On August 03, 2015 a
Motion,Ex Parte
was filed
involving a dispute between
The Hertz Corporation, Including All Of Its Subsidiaries And Affiliates, Including But Not Limited To Hertz Vehicles, Llc And Dtg Operations, Inc. D B A Dollar Rent A Car,
and
21St Century Acupuncture, P.C.,
21St Century Pharmacy, Inc.,
Antioquia Chiropractic, P.C.,
Aris Diagnostic Medical, Pllc,
Continental Pharmacy, Inc.,
Elijah Griffith,
Emanuel Hostin, M.D.,
Fast Care Medical Diagnostics, Pllc,
Forest Hills Healthcare Physician, P.C.,
Hostin Orthopaedics & Sports Medicine, P.C.,
Jason Braithwaite,
Kisson Shaquille,
Lashawn Francis,
New York Spine Specialists, Llp,
Nyu Radiology Associates A K A Afi Nyu Radiology Fh A K A Queens Medical Imaging, P.C.,
Pain Management Associates, P.C., A K A Pain Management Assoc.,
for Contract (Non-Commercial)
in the District Court of New York County.
Preview
FILED: NEW YORK COUNTY CLERK 05/11/2017 09:55 AM INDEX NO. 157955/2015
NYSCEF DOC. NO. 44 RECEIVED NYSCEF: 05/11/2017
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
--X
THE HERTZ CORPORATION, INCLUDING ALL OF Index No.: 157955/15
ITS SUBSIDIARIES AND AFFILIATES, INCLUDING BUT
NOT LIMITED TO HERTZ VEHICLES, LLC AND DTG
OPERATIONS, INC. d/b/a DOLLAR RENT A CAR,
NOTICE OF MOTION
Plaintiff,
-against-
NEW YORK SPINE SPECIALISTS, LLP, FOREST HILLS
HEALTHCARE PHYSICIAN, P.C., 21ST CENTURY
PHARMACY, INC., HOSTIN ORTHOPAEDICS & SPORTS
MEDICINE, P.C., EMANUEL HOSTIN, M.D., CONTINENTAL
PHARMACY, INC., FAST CARE MEDICAL DIAGNOSTICS,
PLLC, ANTIOQUIA CHIROPRACTIC, P.C., NYU
RADIOLOGY ASSOCIATES a/k/a AFI NYU RADIOLOGY FH
a/k/a QUEENS MEDICAL IMAGING, P.C., ARIS
DIAGNOSTIC MEDICAL, PLLC, ELIJAH GRIFFITH,
LASHAWN FRANCIS, JASON BRAITHWAITE and KISSON
SHAQUILLE,
Defendants.
X
PLEASE TAKE NOTICE that upon the annexed affirmation of David F. Boucher Jr.,
Jr., Esq. and the exhibits thereto, the annexed affidavit of Maureen Stromberg, duly
affirmed on May 3, 2017 and upon the pleadings and proceedings with affidavits of service
service upon the defendants annexed herein, the undersigned will move this Court at the
the Motion Submission Part, Room 130, of the Supreme Court of the State of New York,
County of New York, located at 60 Centre Street, New York, New York 10007, on June 5,
5, 2017 at 9:30 a.m. or as soon thereafter as counsel may be heard, for an Order:
1 of 2
FILED: NEW YORK COUNTY CLERK 05/11/2017 09:55 AM INDEX NO. 157955/2015
NYSCEF DOC. NO. 44 RECEIVED NYSCEF: 05/11/2017
Pursuant to CPLR 3025(b) granting the plaintiff leave to amend the complaint
to add 21st Century Acupuncture, P.C. and Pain Management Associates,
P.C., a/k/a Pain Management Assoc., as additional defendants;
Together with such other relief that the Court deems just and proper.
PLEASE TAKE FURTHER NOTICE, that pursuant to Rule 2214 of the CPLR,
answering papers, if any, must be served upon the undersigned no later than seven days
prior to the return date of this motion.
DATED: New York, New York
May 10, 2017
Yours, etc.
vid F. Boucher Jr., Esq.
RUBIN, FIORELLA & FRIEDMAN LLP
Attorneys for the Plaintiff
630 Third Avenue, 3rd Floor
New York, New York 10017
(212) 953-2381
Our File No. 0297.29081
TO: 21ST CENTURY ACUPUNCTURE, P.C.
143 Hughes Place
Albertson, New York 11507
PAIN MANAGEMENT ASSOCIATES, P.C., a/k/a
PAIN MANAGEMENT ASSOC.
305 West Grand Avenue
Montvale, New Jersey 07645
2
2 of 2