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  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
  • Joseph Hertz v. Samuel Hertz Individually, and as the Nominated Executor of the Purported Last Will & Testament of Mira Hertz, dated November 26, 2008, and as Trustee of the Mira Hertz Purported Revocable Trust Agreement, dated November 26, 2008, et al. Other Matters - Contract - Other document preview
						
                                

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FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 Riv8lNRADLER3 A T T O RN EY S A T L A W W W W . R IV K I N R A D L E R . C O M 926 RXRPlaza Uniondale, NY 11556-0926 T 516.357.3000 F 516.357.3333 J US TIN M. P IC CION E PARTNER (516) 357-3006 Justin.piccione@rivkin.com February 28, 2023 VIA ELECTRONIC MAIL (inimetz@mccarthvfingar.com) McCarthy Fingar LLP 711 Westchester Avenue, Ste. 405 White Plains, NY 10604 Attention: Irma K. Nimetz Re: Estate of Mira Hertz RR file No. 5419-1 Dear Irma: Included in our email correspondence is a Sharefile link additional non- containing privileged documents responsive to one or more of Plaintiff's document demands, including: (i) Plaintiff's First Notice of Discovery and Inspection dated June 12, 2020 ("First Demand") and (ii) Plaintiff's First Supplemental Notice of Discovery and Inspection dated January 14, 2022 ("Supplemental Demand"). Specifically: " Bates Nos. DEF2023SUP0004544-0009872 are responsive to, other among requests, the First Demand, Request Nos. #14, #19, #25, #26, #48, #53, #54, #58, #59, #68, #70, as well as Supplement Demand, Request Nos. #3, #6, #11, #14, #17, #24, #25, #36, #41, #43, #53, #54. Very truly yours, RIVKIN RADLER LLP Justin M. Piccione 2.v8 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 f R1v8lN RADLER3 AT T o R N EY S A T L A W WJ#E RLVXlNRAD1ER cllM 926 RXRPlaza Uniondale, NY 11556-0926 T 516.357.3000 F 516.3573333 J USTIN M. PiccioNE PARTNER (516) 357-3006 ARS.JihelaglgaekdyJill£92 VIA ELECTRONIC MAIL (inimetz@mecarthvfingar.com) McCarthy Fingar LLP 711 Westchester Avenue, Ste. 405 White Plains, NY 10604 Attention: Irma K. Nimetz Re: Estate of Mira Hertz RR file No. 5419-1 Dear Inna: Included in our email correspondence is a Sharefile link containing an additional 4,543 pages of non-privileged documents responsive to one or more of Plaintiff's document demands, including: (i) Plaintiff's First Notice of Discovery and Inspection dated June 12, 2020 ("First Demand"); (ii) Plaintiff's post-EBT demand dated December 20, 2021 ("Post-EBT Demand"); and (iii) Plaintiff's First Supplemental Notice of Discovery and Inspection ("Supplemental Demand"). Specifically: " Bates Nos. DEF2023SUP0000001-0001473 are responsive to, other among requests, the First Demand, Request Nos. 9, 10, 17, 53, 54, 59, 70, 71, and 72, the Post-EBT Demand, Request Nos. 8, 9, and 20, as well as the Supplemental 47.1 Demand, Request Nos. 1, 36, 37, 43, 45, 46, and " Bates Nos. DEF2023SUP0001474-0002782 are responsive to, among other requests, the First Demand, Request Nos. 9, 10, 19, 53, 54, 58, 59, 71, as well as the Supplemental Demand, Request Nos. 1, 3, 36, 37, 38, 42, and 46. " Bates Nos. DEF2023SUP0002783-0003304 are responsive to, among other requests, the First Demand, Request Nos. 48, 54, 57, 58, and 59, as well as the Supplemental Demand, Request Nos. 1, 34, 36, 37, 38, 41, 42, and 43. I Copies of these documents via email on February without the Bates Nos. were previously produced 17, 2023. FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 " Bates Nos. DEF2023SUP0003305-0004543 are responsive to, other among requests, the First Demand, Reqest Nos. 53, 54, and 59, as well as the Supplemental Demand, Request Nos. 1, 36, 37, and 43. Additional non-privileged responsive documents will be provided next week. Very truly yours, RIVKIN RADLER LLP Justin M. Piccione .. 6207824.v1 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 Justin M. Piccione From: Cinthia Ramos Sent: Friday, February 17, 2023 5:16 PM To: inimetz@MccarthyFingar.com Cc: fstreng@mccarthyfingar.com; Justin M. Piccione; Angelica Barcsansky; Katie Lachter Subject: Joseph Hertz v. Samuel Hertz, Index No. 526061/2019 Sent on behalf of Justin Piccione: Irma -This link, https://rivkin.sharefile.com/d-se775bf577841412abbc877bae30744b2, contains documents supplementing defendant's prior document productions; specifically, the documents are responsive to: (1) plaintiff's first request for production of documents dated 6/12/20, Request Nos. 9, 10,17, 53, 54, 59, 70, 71, 72; (2) plaintiff's post-EBT letter demand dated 12/20/21 at paragraph 20; and (3) plaintiff's first supplemental document request dated January 14, 2022, Request Nos. 36, 37, 43, 45, 46, 47. The link will remain active for 30 days. The password to open the PDF will be sent in a separate email. A bates stamped copy of this supplemental production, together with a cover letter containing the individual document request number and its corresponding bates # document, will be provided next week. Also, at least 1,300 pages of additional documents responsive to plaintiff's document requests will be provided next week, including but not limited to documents responsive to: (1) plaintiff's request for production of documents dated 6/12/20, Request Nos. 17, 48, 53, 54, 58; and (2) plaintiff's first supplemental document request dated January 14, 2022, Request Nos. 10, 48 and 71. Thank you. lfRivKINRADLER Cinthia Ramos Litigation Support/eDiscovery Project Manager 926 RXR Plaza, Uniondale, NY 11556-0926 D 516.357.3209 T 516.357.3000 F 516.357.3333 Cinthia.Ramos@rivkin.com www.rivkinradler.com 1 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF .DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 9 W W W . R I V K I N R A D L E R.cOM A T T O R N EY S A T L A W 926 RXRPlaza Uniondale, NY 11556-0926 T 516.357.30m F 516.357.333 J U S T IN M. P ICCI ON E (616) 357-3006 justin.piccione@rivkin. com September 29, 2021 VIA EMAIL McCarthy Fingar LLP 711 Westchester Avenue, Ste. 405 White Plains, N.Y. 10604 Attention: Irma K. Nimetz, Esq. Re: Hertz v. Hertz, Index No.: 526061/2019 Defendant's Second Supplemental Response to Plaintiff s_First Notice of Discovery and Inspection RR File No. 5419-1 Dear Irma: In accordance with CPLR 3101, and subject to our client's prior written objections and responses, enclosed is a PDF file containing certain documents supplementing our client's prior document production as follows: 1. Request Nos.: 1 and see document bates-stamped DEFSECSUP0000612 -- Supplementing 11, DEFSECSUP0000621. Defendant reserves his right to further supplement and/or amend his supplemental response(s) to plaintiff's First Notice of Discovery and Inspection at any time and for any reason up to and including the point of trial. All rights reserved. Very truly yours, RIVKIN RADLER LLP ' Justin M. Piccione Encl. 66 SouthPearlStreet, 11thFlOOr 25 Main Street 477MadisonAvenue 2649SouthRoad Albany, NY12207-1533 Court PlazaNorth, Suite501 NewYork,NY10022-5843 - Poughkeepsle,NY12601-6843 T 518.462.3000F518.462.4199 Hackensack,NJ07601-7082 T 212.455.9555F212.687.9044 T 845.473.8100F845.473.8777 T201.287.2460F201.489.0495 5513008.v1 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 TR1VKINRADLERE www.aiv8isa^otes.cow AT TO R N EYS AT L AW 926 RXRPlaza Uniondale, NY 11556-0926 T s16.357.3000 F 516.357.3333 J U ST I N M. P IC CI O N E (516) 357-3006 luatin.picolone@rivk In.com August 20, 2021 VIA EMAIL McCarthy Fingar LLP 711 Westchester Avenue, Ste. 405 White Plains, N.Y. 10604 Attention: Irma K. Nimetz, Esq. Re: Hertz v. Hertz, Index No.: 526061/2019 Defendant's Second Supplemental Response to Plaintiff s_First Notice of Discovery and Inspection RR File No. 5419-1 Dear Irma: In accordance with CPLR 3101, and subject to our client's written objections and responses, enclosed is a ShareFile link containing data files supplementing our client's prior document production as follows: 1. Request No.: DEFSECSUP0000001 -- Supplementing 15, see data file bates-stamped DEFSECSUP0000243; and 2. Request No.: see data file bates-stamped DEFSECSUP0000244 - Supplementing 31, DEFSECSUP0000250. Defendant reserves his right to further supplement and/or amend his supplemental response(s) to plaintiff's First Notice of Discovery and Inspection at any time and for any reason up to and including the point of trial. 66SouthPearlStreet, 11thFloor 25 MalnStreet 477MadisonAvenue 2649SouthRoad Albany,NY12207-1533 CourtPlazaNorth,Suite501 NewYork,NY10022-5843 Poughkeepsle,NY12601-6843 T 518.462.3000F518.462.4199 Hackensack,NJ07601-7082 T 212.455.9555F212.687.9044 T 845.473.8100F845.473.8777 T 201.287.2460F201.489.0495 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 RIVKIN RADLER LLP August 20, 2021 Page 2 Very truly yours, RIVKIN RADLER LLP Justin M. Piccione .... 5431213.v1 FILED: KINGS COUNTY CLERK 02/28/2023 11:49 PM INDEX NO. 526061/2019 Page 1 of 4 NYSCEF DOC. NO. 240 RECEIVED NYSCEF: 02/28/2023 Subject: RE: Joseph Hertz v. Samuel Hertz, Supreme Court, Kings County, Index No. 526061/2019 Date: 3/18/2021 6:43 PM Piccione" From: "Justin M. Nimetz" To: "Irma K. Streng" Eisenmesser" "Frank , "Scott Gorak" , "Jeffrey P. __________________________________________________ Defendant's First Supplemental Response to Plaintiff's First Notice of Discovery and Inspection Attached are documents supplementing defendant's Responses and Objections to Plaintiff's First Notice of Discovery and Inspection, dated August 3, 2020. Defendant reserves his right to further supplement and/or amend his supplemental response to plaintiff's First Notice of Discovery and Inspection at any time and for any reason up to and including the point of trial. All rights reserved. Please note to reduce the quantity of paper coming into our offices during the Coronavirus crisis when our staff is working remotely, we request that all communications with this office should be through electronic means. Your cooperation is appreciated. lfRivKINRADLER Justin M. Piccione Associate 926 RXR Plaza, Uniondale, NY 11556-0926 D 516.357.3006 T 516.357.3000 F 516.357.3333 Justin.Piccione@rivkin.com www.rivkinradler.com From: Irma K. Nimetz Sent: Wednesday, March 17, 20217:29 PM To: Justin M. Piccione Cc: Frank Streng ; Scott Eisenmesser ; Jeffrey P. Gorak Subject: [EXTERNAL] RE: Joseph Hertz v. Samuel Hertz, Supreme Court, Kings County, Index No. 526061/2019 Justin - We are your emails below and Defendant's request for additional time (until April reviewing 20, 2021) to supplement his responses to Plaintiff's First Request for Production of Documents, dated June 12, 2020. Thank you. Irma _____----..-_______________________------------ Irma K. Nimetz Counsel about:blank 2/28/2023