On March 12, 2018 a
Exhibit,Appendix
was filed
involving a dispute between
U.S. Bank National Association As Trustee For Mastr Asset Backed Securities Trust 2006-Wmc3 Mortgage Pass-Through Certificates Series 2006-Wmc3,
and
Gulna Bila,
Hamed Bila,
Haro Bila,
Jane Islam,
John Doe #1 Through John Doe #12,
The Last Twelve Names Being Fictitious And Unknown To Plaintiff, The Persons Or Parties Intended Being The Tenants, Occupants, Persons Or Corporations, If Any, Having Or Claiming An Interest In Or Lien Upon The Premises, Described In The Complaint,
Mohammed S. Islam
A K A Mohammed Islam,
Munish Bila,
New York City Environmental Control Board,
New York City Parking Violations Bureau,
New York State Department Of Taxation And Finance,
for Real Property - Mortgage Foreclosure - Residential
in the District Court of Queens County.
Preview
FILED: QUEENS COUNTY CLERK 09/09/2019 03:39 PM INDEX NO. 703763/2018
NYSCEF DOC. NO. 65 RECEIVED NYSCEF: 09/09/2019
EXHIBIT A
FILED: QUEENS COUNTY CLERK 09/09/2019 03:39 PMPM INDEX NO. 703763/2018
. INDEX NO. 703763/201
FILED: QUEENS COUNTY CLERK 03 /12 /2018 05 :02
NYSCEF DOC. NO. 65 RECEIVED NYSCEF: 09/09/2019
CEF DOC. NO. 4 . RECEIVED NYSCEF: 03/12/201
,"": SUPREME COURT OF THE STATE OF NEW YORK .
COUNTY OF QUEENS
f U.S. BANK NATIONAL ASSOCIATION AS CERTIFICATE OF MERIT
TRUSTEE FOR MASTR ASSET BACKED
SECURITIES TRUST 2006-WMC3 MORTGAGE
PASS-THROUGH CERTIFICATES SERIES 2006-
WMC3,
Plaintiff, INDEX NO.
VS.
MOHAMMED S. ISLAM A/K/A MOHAMMED
ISLAM; NEW YORK STATE DEPARTMENT OF
:- TAXATION AND NEW YORK CITY
FINANCE;
PARKING VIOLATIONS BUREAU,
#1" #12."
"JOIIN DOE flucogh "JOIIN DOE the
.a n last mciw acanes being lictitious and unletown to
." '
plaintifY,the persons or parties intended being the
. persons or if
tenants, occupants, corporations, any,
having or claiming an interest in or lien upon the
premises, described in the complaint,
Defendant(s).
1. I am an attorney duly licensed to practice in the state of New York and am affiliated
with the law firm of RAS BORISKIN, LLC, the attorneys for the above-named
plaintiff.
2. I communicated with JEFFERY FOX, a FORECLOSURE SPECIALIST of plaintiff
or plaintiffs servicer, who informed me that she personally reviewed plaintiffs
documents and records relating to thiscase for factual accuracy.
3. Based upon my communication with plaintiffs represcritative, as well as upon my
.
own inspection of the decamcats and other diligent inquiry, 1 certifythat to the best of
my knowledge, information and belief, there exists a reasonable basis for the
commencement of a mortgage foreclosure action and that plaintiff or itsnominee is
entitled to enforce itsrights under the loan documents in accordance with applicable
law.
. .
l|ll111111111111151111A111II11 llll1111111111111111111111111111ll 11111111111111111111111II
17-122516 - NiG
. 1 of 44
FILED: QUEENS COUNTY CLERK 09/09/2019 03:39 PM INDEX NO. 703763/2018
FILED COUNTY CLERK INDEX NO. 703763/201
NYSCEF DOC. :
NO. QUEENS
65 03212018--0-5T0 RECEIVED NYSCEF: 09/09/2019
NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 03/12/201
. 4. All of the relevant documents, all of which have been reviewed me, are attached to
by
this Certificate of Merit.
Dated:
02 M
Westbury, New York
BY:
[ ] SARA BORISKIN, ESQ.
[ ] ANTHONY CELLUCCI, ESQ.
[ ] ANNETTE SHACHTER, ESQ.
[g] ALECIA C. DANIEL, ESQ.
17-122516 - NiG
2 of 44
Document Filed Date
September 09, 2019
Case Filing Date
March 12, 2018
Category
Real Property - Mortgage Foreclosure - Residential
For full print and download access, please subscribe at https://www.trellis.law/.