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  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
						
                                

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FILED: NASSAU COUNTY CLERK 02/22/2023 01:33 PM INDEX NO. 607197/2022 NYSCEF DOC. NO. 101 RECEIVED NYSCEF: 02/22/2023 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU xxxxxx xxxxxx a/k/a xxxxxxxxxx xxxxxx, individually and derivatively on behalf of Index No. 607197/2022 ROCKVILLE CORP., Plaintiff, Motion Seq. No. 4 -against- Hon. Sharon M.J. Gianelli xxxxxxx xxxxx, individually and as the executor STIPULATION of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article “Fourth” of the Last Will and Testament of xxxx xxxxx; MAKAN DELRAHIM, as former co-trustee of the disclaimer Trust under Article “Fourth” of the Last Will and Testament of xxxx xxxxx; and BAHARAK AMIRIAN as co-trustee of the disclaimer Trust under the Last Will and Testament of xxxx xxxxx, Defendants, -and- ROCKVILLE CORP., Nominal Defendant. xxxxxxx xxxxx and ROCKVILLE CORP., Counterclaim-Plaintiffs, -against- xxxxxx xxxxxx and 172 BARGAIN LIQUORS, INC. Counterclaim-Defendants. 1 of 2 FILED: NASSAU COUNTY CLERK 02/22/2023 01:33 PM INDEX NO. 607197/2022 NYSCEF DOC. NO. 101 RECEIVED NYSCEF: 02/22/2023 IT IS HEREBY STIPULATED AND AGREED by and between the undersigned, the attorneys of record for Plaintiff/Counterclaim-Defendants (“Plaintiff”) and Defendants/Counterclaim-Plaintiffs (“Defendants”), as follows: 1. The return date for Plaintiff’s Notice of Motion for partial summary judgment and for a protective order quashing third party subpoenas (the “Motion”), returnable on March 8, 2023, is adjourned to April 6, 2023. 2. Defendants shall serve their opposition to the Motion on or before March 22, 2023. 3. Plaintiff shall serve his reply in further support of the Motion on or before April 5, 2023. Dated: New York, New York February 22, 2023 KASOWITZ BENSON TORRES LLP RUSKIN MOSCOU FALTISCHEK, P.C. By: /s/ David E. Ross By: /s/ Daniel E. Shapiro David E. Ross Daniel E. Shapiro Michael C. Pecorini Elizabeth S. Sy 1633 Broadway 1425 RXR Plaza New York, New York 10019 East Tower, 15th Floor Uniondale, NY 11556 Counsel for Defendants/Counterclaim-Plaintiffs Attorneys for Plaintiff/Counterclaim- Defendants 2 of 2