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  • Discover Bank v. Steven R StanwixOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Steven R StanwixOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Steven R StanwixOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Steven R StanwixOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Steven R StanwixOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Steven R StanwixOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
						
                                

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INDEX NO. E2021005067 NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 11/22/2021 MONROE COUNTY CLERK’S OFFICE THIS IS NOT A BILL. THIS IS YOUR RECEIPT. Receipt # 2908655 Book Page CIVIL Return To: No. Pages: 3 MITCHELL G. SLAMOWITZ 199 Crossways Park Drive Instrument: AFFIRMATION Woodbury, NY 11797 Control #: 202111220558 Index #: E202100506’ Date: 11/22/2021 DISCOVER BANK. Time: 12:28:01 PM STANWIX, STEVEN R Total Fees Paid: $0.00 Employee: State of New York MONROE COUNTY CLERK’S OFFICE WARNING — THIS SHEET CONSTITUTES THE CLERKS ENDORSEMENT, REQUIRED BY SECTION 317-a(5) & SECTION 319 OF THE REAL PROPERTY LAW OF THE STATE OF NEW YORK. DO NOT DETACH OR REMOVE. JAMIE ROMEO. MONROE COUNTY CLERK OMTA 1 of 3 INDE&& NOE 2621025065067 NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 11/22/2021 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF MONROE INDEX NUMBER E2021005067 DISCOVER BANK FILE NO. D164618 PLAINTIFF, AFFIRMATION IN SUPPORT OF STEVEN R STANWIX DEFENDANT. -AGAINST- in {NAA Joseph Ranaldo, Esq., an attorney duly admitted to the practice of law in the State of New York, hereby affirms the following to be true pursuant to CPLR § 2106 and under the penalties of perjury states that: 1 Iam an attorney employed by Selip & Stylianou, LLP, attorneys for the Plaintiff, and I am fully familiar with the facts and circumstances herein. 2 I make this affirmation in additional support of Plaintiff's request for the entry of judgment against STEVEN R STANWIX (hereinafter the "Defendant") Additional Notice Pursuant to CPLR § 3215(g)(3) On September 07, 2021, a copy of the summons was mailed in a separate post-paid envelopes in an official depository of the U.S. Postal Service addressed to each defaulting defendant's last known residence address as set forth below, by first class mail in an envelope bearing the legend "personal and confidential" and not indicating on the outside thereof that the communication was from an attorney or concerns an alleged debt. More than 20 days have elapsed and the same has not been returned as undeliverable by the U.S Postal Service; if same was returned, the copy of the summons was re-mailed to the defendant(s) last known residence. STEVEN R STANWIX 15 GRANGER PL APT 2 ROCHESTER, NY 14607 2 of 3 INDEEXNG E 282015065067 NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 11/22/2021 MILITARY STATUS 4 I provided Department of Defense, Defense Manpower Data Center, with the pertinent information about the defendant, in particular the date of birth and/or social security number, which I know because they were provided to me by the Plaintiff. I requested that a military investigation be conducted for the purpose of entry of a judgment. Based upon the response I received from the Department of Defense, Defense Manpower Data Center, dated November 18, 2021, I am convinced that the defendant is not in any branch of the United States military. WHEREFORE, Plaintiff respectfully requests the entry of a default judgment against the Defendant(s). I certify that, to the best of my knowledge, information, and belief, formed after an inquiry reasonable under the circumstances, that the presentation of this judgment and all accompanying papers or the contentions herein are not frivolous as defined in 22 NYCRR § 130- C) f | 1-1(a). Dated: November 18, 2021 J \/ / yf VU Joséph Ranaldo, Esq 3 of 3