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  • Salah A. Abdulsamed, As Attorney-In-Fact For Abdullah Saleh Hasson, Crater Candy Store Corp. D/B/A Crater Candy Corp. D/B/A Crater Candy v. Saleh A. Abdulsamed, Fatima Abdurado Saleh Al GrahomiTorts - Other (Fraud and Conversion) document preview
  • Salah A. Abdulsamed, As Attorney-In-Fact For Abdullah Saleh Hasson, Crater Candy Store Corp. D/B/A Crater Candy Corp. D/B/A Crater Candy v. Saleh A. Abdulsamed, Fatima Abdurado Saleh Al GrahomiTorts - Other (Fraud and Conversion) document preview
  • Salah A. Abdulsamed, As Attorney-In-Fact For Abdullah Saleh Hasson, Crater Candy Store Corp. D/B/A Crater Candy Corp. D/B/A Crater Candy v. Saleh A. Abdulsamed, Fatima Abdurado Saleh Al GrahomiTorts - Other (Fraud and Conversion) document preview
  • Salah A. Abdulsamed, As Attorney-In-Fact For Abdullah Saleh Hasson, Crater Candy Store Corp. D/B/A Crater Candy Corp. D/B/A Crater Candy v. Saleh A. Abdulsamed, Fatima Abdurado Saleh Al GrahomiTorts - Other (Fraud and Conversion) document preview
						
                                

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INDEX NO. 710337/2024 NYSCEF DOC. NO. 4 RECEIVED NYSCEF 05/16/2024 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF QUEENS re SALAH A. ABDULSAMED, as attorney-in-fact for ABDULLAH SALEH HASSON and CRATER AFFIRMATION CANDY STORE CORP. d/b/a CRATER CANDY CORP. d/b/a CRATER CANDY Index No: 710337/2024 Plaintiffs, -against- SALEH A. ABDULSAMED and FATIMA ABDURADO SALEH AL GRAHOMI Defendants. a PAUL E. KERSON, an attorney admitted to practice before the Courts of this State, duly affirms the following, pursuant to the penalties of perjury, pursuant to the penalties of CPLR Rule 2106, and upon information and belict: 1 lam a member of the Law Offices of Leavitt, Kerson & Schati, Esqs. Together with my colleague, Steven Simicich, Esq. of the Law Offices of Simicich & Limberis, Esqs., | represent the Plaintiff herein. As such, | am fully familiar with the facts and circumstances of this matter. This matter constitutes a legal emergency. A corporate dispute over a candy store in Astoria, Queens County, NY has developed into a fist fight. The members of the New York City Police Department were called. Arrests were made. All of this occurred within the past week. Thus, this crics out for a stay pursuant to CPLR Scction 2201 and for a return of the store to the rightful owncr, the Plaintiff, immediately by way of a Preliminary injunction pursuant CPLR Article 63. Ot 2 INDEX NO. 710337/2024 NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 05/16/2024 3 This matter arose from a Power of Attorney given by Plaintiffs principal, Mr. Hasson to the Defendant SALEH dated November 12, 2022. This document was specifically revoked pursuant to New York General Obligations Law (GOL) Section 5-1511 by Plaintiffs attorney, my colleague, Mr. Simicich on May 3, 2024. See attached Exhibit B. Further, it appears that the original Power of Attorney dated November 12, 2022 is void as it does not comply with GOL Section 5-1501 (B). Under all these f and circumstances, it is respectfully prayed that this Order to Show Cause be granted forthwith before the violence between Plaintiff and Defendant gets worse and escalates. Exceptas indicated above, no prior application for this or similar relief has been requested of this or any other Court WHEREFORE, | respectfully request that the application be granted forthwith. fia”, PAUL Dated: May /S , 2024 Forest Hills, NY 2 of 2