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  • Board Of Managers Of Continental Towers Condominium, Acting On Behalf Of The Unit Owners Of Continental Towers Condominium v. Eric J. Shames, John Doe, Jane Doe Real Property - Mortgage Foreclosure - Residential document preview
  • Board Of Managers Of Continental Towers Condominium, Acting On Behalf Of The Unit Owners Of Continental Towers Condominium v. Eric J. Shames, John Doe, Jane Doe Real Property - Mortgage Foreclosure - Residential document preview
						
                                

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SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK we ne ennnepneneinannnnannnneeennunuuenanennennenennennneee! xX BOARD OF MANAGERS OF CONTINENTAL TOWERS CONDOMINIUM, ACTING ON BEHALF Index No. 850198/2016 OF THE UNIT OWNERS OF CONTINENTAL STIPULATION TOWERS CONDOMINIUM, Plaintiff, -against- ERIC J, SHAMES, “JOHN DOE” and “JANE DOE”, inclusive, the names of the latter defendants being fictitious, the true names of said defendants being unknown to plaintiffs, it being intended to designate the tenants or occupants of the liened premises and/or persons or parties having or claiming an interest in or a lien upon the liened premises Defendants. If IS HEREBY STIPULATED AND AGREED, by and between the undersigned “attorneys for plaintiff, Board of Managers of Continental Towers Condominium, Acting on Behalf of the Unit Owners of Continental Towers Condominium (“Board”) and defendant, Eric J, Shames (“Mr Shames”) as follows: 1. Mr. Shames shall deposit $21,000.00 (the “Escrowed Funds”) with the undersigned attorneys for Mr. Shames, on or before February 16, 2017, which firm shall hold the Escrowed Funds in its escrow account, pending further order of this Court, in lieu of and in full substitution for, the bond provided for in the order of the Hon, Carol R. Edmead, J.S.C. dated February 8, 2017 (“Order”); the temporary restraining order provided for in the Order shall remain in full force and effect as if the bond had been deposited with the Court in the manner provided for in the Order. 35117432v.1 MSZ/D1179836v2/M071396/C01765102 All of the rights, claims and defenses of the parties hereto are hereby expressly reserve(}, 3. Electronically transmitted copies of this Stipulation shall be deemed to be the original for all purposes, 4. This Stipulation shall be so ordered by the Court. Dated: New York, New York Garden City, New York February 15, 2017 February 15, 2017 SEYFARTH SHAW LLP JASPAN SCHLESINGER LLP Attorneys for Plaintiff Board of Managers of Attorneys for Defendant Eric J. Shames Continental Towers Condominium By; Ze ti Marci S. Zinn jmontag@seyfarth.com mzinn@jaspanllp.com 620 Eighth Avenue 300 Garden City Plaza New York New York 10018 Garden City, New York 11530 Telephone: (212) 218-5500 (516)746-8000 SO ORDERED: J.8.C. 2 35117432v.1 MSZ/D1179836v2/M071396/C0176510