On March 04, 2020 a
Party Statement
was filed
involving a dispute between
Jpmorgan Chase Bank, National Association,
and
A K A Amber Zeno Gentry,
Amber R. Gentry Zeno
A K A Amber Zeno Gentry,
Amber Zeno Gentry Aka,
Corporations Or Entities, If Any, Having Or Claiming An Interest Or Lien Upon Th,
John Doe, Said Name Being Fictitious, It Being The Intention Of Plaintiff To Des,
U.S. District Court,
for Real Property - Mortgage Foreclosure - Residential
in the District Court of Washington County.
Preview
FILED: WASHINGTON COUNTY CLERK 03/04/2020 02:34 PM INDEX NO. EC2020-31588
NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 03/04/2020
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF WASHINGTON
CERTIFICATE OF MERIT
JPMorgan Chase Bank, National Association,
Index No.
Plaintiff, Property Address:
86 County Route 23, Hartford,
-against-
NY 12838
Amber R. Gentry-Zeno a/k/a Amber Zeno Gentry; U.S.
District Court, and "JOHN DOE", said name being fictitious,
it being the intention of Plaintiff to designate any and all
occupants of premises being foreclosed herein, and any
parties, corporations or entities, if any, having or claiming an
interest or lien upon the mortgaged premises
Defendants.
Justin Valle, Esq., an attomey at law, duly admitted to practice before the Courts of the State of New
York, hereby affirms under penalty of perjury pursuant to CPLR §2106 that:
1. I am an associate with the Law Firm of Shapiro, DiCaro & Barak, LLC, the attorneys retained to
commence this action on behalf of the Plaintiff in the above caption. As such, I submit this Certificate of Merit,
based upon my review of the facts of this case, so as to comply with the requirements under CPLR §3012-b(a).
2. As a result of my consultation with a representative of the Plaintiff, Miljana M. Ilic Gajic, Vice
President of JPMorgan Chase Bank, National Association, and my review of the pertinent documents, to the
best of my knowledge, information, and belief, I hereby certify that there is a reasonable basis for the
commencement of this action and that Plaintiff is currently the creditor entitled to enforce rights under such
documents.
DATED: ,¶ a hm
Ju in Valle, Esq.
ss iate Attorney
SHAPIRO, DICARO & BARAK, LLC
Attorneys for Plaintiff
175 Mile Crossing Boulevard
Rochester, New York 14624
(585) 247-9000
Fax: (585) 247-7380
13-029613
1 of 1
Document Filed Date
March 04, 2020
Case Filing Date
March 04, 2020
Category
Real Property - Mortgage Foreclosure - Residential
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