Preview
FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
It A S
ROBEKTSON,ANSCHUT2.SCHNE10.
CRANE & PARTNERS. PLLC
L A W O F F 8 C E S
Sara Z. Boriskin, Esquire James Robertson,
900 Merchants Concourse, Esquire*
Managirag Partner, New York OfDce
Suite 310 Everett Anschutz,
Westbury, NY 11590 Esquire**
Phone: 516.280.7675 David J. Schneid,
Fax: 516-280-7674 Esquire**
www.raslegalgroup.com John T. Crane, Esquire**
* Deceased
**Not Admitted to Practice in
New York
. .
August 23, 2021
SENT VIA FIRST CLASS MAIL & FACSIMILE: 518-238-4335
Honorable Richard J. McNally, Jr.
Supreme Court, Rensselaer County
80 Second Street
Troy, NY 12180
ReceN ed
202 3²
RE: NATIONSTAR MORTGAGE LLC vs. JOHNSON, et al.
Index No: 2018-260483 R ens se lae r C otm ty Cl e rk
Our File Number: 18-172756
To Whom It May Concern:
Our office represents the Plaintiff in the above referenced foreclosure action which
presently has a Motion for Judgment of Foreclosure and Sale pending as of November 4, 2020.
Our firm is currently working diligently with opposing counsel in order to obtain a
Stipulation for Consent Judgreent. Once same has been received, our office will proceed with filing
a Consent Judgment.
If you have any questions or problems, please do not hesitate to contact me. Thank you
for your time and courtesies in this matter.
espectfully,
Glenn Caulfield, Es
THIS COMMUNICATION IS FR A DEBT COLLECTOR
WE ARE ATTEMPTING TO COLLECT A DEBT.
ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
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CC: VIA FIRST CLASS MAIL
ADAM M. BREAULT, ESQ.
ATTORNEY FOR BARBARA J. JOHNSON
C/O MEYERS & MEYERS, LLP
1734 WESTERN AVENUE
ALBANY, NY 12203
ADAM M. BREAULT, ESQ.
ATTORNEY FOR STEPHANIE V. JOHNSON
C/O MEYERS & MEYERS, LLP
1734 WESTERN AVENUE
ALBANY, NY 12203
TIMOTHY ESQ. - REFEREE
SHEVY,
1528 COLUMBIA TURNPIKE, SUITE 203
CASTLETON, NY 12033
THIS COMMUNICATION IS FROM A DEBT COLLECTOR
WE ARE ATTEMPTING TO COLLECT A DEBT.
ANY INFORMATION OBTAINED WILL BE USED FOR THA.T PURPOSE.
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
O O
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF RENSSELAER
NATIONSTAR MORTGAGE LLC D/B/A MR. COOPER, INDEX NO. 2018-260483
Plaintiff,
vs.
AFFIRMATION
BARBARA J. JOHNSON; STEPHANIE V. JOHNSON,
#1" #12,"
"JOHN DOE through "JOHN DOE the last twelve
names being fictitious and unknown to plaintiff, the persons
or parties intended being the tenants, occupants, persons or
corporations, if any, having or claimiño an interest in or lien ReceNed
32 AM
upon the premises, described in the coniplaint,
Rensselaer County Clerk
Defendants.
Glenn W. Caulfield, Esq., an attorney duly admitted to practice law before the Courts of
the State of New York, affirms under the penalty of perjury:
1. I am an associate with the law firm of Robertson, Anschutz, Schneid, Crane &
Partners, PLLC ("RAS"), attorneys for the Plaintiff, in this foreclosure action. In my capacity as
RAS'
an associate of RAS, I have access to business records, including the records of mailings
associated with the above captioned case ("Mailing Records").
2. I make this affirmation based upon my review of the Mailing Records, and from
my own personal knowledge of how they are kept and main+=had. The Mailing Records are (i)
created by RAS in the ordinary course of its business; (ii) are made at or about the time of the
mailings; (iii) by a person with actual knowledge of the mailings, or from information
transmitted by a person with actual knowledge of the mailings; (iv) and it is the ordinary course
of business for RAS to keep and maintain such Mailing Records.
3. The Mailing Records include a computer generated record of mailings for each
History."
case entitled the "Document Send Out When any documents associated with a case are
served by mail to a party, an entry is made in the Document Send Out History indicating what
18-172756 - MaV
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
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was mailed, the date of mailing, and the name and address to which the mail was sent. The
relevant portion of the Document Send Out History for the above captioned case is annexed
hereto as Exhibit "A". I personally reviewed the Document Send Out History and confirmed
"A"
that Exhibit is a true and accurate printout of the relevant portion of the Document Send Out
History. The entries in the Document Send Out History were (i) created in the ordinary course of
business; (ii) made at or about the time of the mailings; (iii) by a person with actual knowledge
of the mailings, or from information tresmitted by a person with actual knowledge of the
mailings; (iv) and it is the ordinary course of business for RAS to keep and maintain such
Mailing Records.
4. My review of the Document Send Out History reveals that on August 23, 2021 a
copy of the Court Correspondence was served upon the following parties by depositing a true
copy of same enclosed in a post-paid wrapper, addressed to the address designated for the service
of papers or to the last known address if no such address has been so designated, in a post office-
official depository under the exclusive care and custody of the United States Postal Service as
follows:
ADAM M. BREAULT, ESQ.
ATTORNEY FOR BARBARA J. JOHNSON and STEPHANIE V. JOHNSON
C/O MEYERS & MEYERS, LLP
1734 WESTERN AVENUE
ALBANY, NY 11203
TIMOTHY ESQ. - REFEREE
SHEVY,
1528 COLUMBIA TURNPIKE, SUITE 203
CASTLETON, NY 12033
Dated: August 24, 2021
Glenn W. Caul 1eld, Esq.
18-172756 - MaV
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
O O
EXHIBIT A
18-172756 - MaV
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
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SendType Document DateSentOut Defendant Address Notes
1528 COLUMBIA
TIMOTHY TURNPIKE, SUITE Items Were Sent Out
-
Court 8/23/2021 SHEVY, ESQ. 203, CASTLETON NY By Mail On Date:
Mailed Correspondence 16:12 REFEREE 12033 8/24/2021 8:55:44 AM
1734 WESTERN Items Were Sent Out
Court 8/23/2021 MEYERS & AVENUE, ALBANY By Mail On Date:
Mailed Correspondence 16:12 MEYERS, LLP NY 11203 8/24/2021 8:55:01 AM
18-172756 - MaV
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
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Index # 2018-260483
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF RENSSELAER
NATIONSTAR MORTGAGE LLC D/B/A MR. COOPER,
Plaintiff,
vs.
BARBARA J. JOHNSON; STEPHANIE V. JOHNSON,
#1" #12,"
"JOHN DOE through "JOHN DOE the last
twelve names being fictitious and unknown to plaintiff, the
persons or parties intended being the tenants, occupants,
persons or corporations, if any, having or claiming an
interest in or lien upon the premises, described in the
complaint,
Defendants.
AFFIRMATION OF SERVICE
ROBERTSON, ANSCHUTZ, SCHNEID, CRANE & PARTNERS, PLLC
Attorneys for Plaintiff
900 Merchants Concourse, Suite 310
Westbury, NY 11590
516-280-7675
18-172756 - MaV
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FILED: RENSSELAER COUNTY CLERK 09/16/2021 01:09 PM INDEX NO. EF2018-260483
NYSCEF DOC. NO. 26 RECEIVED NYSCEF: 10/18/2021
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08/24/2021 08:45
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1A S
ROBERTSON.ANSCHUTZ.SCHNElil
CRANE & PARTNERS, PLLC
L A W O F F I C E S
Sara Z. Boriskin, Esquire James Robertson,
Managing Newurk ggcc
Partner, 900Merchants Concourse, Esquire'
Suite 310 Everett Anschutz,
Westbury, NY 11590 Esquire"
Phone: 516.280.7675 David J. Schneid,
Fax: 516-280-7674 Esquire**
www.raslegalgroup.com John T. Crane, Esquire**
' Deceased
**NotAdmittedto Practicein
NewYork
August 23, 2021
SENT VIA FIRST CLASS MAIL & FACSIMILE: s18-238-4335
Honorable Richard J. McNally, Jr.
Supreme Court, Rensselaer County
80 Second Street
Troy, NY 12180
RE: NATIONSTAR MORTGAGE LLC vs. JOHNSON, et at
Index No: 2018-260483
Our File Number: 18-172756
To Whom It May Concern:
Our office represents the Plaintiff in the above mfemnced foreclosure action which
presently has a Motion for Judgment of Foreclosure and Sale pending as of November 4, 2020.
Our firm is currently working diligently with opposing counsel in order to obtain a
Stipulation for Consent Judgment. Once same has been received, our office will proceed with filing
a Consent Judgment.
If you have any questions or pmblems, please do not hesitate to contact me. Thank you
for your time and courtesies in this matter.
espectfully,
Glenn Caulfield, Es
THIS COMMUNICATION IS FR A DEBT COLLECTOR
WE ARE ATTEMPTING TO COLLECT A DEBT.
ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
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