Sid~~ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in {his neighborhood. entire communities of/view Yorkers will go without the adequate health
services they deserve .. , and "The bottom line is: the west side ofManhattan both deserves and needs ' an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfil! your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511 (a)-(b) and Section 51l (a)(4) to block the sale of the former S1. V incent's Catha Iic Med ical Center of
Manhattan to the Rudin Organization in the absence of tile inclusion of a full service hospital with an emergency room incompliance with NY State law and the needs ofthe lower West Side of Manhattan, and New York State.
1 1 1 specific, under New York State N-PCL Section 51] (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 I (c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of 81. Vincent's Catholic Medical Center ,vas a tragic blow/or
Greenwich Village, Chelsea and the entire yVestSide ofManhattan. Unless a 2~-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom fine is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. 1/
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
PRINT NAME
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY I tHHO DemandAHospital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section Sll(a)-(b) and Section 5J 1(a)(4) to block the sale of the ronnel' St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51 1(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale an d the proposed Rud i n plan does not continue th e charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village. Chelsea and the en/ire 11Ies(Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood. entire communities ofNew Yorkers 1 1 ' 1 1 1 go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon YOLl to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
'WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section Sll(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 5 11(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of SOl(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is.' the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
PRINT NAME ZIPCODE
t« /C{)(
11"'''''''!,~/{..j~
/
Coalition for a New Vill age Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandA Hospital. blogspot.com '
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section S11(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " a.nd "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality, "
This is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 51 1(a)-(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure o r Sf. Vincent's Catholic Medical Center lvas a tragic blow/or
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in [his neighborhood. entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 51 ] (a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51 1(a)-(b) St. Vi ncent' s is required to serve you with notice of the sale
transaction, and under Section 51 !(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale docs not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan docs not conti 1 1 L I e the charitable 1 1 1 ission of S1. Vincent's as it is requ ired to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center lvas a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the lvest side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Ant,thing and everything should be done 10 make certain that becomes a reality. rr
This is your opportunity to in fact ensure that reality an d fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Dcmand.cfiospltal.blngspot.com
l)ERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section Sll(a)-(b) and Section 51 I (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51 1(aj-Ib) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 51 I (a)( 4) must show the disposition of substantially all assets is tor consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 I (c)3 ofthe Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
fu IIservice hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and need, an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality."
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. '0/e call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws,
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 5 1 1(a)-(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rud i n Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West S ide of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
tran saction , an d under Section 511 ( a) ( 4) must show the d ispos i t ion of substantially all assets is for consideration that is
fair and reasonable and that the sa 1e is in the best interests of the cornmun ity.
We also believe that this sale does not comply with the provisions of 50 I (c)3 ofthe Internal Revenue Code in that this
sale an d the proposed Rudin plan does not cont inue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure (lSI. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in {his neighborhood. entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bot/om line is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room, Anything and everything should be done to make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pend ing the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section SI1(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of tile inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lowerWest Side of Manhattan, and New York State.
In speci fic, under New York State N-PCL Section 51 1(a)-(b) SL Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantia! Iy all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
fu II service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center }vas a tragic blow/or
Greenwich Village. Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood. entire communities ofNewYorkers will go without the adequate health
services they deserve. " and "The bottom line is: the H'est side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
Tilis is your opportunity to in fact ensure that real ity and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
Sincerely.
Coalit ion for /1 New Village Hospital 304 Park Ave. S. # Z(}6,New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to lise his authority including New York State N-PCL
Section Sl J(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section Sll(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 51 1(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions 0f 50 I(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center lvas a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side ofManhattan both deserves and needs an acute care
hospital with all emergency room. Anything and everything should be done 10make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a NevI' Village Hospital 304 Park Ave, S. # 206, New York, N\" 10010 Demaud.e Hospital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section SI1(a)-(b) and Section 511 (a)(4) to block the sale ofthe former SL Vincent's Catholic Medical Center of
Manhattan to the Rud in Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51l (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 5 II (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair an d reasonable an d that the sale is in the best interests of the community.
We also believe that this sale does not comp ly with the provis ions of 50 I(c)3 of the rnternal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village. Chelsea and the entire r V e s t Side ofManhattan. U nle s s a 24-hour acute care hospital with anemergency room opens in this neighborhood entire communities of N . ell' Yorkers wil l go without the adequate health
services they deserve. " and "The bottom line is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. rt
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. Vlie call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New ViHage Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511(a)-(b) and Section 51 I(a)(4) to block the sale of the former St. Vincent's Cathol ic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
Itl specific, under New York State N-PCL Section 51 1(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 I(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as i t is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center lv(lS a tragic blowfor
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-/;ollr acute care hospital with anemergency room opens in this neighborhood. entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the H'est side cfManhattan both deserves and needs an acute care
hospital with an emergency room: Anything and everything should be done 10 make certain that becomes a reality. fI
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon YOll to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other appl icable laws.
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511 (a)-(b) and Section 51l (a)( 4) to block the sale of the former St. Vincent's Cathol ic Mod ical Center of
Manhattan to the Rudin Organization in the absence ofthe inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific. under New York State N-PCL Section 511 (a)-( b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does 110t continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year,Mr. Schneiderman, )'OU said "The closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire r V e , ' ; ! Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of Neil' Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the lyes! side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done (0 make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfil! your campaign promise. We call upon you to block this
sale pend ing the inclusion of a full service hospital and cornpl iance with all relevant state and other appl icable laws.
Sincerely,
l
\ {t~---i
Coalition fo" a New \'mage Hospital 304 Park. Ave. S. # 206, New York, NV WOW DemandAHospital.blogspot.com
DERSIGNED call upon Attorney General Eric T, Schneiderman to use his authority including New York State N-PCL
Section S J I(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State,
In specific, under New York State N-PCL Section Sll(a)-(b) SL Vincent's is required to serve you wi th notice of the sale
transaction, an d under Section 51 I (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 5 01 (c)3 o f th e I ntern al Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year. Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers 11'iTl go without the adequate health
services they deserve. " and "The bottom line is: the west side ofMonhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY lOOlO Demanda.Hospital.blogspot.corn
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 51 1(a) -(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of tile inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
ln specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 5]1 (a)( 4) m ust show th e disposition of substantially al l assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last yearvMr. Schneiderman, yon said "The closure of St. Vincent's Catholic Medical Center ,vas a tragic blowfor
Greenwich Village. Chelsea and the entire jiVes!Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bot/om line is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the incl usion of a fu II service hospital and campi lance with all relevant stale and other applicable laws.
Sincerely,
ZIPCODE
Coalition for a New Village Hospital 304 Park Ave, S. # 206, New Ynrk, NY lOOlO Demanda Hospitst.blogspot.com
DERSIGNED call upon Attorney Genera! Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511 (a)-(b) and Section 511 (a)( 4) to block the sale of the former S1. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an emergency room incompliance with NY State law and the needs of tile lower West Side of Manhattan, and New York State.
In specific. under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests ofthe community.
W e also bel ieve that th is sale does not comply with the provisions of 50 1(c)3 of th e Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year. Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute core hospital with anemergency room opens in this neighborhood, entire communities a/New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the H'es!s ide ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. tt
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely..,II
Coalition for a New Village Hospital 304 Pad ...Ave. S. # 206, New York, NY 100lO Demandx+lospltal.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511 (a)-(b) and Section 511 (a)( 4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is requi red to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
\Ve also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
f u l l service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village. Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital witli anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve." and 'The bottom line is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
ZIPCODE
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N·PCL
Section 511 (aHb) and Section 511 (a)( 4) to block the sale of the former St. Vincent's Cathol ic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51 1(a)-(b) St. Vincent's is requ ired to serve youwith notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also bel ieve that this sale does not comply with the provisions of 50 I(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of Sf. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute core hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the H'esfside of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. 11
This is your opportunity to in fact ensure that reality and fulfill YOL l r campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 3{}4PH,k Ave. S. # 206, New York, NY 10010 Dcmand.a Hcspital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511 (a)-(b) and Section 51 1(a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific. under New York State N-PCL Section 5 J 1(a)-(b) St. Vi ncents is required to serve you with notice of the sale
transaction, and under Section 51 I(a)( 4) must show the disposition of substantially a II assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 I (c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
fu 1 1 service hospital.
Last year, Mr. Schneiderman, you said "The closure q(SI. Vincent's Catholic Medica! Center 1vas a tragic blow for
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-houl' acute care hospital with an
emelgencv room opens in this neighborhood, entire communities of N·c)v Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the lFest side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale p en din g th e inclusion of a full service hospital and compliance with a ll r el evant state and other a pp li cab le la w s.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY lOOlO DemandAHospital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including NC\v York State N-PCL
Section 51 1(a)-(b) and Section 51 1(a)( 4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full serv ice hospital with an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 5 I 1(a)-(b) St. Vincent's is reqU ired to serve you with notice of the sale
transaction, and under Section 51 J (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rud in plan does 110t continue the charitable 111 iss ion of St. Vincent's as it is req uired to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village. Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services the}:'deserve. " and "The bottom fine is: the lPest side ofManhauan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 100tO Demanda Hospital.blogspot.com
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 51 I (a)·(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital w ith an emergency room in
compliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
I n specific, under New York State N-PCL Section 51 1(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 51 I(a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and tha t the sale is in the best interests of th e community.
We also believe that this sale does not comply with the provisions of 50 I (c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "171ebottom line is: the H'est side ofManhauan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality, "
Th is is your opportun ity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
/~ ~
L[()f"Ae~, __ .~~~
; ; , c
,ii
--__j
Coalition for a New Village Hospital 304 Park Ave.S, # 206, New York. NY lOOlO Demanda Hospttal.blogspot.cem
lJERSIGNED cal! upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 511(a)-(b) and Section 51l (a)(4) to block the sale of the former St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a fu II service hospital with an emergency room in
compliance with NY State law and the needs ofthc lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 51] (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 5]] (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of501(c)3 of tile Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medica! Center ~·j!asa tragic blowfor
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side ofManhattan both deserves and n e e d s ' an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion ofa full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
DERSIGNED call upon Attorney General Eric T, Schneiderman to use his authority including New York State N-PCL
Section 51 I ( a )- (b ) and Section 51 I ( a )( 4) to block the sale of the former St. Vincent's Cathol ie Medical Center of
Manhattan to the Rud in Organization in the absence of the inclusion of a fu II service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.·
In specific, under New York State N-PCL Section Sll(a)-(b) S1 . Vincent's is required to serve yo u with notice of the sale
transaction, and under Section 51 I (a)( 4) m ust show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of 51. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure a/St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village. Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services (hey deserve. " and "The bottom line is: the west side ofManhattan both deserves and need) an acute care
hospital with an emergency room, Anything and everything should be done 10 make certain that becomes a reality. rr
This is your opportun ity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
Coalition fOI" a New Village Hospital 304 Park Ave. S, # 2(]6, New York, NY WOW Demands.Hospital.blogspot.corn
DERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York State N-PCL
Section 5 I I (a)-(b) and Section 511 (a)( 4) to block the sale of tile Fonner St. Vincent's Catholic Medical Center of
Manhattan to the Rudin Organization in the absence of the inclusion of a fu 11service hospital with an emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York State.
In specific, under New York State N-PCL Section 511 (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable an d that the sale is in the best interests of the community.
\Ve also believe that this sale does not comply with the provisions of 501 (c)3 of the Internal Revenue Code in that this
sale an d the proposed R ud in plan does not continue the charitable m ission of St. V in cen t's as it is required to , namely a
full service hospita l.
Last year, Mr. Schneiderman, you said "The closure (?lSI. Vincent's Catholic Medical Center lvas a tragic blow/or
Greenwich Village. Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " an d "The bottom line is: the lvest side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done 10 make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospi tal and compliance with all relevant state and other ap plicable law s.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, N\' 10010 Demendxl+ospltal.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including NewYork
State N-PCL Section S11(a)-(b) and Section 511(a)(4) to block the sale of the former S1.Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 51 1 (a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely a
full service hospitaL
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME ZIPCODE
/ 0 O( (
/C--Olj
If' !./L~ \f
I00 ( I
l e N ) } /
//J /~7/) i,'l/{··CI/
I
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Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.eom
Petition to New York State Attorney GeneralThe Honorable Eric T ..Schneiderman
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section Sll(a)-(b) and Section 511(a)(4) to block the sale of the former s t. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 51 1(a)-(b) St . Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests o f the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should he done to make certain that becomes a reality. II
This is your opportunity to in fac t ensure that reality and fulfill YOLL- campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME ZIPCODE
~ / ~ ~ l A } \ / ( ; = t t L".)F !}
Coalition ~or a New Village Hospital
, 1 . ( ' : ; . . ; f a n i j h i J 1 ;< • j V - r ' A ' : : ' _ I : : ' _ < ' _ ~ _ < ,L__~~ __,
:j304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attomey General Eric T. Sclmeidennan to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511 (a)(4) to block the sale of the fanner St. Vincent's Catholic Medical
Center afManhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 511(a)-(b) 81 . Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is far consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality."
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINTNAM:E ZIPCODE
/"7(~L \ : fA-\i-;;:·· f?fv\ \~~ !\, 1
\00\
Coalition for a New Village Hospital 304 Park Ave_ S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511 (a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs ofthe lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1 (c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said liThe closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve." and "The bottom line is: the west side a/Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill you; campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
ZIPCODE
I//? E \ / (k 1 /~ ' : - ~ l ~ ' 7 t C ~ ' ~ ~ / ~_ - - ~0~t~'~!'~~~~ -L~ __ ~\J~t~~~~~'~'~~.~,_/~~'\ I ~ i G ~ ; ~ Q ~ r M J ~ U ~ ( ( ~ , ~ ill
(,c Coalition for a New Village Hospital 304 Park Ave. S. i ; " i 0 6 , New Yor~,NY 10010 DemandAHosPital.Jogspotcom
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 51 1(a)-(b) and Section 511(a)(4) to block the sale of the former S1.Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room incompliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale.aadtlieproposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely aservice hospital. -- ,
:::::=::.:,,-"-.~.. , _/ ,",--)
Last year, Mr. ScIilleidennan, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
ZIPCODE
I(Ji If IL
Coalit ion fo 'New Village Hospital 304Park Ave. S.# 206,NewYork, 1\ry 100]0 DemandAHospital.blogspot.com
Petition to New York State Attorney GeneralThe Honorable Eric T..Schneiderman
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511 (a)-(b) and Section 511{a)(4}to block the sale oftheformer St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section Sl1(a)-(b) s t. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that thissale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We can upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
PRINT NAME ZIPCODE
i6D14
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, Ny I!'
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 51l(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
Inspecific, under New York State N-PCL Section 511(a)-(b) S1.Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions ofSOl(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of s t. Vincent's as it is required to, namely a
full service hospitaL
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. /I
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
~IGNATURE PRINT NAME ZIPCODE
A fr
o /
Coalition for a New Village Hospital 304 Park Ave. S.# 206, New York, tY10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former s t. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 51 1(a)-(b) S1 . Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale mld the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. Hand "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. tt
TIllS is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section SU(a)-(b) S 1 . Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
WE THE IJNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
Inspecific, under New York State N-PCL Section 511(a)-(b) S1.Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of SOl(c)3 of the Internal Revenue Code inthat this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. rt
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block tins
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME
/
-{
ZIPCODE
louO~(6 l/
I 00 I
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 51 1(a)(4) to block the sale of the former s t. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 511(a)-(b) 8 1 . Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side oj Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve." and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. tt
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME
r-,
: ' / ' L c - 1 . _ _ _ . _
ZIPCODE
10 ez,
1 00\
1001
100 \ \
IQtJ \ \
J CJ-t) I!
(GD I(
Coalition for a New Village Hospital 304 P ar k A ve , S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE l.J1\1)ERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511(a)(4) to block the sale ofthe fanner s t. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of S1.Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure a/St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. rr and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. tr
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAlVIE ZIPCODE
/00 /
alition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
'VE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511 (a)-(b) and Section 511(a)(4) to block the sale of the former SL Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 5 I1(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency 1'00111. Anything and everything should be done to make certain that becomes a reality."
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
ZIPCODE
I ,I, I
f ( j ( J J q
\ 0 a '00
o oe»
!I J 02
o lition for a New Village Hospital 304 Park Ave. S. # 206, New York. NY 10010 Demand Allospital.blogspct.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511 (a)-(b) and Section 511 (a)( 4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the .vest side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality."
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE ZIPCODERINT NAME
1001 C ;
ll,]{5
304 Park Ave. S. # 206, New Yark, NY 100] 0 Demand/vHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 51 1(a)-(b) and Section 511(a)(4) to block the sale of the fanner S1.Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 51 1(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 50 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of s t. Vincent's as it is required to, namely a
full service hospital.
Last year, 11r. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve. " and "The bottom line is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. tr
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section S11(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 511(a)-(b) S1.Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of S O 1(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does 110t continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side ofManhauan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. »and "The bottom line is: the west side of Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. It
This is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME ZIPCODE
iJ
!Y ( ; 7 / 1
[OOO'd--
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.biogspot.com
'WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section Sll(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with an
emergency room incompliance with NY State law and the needs of'the lower West Side of Manhattan, and New York
State,
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of S t. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate healthservices they deserve." and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
This is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with aU relevant state and other applicable laws.
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section Sl1(a)-(b) and Section S11(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization inthe absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
illspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat thissale and the proposed Rudin plan does not continue the charitable mission of s t. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve." an d "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. tr
This is your opportunity to infact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with ail relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME
)
ZIPCODE
I / O
/
/ 1r ]
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
The Honorable Eric r,SchneidermanWE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511 (a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with anemergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
In specific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511(a)( 4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality."
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
ZIPCODERINT NAME
I (\ (1\ ('(/:t . \ .. ..,1 '., ....- .
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 511 (a)(4) to block the sale of the former s r, Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
Inspecific, under New York State N-PCL SectionSll(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is inthe best interests of the community.
We also believe that this sale does not comply with the provisions of SOl(c)3 of the Internal Revenue Code in that this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full.servicehospital,
Last year, Mr. Schneiderman, you said "The closure of St. Vincent's CatholicMedical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire WestSide ofManhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate health
services they deserve. " and "The bottom line is: the west side 0/Manhattan both deserves and needs an acute carehospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. "
..'TIns is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely,
SIGNATURE PRINT NAME ZIPCODE
I!i
l 1i I! !
,,1
. I '\ "-f"\ ~
I
/00 Id - - -
!{
I
r:s .
Coalition for aNew VillageHospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N-PCL Section 511(a)-(b) and Section 51 I(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion ofa full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan. and New YorkState.
In specific, under New York State N-PCL Section511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat this
sale and the proposed Rudin plan does not continue the charitable mission ofSt. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "The closure ofSt. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. nan d "The bottom line is: the west side a/Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. II
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of afull service hospital and compliance with all relevant state and other applicable laws.
Sincerely.
PRINT NAME ZIPCODE
Coalition for a New Village Hospital 304 Park Ave. S.# 206, New York,NY iooio DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N~PCL Section 51l(a)-(b) and Section 511 (a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New YorkState.
In specific, under New York State N-PCL Section 511(a)-(b) S 1 . Vincent's is required to serve you with notice of the sal
transaction, and under Section 511(a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community,
We also believe that this sale does not comply with the provisions of 50 1(c)3 of th e Internal Revenue Code inthat this
sale and the proposed Rudin plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman. you said "The closure of St. Vincent's Catholic Medical Center was a tragic blow for
Greenwich Village, Chelsea and the entire West Side of Manhattan. Unless a 24-hour acute care hospital with anemergency room opens in this neighborhood, entire communities of New Yorkers will go without the adequate health
services they deserve. rr and "The bottom line is: the west side of Manhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done to make certain that becomes a reality. rr
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state and other applicable laws.
Sincerely, .r'~~"" • . s' " I
PRINT NAME ZIPCODE
/r
Coalition for a New VillageHospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com
WE THE UNDERSIGNED call upon Attorney General Eric T. Schneiderman to use his authority including New York
State N~PC~ Section 511(a)-(b) and Section 511(a)(4) to block the sale of the former St. Vincent's Catholic Medical
Center of Manhattan to the Rudin Organization in the absence of the inclusion of a full service hospital with an
emergency room in compliance with NY State law and the needs of the lower West Side of Manhattan, and New York
State.
Inspecific, under New York State N-PCL Section 511(a)-(b) St. Vincent's is required to serve you with notice of the sale
transaction, and under Section 511 (a)(4) must show the disposition of substantially all assets is for consideration that is
fair and reasonable and that the sale is in the best interests of the community.
We also believe that this sale does not comply with the provisions of 501(c)3 of the Internal Revenue Code inthat this
sale and the proposed Rud i n plan does not continue the charitable mission of St. Vincent's as it is required to, namely a
full service hospital.
Last year, Mr. Schneiderman, you said "Theclosure of St. Vincent's CatholicMedical Center was a tragic blowfor
Greenwich Village, Chelsea and the entire West Side ofManhattan. Unless a 24-hour acute care hospital with an
emergency room opens in this neighborhood, entire communities ofNew Yorkers will go without the adequate healthservices they deserve. sr and "The bottom line is: the west side ofManhattan both deserves and needs an acute care
hospital with an emergency room. Anything and everything should be done tomake certain that becomes a reality. If
This is your opportunity to in fact ensure that reality and fulfill your campaign promise. We call upon you to block this
sale pending the inclusion of a full service hospital and compliance with all relevant state arid other applicable laws.
Sincerely,
Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com