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  • Mohamed Allie v. Youth Saving Society, Llc, Paulla Mccarthy, Justin Hurling, John Doe And Jane Doe (1)-(10), With Said Names Being Fictitious To Designate Any Possible Tenants Or Occupants Of The Mortgaged Premises Commonly Known As 465 Blue Factory Road, Averill Park, New York, The Unites States Of America, Department Of Treasury, Internal Revenue Service, And The New York State Department Of Financial ServicesReal Property - Mortgage Foreclosure - Commercial document preview
  • Mohamed Allie v. Youth Saving Society, Llc, Paulla Mccarthy, Justin Hurling, John Doe And Jane Doe (1)-(10), With Said Names Being Fictitious To Designate Any Possible Tenants Or Occupants Of The Mortgaged Premises Commonly Known As 465 Blue Factory Road, Averill Park, New York, The Unites States Of America, Department Of Treasury, Internal Revenue Service, And The New York State Department Of Financial ServicesReal Property - Mortgage Foreclosure - Commercial document preview
  • Mohamed Allie v. Youth Saving Society, Llc, Paulla Mccarthy, Justin Hurling, John Doe And Jane Doe (1)-(10), With Said Names Being Fictitious To Designate Any Possible Tenants Or Occupants Of The Mortgaged Premises Commonly Known As 465 Blue Factory Road, Averill Park, New York, The Unites States Of America, Department Of Treasury, Internal Revenue Service, And The New York State Department Of Financial ServicesReal Property - Mortgage Foreclosure - Commercial document preview
  • Mohamed Allie v. Youth Saving Society, Llc, Paulla Mccarthy, Justin Hurling, John Doe And Jane Doe (1)-(10), With Said Names Being Fictitious To Designate Any Possible Tenants Or Occupants Of The Mortgaged Premises Commonly Known As 465 Blue Factory Road, Averill Park, New York, The Unites States Of America, Department Of Treasury, Internal Revenue Service, And The New York State Department Of Financial ServicesReal Property - Mortgage Foreclosure - Commercial document preview
						
                                

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December 10, 2021 VIA ECF FILING & E-MAIL Hon. Richard J. McNally, Jr. RENSSELAER COUNTY SUPREME COURT 80 Second Street Troy, New York 12180 RE: Mohamed Allie, Jr. v. Youth Saving Society LLC, et al. Index No.: EF2021-269099 Our File No.: 10005.000 Dear Justice McNally: I am in receipt of Mr. Wilson’s correspondence Your Honor of even date. Whereby by object Mr. Wilson’s appearance of participation in this action as he is not admitted to practice law in the State of New York nor has he completed his pro hac vice application by the court ordered deadline of 12/7/21. Thus, Mr. Wilson’s continued correspondence and appearance in this court constitutes the unauthorized practice of law in the State of New York. The defendants are now in in default and we will be filing a motion for a default judgment forthwith. I deny Mr. Wilson's characterization in my interactions with his proposed New York sponsoring attorney. After I noticed that Mr. Wilson’s sponsor’s affidavit was unsigned, I did call Attorney McKelvey after researching him online. Mr. McKelvey informed me that he was not aware that there was a pending commercial foreclosure and thought that he was just asked to sponsor Mr. Wilson for a real estate purchase transaction in New York State. I advised Mr. McKelvey that if he did in fact appear in the case, he would be counsel of record and would be fully responsible for ensuring that his client was adequately represented. He was unaware of this requirement as spelled out in 22 NYCRR 520.11(c). He was under the misimpression that Mr. Wilson would be the sole counsel of record. I clarified this for him and sent him the rule and a copy of the complaint. I did caution him that his involvement would likely be a lengthy one if this case was fully litigated. He thereafter advised me that he was not interested in sponsoring Mr. Wilson and in fact had not signed the affidavit that Mr. Wilson had submitted to Your Honor in support of the pro hac vice motion. I note that Mr. Wilson placed a handwritten “/s” on said affidavit in an attempt to show that the affidavit was in fact signed, when it was not. In light of Mr. Wilson’s continued interaction with the Court without being admitted pro hac vice, I request that the Court consider admonishing him that his continued appearance herein constitutes the unlawful practice of law in New York. Respectfully submitted, E. STEWART JONES HACKER MURPHY LLP /s/ John F. Harwick John F. Harwick jharwick@joneshacker.com Direct Dial: (518) 213-0113 JFH/dmd Enclosure cc: Client Paulla McCarthy & Youth Saving Society, LLC (via E-mail to: youthsavingsociety@gmail.com) Charles Wilson, Esq. (via E-mail to: Wchaz2902@aol.com ) Terry McKlevey, Esq. (via E-mail to: terryatty@yahoo.com)