On January 26, 2017 a
Order
was filed
involving a dispute between
Flat Rate Movers, Ltd.,
and
Abid Ali,
Adam Berger,
Ariel Bornstein,
Balquees Ali,
Bryan Sanicela,
Dan Aizer,
Danial Harris,
Diane Melendez,
Edward Bayas,
Ivan Knezevic,
Jelena Nedic,
Jewell Stanley,
Jodi Berger,
John Does,
Justin Elyachar,
Keren Aizer Shemel,
Marcos Aviles,
Maria Alt,
Mukul Puri,
Neil Appollon,
Nihal Dogu,
Saadia Bangash,
Saadi Agha,
Santo Competiello,
Sarah Ali,
Sarah Ismail,
Shirley Aizer Bornstein,
Steve Holzer,
Viola Melpignano,
Xavier Brown,
for Commercial - Other (Breach of Fiduciary Duty)
in the District Court of New York County.
Preview
INDEX NO. 650450/2017
“NYSCEF DOC. NO. 23 RECEIVED NYSCEF 07/03/2018
At Commercial Division Part 49 of
the Supreme Court of the State of
New York, County of New York, at
60 Centre Street, New York, New
4
York on the 3 lay of val 2018
PRESENT:
Hon. O. Peter Sherwood
JIS.C.
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK: COMMERCIAL DIVISION
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FLAT RATE MOVERS, LTD.,
Plaintiff, Index No.: 650450/2017
- against-
ARIEL BORNSTEIN, SHIRLEY AIZER BORNSTEIN, ORDER DISCONTINUING
DAN AIZER, KEREN AIZER SHEMEL, SAADI AGHA, ACTION AGAINST
XAVIER BROWN, ABID ALI, BALQUEES ALI, XAVIER BROWN
SARAH ISMAIL, NIHAL DOGU, SAADIA BANGASH,
DANIAL HARRIS, BRYAN SANCIELA,
JELENA NEDIC, NEIL APPOLLON,
DIANE MELENDEZ, SARAH ALI, JEWELL STANLEY,
EDWARD BAYAS, MARCOS AVILES,
JUSTIN ELYACHAR, STEVE HOLZER, JODI BERGER,
ADAM BERGER, MARIA ALT, IVAN KNEZEVIC,
SANTO COMPETIELLO, VIOLA MELPIGNANO,
MUKUL PURI and JOHN DOES #1-10,
Defendants.
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WHEREAS on January 26, 2017, Plaintiff filed a Summons and Complaint against
defendants, including Zavicr Brown (“Brown”), sucd herein as “Xavier Brown”;
WHEREAS Brown was served with the complaint on February 6, 2017 and filed an
Answer on March 3, 2017;
WHEREAS, Plaintiff has resolved this matter by entering into a settlement agreement
and filing a Stipulation of Discontinuance against the main defendants in this
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INDEX NO. 650450/2017
“ NYSCEF DOC. NO. 23 RECEIVED NYSCEF: 07/03/2018
action on January 17, 2018 and would now like to discontinue the action as and against Brown;
WHEREAS Despite Plaintiff's attempts to get in contact with Brown, Brown has been
unresponsive, and Plaintiff now requests that this Court voluntarily discontinue the matter
against Brown; now therefore,
PLEASE TAKE NOTICE that pursuant to the Civil Practice Law and Rules, Plaintiff
hereby discontinues the above entitled action with prejudice against defendant Xavier Brown.
Dated: New York, New York
June 11, 2018
TRAVIS LAW PLLC
Christopher Travis
Attorneys for Plaintiff
80 Maiden Lane, Suite 304
New York, New York 10038
(212) 248-2120
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