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  • LIBERTY MUTUAL INSURANCE COMPANY et al vs ACUTUS RX, LLC et al document preview
  • LIBERTY MUTUAL INSURANCE COMPANY et al vs ACUTUS RX, LLC et al document preview
  • LIBERTY MUTUAL INSURANCE COMPANY et al vs ACUTUS RX, LLC et al document preview
  • LIBERTY MUTUAL INSURANCE COMPANY et al vs ACUTUS RX, LLC et al document preview
  • LIBERTY MUTUAL INSURANCE COMPANY et al vs ACUTUS RX, LLC et al document preview
  • LIBERTY MUTUAL INSURANCE COMPANY et al vs ACUTUS RX, LLC et al document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 07/14/2020 02:15 PM INDEX NO. 654092/2019 NYSCEF DOC. NO. 14 RECEIVED NYSCEF: 07/14/2020 Exhibit C FILED: NEW YORK COUNTY CLERK 07/14/2020 02:15 PM INDEX NO. 654092/2019 NYSCEF DOC. NO. 14 RECEIVED NYSCEF: 07/14/2020 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK AFFIDAVIT -------------------------------------------------------------------x LIBERTY MUTUAL INSURANCE COMPANY Index No.: 654092-2019 and LM GENERAL INSURANCE COMPANY, Plaintiffs -against - KENDON THOMAS, Defendant" "Individual -and- AMRO CARE PT, P.C., LAWRENCE CHIROPRACTIC DIAGNOSTIC SERVICES, P.C., NORTH SHORE HOME CARE SERVICES, INC., AVA CUSTOM SUPPLY INC., OPUS PSYCHOLOGICAL SERVICES P.C., SI ACUPUNCTURE, PC., METRO PAIN SPECIALISTS PROFESSIONAL CORPORATION, PROSPECT CHIROPRACTIC PLLC, CITIMEDICAL I,PLLC, MAURO CHIROPRACTIC P.C., HARBOR MEDICAL GROUP PC, ACUTUS RX, LLC, AKGLOBALSUPPLY CORP, Defendants" "Medical Provider collectively, the Defendants. --------------------------------------------------------------------x STATE OF NEW YORK ) )ss.: COUNTY OF WESTCHESTER ) CHERYL DANZY, being duly sworn, deposes and says: I am over the age of 18 years old, I am not a party to the action and I am a legal secretary at BURKE, CONWAY & STIEFELD attorneys for the Plaintiffs herein. That on July 22, 2019, I sent a request to a process server to serve the summons and complaint for this case upon the Defendants. For the Defendants who are corporations, I requested that the process server serve those entities through service through the Secretary of State. Our office procedure when this request for service is done in this manner is for the mailing, by regular mail, of FILED: NEW YORK COUNTY CLERK 07/14/2020 02:15 PM INDEX NO. 654092/2019 NYSCEF DOC. NO. 14 RECEIVED NYSCEF: 07/14/2020 an additional copy of the summons and complaint upon allthe Defendants including those being served thru the Secretary of State. This additional mailing is sent from our office and is done subsequent to or around the same time that the request for service through the process server is done pursuant to CPLR 3215g41,ii and BCL 306. That office procedure is followed in every case and was followed herein. A review of our file indicates that I mailed a copy of the summons and complaint upon allDefendants on August 15, 2019 by firstclass mail. The summons and complaint was sent to their lastknown addresses listed on the summons and complaint. As such, this meets the statutory requirement of service by regular mail at least twenty days before the entry of judgment pursuant to CPLR 3215g4i,i1 and BCL 306. CHERYL DANZY Swo to before me this é) day of October, 2019 NOTARY PUBLIC DAGMAR S. ROJAS OF NEW YORK PUBLIC-STATE NOTARY 01R06197982 No. C s on P My