On May 08, 2024 a
Proof of Service
was filed
involving a dispute between
533 48Th Llc,
and
Haifan Chen,
Hilton Cheung,
Jackson H. Kuan,
Lam Gan,
Lana Choy,
Tracy Yang,
Vincent Wang,
for Commercial - Contract
in the District Court of Queens County.
Preview
FILED: QUEENS COUNTY CLERK 05/10/2024 02:33 PM INDEX NO. 709875/2024
NYSCEF COURT
SUPREME DOC. 18 THE
NO. OF STATE OF NEW YORK RECEIVED NYSCEF: 05/10/2024
COUNTY OF QUEENS
533 48TH LLC N
COURT DATE & TIME:07/11/2024AT9:30AM
INDEX #: 709875/2024
DATE FILED:
Plaintg Job #: 588979
p,
Client File#
LANA CHOY ET AL SITARAS & ASSOCIATES PLLC
200 LIBERTY STREET 27TH FL
NEW YORK, NY 10281
Defendant
CLIENT'S FILE NO.: AFFIRMATION OF PERSONAL SERVICE
1, Nicholas Travaglione, the undersigned, affirms and says deponent is not a party to this action and is over the age of eighteen
years and resides in the State of New York.
That on 5/10/2024 at 8:34 AM at 55 MARIAN LANE, JERICHO, NY 11753 deponent served the within SUMMONS,
NOTICE OF MOTION FOR SUMMARY JUDGMENT IN LIEU OF COMPLAINT, AFFIDAVIT IN SUPPORT OF
MOTION FOR SUMMARY JUDGMENT IN LIEU OF COMPLAINT, EXHIBITS, MEMORANDUM OF LAW IN
SUPPORT OF PLAINTIFF'S MOTION FOR SUMMARY JUDGMENT IN LIEU OF COMPLAINT, RJI AND
NOTICE OF ELECTRONIC FILING
by personally delivering to and leaving with said HILTON CHEUNG At their actual place of abode within the State of New York
and that deponent knew the person so served to be the person described as said recipient therein.
Said documents were conformed with index number endorsed thereon.
A description of the person served is as follows:
5' 9" - 6'
Approx Age: 36 - 50 Yrs., Approx Weight: 161-200 Lbs., Approx Height: 0", Sex: Male, Approx Skin: Asian,
Approx Hair: Black
Other:
Deponent spoke to HILTON CHEUNG
Inquired as to the HILTON CHEUNGs place of residence and received a positive reply and confirmed the above address of
HILTON CHEUNG and asked whether HILTON CHEUNG was in active military service of the United States or the State of
New York in any capacity, or is a dependant of anyone in the military and received a negative reply and that the HILTON
CHEUNG always wore civilian clothes and no military uniform. The source of my information and the grounds of my belief are
the conversations and observations above narrated. Upon information and belief I aver that the HILTON CHEUNG is not in the
military service of New York State or of the United States as that the term is defined in either the State or in Federal statutes.
I affirm this May 10, 2024, under the penalties of
perjury under the laws of New York, which may
include a fine or imprisonment,that the foregoing is
true, and I understand that this document may be
filed in an action or proceeding in a court of law.
Nich as Tra glione
SUPREMEJunrC1Ar.SERVICES,INc 371 MERRICKROAD- ROCKVIU.ECENTRE,N.Y. 11570 LK# 1092373
1 of 1
Document Filed Date
May 10, 2024
Case Filing Date
May 08, 2024
Category
Commercial - Contract
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