On January 20, 2021 a
Request,Application
was filed
involving a dispute between
Government Employees Insurance Company As Subrogee Of Randolph Ellis,
and
Alexis Rattray,
John Doe, Being A Fictitious Name,
for Torts - Motor Vehicle
in the District Court of Queens County.
Preview
FILED: QUEENS COUNTY CLERK 03/10/2021 10:06 AM INDEX NO. 701299/2021
NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 03/10/2021
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
GOVERNMENT EMPLOYEES INSURANCE
COMPANY AS SUBROGEE OF RANDOLPH
ELLIS,
Plaintiff(s),
REOUEST FOR
PRELIMINARY
CONFERENCE
-against-
INDEX NO.: 701299/21
ALEXIS RATTRAY and "JOHN DOE", BEING A
FICTITIOUS NAME,
Defendant(s).
SIRS:
PLEASE TAKE NOTICE, that pursuant to the Uniform Rules of Section
202.12, the undersigned requests a prelinlinary conference.
The nature of the action is for property damage.
The names, addresses and telephone numbers of all attorneys appearing in the
action are as follows:
Alexis Rattray Law Office of Ricky J. Lucyk
Self-represented Defendant By: Angelo Urso, Esq.
2288 Baylis Avenue Attorney for Plaintiff(s)
Elmont, NY 11003 2 Huntington Quadrangle, STE 2N01
516-522-1709 Melville, New York 1 7
516-496-5071
Dated: Melville, NY
March 3, 2021
To:
Law Office of Ricky J. Lucyk
Alexis Rattray By: Angelo Urso, Esq.
2288 Baylis Avenue Attorney for Plaintiff(s)
Elmont, NY 11003 2 Huntington Quadrangle, STE 2N01
516-522-1709 Melville, New York 11747
516-496-5071
1 of 3
FILED: QUEENS COUNTY CLERK 03/10/2021 10:06 AM INDEX NO. 701299/2021
NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 03/10/2021
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF QUEENS
GOVERNMENT EMPLOYEES INSURANCE
COMPANY AS SUBROGEE OF RANDOLPH
ELLIS,
Plaintiff(s),
GOOD FAITH
AFFIRMATION
-against-
INDEX NO.: 701299/21
"
ALEXIS RATTRAY and JOHN DOE", BEING A
FICTITIOUS NAME,
Defendant(s).
SIRS:
I,Angelo Urso, Esq., an attorney duly admitted to practice in the Courts of the
State of New York, does hereby affirm the truth under the penalties of perjury as follows:
I am an attorney with the Law Office of Ricky J. Lucyk, attorney(s) for the
plaintiff(s), , and as such am fully familiar with allthe facts and circumstances of this
matter.
We have made good faith efforts to resolve the issues raised herein without the
intervention of the Court and have been unable to do so.
Consequently, this affirmant respectfully requests the Court grant this request for
a Preliminary Conference.
Dated: Melville, NY
March 3, 2021
gelo Urs , Esq.
2 of 3
FILED: QUEENS COUNTY CLERK 03/10/2021 10:06 AM INDEX NO. 701299/2021
NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 03/10/2021
AFFIDAVIT OF MAILING
STATE OF NEW YORK ) SS:
COUNTY OF SUFFOLK )
KENNETH O'CONNOR, being duly sworn, deposes and says that he is
employed the attorneys for the plaintiff, herein. That on cc h I O ,
by
2021 he served the within Request For Preliminary Conference with Good Faith
Affirmation and Request For Judicial Intervention upon the defendant(s) and or
their attorney(s) for the within named parties by depositing a true copy of the
same securely enclosed in a post-paid wrapper through the United States Postal
Service, in said County of Suffolk directed to said defendant(s) and or their
attorney(s) at
Alexis Rattray
2288 Baylis Avenue
Elmont, NY 11003
516-522-1709
that being the address within the state designated by them for that purpose upon
the preceding papers in this action, or the place where they then kept an office,
between which places there then was and now is a regular communication by
mail.
Deponent is over the age of eighteen (18) years.
KENNETH O'CONNOR
Subscribed to and sworn to before
me on arch Û , 2021
AGNIESZKA DARRIGO
Notary Public, State ofNew York
No. 01DA6397790
Notary Public Qualifiedin Nassau County
Commission Expires September 16,20Ê
3 of 3
Document Filed Date
March 10, 2021
Case Filing Date
January 20, 2021
Category
Torts - Motor Vehicle
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