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  • xxxxxxxxx xxxxxx v. Stephen T. Greenberg c/o GREENBERG COSMETIC SURGERY AND DERMATOLOGY, Alan Matarasso, Lenox Hill Hospital, 119 South Street Management Llc C/O Lucia Barletta, Pino Manica, Francesco Manica, Christina Manica, New York County District AttorneyTorts - Other (Conversion) document preview
  • xxxxxxxxx xxxxxx v. Stephen T. Greenberg c/o GREENBERG COSMETIC SURGERY AND DERMATOLOGY, Alan Matarasso, Lenox Hill Hospital, 119 South Street Management Llc C/O Lucia Barletta, Pino Manica, Francesco Manica, Christina Manica, New York County District AttorneyTorts - Other (Conversion) document preview
  • xxxxxxxxx xxxxxx v. Stephen T. Greenberg c/o GREENBERG COSMETIC SURGERY AND DERMATOLOGY, Alan Matarasso, Lenox Hill Hospital, 119 South Street Management Llc C/O Lucia Barletta, Pino Manica, Francesco Manica, Christina Manica, New York County District AttorneyTorts - Other (Conversion) document preview
  • xxxxxxxxx xxxxxx v. Stephen T. Greenberg c/o GREENBERG COSMETIC SURGERY AND DERMATOLOGY, Alan Matarasso, Lenox Hill Hospital, 119 South Street Management Llc C/O Lucia Barletta, Pino Manica, Francesco Manica, Christina Manica, New York County District AttorneyTorts - Other (Conversion) document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 12/09/2023 11:33 PM INDEX NO. 800003/2022 101223/2017 NOTICE OFENTRY Page2of NYSCEF DOC. NO. 311 RECEIVED NYSCEF: 12/09/2023 SUPREME COURT 3F THE STATE OF NEW YORK COUNTY OF NEW (ORK ----------------------·------------------------------ Index No 101223/2017 xxxxxxxxx xxxxxx Notice of Entry-Defendants Default Plaintiff -V- - ---.....-.-..- Aaron Levy, Mattheú Levy, Ruth Levy, Anna Pilato xxxxxx, Paul xxxxxx, POPSUGAR, Inc., Dale W. Strang JUN 22 2018 Defendants J - civil ..AS OFFICE Dear Judge, In court, June 20, 20. 8 with Judge Cohens Court Attorney, claimed there was a CPLR that legally directs the motion to restore the NYPD/Corporation Council as defendants, back to you. This is a lie and the court attorney knew it was a lie when he said it. The Court Attonrey had e agaged in Exparte communications regarding my mother and is steering the case. My mother is not part of this case. She is a sick woman that has been used to evade prosecution of NYPD, Levy, Anna Pilato xxxxxx and Paul xxxxxx. He is stalling this case and wasting time so that my lease runs out and will be evicted again without getting awarded any money damages yet. Forthermore, thi: court case is no opportunity to for the court attorney to encourage Paul xxxxxx to make jokes, testify about the case, and bring in the other people sitting in the court room. There is zero tolerance for this disgusting act of disrespect and no room for this Court Attorney's ego or air of self-righteousness. DEFAUTS June 20, 2017, PopSLgar, Inc, was not present and came after the case was over. Anna xxxxxx and Popsugar Inc. defaulted. Demanding 2.5 milli m from both Popsugar and Anna xxxxxx, criminal sanctions for Anna xxxxxx June 20, 2017, Matt .evy, Aaron Levy and Ruth Levy were not present, neither them or attorney that signed for the legal service via court order, defaulte 1. Demanding 2.5 million from Aaron Levy, 2.5 million for Matt Levy and 2.5 million from Ruth Levy. Manhattan DA ackn< wledged the legal service and appeared in court June 20, 2017. Please them as defendants/adverse witness. In this case I will provic e evidence and documentation that will vacate both 1996 and 1999 cases. And save court time from subpoenas to make up for the time wasted today Judge Cohens Court Attorney from this case moving forward. This case and the cat ses of action are Defamation of character, stander, and harassment. It is also to correct and vacate the mistakes that the Ma thattan DA has denying organized crime involvement or police corruption. That defendants criminal organized crime law :nforcement are the same as the ones that work with the Manhattan DA. I have been deeply and relentlessly gone through staggering d famation, stander and bodily injuries damage to my life. This is NOT a guardianship case so DO NOT steer this case to an inappropri ite Judge. are using this actual case to do to me what I am suing in the first place and I am aware that perpetrators been ongoing on for nany, many years. Paul is a soldier of their torture and misery. He is a very, very sick twisted person, a predator "works" and always hunting r ie or getting others to hunt me. He for the mafia and crooked cops. Defendant Paul Arar .an claims there is a stay of some sort that I cannot commence this action, but in 1995 there is a Court Order 127760/95 that direc s Levy and his friends and associates cannot directly or through third party, stander or harass me, significantly when it comes to cor acting my employers or colleagues. From 1994 to the present is well documented what they have done to destroy my life, up t( and including bodily harm. Moreover, the Manhattan DA acknowledged that a 2004 case with the Manhattan "monitored" DA was constructed >y Paul xxxxxx and Anna xxxxxx and crooked cops seeking to have me by mafia friends of Anna Pilato xxxxxx and L :vy that are blatantly lying to Paul xxxxxx and my mother. Judge Jackson, denie i this case, sealed it, and told them to stop. Anna and Paul xxxxxx did not stop. It led to severe bodily and head injuries, in which the floor of a nail salon was a pool of blood. Either way, no matte how you look at it or what you look at or for how long, the defense will try to use things that I simply can and will use against their. As a result of the forjoing, these facts supersede any allegation Paul xxxxxx claims and the amount of documentation, evidence, verifications, repeate dly, relentlessly, staggering- outweigh anything the defense will try and say to their benefit. They are deeply "learned" how to hur t me. They also are respon sible for colluding with crookled law enforcement that also work for the DA, that sent an untruthful referral to the FBI via inducing a former US Attonrey of falsehoods of my character, therefore the defendants blamed the FBI for the bodily injuries 1 of 2 Printed: 3/28/2C FILED: NEW YORK COUNTY CLERK 12/09/2023 11:33 PM INDEX NO. 800003/2022 101223/2017 NOTICE OFENTRY Page3of2 NYSCEF DOC. NO. 311 RECEIVED NYSCEF: 12/09/2023 that happened to me and further told a falsehood that the owner that hired the bartender was my boyfriend, making it a love triangle case, when it is prov m beyond a reasonable doubt that Anna xxxxxx and Paul xxxxxx and Levy are responsible, And that finally, even to try and get a a order of protection, the defendants and their attorneys and private investigators that work with the DA, had already slandered ho rific allegations, claiming I am a dangerous person to my real estate school and to REBNY and to the Brokerages I was with, all by Fe aruary of 2014. Therefore, I find it < uite bizarre that any Judge would try to stop me from not only enjoying a safe happy free life and develop other relationships, and fad to acknowledge the fear for my life regarding Paul xxxxxx and the deadly people that he bully's me; Any such Judge should be inv< stigated for phyciatic issues and/or sanctioned for personal ties and favors for the NYPD and Law Enforcement with intent to thwart my efforts for safety and,justice and get kicked out of Court. Paul xxxxxx has a s ckness and I believe that he is dangerously mentally ill. Anna Pilato xxxxxx and crooked NYPD and investigators who al o have a relationship with the DA, need Paul xxxxxx is cover up the crimes of Levy and Anna Pilato xxxxxx Mafia" and her family. I une erstand that as referenced to me by several people that the "Jewish is involved and that even a supervisor at Internal Affairs to d me that its not just Italian Mafia. I have not been a pa t of the xxxxxx family form many years as from a very young age, I was aware that their behavior and perception of women in the Ariman family, would invite unsavory people into my life, thinking they can manipulate me. And thanks to the DA, have given miss rable defendants that clearly have unbearable aggressive connections, have hurt my live they controlling slandering over that years beyo)d repair and the only recourse is to have my voice heard and show the evidence and documentation I have, and to hopefully put Paul framan and Anna xxxxxx is jail where they belong, and pay me the amount I requested 2.5 million from the Defendants in this c; se The Defendants con inuation for preying on my life using mafia connections and connections from people that work in the government, contino. Since the time of my new embarkment in Real Estate Paul xxxxxx has been destroying my career because as you can see by the a tached, he lost his license to work in the Financial Industry because of so many complaints from customers and the misuse of their n oney. Paul xxxxxx and Anna xxxxxx are targeting my work in Real Estate for that reason although I have nothing to do with P ml or Anna money or economic losing opportunity. And as you will see, my efforts on Family Court to get an order of protection v as sabotaged by mafia law enforcement that also work for the Manhattan DA, and manipulated my mother by making her feel empMwered and can prove this beyond a reasonable doubt Dale Strang is a sad nan in an unhappy marriage and cheats on his wife. He goes on-line on AOL in chatrooms seeking escorts in California and in Ne w York City. He has an email that is associated with it and connected to threads in chatrooms on AOL. I can prove this beyond a easonable doubt. This aligns with the AOL in 1995, verified harassment I experienced by AOL Attorneys that of "mistaken identity" Levy and unsavory connections are responsible, and points out the intention of ongoing for years patterns "catfishing" and that also led to fake cases with the DA. Dale Strang's personal habits and activity were intentionally mislead to me, is intended to reinfome the defaming allegations about my behavior and ethics, targeting my license in Real Estate, a new agent, in the months of Februay through September especially when I was trying to get an order of protection. all for the sake of destroying my career in real estate. Strang caved in and continues to support the allegations of Paul xxxxxx, Anna xxxxxx that he claims to have found all on line. Ar d observed on June 20 in court. He has contributed significantly in hurting my reputation, character and brand, and without a home. This relationship was a set up by unsavory people connected to the defendants. Dale Stangs life is being abused by the defendants to hurt my own life and that is why plain cloths cops were swarming around us and at his hotel at The Standard, He has perpetuated it an3 ridiculed me and sided with hateful people, Paul and Anna, and associates, therefore he is a defendant. Judge Cohens Court Attorney referred to the case, then transfer it to another Judge. I am DEMANDING that this case be transferred to an impartial Suprem: Court Judge that handles the causes of actions and corrections needed that were set forth and set a Court date 3"I no later than July, 2018. I am also getting har issing phone calls from 646-236-1128, especially in the afternoon of June 20 and is connected to the mafia of Peter Lapadora and amily of Anna Pilato xxxxxx. They use my brother to bully me and harass me. There is ZERO tolerance for my mother is act as an a:complice or cover up again for Anna xxxxxx and Paul xxxxxx. This case is organiz !!! xxxxxxxxx xxxxxx 201 Varick Street f jN n Unit 335 New York, NY 10014 FFICE Defendants, Aaron I evy, Matt Levy, Ruth Levy, Attorney for POPSUGAR Inc, Anna xxxxxx (Gordon & Rees, tery Park N" Plaza 28'll F1 NY, 10004) Paul xxxxxx, Dale Strang, New York County District Attorney 2 of 2 Printed: 3/28/2C