On May 23, 2017 a
Complaint,Petition
was filed
involving a dispute between
Top Drawer Custom Cabinetry Corp.,
and
500 West 21St Street, 'Apt 7A', New York, New York, Block 692 Lot 1127,
for Special Proceedings - Mechanic's Lien
in the District Court of New York County.
Preview
INDEX NO. 154738/2017
(FILED: NEW YORK COUNTY CLERK 0572372017 02:24 PM
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 05/23/2017
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
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In the Matter of the Application of: Index No.
TOP DRAWER CUSTOM CABINETRY CORP.,
AFFIRMATION
Lienor,
For an Order Pursuant to Lien Law Section 17
Of the Lien Law Continuing a Certain Notice
Under Mechanics' Lien Law against premises known
As 500 West 21" Street “Apt 7A”, New York, New York
Block 692, Lot 1127
anes “X
Richard Zisholtz, an attorney duly admitted to practice law before the Courts of the
State of New York, and an associate of Zisholtz & Zisholtz LLP, the attorneys TOP DRAWER
CUSTOM CABINETRY CORP. (“Lienor”), affirms the following to be under the penalties of
perjury:
1 I make this Affirmation to support of the Application of the Lienor for an Order
continuing a certain Mechanic’s lien filed by Lienor for an additional period of one (1) year.
2 We are advised that the Lienor was hired by K & K CONSTRUCTION to provide
repairs and materials and renovations to certain real property owned by WILLIAM ETKIN at the
premises located at 500 West 21" Street “Apt 7A”, New York, State of New York, also known
as being in Block 692, Lot 1127.
3 The Premises consist ofa single family residential dwelling.
4 The Mechanic’s Lien now sought to be continued indicates that it was dated and
verified on May 18, 2016 and filed in the New York County Clerk’s Office on May 31, 2016.
The Lienor is claiming the sum of $10,595.00 as a lien against the interest of the owners of the
real property therein, ie.. WILLIAM ETKIN. A copy of the Mechanic’s Lien Law is appended
hereto as Exhibit “A”.
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INDEX NO. 154738/2017
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 05/23/2017
5 The amount claimed to be due is $10,595.00 of which we are advised, that no
monies have been since paid since the Mechanic’s Lien was filed leaving a balance due and
owing of $10,595.00.
6. The Mechanic’s Lien has not been paid, cancelled or discharged and is presently a
valid lien against the premises.
7 Without continuation of the Mechanic’s Lien, the Lienor will lose valuable legal
and property rights.
8 The time within which an action may be instituted to enforce the said Mechanic’s
Lien will expire pursuant to the statute on May 31, 2017, after which the said Mechanic’s Lien
will be ineffective and unenforceable unless continued.
9 No prior application for the relief requested herein has been made.
WHEREFORE, by reason of the foregoing, your Affiant respectfully requests that this
Court issue an Order further continuing the Mechanic’s Lien Law filed herein for the additional
period of one (1) year from the date of granting of this Order and directing the Lien Clerk of the
County of New York to so docket the Mechanic’s Lien for the additional period of one (1) year
from the date of granting of this Order together with such other and further relief as this Court
may deem just and proper.
Subscribed this 26" day
Of April, 2017
Richard Zisho!
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Document Filed Date
May 23, 2017
Case Filing Date
May 23, 2017
Category
Special Proceedings - Mechanic's Lien
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