On April 20, 2023 a
PRELIMINARY CONFERENCE REQUEST
was filed
involving a dispute between
Sara S Cavalier,
and
Kofi Agyemang,
Ruby Acheampong
And,
for Torts - Motor Vehicle
in the District Court of Westchester County.
Preview
) OUN NK 08 04 09 AW INDEX NO. 59818/2023
NYSCEF BOC. NO. 7 RECEIVED NYSCEF: 08/04/2023
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF WESTCHESTER
X
SARAH S. CAVALIER, REQUEST FOR PRELIMINARY
CONFERENCE
Plaintiff,
Index No. 59818/2023
-against-
RUBY ACHEAMPONG and KOFI
AGYEMANG,
Defendants.
X
The undersigned requests a Preliminary Conference.
The nature
of the action is for Personal Injury.
The names, addresses and telephone numbers of all attomeys appearing in the
action are as follows:
Law Offices of John Trop
Attomey for Defendant
120 White Plains Road, Suite 200
Ti ywn, NY 10591
(551) 305-1459
GASH & ASSOCIATES, P.C.
Attomeys for Plaintiff
235 Main Street, 3rd Floor
White Plains, New Y ork 10601
Phone: (914) 328-8800
Fax: (914) 328-3503
Annexed hereto is an Affirmation of Good Faith pursuant to 22 NYCRR
202.12(a).
DATED: Tarytown, NY
August 4, 2023
1 of 3
) OUN NK 08 04 09 AW INDEX NO. 59818/2023
NYSCEF BOC. NO. 7 RECEIVED NYSCEF: 08/04/2023
Yours, etc.,
ae
By:
Law Offices of John Trop
JeremyE. Seeman, Esq.
Attomey for Defendants
RUBY ACHEAMPONG
and KOFI AGY EMANG
120 White Plains Road, Suite 200
Tarrytown, NY 10591
Telephone: (551) 305-1459
Fax: (866) 655-5196
Our File No. 0584745772.1-
GASH & ASSOCIATES, P.C.
Attomeys for Plaintiff
235 Main Street, 3rd Floor
White Plains, New Y ork 10601
Phone: (914) 328-8800
Fax: (914) 328-3503
2 of 3
) OUN NK 08 04 09 AW INDEX NO. 59818/2023
NYSCEF BOC. NO. 7 RECEIVED NYSCEF: 08/04/2023
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF WESTCHESTER
X
SARAH S. CAVALIER, AFFIRMATION OF GOOD FAITH
Plaintiff, Index No. 59818/2023
-against-
RUBY ACHEAMPONG and KOFI
AGYEMANG,
Defendants.
X
Jeremy E. Seeman, Esq., pursuant to CPLR 2106 duly affirms the truth of the
following:
1 That I am an attomey duly licensed to practice law in the State of New Y ork and.
represent
the defendants RUBY ACHEAMPONG and KOFI AGY EMANG, herein.
2. That this is an application for a preliminary conference. The instant case is an
action for alleged personal injuries sustained by SarahS. Cavalier, as a result of an incident
that
occurred
on April 26, 2020. To date, no responses have been made to our various demands and
that the prosecution of the case is being delayed by plaintiff. A discovery schedule pursuant to
Court Order is needed so that this case may proceedto trial expeditiously.
3. That this affirmation sets forth the need for a preliminary conference
and that this
request for said conference has been brought in good faith Your affirmant
believes that a
preliminary conference is necessary to conclude discovery in an expeditious manner.
DATED: Tarytown, NY
August 4, 2023
JEREMY
E. SEEMAN, ESO.
3 of 3
Document Filed Date
August 04, 2023
Case Filing Date
April 20, 2023
Category
Torts - Motor Vehicle
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