Preview
FILED: QUEENS COUNTY CLERK 06/12/2018 01:53 PM INDEX NO. 703683/2018
NYSCEF DOC. NO. 12 RECEIVED NYSCEF: 06/12/2018
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
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WELLS FARGO BANK, NATIONAL ASSOCIATION, Index No.: 703683/2018
AS TRUSTEE UNDER POOLING AND SERVICING
AGREEMENT DATED AS OF SEPTEMBER 1, 2006
SECURITIZED ASSET BACKED RECEIVABLES LLC
TRUST 2006-HE2 MORTGAGE PASS-THROUGH
CERTIFICATES, SERIES 2006-HE2,
Plaintiff(s),
AFFIRMATION CANCELING
LIS PENDENS
-against-
JUNIOR CURTIS, f MARLENE CURTIS, g MORTGAGE Block 12470, t Lot 10
ELECTRONIC REGISTRATION SYSTEMS INC., AS
NOMINEE FOR FREMONT INVESTMENT & LOAN, f
MIDLAND FUNDING LLC,
#1" #12,"
"JOHN DOE through "JOHN DOE
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,
Defendant(s).
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Michael J. Kenney, Esq., an attorney and counselor at law
admitted to practice before all the courts of the State of New York,
respectfully affirms the following under penalties of perjury and
pursuant to CPLR 2106:
1. I am associated with LEOPOLD & ASSOCIATES, PLLC, the
attorneys of record for the Plaintiff in the within foreclosure
action and as such I am familiar with the proceedings heretofore had
herein and the subject foreclosure action.
2. This action was commenced to foreclose a mortgage on real
property known as 17520 Baisley Boulevard, Jamaica, NY 11434, parcel
identification number Block 12470, Lot 10.
3. That the Summons, Complaint, and Lis Pendens were filed in
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FILED: QUEENS COUNTY CLERK 06/12/2018 01:53 PM INDEX NO. 703683/2018
NYSCEF DOC. NO. 12 RECEIVED NYSCEF: 06/12/2018
the Office of the Queens County Clerk on March 9, 2018.
4. None of the Defendants have appeared, answered, or made any
motion with respect to the Complaint in this action and their time to
do so has expired.
5. The reason your affirmant requests that this Lis Pendens be
canceled and discharged of record is that the loan has been
reinstated.
6. No prior application has been made for the same or similar
relief as requested herein.
WHEREFORE, your affirmant respectfully submits this
Affirmation to discontinue the instant action and cancel the Notice
of Pendency, and for such other and further relief as the Court may
deem just, equitable, and proper.
Dated: Armonk, New York
3~ fZ. 2p(5
Michae . fffi , Esq.
LEOP CIATES, PLLC
Attorne for Plaintiff
80 Business Park Drive, Suite 110
Armonk, NY 10504
914 219 â€
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FILED: QUEENS COUNTY CLERK 06/12/2018 01:53 PM INDEX NO. 703683/2018
NYSCEF DOC. NO. 12 RECEIVED NYSCEF: 06/12/2018
SUPREME COURT
STATE OF NEW YORK, COUNTY OF QUEENS INDEX NO.: 703683/2018
WELLS FARGO BANK, NATIONAL ASSOCIATION, AS TRUSTEE UNDER
POOLING AND SERVICING AGREEMENT DATED AS OF SEPTEMBER 1, 2006
SECURITIZED ASSET BACKED RECEIVABLES LLC TRUST 2006-HE2
MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2006-HE2,
Plaintiff(s),
-against-
JUNIOR CURTIS, ET AL.,
Defendant(s).
AFFIRMATION CANCELING LIS PENDENS
LEOPOLD & ASSOCIATES, PLLC
Attorneys for Plaintiff(s)
Office and Post Office Address, Telephone
80 Business Park Drive, Suite 110
Armonk, NY 10504
914-219-5787
Signature(Rule 130-1.1-a)
rint nafie
bed
Michael L ney, Esq.
Leopold Associates C
Attorneysfor Plai
80 BusinessPark Drive,Suite I10
Armonk, NY 10504
Phone: (914)219-5787
Fax: (914)219-5522
Service of a copy of the within
is hereby admitted
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