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  • Kalamata Capital Group, Llc v. Columbus Haul All Ltd D/B/A CHA TRUCK-N- TRANSPORT, Cha Trucking, C.H.A. Truck N  Transport, Shapes Babrer & Braid Shop Llc., Cheechee Marshan McgowanOther Matters - Contract - Other document preview
  • Kalamata Capital Group, Llc v. Columbus Haul All Ltd D/B/A CHA TRUCK-N- TRANSPORT, Cha Trucking, C.H.A. Truck N  Transport, Shapes Babrer & Braid Shop Llc., Cheechee Marshan McgowanOther Matters - Contract - Other document preview
  • Kalamata Capital Group, Llc v. Columbus Haul All Ltd D/B/A CHA TRUCK-N- TRANSPORT, Cha Trucking, C.H.A. Truck N  Transport, Shapes Babrer & Braid Shop Llc., Cheechee Marshan McgowanOther Matters - Contract - Other document preview
  • Kalamata Capital Group, Llc v. Columbus Haul All Ltd D/B/A CHA TRUCK-N- TRANSPORT, Cha Trucking, C.H.A. Truck N  Transport, Shapes Babrer & Braid Shop Llc., Cheechee Marshan McgowanOther Matters - Contract - Other document preview
						
                                

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FILED: SULLIVAN COUNTY CLERK 09/07/2022 12:35 PM INDEX NO. E2022-1287 NYSCEF DOC. NO. 13 RECEIVED NYSCEF: 09/07/2022 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF SULLIVAN KALAMATA CAPITAL GROUP, LLC Index No: E2022-1287 Plaintiff, against COLUMBUS HAUL ALL LTD D/B/A CHA TRUCK-N- AFFIRMATION OF MAILING PURSUANT TO CPLR TRANSPORT COLUMBUS HAUL ALL LTD D/B/A CHA 3215(G)(3)(i) TRUCK-N-TRANSPORT ; CHA TRUCKING ; C.H.A. AND CPLR 3215(G)(4)(i) TRUCK N TRANSPORT ; SHAPES BABRER & BRAID SHOP LLC. and CHEECHEE MARSHAN MCGOWAN Defendants State of New York : : ss: County of New York : ARIEL BOUSKILA, ESQ an attorney duly admitted to practice law in the Courts of the State of New York, hereby affirms the following to be true under penalty of perjury: 1. I am a member of Berkovitch & Bouskila, PLLC, attorneys for KALAMATA CAPITAL GROUP, LLC (“Plaintiff”) in this matter, and as such am fully familiar with the facts and circumstances contained herein. 2. I am over eighteen (18) years of age, I am not a party to this action and the following statement are true and are based upon personal knowledge, review of the pleadings in this matter, and review of the documents in this matter. 3. To comply with the provisions of CPLR 3215(G)(3)(i) on CHEECHEE MARSHAN MCGOWAN , I mailed a copy of the Summons and Complaint on July 27, 2022 , at least 20 days before entry of judgment, in an envelope marked “Personal and Confidential” and not indicating on the outside of the envelope that the communication is from an attorney or 1 of 2 FILED: SULLIVAN COUNTY CLERK 09/07/2022 12:35 PM INDEX NO. E2022-1287 NYSCEF DOC. NO. 13 RECEIVED NYSCEF: 09/07/2022 concerns an alleged debt by first class mail to CHEECHEE MARSHAN MCGOWAN , at their last known address of 3147 Aldgate St, Columbus, OH 43232 and the mailing were not returned as undeliverable. 4. The envelopes were deposited in an official depository under the exclusive care and custody of the United States Postal Service within New York State. Dated: New York, New York September 7, 2022 ___ __________ Ariel Bouskila Esq. 80 Broad St Suite 3303 New York, NY 10004 (212) 729-1477 Legal@bblawpllc.com 2 of 2