On August 12, 2021 a
Exhibit,Appendix
was filed
involving a dispute between
Street Snacks Llc,
and
Adam D. Luckner,
Bridge Associates Of Soho, Inc.,
City Of New York,
John Does, Numbered 1 Through 25,
Midway Holdings Corp.,
New York City Department Of Finance,
New York City Environmental Control Board,
New York State District Attorney,
State Of New York,
Sterling National Bank,
York Resources Llc,
for Commercial - Other (Foreclosure)
in the District Court of New York County.
Preview
FILED: NEW YORK COUNTY CLERK 06/14/2022 04:49 PM INDEX NO. 602374/2009
NYSCEF DOC. NO. 54 RECEIVED NYSCEF: 06/14/2022
Exhibit M
(to Amy Carlin Affirmation)
FILED: NEW YORK COUNTY CLERK 06/14/2022 04:49 PM INDEX NO. 602374/2009
NYSCEF DOC. NO. 54 RECEIVED NYSCEF: 06/14/2022
SUPREIV!E COURT OF Tl IE STATE OF NEW YORK
COUNTY OF NEW YORK
------------------------------------------------------------··-----X
STREET SNACKS, LLC,
Index No,; 602374/09
Plaintif{
STIPULATION OF
-against- DISCONTINUANCE
WITHOUT
BRID(Jrc ASSOCIATES OF SOHO, INC, PRE..JlJl)]CE
ADAl'vl D. LUCKNER, MIDWAY JlOLDINGS CORP.,
YORK RESOURCES LLC, STERLING NATIONAL
BANK, NEW YORK STATE DISTRICT ATTORNEY,
STATE OF NEW YORK, CITY OF NEW YORK, NEW
YORK CITY ENVIRONMENTAL CONTROL BOARD,
NEW YORK CITY DEPARTMENT OF FINANCE
and "JOHN DOES, Numbered l through 25," the names
of the last twenty-five named dcfondants being fictitious,
real names unknown to plainti11~ the parties intended being
tenants or persons or corporations having an interest in as
tenants or persons in possession ofponions o!'thc mortgaged
premises,
Defendants.
---------------------------------------------------~~--~----------)(
IT IS HEREBY STIPULATED AND AGREED by and between the undersigned,
the attorneys or record /(:,r plaintiff Street
Snacks, LLC and defendants Steve Greenberg,
Tricia Nash, Joseph Haske, Susan Brown, Ryder Haske, Alexia Brue, Ethan Kkmpcrcr,
Mablen Jones, David Lawrence, Anne Lawrence, Ellen Colon-Lugo, Edward Maslcr,
Janet Burgan, James Noll, Martin Sheridan, Virginia Sheridan and Conrad Vogel
(collectively, the ''Statutory Tenants"), sued herein as ·'John Docs," parties to the above
entitled action, that whereas no party hereto is an infant or incompetent person for whom a
committee has been appointed and no person not a party has an interest in the subject matter
of the action, that the action as to the Statutory Tenants and all claims asserted against the
Statutory Tenants are hereby discontinued, without prejudice to the respective rights and
FILED: NEW YORK COUNTY CLERK 06/14/2022 04:49 PM INDEX NO. 602374/2009
NYSCEF DOC. NO. 54 RECEIVED NYSCEF: 06/14/2022
remedies of Plaintiff and the Statutory Tenants, all of which arc expressly reserved. and
without costs to either party as against the other. This Stipulation may be filed without
further notice with the Clerk of the Court.
IT IS FURTHER STIPULATED AND AGREED that counterpart and
facsimjle/emai l signatures shall serve as originals for the purposes of this Stipulation.
Dated: New York. New York
August 29, 2017
WARSHAW BURSTEIN LLP
By: :my D. Carlin, Esq. a !Iazin, Es
Atlor:ney:; for Plaint iff Attorneys for Dcfe
The Trump Building Statutory Tenants
40 Wall Streel, 3211d Floor 555 Fifth Avenue
New Yo11k. NY 10005 New York, New York 10017
2 12-530-4835 (212) 984-7700
acarlin@lhrgb.com shazin@wbny.com