The plaintiff, who suffered catastrophic injuries in an automobile accident, sought a Certificate of Pending Litigation (CPL) against the defendant's residence to secure potential future damages exceeding the defendant's limited insurance coverage.
The court denied the motion, finding that the plaintiff did not establish a reasonable claim to an interest in the land, a prerequisite for a CPL.
The court distinguished the case from situations involving fraudulent conveyance and noted the plaintiff had already received substantial accident benefits.