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  • Rachel Siegel v. James T. Robinson, Fw Webb Company, Enterprise Fm Trust, Chauncey A. Matthews, Dollar Rent A Car Inc. Tort document preview
  • Rachel Siegel v. James T. Robinson, Fw Webb Company, Enterprise Fm Trust, Chauncey A. Matthews, Dollar Rent A Car Inc. Tort document preview
  • Rachel Siegel v. James T. Robinson, Fw Webb Company, Enterprise Fm Trust, Chauncey A. Matthews, Dollar Rent A Car Inc. Tort document preview
  • Rachel Siegel v. James T. Robinson, Fw Webb Company, Enterprise Fm Trust, Chauncey A. Matthews, Dollar Rent A Car Inc. Tort document preview
						
                                

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onl FILED: NEW YORK COUNTY CLERK 11/04/2015 04:19 PM INDEX NO. 158128/2015 nn NYSCEF DOC. NO. 31 RECEIVED NYSCEF: "11/04/2015 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK’ 1 enn 1 RACHEL SIEGEL, Index No. 158128/2015 t Plaintiff(s), NOTICE OF MOTION -against- JAMES T, ROBINSON, FW WEBB COMPANY, ENTERPRISE FM TRUST, CHAUNCEY A. MATTHEWS and DOLLAR RENT A CAR INC., Defendants. nena! x COUNSELOR(S): PLEASE TAKE NOTICE, that upon the affirmation of Vincent P. Crisci, and upon all pleadings, exhibits and proceedings had herein, the undersigned will move this court at a Motion Support Part, Room 130, located at the courthouse, 60 Centre Street, New York, N.Y., on the 4th day of December, 2015, at 9:30 o’clock, ot in the forenoon of that day, or as soon theteafter as counsel can be heard for an order dismissing the complaint as to defendant(s) JAMES T. ROBINSON, FW WEBB COMPANY and ENTERPRISE FM TRUST, pursuant to Sections 3211 and 3212 of the Civil Practice Law and Rules, on the ground that personal jurisdiction has not been obtained over this defendant due to the improper service of the summons and complaint, and for such other and further relief as to this court may deem just and proper. PLEASE TAKE FURTHER NOTICE, That answering papers, if any, must be setved upon the undersigned at least seven (7) days prior to the return date of the instant motion. Dated: October 30, 2015 New York, New York Yours, etc., CRISCI, WEISER & MCCARTHY Attorney for Defendant(s) JAMES T. ROBINSON, FW WEBB COMPANY and ENTERPRISE FM TRUST 17 State Street, 8° Floor New York, NY 10004 212-943-8940 c— File Ne. 15-548915 — VP = i °Y Ca a | GAIR, GAIR, CONASON, STEIGMAN, MACKAUF, BLOOM & RUBINOWITZ, Attorney for Plaintiff(s) 80 Pine Street, 34" Floor New York, NY 10005 212-943-1090 i