On July 23, 2013 a
Motion-Secondary
was filed
involving a dispute between
U.S. Bank National Association As Successor In Interest To Bank Of America National Association As Successor By Merger To Lasalle Bank National Association As Trustee For Morgan Stanley Mortgage Loan Trust 2006-9Ar,
and
Board Of Managers For The 120 Riverside Boulevard Condominium,
Cg Dinos Seafoods Inc,
Diane Lee,
John Doe
#1 To John Doe #10,
Mee Kyoung Lee,
National City Bank,
New York City Parking Violations Bureau,
New York City Transit Adjudication Bureau,
New York County District Attorney,
New York State Department Of Taxation And Finance,
People Of The State Of New York,
United States Of America,
Washington Mutual Bank,
for Foreclosure (residential mortgage)
in the District Court of New York County.
Preview
FILED: NEW YORK COUNTY CLERK 08/10/2018 02:17 PM INDEX NO. 850203/2013
NYSCEF DOC. NO. 106 RECEIVED NYSCEF: 08/10/2018
SUPREME COURT OF THE STATE OF NEW YORK:
COUNTY OF NEW YORK
-------------------------------------------------------------X
U.S. BANK NATIONAL ASSOCIATION AS
SUCCESSOR IN INTEREST TO BANK OF Index No: 850203/2013
AMERICA NATIONAL ASSOCIATION AS
SUCCESSOR BY MERGER TO LASALLE
BANK NATIONAL ASSOCIATION AS
TRUSTEE FOR MORGAN STANLEY
MORTGAGE LOAN TRUST 2006-9AR,
Plaintiff,
ATTORNEY AFFIRMATION
-against- REGARDING CPLR 3408
SETTLEMENT CONFERENCES
MEE KYOUNG LEE, DIANE LEE, NEW YORK
CITY PARKING VIOLATIONS BUREAU,
BOARD OF MANAGERS FOR THE 120
RIVERSIDE, BOULEVARD CONDOMINIUM,
NATIONAL CITY BANK, CG DINOS
SEAFOODS INC., NEW YORK CITY TRANSIT
ADJUDICATION BUREAU,
WASHINGTON MUTUAL BANK,
Defendants.
-------------------------------------------------------------X
Jennifer L. Hernandez-Weiss, Esq., pursuant to CPLR 2106 [NYCLS] and under the
penalties of perjury, affirms as follows:
1. I am an attorney at law and associate of McCabe, Weisberg & Conway, LLC, the attorneys of
record for the Plaintiff in this action and as such am fully familiar with the facts of this case and
all prior proceedings herein. The Plaintiff has provided me its books and documents relating to
the origination of the loan. Thus, the information provided is given upon my review of records
that I have personal knowledge of and access to.
2. The within action is for foreclosure of a mortgage upon real property situated in New York
County.
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FILED: NEW YORK COUNTY CLERK 08/10/2018 02:17 PM INDEX NO. 850203/2013
NYSCEF DOC. NO. 106 RECEIVED NYSCEF: 08/10/2018
3. A settlement conference was held on May 14, 2014 and Plaintiff was advised to proceed.
WHEREFORE, your Affirmant respectfully prays for the relief requested in the annexed Order.
Dated: August 6, 2018
New Rochelle, NY
I hereby certify pursuant to 22 NYCRR § 130-1.1-a
that, to the best of my knowledge, information and
belief, formed after an inquiry reasonable under the
circumstances, the presentation of the papers listed
below or the contentions therein are not frivolous as
defined in 22 NYCRR § 130-1.1(c):
McCABE, WEISB 0J4 CONWAY, LLC
By:
JENNIf . ANDEZ-WEISS,
ESQ.
Attorneys for Plaintiff
145 Huguenot Street, Suite 210
New Rochelle, NY 10801
914-636-8900
914-636-8901 facsimile
2 of 2
Document Filed Date
August 10, 2018
Case Filing Date
July 23, 2013
Category
Foreclosure (residential mortgage)
Status
Disposed-Court Date/Application Pending
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