On December 30, 2019 a
Exhibit,Appendix
was filed
involving a dispute between
Advance Services Group Llc,
Law Office Of Eugene Lee, A Professional Law Corporation,
and
Acadian Properties Austin Llc D B A Acadian Properties Austin,
Brandon Badeaux,
Sally Lou Young
A K A Sally Lou Perkins,
Shannon Badeaux,
for Commercial - Contract
in the District Court of Kings County.
Preview
FILED: KINGS COUNTY CLERK 09/21/2020 02:21 PM INDEX NO. 528159/2019
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 09/21/2020
EXHIBIT “C”
FILED: KINGS COUNTY CLERK 09/21/2020 02:21 PM INDEX NO. 528159/2019
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 09/21/2020
LAW OFFICES OF
MICHAEL E. PRESSMAN
125 MAIDEN LANE
MICHAEL E. PRESSMAN
NEW YORK, NEW YORK 10038 BROOKLYN OFFICE:
TEL: (212) 480-3030 26 COURT STREET-SUITE 1700
STEVEN H. COHEN FAX: (212) 480-2590 BROOKLYN, NY 11242
SETH I. KUDLER E-MAIL: LAWOFFICES@MEPRESSMAN.COM (718) 237-4600
ERIC S. FENYES
STUART B. CHOLEWA PLEASE DIRECT ALL MAIL TO THE NEW YORK OFFICE
ROBERT S. BONELLI LONG ISLAND OFFICE:
VANESSA T. GOTTFRIED 114 CHESTNUT STREET
GARDEN CITY, NY 11530
CHARLES R. CORDOVA
ANDREW D. HARMS
PATRICK R. BELL NEW JERSEY OFFICE:
NIMA BARATZADEH 31W MOUNTAIN BOULEVARD
CHRISTIAN M. RADOI * WARREN, NJ 07059
DOUGLAS M. SHRIBMAN (908) 753-6661
SENIOR PARTNER CALENDAR DIRECT LINE:
PARTNER (212) 480-8005
SENIOR ASSOCIATE
ALSO ADMITTED IN CT
ALSO ADMITTED IN NJ
ALSO ADMITTED IN PA
* PENDING ADMISSION
September 9, 2020
Via E-Mail: gwspc@hotmail.com
G. WESLEY SIMPSON, P.C.
st
1016 Ralph Avenue, 1 floor
Brooklyn, New York 11236
Re: Nadia Griffith v. Laguardia Corporate Center
Associates, LLC. Blumenfeld Development Group,
Proclean Maintenance Systems and Capital Contractors, Inc.
Our File No.: CAT 16311
Dear Counsel,
A review of our file indicates that together with our Answer served upon
your office on or about July 20, 2020, you were also served with a Demand for
a Bill of Particulars and various combined demands. To date, we have not
received your responses. Please provide your Bill of Particulars and responses
to outstanding demands within the next ten (10) days to avoid unnecessary
motion practice.
Very truly yours,
Michael E. Pressman
MICHAEL E. PRESSMAN
MEP/962973
Document Filed Date
September 21, 2020
Case Filing Date
December 30, 2019
Category
Commercial - Contract
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