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  • CITIGROUP MORTGAGE LOAN TRUST 2020-RP2 v. CICHY, MARK Et AlP00 - Property - Foreclosure document preview
  • CITIGROUP MORTGAGE LOAN TRUST 2020-RP2 v. CICHY, MARK Et AlP00 - Property - Foreclosure document preview
  • CITIGROUP MORTGAGE LOAN TRUST 2020-RP2 v. CICHY, MARK Et AlP00 - Property - Foreclosure document preview
  • CITIGROUP MORTGAGE LOAN TRUST 2020-RP2 v. CICHY, MARK Et AlP00 - Property - Foreclosure document preview
						
                                

Preview

CASEFLOW REQUEST STATE OF CONNECTICUT CSFLREQ JD-CV-116 Rev. 1-16 SUPERIOR COURT www.jud.ct.gov *CSFLREQ* Instructions 1. Fill out all sections and file with the court. Note: If the request is granted, the court will try to schedule the 2. File at least 3 days before the date of the scheduled event. event for the requested date. However, if that date is not available, it will be scheduled for the next available date. Name of case (First-named plaintiff v. First-named defendant) CITIGROUP MORTGAGE LOAN TRUST 2020-RP2 v. CICHY, MARK Et Al Judicial District of Date of request Date of scheduled event (if applicable) Hartford 12/13/2022 12/27/2022 Name of Judge who scheduled the event (if applicable) Docket number HHD CV 21 - 6142844 (S) Requested Action (“X” box(es) that apply and give reason(s) for request below) Status Conference on or about: . Date Client/adjuster to be available by phone for scheduled on . Event Date Pretrial on or about . Date Party to be excused from scheduled on . Event Date ✖ Other: Docket Entry #189.00 MOTION FOR ORDER (MOTION FOR PROSPECTIVE RELIEF FROM APPELLATE STAY) . Reason(s) for request: The Plaintiff hereby requests that the court include Docket Entry #189.00 MOTION FOR ORDER (MOTION FOR PROSPECTIVE RELIEF FROM APPELLATE STAY) to the motions scheduled to be heard during the December 27, 2022 Remote Hearing. Notification has been sent to the appearing parties; Attorney Busher has no objection to the request and the remaining parties have not provided a position to date. I agree to notify my client and all counsel of record and self-represented parties whether the requested action is granted or denied, and if granted, the specific ruling of the court. I have told all counsel and self-represented parties of record that I would be asking for the requested action. All Counsel and Self-represented Parties: Consent Do not consent to the action requested above Signed (Person making request) Name of attorney and juris number or self-represented party (Print or type) /s/ 303855 Jessica L. Braus The person requesting the action is the: Plaintiff Defendant ✖ Attorney for Plaintiff Attorney for Defendant Firm name (If applicable) Address Telephone number (with area code) Glass & Braus, LLC 25 Lindbergh Street, Fairfield, CT 06824 (203) 371-2213 I certify that a copy of the above was mailed or delivered on the date shown below to all counsel and self-represented parties of record. A sheet is attached listing the name and address of each party the copy was mailed or delivered to. Signed (Individual attorney or self-represented party) Date 12/13/2022 /s/ 303855 Order Request is Signed (Judge) Date Granted Denied ADA NOTICE The Judicial Branch of the State of Connecticut complies with the Americans with Disabilities Act (ADA). If you need a reasonable accommodation in accordance with the ADA, contact a court clerk or an ADA contact person listed at www.jud.ct.gov/ADA/ CERTIFICATION I certify that a copy of this document was or will immediately be mailed or delivered electronically or non-electronically on December 13, 2022 to all attorneys and self- represented parties of record and that written consent for electronic delivery was received from all attorneys and self- represented parties of record who received or will immediately be receiving electronic delivery: SODIPO LAW GROUP 120 OXFORD STREET HARTFORD, CT 06105 john@sodipolg.com JOSEPH M BUSHER COMMITTEE OF SALE 433 SILAS DEANE HIGHWAY WETHERSFIELD, CT 06109 pleadings@jacksonokeefe.com KEVIN B CARROLL 2 CONGRESS STREET 2ND FL HARTFORD, CT 06114 (Intervening Party) 303855 Jessica L. Braus PURSUANT TO FEDERAL LAW, THIS LAW FIRM IS A DEBT COLLECTOR. WE ARE ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. HOWEVER, IF YOU ARE IN BANKRUPTCY OR RECEIVED A BANKRUPTCY DISCHARGE OF THIS DEBT, THIS COMMUNICATION IS NOT AN ATTEMPT TO COLLECT THE DEBT AGAINST YOU PERSONALLY, BUT AS NOTICE OF A POSSIBLE ENFORCEMENT OF THE LIEN AGAINST THE COLLATERAL PROPERTY.