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  • Bard Avenue Realty Llc v. Hava Arifi, John Doe, Jane DoeLandlord and Tenant - Holdover document preview
  • Bard Avenue Realty Llc v. Hava Arifi, John Doe, Jane DoeLandlord and Tenant - Holdover document preview
  • Bard Avenue Realty Llc v. Hava Arifi, John Doe, Jane DoeLandlord and Tenant - Holdover document preview
  • Bard Avenue Realty Llc v. Hava Arifi, John Doe, Jane DoeLandlord and Tenant - Holdover document preview
						
                                

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7011/2021 03: 42°0py 0. LT-051697-19/RI [HO] NYSCEF DOC. NO. 118 RECEIVED NYSCEF: 09/01/2021 CIVIL COURT OF THE STATE OF NEW YORK TWO-ATTORNEY Index No. L&T 51697/19 Petitioner, POST-EVICTION -against- STIPULATION LELAND ROGAN, HAVA ARIFI, “JOHN” “DOE” & “JANE” “DOE”, Subject Premises: 142 Bard Avenue, Apt. 30-B Respondents. Staten Island, NY 10310 IT IS STIPULATED, AGREED, AND CONSENTED TO between Petitioner and Respondent HAVA ARIFI (“Respondent”), through their undersigned attorneys, that the instant proceeding is hereby restored for purposes of so-ordering this Stipulation: 1. Petitioner, its agents, successors, and assignees, agree to not re-let or attempt to re- let the Subject Premises, through 2pm on Friday, September 3, 2021; 2. Petitioner, its agents, successors, and assignees, shall not allow entry into the Subject Premises by any and all third parties such that it interferes with or damages Respondent ARIFI’s possessions located at the Subject Premises, through 2pm on Friday, September 3, 2021; Bt Petitioner, its agents, successors, and assignees, and any other person or entity with custody and contro! of Respondent’s belongings, shall not remove or dispose of Respondent ARIFI’s belongings located at the Subject Premises until after 2pm on Friday, September 3, 2021; 4, Petitioner, its agents, successors and assignees, shall provide Respondent with supervised, limited access to the Subject Premises solely for the purposes of retrieving her belongings on September 1, 2021, until 4pm ; and then, if necessary and requested by Respondent ARIFI, on September 2, 2021, from 8am to 4pm; and then, if necessary and requested by Respondent ARIFI on Friday, September 3, 2021, from 8am until 2pm. Respondent ARIFI must contact Petitioner’s agent Shoshy Feldman by text at her cell phone (phone number of which 1 of 2(FILED: RICHMOND CIVIL COURT - L&T 09/01/2021 03: Fx pH. 17-051697-19/RT [HO] NYSCEF DOC. NO. 118 RECEIVED NYSCEF: 09/01/2021 Respondent ARIFI has) at least one hour before seeking access to the Subject Premises, in order to seek access to the premises. 5. Any belongings remaining in the Subject Premises after 2pm on Friday, September 3, 2021, shall be deemed abandoned and become property of Petitioner to dispose of or remove at its discretion. 6. This agreement resolves the access-related issues regarding the Subject Premises between the parties. Dated: September , 2021 Dated: September L , 2021 Yonkers, New York Brooklyn, New York NOVICK EDELSTEIN & POMERANTZ, P.C. | MOBILIZATION FOR JUSTICE, INC. Attorneys for Petitioner Attorneys for Respondent ARIFI Greg Bougopoulos, Esq. Emilio Paesano, Esq. 733 Yonkers Avenue 424 East 147th Street, 3rd Floor Yonkers, New York 10704 Bronx, New York 10455 gbougopoulos@novickedelstein.com epaesano@mfjlegal.org es Remy Smith, J HC 2 of 2