Preview
FILED: KINGS COUNTY CLERK 12/30/2019 04:59 PM INDEX NO. 528249/2019
NYSCEF DOC. NO. 3 RECEIVED NYSCEF: 12/30/2019
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
NOTICE OF PENDENCY
JPMorgan Chase Bank, National Association, OF ACTION
Plaintiff,
Index No.
-against-
Nicole Knights-Morgan a/k/a Nicole M. Knights-Morgan;
Adrian Morgan a/k/a Adrian D. Morgan; Chase Bank USA
NA; Criminal Court of the City of New York; City of New
York Environmental Control Board; City of New York
Parking Violations Bureau; City of New York Transit
Adjudication Bureau, 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.
NOTICE IS HEREBY GIVEN that an action has been commenced and is pending in
this Court upon a complaint of the above named Plaintiff against the above named Defendants
for the foreclosure of a Consolidated and/or Modified Mortgage dated June 22, 2005, executed
by Nicole Knight-Morgan and Adrian D. Morgan, as Mortgagor(s), to JPMorgan Chase Bank,
N.A., as Mortgagee, to secure the sum of $125,000.00, and recorded in the Kings County Office
of the City Register on October 25, 2005, in CRFN 2005000596636. The Plaintiff, JPMorgan
Chase Bank, N.A. is formerly known as JPMorgan Chase Bank. The foregoing instrument
consolidated and/or modified the following mortgage(s): The Mortgage given by Nicole Knights
Morgan and Adrian D. Morgan to JPMorgan Chase Bank to secure the sum of $53,800.00 dated
November 10, 2003 and recorded on February 10, 2004 in CRFN 2004000080340. The
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Mortgage given by Nicole Knights-Morgan and Adrian D. Morgan to JPMorgan Chase Bank to
secure the sum of $24,200.00 dated July 20, 2004 and recorded on March 14, 2005 in CRFN
2005000147120. The Consolidation, Extension and Modification Agreement given by Nicole
Knights-Morgan and Adrian D. Morgan to JPMorgan Chase Bank to secure the sum of
$78,000.00 dated July 20, 2004 and recorded on March 14, 2005 in CRFN 2005000147121.
NOTICE IS FURTHER GIVEN that the mortgaged premises affected by said
foreclosure action, at the time of the commencement of said action and at the time of the filing of
this notice, was situated at 5908 Avenue O, Brooklyn, NY 11234, the County of Kings and the
"A"
State of New York, and is more particularly described in said Mortgage and in Schedule
attached hereto and made a part hereof.
Dated: tat9non
us n Valle, Esq.
sso iate Attorney
S PIRO, DICARO & BARAK, LLC
Attorneys for Plaintiff
175 Mile Crossing Boulevard
Rochester, New York 14624
(585) 247-9000
Fax: (585) 247-7380
Our File No. 19-085360
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NYSCEF DOC. NO. 3 RECEIVED NYSCEF: 12/30/2019
Schedule A- Description of the Premises
ALL that certain plot, piece or parcel of land, situate, lying and being in the
Borough of Brooklyn, County of Kings, City and State of New York, bounded and
described as follows:
BEGINNING at a point on the Southerly side of Avenue O, distant 48 feet Easterly
from the corner formed by the intersection of the Southerly side of Avenue O with
59*
the Easterly side of East Street;
59th
RUNNING THENCE Southerly parallel with East Street, 96 feet;
THENCE Easterly parallel with Avenue O, 26 feet;
59*
THENCE Northerly again parallel with East Street, 96 feet to the Southerly
side of Avenue O;
THENCE Westerly along the Southerly side of Avenue O, 26 feet to the point or
place of BEGINNING.
5908 Avenue O, Brooklyn, NY 11234 (Borough of Brooklyn, City of New York)
Kings County
BLOCK 8381 LOT 23
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NYSCEF DOC. NO. 3 RECEIVED NYSCEF: 12/30/2019
TO: THE CLERK OF THE COUNTY OF KINGS:
You are hereby directed to index the within Notice of Pendency of Action to the
name(s) of all of the Defendant(s) herein and the Section, Block and Lot(s) and/or property
address as set forth below:
Block 8381 Lot 23
Property Address: 5908 Avenue O, Brooklyn, NY 11234
Dated: a n l-ra n
n Valle, Esq.
ciate Attorney
SHAPIRO, DICARO & BARAK, LLC
Attorneys for Plaintiff
175 Mile Crossing Boulevard
Rochester, New York 14624
(585) 247-9000
Fax: (585) 247-7380
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CERTIFICATION BY ATTORNEY
I, Justin Valle, am an attorney duly admitted to the practice of law in the State of New
York. I am an associate of Shapiro, DiCaro & Barak, LLC, the attorneys for Plaintiff, JPMorgan
Chase Bank, National Association, in the above captioned civil action.
I HEREBY CERTIFY, pursuant to Sec. 130-1.1-a of the Rules of the Chief Administrator
(22 NYCRR), to the best of my knowledge, information and belief, formed after an inquiry
reasonable under the circumstances, that the presentation of the Notice of Pendency in this
action, or the contentions therein, are not frivolous as defined in subsection (c) of Sec. 130-1.1 of
the Rules of the Chief Administrator (22NYCRR).
Dated: m 3 n.
us Valle, Esq.
sso iate Attorney
SHAPIRO, DICARO & BARAK, LLC
Attorneys for Plaintiff
175 Mile Crossing Boulevard
Rochester, New York 14624
(585) 247-9000
Fax: (585) 247-7380
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