Preview
FILED: SUFFOLK COUNTY CLERK 06/06/2024 01:38 PM INDEX NO. 613936/2024
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 06/06/2024
COURT
SUPREME OFTHESTATEOFNEWYORK
COUNTYOFSUFFOLK
SENSIENTFLAVORSLLC GOFile No. 76405
Court Index No.
Plaintiff,
SUMMONS
-against-
Plaintiffs Address:
BAKERYCORP.
COBBLESTONE 2800 W
Higgins Rd Ste 900
Defendant. Hoffman Estates, IL 60169
To the above named defendant:
YOUAREHEREBYSUMMONED
after the service of this summons,
and required to serve upon plaintiffs attorney an answer to the complaint in this action within twenty days
exclusive of the day of service, or within thirty days after service is complete if this summons is not personally delivered to you within the State
of NewYork. In case of your failure to answer, judgment will be taken against you by default for the relief demanded in the complaint.
The basis of
the venue designated is:
Defendant maintains a place of business in the State of NewYork, SUFFOLKCOUNTY.
Dated: June 5, 2024
Gottlieb Ostrager LLP
Attorneys for Plaintiff
BY:
ARRENGOTTLIEB, ESQ.
80 Business Park Dr., Ste. 105
Armonk, NY 10504
914 909-4646
DEFENDANT(S)ADDRESS:
OFSTATE, OneCommerce Plaza, 99 Washington Avenue, Albany, NY 12231
C/O SECRETARY
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FILED: SUFFOLK COUNTY CLERK 06/06/2024 01:38 PM INDEX NO. 613936/2024
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 06/06/2024 +
SUPREMECOURTOFTHESTATEOFNEWYORK
COUNTYOFSUFFOLK
,
SENSIENTFLAVORSLLC Court Index No.
Plaintiff, GOFile No. 76405
COMPLAINT
-against-
BAKERYCORP.
COBBLESTONE
Defendant.
Plaintiff, by its attorneys, complaining against the Defendant, sets forth and alleges as
follows:
1. Plaintiff is a foreign limited liability company.
2. Upon information and belief, the Defendant is a New York corporation maintaining a place
of business in the State of NewYork, County of Suffolk.
FORA FIRST CAUSEOFACTION
3. Plaintiff repeats and realleges each and every allegation contained in Paragraphs "1" through
"2"
inclusive, as if more fully set forth herein at length.
4. Plaintiff herein sold and/or delivered various goods, wares and/or merchandise to the
Defendant and/or rendered work, labor and/or services to the Defendant, at the agreed upon price
and with a reasonable value of $5,481.10.
'
5. That no part thereof has been paid, although due and duly demanded, and there is now due and
owing from Defendant to Plaintiffthe sum of $5,481.10, together with interest running from August .
22, 2022.
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FILED: SUFFOLK COUNTY CLERK 06/06/2024 01:38 PM INDEX NO. 613936/2024
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 06/06/2024
FORA SECONDCAUSEOFACTION
"1"
6. Plaintiff repeats and realleges each and every allegation contained in Paragraphs through
f
"5"
inclusive, as if more fully set forth herein at length.
7. That heretofore, Plaintiff rendered to Defendant full, just and true accounts ofthe indebtedness
due and owing by Defendant as a result of the aforesaid transaction, which is the sum set forth
above, and said statements were delivered to, received, accepted and retained by Defendant without
objection, resulting in an account stated for the amount claimed above.
8. That no part thereof has been paid, although due and duly demanded, and there is now due and
owing from Defendant to Plaintiff the sum of $5,481.10, together with interest running from August
22, 2022.
WHEREFORE,
plaintiff demandsjudgment against defendant for the sum of $5,481.10 with
interest on $5:481.10 from August 22, 2022 together with costs and didbursements.
Dated: Armonk, NewYork June 5, 2024
Rule 130-1.1a Certification
WARREN
GOTTLIEB, ESQ.
Gottlieb Ostrager LLP
Attorneys for Plaintiff
80 Business Park Dr., Ste. 105
Armonk, NY 10504
Telephone: (914) 909-4646
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