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  • The Board Of Managers Of The Diamond & Jewelry Industry Commercial Condominium v. Sushil Realty, Inc., New York State Department Of Taxation And Finance, New York City Department Of Finance, Criminal Court Of The City Of New York, Xyz Corp., John Doe No. 1 Through John Doe No. 5 Other Real Property - Non-Mortgage Foreclosure document preview
  • The Board Of Managers Of The Diamond & Jewelry Industry Commercial Condominium v. Sushil Realty, Inc., New York State Department Of Taxation And Finance, New York City Department Of Finance, Criminal Court Of The City Of New York, Xyz Corp., John Doe No. 1 Through John Doe No. 5 Other Real Property - Non-Mortgage Foreclosure document preview
  • The Board Of Managers Of The Diamond & Jewelry Industry Commercial Condominium v. Sushil Realty, Inc., New York State Department Of Taxation And Finance, New York City Department Of Finance, Criminal Court Of The City Of New York, Xyz Corp., John Doe No. 1 Through John Doe No. 5 Other Real Property - Non-Mortgage Foreclosure document preview
  • The Board Of Managers Of The Diamond & Jewelry Industry Commercial Condominium v. Sushil Realty, Inc., New York State Department Of Taxation And Finance, New York City Department Of Finance, Criminal Court Of The City Of New York, Xyz Corp., John Doe No. 1 Through John Doe No. 5 Other Real Property - Non-Mortgage Foreclosure document preview
						
                                

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INDEX NO. 150219/2017 NYSCEF DOC. NO. 20 RECEIVED NYSCEF: 05/15/2017 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK peer n een He THE BOARD OF MANAGERS OF THE DIAMOND «& Index No. 150219/2017 JEWELRY INDUSTRY COMMERCIAL CONDOMINIUM, Plaintiff, -v- STIPULATION SUSHIL REALTY, CPLR 2104 INC., NEW YORK STATE DEPARTMENT OF TAXATION AND FINANCE, NEW YORK CITY DEPARTMENT OR FINANCE, CRIMINAL COURT OF THE CITY OF NEW YORK, “xyz CORP.”, “JOHN DOE No.1” through “JOHN DOE No.5” inclusive, the names of the last six defendants are fictitious, being tenants or occupants of the premises whose true names are unknown to Plaintiff, Defendants. IT Is HEREBY stipulated and agreed between plaintiff and defendant SUSHIL REALTY INC. that said defendant shall answer or move in response to the Complaint in the above matter on or before May 22, 2017. Said defendant consents to the personal jurisdiction of the court and waives any defense of defective service of process. An executed PDF version of this document shall have the same effect as an executed original. Dated: New York, New York May 12, 2017 1 of 2 =: INDEX NO. 150219/2017 NYSCEF DOC. NO. 20 RECEIVED NYSCEF: 05/15/2017 SMITH & KRANTZ, LLP JAMES MONTGOMERY, ESQ., PLLC up 4 t/ Wd hres Ag BY: Wayne Smith, Esq. By: James Montgo \Yr Egg 122 B.42 Street, Ste. 1518 267 Fifth Avenue,\ Sle. SB-190 New York, NY 10168 New York, NY 10016 Tel: 212-661-0279 Tel: 212-889-9828 or 646-509-1852 wsmith@smithkrantz.com : J a mes@lawjames.com Attorneys for plaintiff Attorneys for defd. Sushil Realty, Inc. 2 of 2