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  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
  • 1560 Associates, Llc v. Yjy, Inc. DBA ANDRE & ARLETTE CLEANERS Commercial (General) document preview
						
                                

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(FILED: NEW YORK COUNTY CLERK 0170772014) INDEX NO. 150130/2014 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 01/07/2014 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK nen nn nn nnn een nen mannan mene mittee Index No. 1560 ASSOCIATES, LLC Plaintiff, Summons -against- YSY, INC. Plaintiffs Address: DBA ANDRE & ARLETTE CLEANERS 118-35 Queens Blvd. Defendant(s). Forest Hills, NY 11375 wernt nent ne en en neta mnmne ene nen “XK Our File No. GP1140 The basis of the venue is transaction accrued in the county. To the above named Defendant: YOU ARE HEREBY SUMMONED and required to appear by serving an answer to the annexed Complaint upon Plaintiff's attorney, at the address stated below, or if there is no attorney, upon the Plaintiff, at the address stated above, within the time provided by law as noted below; upon your failure to answer, judgment will be taken against you for the relief demanded in the Complaint, together with the costs of this action, Dated: January 7, 2014 } NY Defendant's Address: YJY, Inc, dba Andre & Arlette Cleaners 1560 Third Ave. New York NY 10128 Attorneys for Plaintiff 5036 Jericho Tpke. Commack, NY 11725 (631)499-5400 **This is an attempt to collect a debt and any information obtained shall be used for that purpose. NOTE: The law provides that: (1) If this summons is served by its delivery to you personally within the State of New York, you must answer within 20 days after such service; or (2) If this Summons is served by delivery to any person other than you personally, or is served outside the State of New York, or by publication, or by any means other than personal delivery to you within the State of New York, you are allowed 40 days after service is complete within which to answer. SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK wetter nena nr rn nnn nen nn nnn ene nena nenenmennenee! Index No. 1560 ASSOCIATES, LLC Plaintiff, -against- VERIFIED COMPLAINT YJY, INC. DBA ANDRE & ARLETTE CLEANERS Our File No. GP1140 Defendant(s) aoe. enema ne nneneeenX, Plaintiff, by its attorneys, complaining of the defendant hereby alleges as follows: 1 Plaintiff is a domestic limited liability company. 2 Defendant resides in the county in which this action is brought; or the defendant transacted business within the county in which this action is brought in person or through his agent and that the instant cause of action arose out of said transaction. 3 On or about December 30, 2010, Defendant entered into an agreement with Plaintiff whereby Defendant entered into an Assignment, Assumption and Lease Agreement whereby Defendant assumed all the duties and obligations of a commercial lease agreement for space in a building owned by Plaintiff. 4 The Assignment, Assumption and Lease Agreement provided that the prior lease terms were to continue in full force and effect and that the term of the lease agreement would be extended five years from January 1, 2011 through December 31, 2015 (all relevant lease agreements are collectively referred to herein as “Agreement”). 5 Defendant was required by the Agreement to make monthly payments for all rent and additional rent (such as water charges, real estate taxes and other charges defined in the Agreement). Plaintiff performed all of its obligations under the Agreement. 6 Defendant failed to make full payment under the Agreement and was evicted on June 26, 2013. 7 Pursuant to the Agreement between the parties, Defendant is responsible for any attorneys’ fees incurred by Plaintiff relating to Defendant’s breach of the Agreement. 8 Defendant is also responsible for payment of monthly rent and additional rent until such time as the space is re-rented for an amount equal to or greater than the amount due under the Agreement. 9 The property here at issue was sold by Plaintiff on December 11, 2013 and was not at any time re-rented during the post-eviction period. Plaintiff therefore seeks to recover payment of rent and additional rent for the period February 2013 through December 11, 2013. 10. As a result of Defendant's failure to pay for the use and occupancy of the subject premises and further failure to make payment pursuant to the rental Agreement; after all due payments, credits and security deposit are applied, the total sum of $147,685.01 in rent and additional rent remains due and owing, plus late charges in the amount of $12,454.37, plus legal costs actually incurred in the eviction proceedings against Defendant in the amount of $938.00, along with reasonable attorneys’ fees for the present action as determined by this Honorable Court. WHEREFORE Plaintiff demands judgment against the Defendant for the sum of $147,685.01 in rent and additional rent plus late charges in the amount of $12,454.37, plus legal costs actually incurred in the eviction proceedings against Defendant in the amount of $938.00, with statutory interest on $159,882.95 from December 11, 2013, along with reasonable attorneys’ fees for the present action in the sum of $31,976.59 or such other sum as is deemed reasonable by the Court, along with costs and disbursements of this action. Dated: Commack, New York January 2, 2014 Yours etc., SMITH, CARROA| VY & WAN, P.C. BY: JAI (N M. HOWARTH Attorne for Plaintiff 5036 Jericho Turnpike Commack, New York 11725 (631) 499-5400 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK naan naenennnnnenemanannennnnanennnaeeennememname nan Index No. 1560 ASSOCIATES, LLC Plaintiff, ~against- VERIFIED COMPLAINT YJY, INC. DBA ANDRE & ARLETTE CLEANERS Our File No, GP1140 Defendant(s) penne ene neem nnn eemmenamunneenmnennannnannne nn nee ean mnne sen K STATE OF ) )ss: COUNTY OF QUEENS ) Joseph J. McKillop ; being duly sworn, states that s/he i: s UV rte Ce bork of the plaintiff in this action and is fully familiar with the books and records of Plaintiff, and that the foregoing complaint is true to his/her own knowledge, except as to matters stated to be alleged on information and belief and as to those matters s/he believes them to be true. Jose Ls AGE 4. Mckilloy or Sworn to before me this day of hecenbay 21S. SHILLA J PATEL Notary Public, State of New York Ne. G1PAS1 24564 NO PUBLIC Qualifiedint Nassau County Commission Expires March 28. a 27