arrow left
arrow right
  • Vsp Industries, Inc. v. Northfield Bank, Pls Check Cashers Of New York, Inc., John And Jane Does 1-10, Abc Llc 1-10, Xyz Corp. 1-10Commercial - UCC document preview
  • Vsp Industries, Inc. v. Northfield Bank, Pls Check Cashers Of New York, Inc., John And Jane Does 1-10, Abc Llc 1-10, Xyz Corp. 1-10Commercial - UCC document preview
  • Vsp Industries, Inc. v. Northfield Bank, Pls Check Cashers Of New York, Inc., John And Jane Does 1-10, Abc Llc 1-10, Xyz Corp. 1-10Commercial - UCC document preview
  • Vsp Industries, Inc. v. Northfield Bank, Pls Check Cashers Of New York, Inc., John And Jane Does 1-10, Abc Llc 1-10, Xyz Corp. 1-10Commercial - UCC document preview
						
                                

Preview

FILED: RICHMOND COUNTY CLERK 01/10/2024 05:39 PM INDEX NO. 151888/2023 NYSCEF DOC. NO. 13 RECEIVED NYSCEF: 01/10/2024 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF RICHMOND ------______ _ _ _ __ _..------..-----_ _ ______.._____x VSP INDUSTRIES, INC., Index No. I51888/2023 Plaintiff, v. AFFIRMATION IN SUPPORT NORTHFIELD BANK; PLS CHECK CASHERS OF NEW YORK, INC., JOHN AND JANE DOES 1-10, ABC LLC 1-10 and XYZ CORP. 1-10 Defendants. ___ _._ _.------.._..-----.._ _..----------------..____Ç IAN N. LEVY, an attorney duly licensed to practice law in the Courts of the State of New York, hereby affirms the following under the penalties of perjury: 1. I am a partner with the law firm of Fleischman & Levy LLP, the attorney of record for Defendant PLS Check Cashers of New York, Inc. ("PLS") in the above-captioned action and, as such, am fully familiar with the facts and circumstances set forth herein. 2. This affirmation is submitted in support of PLS's motion for an Order dismissing Plaintiff's Complaint pursuant to CPLR 3211(a)(7) on the ground that plaintiff's complaint fails to state a cause of action; pursuant to CPLR 3211(a)(5) for the reasons set forth in Defendant Northfiel s motion, to the extent applicable to PLS, and for such other and further relief that this Court deems just and proper. 3. Annexed hereto as Exhibit 1 is the Smumons and Complaint (with exhibits) filed by Plaintiff on October 10, 2023. 4. For the reasons set forth in the accompanying Mernorandum of Law, PLS's motion should be granted. 1 of 2 FILED: RICHMOND COUNTY CLERK 01/10/2024 05:39 PM INDEX NO. 151888/2023 NYSCEF DOC. NO. 13 RECEIVED NYSCEF: 01/10/2024 Dated: January 10, 2024 New York, New York Respec illy su i d, Ia Levy, E FLEISCHMA & LEVY LLP 145 Hudson Street, Suite 5C New York, New York 10013 (212) 997-2446 Attorneys for Defëndant PLS Check Cashers of New York, Inc. 2 of 2