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  • THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YO v. PHILLIPS, ROBERT, A/K/A ROBERT A PHILLIPS Et AlP00 - Property - Foreclosure document preview
  • THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YO v. PHILLIPS, ROBERT, A/K/A ROBERT A PHILLIPS Et AlP00 - Property - Foreclosure document preview
  • THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YO v. PHILLIPS, ROBERT, A/K/A ROBERT A PHILLIPS Et AlP00 - Property - Foreclosure document preview
  • THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YO v. PHILLIPS, ROBERT, A/K/A ROBERT A PHILLIPS Et AlP00 - Property - Foreclosure document preview
						
                                

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REQUEST FOR EXEMPTION FROM ADA NOTICE STATE OF CONNECTICUT DORMANCY DOCKET DISMISSAL The Judicial Branch of the State of SUPERIOR COURT JD-CL-71 Rev. 6-16 Connecticut complies with the Americans www jud.ct.gov P.B. § 14-3 with Disabilities Act (ADA). If you need a reasonable accommodation in accordance with the ADA, contact a court clerk or an ADA contact person listed at www.jud.ct.gov/ADA. Case caption Docket number HHB-CV22-6073420-S THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YO v. PHILLIPS, ROBERT, A/K/A ROBERT A PHILLIPS Et Al Judicial district New Britain Request for Exemption From Dormancy Docket Dismissal The ✖ Plaintiff(s) Defendant(s) in the above-captioned action seek(s) exemption from a Dormancy Docket dismissal and in support thereof represent(s) that the pleadings are not closed because: ("X" applicable box(es) and fill in appropriate information.) A dispositive motion to strike has been argued and is awaiting decision by Judge . (Name) A dispositive motion to dismiss has been argued and is awaiting decision by Judge . (Name) A dispositive motion for summary judgment has been argued and is awaiting decision by Judge . (Name) The pleadings are closed as to the plaintiff's original complaint, and it is failure to close the pleadings as to a third party complaint filed by that is preventing the filing of a Certificate of Closed Pleadings (JD-CV-11). (Name) A defendant has filed a counterclaim within the past 30 days, and the plaintiff(s) has/have not had time to file an answer or dispositive motion. A bankruptcy proceeding is pending and an up-to-date affidavit as prescribed in Section 14-2 of the Connecticut Practice Book will be mailed to the court on I understand that this request will be considered incomplete until the affidavit is received in the clerk's office. (Date) This is a receivership case filed under Chapter 664c of the Connecticut General Statutes and there has been compliance with Section 36a-231 of the Connecticut General Statutes. This is a Lead Paint Litigation (LPL) case. By checking this box, counsel represents that (s)he has filed the face sheet and provided notice of the filing as noted in LPL Case Management Order No. 1, Section lll. This is a Complex Litigation Docket (CLD) case. By checking this box, counsel represents that an application for referral to the CLD has been filed by counsel or by the Presiding Judge and that it has been granted or is awaiting a decision. This case has been referred to the Foreclosure Mediation Program. ✖ Other Judgment Hearing Scheduled for 5/13/2024 continued to 5/28/2024 This is the First ✖ Second Third time an exemption from a Dormancy Docket dismissal has been requested in this case. Note: A claim that the case has been effectively settled but that it can not be withdrawn because additional settlement payments need to be made is NOT a basis for exemption from a Dormancy Docket dismissal. The parties in such cases are urged to reach unambiguous settlement agreements, which may be put on record, if desired, and which may be enforced as judgments if one party defaults after the withdrawal is filed. See Audubon Parking Associates Ltd. Partnership v. Barclay & Stubbs, Inc., 225 Conn. 804, 626 A.2d 729 (1993). Party name(s) requesting exemption Signed (Attorney or Self-Represented Party) THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE (CWALT 2005-AR1) /432748/ Matthew F. Bristol Name and address of Attorney/Self-Represented Party (Type or print legibly) Korde & Associates, PC - 5 Shaw's Cove, Suite 201, New London, CT 06320 Certification I certify that a copy of this document was or will immediately be mailed or delivered electronically or non-electronically on (date) 5/16/24 to all attorneys and self-represented parties of record and that written consent for electronic delivery was received from all attorneys and self-represented parties receiving electronic delivery. Name and address of each party and attorney that copy was mailed or delivered to* Please see attached *If necessary, attach additional sheet or sheets with name and address which the copy was mailed or delivered to. Signed Telephone number (with area code) u /432748/ Matthew F. Bristol 8609690400 Print Form Reset Form Certification of Service New Britain Corporation Counsel Town Hall 27 West Main Street New Britain, CT 06051 Robert Phillips a/k/a Robert A Phillips 140 Winthrop Street New Britain, CT 06052 Andre Cayo 2777 Summer Street 5th Floor Stamford, CT 06905 U.S. Bank National Association, Not in its Individual Capacity, But Solely as Trustee of NRZ Recovery Trust 425 Walnut Street Cincinnati, OH 45202