On February 21, 2024 a
Complaint,Petition
was filed
involving a dispute between
Albany Medical College,
and
Crista L Roman,
for Other Matters - Contract - Other
in the District Court of Columbia County.
Preview
FILED: COLUMBIA COUNTY CLERK 02/21/2024 10:47 AM INDEX NO. E012024021994
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 02/21/2024
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF COLUMBIA
ALBANY MEDICAL COLLEGE
1275 BROADWAY
MENANDS, NY 12204
SUMMONS
Plaintiff,
Index No.
Date Filed
CRISTA L ROMAN
Defendant(s).
TO THE ABOVE NAMED DEFENDANT(S) :
YOU ARE HEREBY SUMMONED to answer the complaint in this action and to serve a copy of your
answer on the plaintiffs attorneys within
twenty days after service of this summons, exclusive of the day of service,
or thirty days after service is completed if this summons is not personally delivered to you within the State of New
York. Upon your failure to answer, a judgment will be entered against you by default for the relief demanded in the
complaint.
The basis of venue is that the defendant reside(s) in the County of COLUMBIA.
Dated:
Melissa M. Tobrocke, Esq.
ORDD LAW, LLP
Attorneys for the Plaintiff
19 Executive Park Dr.
Clifton Park, New York 12065
(518) 383-4876
FOR PROCESS SERVER ONLY
DEFENDANT 1: DEFENDANT 2:
CRISTA L ROMAN
3 NIVER CT
NIVERVILLE, NY 12130
NOTICE: WE ARE A DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
19324840/868116480
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FILED: COLUMBIA COUNTY CLERK 02/21/2024 10:47 AM INDEX NO. E012024021994
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 02/21/2024
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF COLUMBIA
ALBANY MEDICAL COLLEGE
VERIFIED
COMPLAINT
Plaintiff,
Index No.
CRISTA L ROMAN
Defendant(s).
The plaintiff alleges:
1. The Plaintiff is a domestic corporation authorized to establish and maintain a medical practice to render
medical and physician services.
2. Plaintiff is licensed under Article 28 of New York State Public Health law or under Title 8 of New York
State Education law.
3. Upon information and belief, defendant resides, or the transaction took place in the county in which this
action was commenced and the defendant resides at the address set forth above, such address being the address of
the defendant last known to the plaintiff and/or the address provided to the plaintiff by the defendant at the time
services were rendered.
4. From December 29, 2021 to March 13, 2023, the plaintiff, at the express or implied request of the
defendant, rendered medical services to the defendant, or individuals for whom the defendant is financially
responsible.
5. Upon information and belief, the plaintiff sent the defendant numerous billing statements to the address
provided at the time services were rendered or the last known address and before the account came to counsel's
office for collections.
Additionally, counsel's office also sent written correspondence to the defendant, at the last
known or the address provided
address to the plaintiff, and before commencing this lawsuit. Although due demand
has been made, the defendant has failed to pay the full amount due for services rendered by the plaintiff.
6. The reasonable value and agreed price of such services that remains unpaid is $2,340.67.
WHEREFORE , the plaintiff demands judgment against the defendant in the sum of $2,340.67 with
interest from March
13, 2023, plus the costs and disbursements of the action and for such other, further or different
relief as to this Court may deem just.
DATED: G H (1(» Î Ô (
..
Melissa M. Tobrocke, Esq.
ORDD LAW, LLP
Attorneys for the Plaintiff
19 Executive Park Dr.
Clifton Park, New York 12065
(518) 383-4876
NOTICE: WE ARE A DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
2 of 3
FILED: COLUMBIA COUNTY CLERK 02/21/2024 10:47 AM INDEX NO. E012024021994
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 02/21/2024
SVC-H-3 (81)
SUPREME COURT OF THE STATE OF NEW YORK :
: ss. :
COUNTY OF COLUMBIA
ALBANY MEDICAL COLLEGE
1275 BROADWAY
MENANDS, NY 12204 Plaintiff,
VERIFICATION
CRISTA L ROMAN Defendant(s).
The undersigned, being duly sworn, deposes and says:
1. I am an officer or agent of the plaintiff, which is a domestic corporation authorized to establish and
maintain a medical practice to render medical and physician services.
2. Plaintiff is licensed under Article 28 of New York State Public Health law or under Title 8 of New York
State Education law.
3. I have read the foregoing complaint and the same is true to my knowledge, except those matters alleged
upon information and belief, and as to those matters, I believe it to be true.
4. The grounds of my belief as to all matters not stated upon my knowledge are the plaintiffs business
records.
M
ASSIS OF FINANCE
Sworn to bef re me this
day of , 0
f p (
Notary Public
Menesa M. fobrocke
Notany Public, State of New York
No. 02TO6149328
Qualified in Saratoga Coun
Commission Expires 7 / 101 #v
19324840/868116480
3 of 3
Document Filed Date
February 21, 2024
Case Filing Date
February 21, 2024
Category
Other Matters - Contract - Other
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