CNVH Petition to CPC 1 of 4

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  • 8/3/2019 CNVH Petition to CPC 1 of 4

    1/91

    Petition to The Honorable Amanda M~BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market .rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantefor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    PRINT NAME

    Coalition for a New Village Hospital 304 Park Ave. S o # 206, New York; NY 10010 DcmandAHospita1.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    2/91

    Petition to The Honorable Amanda M e BurdenChair, New York City Planning CommissionWE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin' Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.At! plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPG "judicial hardship" approval. Nor does i t comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience,health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODE

    IOD I '.

    \ 001J O O l l - f1 crt) / /

    Coali tion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAIIospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    3/91

    Petition to The Honorable Amanda M~BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specificalty contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N~PCLSections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    Coalition for a New Village Hospital 304 Park Ave. S.# 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    4/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Orqanlzatlon to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The .currentapplication by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning CommiSSion is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry.transportation. distribution, recreation, culture, cornfort, convenience,health and welfare of its population. Thisapplication lacks a certificate of appropriateness, Jacksrelevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful appllcatlon, Thank you ..Sincerely,

    PRINT NAME

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    5/91

    Petition to The Honorable Amanda MwBurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Orqanizatlonto convert the East Campus of the former 51.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these Sites. . .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in thatthis sate and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The CIty Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODE

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    6/91

    Petition to The Honorable Amanda M M BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.Allplans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites .:The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicia! hardship" approval. Nor does it comply with the provisions of501 (c}3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe cnaritaote mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience,health and welfare of its population. Thisapplication lacks a certificate of appropriateness, Jacks relevant lawful permission to proceed and does .notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    PRlNTNAME

    /ut , Ys:

    ZIPCODE

    10

    /00 I;Coalition for a New Village Hospital 304 Park Ave. S.# 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    7/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WETHE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC)to 450 market rate condominiums.AI! plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites ..The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. NO r does it comply with the provisions of501(c}3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State NPCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience,heafth and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permissionto proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you ..Sincerely,

    SIGNATURE PRlNTNAME ZIPCODE

    ,}00 , \i ~2

    .!. ICoaiiti~l New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHo~pital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    8/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of ManhattaJ:! (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of afull service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such; i t does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c}3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State NPCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does .notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    SIGNATURE PRINTNAME ZIPCODE

    ~\'c'.~,/~'_"" fr~:::::~;:;;;~-OO! t

    / '1

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Demandaflospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    9/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin' Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattat:! {SVCMC) to 450 market rate condominiums.AI! plans previously submitted and ail approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certif icate of Appropriateness has ever been grantedfor these sites .:The current application by The Rudin Organization does not include a hospital. As such; it does not complywith the requirements of the 2009 LPG "Judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the Ci ty, induding adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience,health and welfare of its population. Thisapplication lacks a certif icate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We calf upon you to deny this unlawful application. Thank you ..Sincerely,

    SIGNATURE PRINTNAME ZIPCODE

    , oo i I

    ~;~.Il .100 . I

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    10/91

    r; Petition to The Honorable Amanda M.'8urClenChair, New York City Planning CommissionWE THE UNpERSIGNEDcaIl upon the New York City PfanningCOl1unission to deny theULlJRP~pplh;ationl>Y the Ru.din Org;;tnizationo convert the Eas!Campus of the former St.Vincent's CC)tholic ME!dicar Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the .2009 LPC "judicial hardship" approval. Nor does it comply with the provisionsof501(c)30f the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 In that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. This'application lacks a certificate of appropriateness, lacks relevant lawful permission to proceed .and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODE

    t bOt }Coalition for a New Village Hospital 304 Park Ave. S. # 206. New York, NY 10010 DemandAHospital .blogspot. com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    11/91

    f: Petition to The Honorable AmandaM ..BurdenChair, New York Ci ty Planning CommissionWE THE UNOSRSIGNEDcaJi upon the New York City Planning Commission to deny theULVRP application by the Rudin Organization to convert the East C~unpus of the former St.Vlncent's Catholic Medical Center of Manhattan (SVCMC) to 450 market.rate condominiums.AI! plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPG "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. This ,application lacks a certificate of appropriateness, lacks relevant lawful permission to proceed-and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE100 J ' /

    (0 ul t

    j

    .~.

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspotcom

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    12/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSiGNEDcall upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former Sf.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a fuH service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a fuHservice hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, cutture, comfort, convenience, health and welfare of its population. Thisapplication racks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful appllcatlon. Thank you.Sincerely,

    PRINT NAME ZIPCODE{) 1

    f1 - v1 L

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY ]0010 DemanllAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    13/91

    Petition to The Honorable AmandaM. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commlsslon to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.AUplans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a fult service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it 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 thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan a!so does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication Jacks a certificate of appropriateness, lacks relevant lawful permission to 'proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    t.~~.

    I 00(VI

    )1)01 b

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    14/91

    Petition to The Honorable Amanda M m BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED calf upon the New York City Planning Commission to deny theUlURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.AUplans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such, it does not compfywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful app!ication. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE. . I( 1 f t /\.:)D \"""1 ~ , ,

    l u - v i3

    Coalit ion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    15/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the incfusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning retating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application, Thank you.

    SIGNATpRE PRINT NAME ZIPCODEI'LL, 'Iflfl J iTUVrrvv( l_

    73 ls i\DD lt

    t n/l,n.rJ ! '""~! __, !

    '~..(( /v-'lA..Ac.-{/{ v'-..."\ , V , , , . -s\10/ ri. ~Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspoLcom

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    16/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning .Commlsston

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former st.Vincent's Catholic Medical Center of Manhattan (SVCMC)to 450market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application byThe Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it 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 thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawfu! permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank. you.. ,.Sincerely,

    PRINT NAME ZIPCODE

    Coalit ion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com.

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    17/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED cal! upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previouslysubrnitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness hasever been grantedfor these sites.The current application by The Rudin Organization does not include ahospital. As such, it does not complywith the requirements of the 2009 LPG "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 5111n that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    Ito //,

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    18/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan {SVCMC} to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judiclal hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue COde in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCl Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We can upon you to deny this unlawful application. Thank you.Sincerely,

    PRINT NAME ZIPCODE

    . Coali tion for a New Vil lage Hospital 304 Park Ave. S. 1 # 206, New York, NY 10010 Demendz.Hospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    19/91

    .lon to The Honorable Amanda Mil Burden...;hair, New York City Planning Commission.: THE UNDERSIGNED call upon the New York City Planning Commission to deny the

    tJLURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval, Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it-offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed -and does notinclude adequate resources for the healt!) andwelfare of New York City's population.We can upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODE

    IDO I I

    FlorezCoalition for a New Village Hospital 304Park Ave. S.#206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    20/91

    Petition to The Honorable Amanda M..BurdenChair, NewYork City Planning CommissionWE THEUNDERSIGNEDcall upon the NewYork City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan {SVCMC}to 450marketrate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does itoffer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort. convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODELO O i ~

    loafY

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspotcom

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    21/91

    Petition to The Honorable Amanda M a BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theUlURP application by the Rudin Organization to convert the East Campus of the former S1.Vincent's Catholic Medica! Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethecharitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commisstonis responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population, Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    1 C f : v ' J

    i c o Coalit ion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY IOO lO DernandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    22/91

    Petition to The Honorable Amanda M b BurdenChair, New York City Planning: Commission

    WE THE UNDERSIGNEDcall upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former st.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 {c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly grovvth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population, Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and weltare of New York City's population.We carr upon you to deny this unlawful apP,lication. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    Coali tion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemanciAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    23/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former st.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a furl service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501{c)3 of the Internal Revenue Code in that this safe and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, Jacksrelevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We calf upon you to deny this unlawful application. Thank you.

    /Sincerely,. , " ' ' ' ' - . - . Ifl JPRINTN

    {o 0 7 . ~ . r ro o 0~

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, N Y 10010 DemandAH.ospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    24/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning CommissionWETHE UNDERSIGNEDcall upon the NewYork City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously sUbmitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital, Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, i t does not complywith the requirements of the 2009lPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as i t is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does i t offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly grovvth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lalNful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    PR IN T N Ac1V ffi ZIPCODEf,~-\ e.. 0\e~,V'Y\CLr'\

    '00(3

    lf ,-.t3L/I/~Coalit ion for a New Village Hospital 304 Park Ave. S. # 206, New York, N Y 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    25/91

    Petition to The Honorable Amanda M..BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commlsslon to deny theULURP application by the Rudin Organization to convert the East Campus of the former Sf.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.AHplans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. . .The current application by The Rudin Organization does not incfude a hospital. As such, it does not complywith the requirements of the 2009lPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCLSections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certiffcate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely, //

    SIGNATURE PRINT NAME ZIPCODE

    /. /1 / /?..7,-~" _;;/0-/},';IO J

    Coali tion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Demand-diospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    26/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNEDcall upon the New York City Planning Commission to deny theULURP application by the Rudin Organ lzatlon to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore,no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the internal Revenue Code in that this sate and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly grolNth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, Jacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny.this unlawful application. Thank you.Sincerely,

    PRINT NAME ZIPCODEJ t O e ) ;1

    //217\:l {l~ /

    f 00 IICoalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemimdAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    27/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNEDcall upon the New York City Planning Commission to deny theULURP application by the RudinOrganization to convert the East Campus of the former 51.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and aUapprovals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardshiptapproval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this safe and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate' of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful appllcatlon, Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE

    100 f qlaD

    06(1

    1('>Of~

    Icc J /Coalit ion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    28/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning CommissionWE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums .

    .All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a fuHservice hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.. ,Sincerely,

    PRINT NAME ZIPCODE

    / i Z o b u n ~/estrati- /00)4 ,

    / 0 /)/)-lI v ICoalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemanciAHospitaLblogspot.com

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    29/91

    Petition to The Honorable Amanda MwBurdenChair, New York City Planning Commission ~JWETHEUNI?E~SIGNEDcall upon the ~e,,:YorkCity Planning Commlsslon todeny th~.UlURP application by the RudmOrgamzatlOn to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and aJiapprovals previously granted for these sites were specificaUy contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. -The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC 'judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a fut! service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does i t offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. This

    . application lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.Wecall upon you to deny this unlawful application, Thank you.:cSincerely,

    ZJPCODE

    I D O l I

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, N-Y10010 DemandAllospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    30/91

    Petition to The Honorable Amanda M. BurdenChair, NewYork City Planning Commission

    WE THE UNDERSIGNEDcall upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former Sf.Vlncent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.AUplans previously submitted and aUapprovals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful appllcatlon. Thank you.Sincerely,

    ZIPCODE

    / 0 00 ..

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    31/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WETHE UNDERSIGNEDcall upon the NewYork City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC)to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC 'Judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a fuJiservice hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We calf upon you to deny this unlawful application. Thank you.. ,Sincerely,

    ZIPCODE

    /oo/lf-00((

    r2t51. v c n !. 1 > ( \ bOO'

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.b1ogspoLcom

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    32/91

    Petition to The Honorable Amanda M e BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNEDcalf upon the New York City Planning Commission to deny theUlURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC)to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicia! hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this safe and the proposed Rudin plan does not continue thecharitable mission of SVCMCas it is required to, namely to provide a full service hospitaLThis plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, Jacksrelevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful applicaticn. Thank you.Sincerely,

    SIGNATURE PRINT NAME ZIPCODE/ O D I 3

    ( D O D,;.// { ; " 7 .

    Coali tion for a New Village Hospital 304 Park Ave. S. # 206, Ncw YorkNr" 10010 Demand.Allospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    33/91

    Petition to The Honorable Amanda M..BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501{c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    PRINT NAME ZIPCODE

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    34/91

    Petition to The Honorable Amanda M. BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNEDcall upon the New York City Planning Commission to deny theUlURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.Ail plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 5111n that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planninq relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does .notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODE

    10'0 !1II ~Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    35/91

    Petition to The Honorable Amanda M..BurdenChair, New York City Planning Commission

    WE THE UNDERSIGNEDcall upon the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC)to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of. 501(c)3 of the Internal Revenue Code in that this saJe and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certif icate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.

    t

    Sincerely,PRINT NA.l\1E ZIPCODE

    \\)10

    Coalit ion for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 Demand.AHospital.blogspot.com

  • 8/3/2019 CNVH Petition to CPC 1 of 4

    36/91

    Petition to The Honorable Amanda MpBurdenChair, New York City Planning CommissionWE THE UNDERSIGNED call upon the New York City Planning Commission to deny theUlURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. . .The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC 'judicial hardship" approval. Nor does it comply with the provisions of

    . 501(c)3 of the Internal Revenue Code in thatthis sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N~PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.,Sincerely,

    PRINT NAME ZIPCODE, ~ _'-'/ '/(j(/ /

    1/232-J[t)/I/ . "1 - ." '/ .. L// {., (,./ J

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com

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    Petition to The Honorable Amanda M~BurdenChair, New York City Planning CommissionWE THE UNDERSIGNED carl upon .the New York City Planning Commission to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC)to 450 market rate condominiums.AI! plans previously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the CIty, including adequate and appropriate resources for the housing, business, industry,transportation, distribution, recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful appllcatlon, Thank you.Sincerely,

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspot.com

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    P ; Petition to The Honorable Amanda M . c B u r c l e nChair, NewVorkCity PlanningCommi.ssionWE THE UNDSRSIGNEDc~1I upon the N~wYork City Planning Commlsalon to deny theULlJRP appllcaticn by the Rudin Orgfln.zation to convert the Ea$t Campus of the former .$t.Vincent's Catholic Medical Center ()'f ,Manhattan (SVCMC) to 450 market .rate condominiums.All plans previously submitledand all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been granted,for these sites. "The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC '[udicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 In that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODERINT NAME

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspotcom

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    kPetition to The Honorable AmandaM ..'Bur~en.' ; ." . , - '- ,-, ',. - ' , - --. ' - - ",, _.' - .. _ ",-, ,. - . " .. _ -. 'Chair, New York CityPlanningCommissio:nw e THE UNOERSIGNEDcaU upon the New York City Planning Commis$ipn to deny theUlURPappUc~tion bythe RudinOrg'gnizatiQn to convert the E.a$tCampLisof the former st.Vii1cent'~ Catholic Medical Center of Manhattan (SVCMC) to 45,()market rate condominiums.All plans previously submitted and C311pprovals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites. 'The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this saleand.the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. This'application lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you~Sincerely.

    SIGNATURE PRlNTNAME ZIPCODE

    LOo

    100

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspolcom

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    kPetition toThe.HencrableAmanda M, :Bur(jenChair, Nework Ci ty Planning CommissionWE THE :.U NDE RS IGN ED call upon th e f \ I ~W York City Planning Commission to deny theVL.lJRPapplication by the Ru.din Org;;tni~ationto convert thelE~stCc:lmpus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.AU planspreviously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the .2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)30f the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders,The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.Sincerely,

    ZIPCODE

    Coalition for a New Village Hospital 304 ParkAve. S.# 206, NewYork, NY 10010 DernandAHospital.blogspot.com

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    k PetitiQn to The 'Honorable Aman:daM. 'BurdenChair, New YQrkCity Plannlng CommlssienWE THE UNDI;RSIGNED call upon the NeVI 'York City Planning Commis~;; ion to deny the .Ul.URPappliCc:itiQn by the R~dinO:rg9nization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market .rate condominiums.All planspreviously submitted and all approvals previously granted for these sites were speclflcally contingenton the inclusion of a full service hospital. Furthermore, no Certiflcate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisiohS of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital,This plan also does not comply with New York State N-PCL Sections 510 and 511 In that it does not continuethe charitable mission of SVCMC, nor does it-offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. This'application lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.

    ZIPCODE

    G o a t(OOOl

    Coalition for a New Village Hospital 304 Park Ave. S.# 206, NewYork, NY 10010 Demandafiospital.blogspot.com

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    kPetition to The HonorableAmanda M.'Burden' - '_ - ~ - . , , - ' - . , . - . ' . ' , . ' " "_ - . ' - - . , _ " ' ' < - ' - - - - - "Chair, NeworkCity PlanningCornmlssion

    WE THE UNDE:RSIGNEDcall upon the New York City Planning commlsslon to d~ny the .Ut.URPapplication by the RudinOrgc.ini,~~tlon to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market .rate condominiums.All plans previously submitted and all approvals previously grant~d for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC '1udicial hardship" approval. Nor does it comply with the provisions of501(c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMCas it is required to, namely to provide a full service hospital.This pJanalso does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. Thisapplication lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospitaLblogspolcom

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    A Petition to The.Honorabfe Amanda Mz'BurdenChair,NewYorkCityPlanningCo.mmissionWI; THE t)NOr=RSIGNl:Dcali upon the NewYork City Planning Commi$$ion to deny the .ULURPapplicationpy the Rudin Org~nization to convert the l:.ast Campus of the former st.Vincent's C.atholic Medical Center of Manhattan (5VCMC)to 450marketrate condominiums.All planspreviously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501(cJ3bf the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable mission of SVCMC as it is required to, namely to provide a full service hospital.This planalso does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethecharitabJe mission of SVCMC, nor does it offer fair or reasonab!econsideration to us, the stakeholders,The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. This'application lacks a certflcate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We calJ upon you to deny this unlawful application. Thank you.

    t o 0 a i5

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

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    kPetition to Tile, Honorable AmandaM. "BurdenChair, NewVork City Planning CommissionWE THE UNOfRSIGNED,call upon the N~wYork Cjty Planning Commission to deny the,ULURPapplication by the Rudin Organization to convert the East Campus of the former st.Vlncent's Catholic Medical Center of Manhattan (SVCMC)to 450marketrate condominiums.All pJanspreviously submitted and all approvals previously granted for these sites were specifically contingenton the inclusion of a full service hospital. Furthermore, no Certificate of Appropriateness has ever been grantedfor these sites.The current application by The Rudin Organization does not include a hospital. As such, it does not complywith the requirements of the 2009 LPC "judicial hardship" approval. Nor does it comply with the provisions of501 (c)3 of the Internal Revenue Code in that this sale and the proposed Rudin plan does not continue thecharitable misslcn of SVCMC as it is required to, namely to provide a full service hospital.This plan also does not comply with New York State N-PCL Sections 510 and 511 in that it does not continuethe charitable mission of SVCMC, nor does it offer fair or reasonable consideration to us, the stakeholders.The City Planning Commission is responsible for the conduct of planning relating to the orderly growth anddevelopment of the City, including adequate and appropriate resources for the housing, business, industry,transportation, distribution; recreation, culture, comfort, convenience, health and welfare of its population. This'application lacks a certificate of appropriateness, lacks relevant lawful permission to proceed and does notinclude adequate resources for the health and welfare of New York City's population.We call upon you to deny this unlawful application. Thank you.

    ( 0 ( 1 1 . .

    Coalition for a New Village Hospital 304 Park Ave. S. # 206, New York, NY 10010 DemandAHospital.blogspot.com

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    Petition to The Honorable Amanda M m BurdenChair, New York CltyPlannlnq Commission

    WE THE UNDERSIGNED call upon the New York City Planning Commlsston to deny theULURP application by the Rudin Organization to convert the East Campus of the former St.Vincent's Catholic Medical Center of Manhattan (SVCMC) to 450 market rate condominiums.All plans previously submitted and