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  • Richard J. Digeronimo, R.D. Geronimo, Ltd v. Property Analytix, Llc, Archstone Group Nyc Llc, Michael Miller, Royce Ashton Rowles, Ryan Lin Commercial Division - Contract document preview
  • Richard J. Digeronimo, R.D. Geronimo, Ltd v. Property Analytix, Llc, Archstone Group Nyc Llc, Michael Miller, Royce Ashton Rowles, Ryan Lin Commercial Division - Contract document preview
  • Richard J. Digeronimo, R.D. Geronimo, Ltd v. Property Analytix, Llc, Archstone Group Nyc Llc, Michael Miller, Royce Ashton Rowles, Ryan Lin Commercial Division - Contract document preview
  • Richard J. Digeronimo, R.D. Geronimo, Ltd v. Property Analytix, Llc, Archstone Group Nyc Llc, Michael Miller, Royce Ashton Rowles, Ryan Lin Commercial Division - Contract document preview
						
                                

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FILED: WESTCHESTER COUNTY CLERK 03/13/2024 04:56 PM INDEX NO. 61665/2021 NYSCEF DOC. NO. 236 RECEIVED NYSCEF: 03/13/2024 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF WESTCHESTER NEIL B. RICE, Index No. 61665/2021 Plaintiff, Hon. Robert S. Ondrovic -against- LEE R. EINSIDLER, as Administrator of the Estate AFFIRMATION OF SERVICE of Aaron M. Einsidler, Defendant. Jonathan Ohring, an attorney admitted to practice law in the courts of the State of New York, hereby affirms under penalty of perjury as follows: 1. I am an attorney with Yankwitt LLP, counsel for defendant Lee R. Einsidler, as administrator of the Estate of Aaron M. Einsidler (“Defendant”), in the above-captioned action. 2. I submit this affirmation pursuant to the Court Notice (NYSCEF Doc. No. 227) in which the Court directed the undersigned to advise Plaintiff, who is proceeding pro se, of the date, time, and manner of the forthcoming conference with the Court (originally scheduled for March 19, 2024, and later rescheduled to April 5, 2024 (see NYSCEF Doc. Nos. 228, 233, 235)) and to upload the same to NYSCEF. I make this affirmation on my own personal knowledge and upon review of the files in this matter. 3. On March 8, 2024, I sent an email to Plaintiff providing him with the information required in the aforementioned Court Notice, as well as copies of the Court Notice and all filings thereafter. A copy of the email, and the letter and attachments thereto, are attached hereto as Exhibit 1. 4. In addition, our firm mailed the aforementioned letter and attachments to Plaintiff’s last known address. Attached hereto as Exhibit 2 is proof that the mailing was delivered on March 13, 2024. 1 of 2 FILED: WESTCHESTER COUNTY CLERK 03/13/2024 04:56 PM INDEX NO. 61665/2021 NYSCEF DOC. NO. 236 RECEIVED NYSCEF: 03/13/2024 Dated: White Plains, New York March 13, 2024 YANKWITT LLP _ Jonathan Ohring, Esq. 140 Grand Street, Suite 705 White Plains, New York 10601 Tel.: (914) 686-1500 Fax: (914) 487-5000 jonathan@yankwitt.com Attorneys for Defendant Lee R. Einsidler 2 of 2