On September 13, 2022 a
Letter,Correspondence
was filed
involving a dispute between
Fairbridge Real Estate Investment Trust, Llc
F K A Realfi Real Estate Investment Trust Llc,
and
Brookview Town House Llc
A K A Brookview Town Houses Llc,
Carl Orsini
A K A Carlos M. Orsini,
Cor Holdings Llc,
David Raven,
George Lumber & Building Material Inc.,
John Doe Company Nos. 1-100,
John Doe Corporation Nos. 1-100
And,
Key Bank
As Successor By Merger To First Niagara Bank, N.A.,
Little Falls Garden Apartments Llc,
New York State Department Of Taxation And Finance,
Robinhood Properties L.L.C.,
for Real Property - Mortgage Foreclosure - Commercial
in the District Court of Montgomery County.
Preview
INDEX NO. EF2022-477
NYSCEF DOC. NO. 162 RECEIVED NYSCEF: 03/02/2023
MERTZ LEGAL
John R. Mertz, Esq. ATTORNEYS AT LAW Adam Fusco, Esq.
Jjmertz@mertzlegal.com 2 . . Of-Counsel t
. st afusco@mertzlegal.com : i
P.O. Box 7118 : 4
. _ The Capitol Stefano Perez, Esq. 1
Albany, New York 12224-0118 Of-Counsel 4
Phone (518) 669-3775 Stefano.perez@gmail.com 4
4
. ‘ . _, March 2, 2023 . . i
oF : |
Hon, Felix J, Catena . i
Att: Gianna Fernandez, Clerk to Court: VIA Electronic Mail at: i
58 Broadway »* gfernand@nycourts.gov
Fonda, New York.12068 * : ©
Re: Index No,: EF2022-477 - Fairbridge Real Estate Investment Trust, LLC v.
Litile Falls Garden Apartments LLC L
Notice of Motion for Default Judgment and Order of Reference .
Request for Amended Return Date of Motion .
Dear Judge Catena: .
. On February ‘10, 2023, Plaintiff's counsel ‘filed the above-captioned Motion with a return t
date of today, March 2, 2023. Our clients have since been contacted. by the Defendants and i
Defendants’ counsel to meet, today in.carnest efforts to work out a resolution, Therefore, we =.
. respectfully request the Court grant’ an adjournment of the Motion’s return date until tomorrow, ” :
March 3, 2023, . f ‘ .
*
We acknowledge that Defendant's counsel has filed an Answer on March 1, 2023, . This .
request is strictly limited to affording the: parties the opportunity to’ explore a resolution in earnest,
_ which will be determined at the conclusion’ of said meeting, and this request is not intended to
reflect an action in response to the filing of Defendant’s Answer. A copy of this letter is forwarded
“to all parties of participation on-record with the Montgomery County Supreme Court’s NYSCEF
filing by email. ‘
Very truly yours, _
ebb —
By+“John R. Mertz, Esq.
Attomey for Plaintiffs
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scottlickstein@newmanlickstein.com Attorney for Defendant ,
aroth@sahnward.com Attorney for Plaintiff . tnneposs
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Cc: ray@ragueslaw.com, Attorneys for Defendants . , i
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afusco@mertzlegal.com Attorney for Plaintiff . « Bitten ‘ol , !
psciocchetti@cbeprime.net Court Appointed Receiver
kimberly. vanwormer.esq@gmail.com Counsel to Receiver
1 of 2= INDEX NO. EF2022-477
NYSCEF DOC. NO. 162 RECEIVED NYSCEF: 03/02/2023
2 of 2
Document Filed Date
March 03, 2023
Case Filing Date
September 13, 2022
Category
Real Property - Mortgage Foreclosure - Commercial
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