Swan v. Eastman Kodak Co.
The plaintiff initiated a personal injury action after sustaining a head injury from a valve in his workplace. The plaintiff alleged that the defendant, the lessor of the premises, was negligent in its construction and maintenance. The Supreme Court denied the plaintiff's motion for partial summary judgment on liability and granted the defendant's cross-motion, dismissing the complaint. On appeal, the court affirmed the lower court's decision, concluding that the valve's location was 'open and obvious' and did not constitute a defective or unreasonably dangerous condition, thereby absolving the defendant of negligence.