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  • Builders Best & Home Improvement Center, Inc. v. Mike R BabbittOther Matters - Consumer Credit (Non-Card) Transaction document preview
  • Builders Best & Home Improvement Center, Inc. v. Mike R BabbittOther Matters - Consumer Credit (Non-Card) Transaction document preview
  • Builders Best & Home Improvement Center, Inc. v. Mike R BabbittOther Matters - Consumer Credit (Non-Card) Transaction document preview
  • Builders Best & Home Improvement Center, Inc. v. Mike R BabbittOther Matters - Consumer Credit (Non-Card) Transaction document preview
						
                                

Preview

INDEX NO. EF2024-0298 FILED: TOMPKINS COUNTY CLERK 0472572024 I1:06 AM NYSCEF DOC. NO. 2 RECEIVED NYSCEF: 04/25/2024 12024-08208 Index #: EF 2024-0298 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF TOMPKINS BUILDERS BEST HOME IMPROVEMENT Index No. CENTER, INC., Plaintiff, NOTICE OF MOTION -Vs- FOR SUMMARY JUDGMENT IN LIEU OF COMPLAINT MIKE R. BABBITT, Defendant. PLEASE TAKE NOTICE that upon the summons dated April 25, 2024, annexed Affirmation of Joel I. Ross, Esq., counsel for the above-named Plaintiff, dated March 25, 2024, the Affirmation of Ronda Austin, Office Manager for the Plaintiff, Builders Best Home Improvement Center, Inc.., dated April 24, 2024, and all exhibits attached thereto, Plaintiff will move this Court at a motion term thereof, to be held at the Tompkins County Supreme Court, 320 N. Tioga Street, Ithaca, NY 14850, on the day of » for summary judgment pursuant to CPLR §3213, in favor of Plaintiff and against the above-named defendant, renewing a judgment heretofore entered against the Defendant in this Court on October 27, 2014, pursuant to CPLR §5014(1), said judgment for the sum of $21,509.35 plus interest from October 27, 2014 at the statutory rate of 9.0%, together with the costs and disbursements of this action, upon the grounds that there are no triable issues of fact, and that there are no defenses to the causes of action asserted in the within motion for relief, and for such other and further relief as the Court may deem just and proper, including costs and disbursements of this action. The above-titled action is for recovery of money due plaintiff by defendants for default in payment to plaintiff for money loaned, and for which judgment was entered upon Defendant's appearance default. PLEASE TAKE FURTHER NOTICE that answering affidavits, if any, are required to be Ot 2 INDEX NO. EF2024-0298 NYSCEF DOC. NO. 2 RECEIVED NYSCEF: 04/25/2024 12024-08208 Index # EF 2024-0298 served upon the undersigned on or before the 2oth day after personal delivery of the summons to you. Dated: April 25, 2024 ‘ » VG; Joel Ross, Esq. RIEHLMAN SHAFER & SHAW, LLC is lorneys for Plaintiff 3 Route 281, P.O. Box 544 Tully, New York 13159-0544 (315) 696-6347 TO: Mike R. Babbitt 257 Jersey Hill Rd Ithaca, NY 14850 THE ATTORNEYS FOR THE PLAINTIFF ARE ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THIS PURPOSE. THE LAW FIRM OF RIEHLMAN, SHAFER & SHAW IS A DEBT COLLECTOR 2 of 2