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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
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EDWARD SCARANO and SUSAN SCARANO,
Plaintiffs,
STIPULATION
-against- ADJOURNING THE
TRIAL
DEAN VAFIADIS, D.D.S., Individually and d/b/a
NEW YORK SMILE INSTITUTE, GARY GOLDSTEIN,
D.D.S., GARY RUTH, D.D.S., MAXILLOFACIAL
SURGERY SERVICES, L.L.C., GEORGE
ANASTRASSOV, M.D,, D.D.S., BABAK GHALILI,
D.D,S. and MARK KOVALEVSKIY. MD,
Defendants.
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IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned, the
attorneys of record for the remaining parties to the above entitled action, that
WHEREAS no party hereto is an infant or incompetent person for whom a committee has
been appointed, and no person not a party has an interest in the subject matter of the action;
WHEREAS the plaintiffs have discontinued the lawsuit as to all parties with the
exception of Gary Ruth, D.D,S.; Maxillofacial Surgery Services, L.L.C.; and George
Anastossov, D.D.S.;
WHEREAS the plaintiffs have settied the lawsuit as against Gary Ruth, D.D.S., and the
stipulation of discontinuance as to Gary Ruth, D.D.S. will be filed within 90 days of this date;
WHEREAS, the plaintiff and the remaining defendants entered into a So-Ordered
Stipulation, dated July 31, 20L7 resolving a motion of defendants Maxillofacial Surgery
Services, L.L.C.; and George Anastossov, D.D.S. brought by Order to Show Cause;WHEREAS, there remains an outstanding continued deposition of plaintiff Susan
Scarano who has relocated to the state of Idaho, and said deposition is tentatively scheduled for
August 31, 2017;
WHEREAS, the trial is currently scheduled for September 5, 2017, and there has been no
adjournment of the trial date thus far; and
WHEREAS, the attomeys, for the remaining parties, have mutually consented to adjourn
the trial to January 22, 2018 duc to scheduling difficulties of counsel and their respective clients
and experts;
NOW THEREFORE, the trial of the remaining parties shall be adjourned from
September 5, 2017 to January 22, 2018.
Dated: New York, New York
August !%, 2017
Vespagplnol, — Yfff-—
RAWLE(& HENDERSON, LLP { ) VALERIE /OROWN, ATTORNEY AT LAW, PC
Attorneysfor Defendants ~ Attormeys for Plaintiffs
George Anastrassov, MD, DDS and Edward Scarano and Susan Scarano
Maxillofacial Surgery Services, LLC 151 North Main Street - 4" Floor
170 Old Country Road — Suite 502 New City, New York 10956
Mineola, New York 11501 (845) 708-5900
(516) 294-2001
So Ordered:
Eileen Ann Rakower, S.C.VALERIE J. CROWN
Attorney at Law, P.C.
151 North Main Street, 4" Floor, New City, New York 10956
Tel: 845.708.5900 Fax: 845.708.5899 Cell: 845.598.8253 e-mail: vcrownlaw@aol.com
Valerie J. Crown Cindy Rivera
Member N.Y. State and Fed. Ct. Bars Paralegal
Heather M. Nappi Robert Goetz
Member N.Y. and M.I. State Bars Office Manager
DATE:
TO:
COMPANY/FIRM:
FAX NO.:
TO:
COMPANY/FIRM
FAX NO.:
FROM:
RE:
MESSAGE:
FAX COVER SHIEET
August 21, 2017
Hon. Eileen Ann Rakower
Supreme Court, New York County
212-520-1095
Maryanne Kolenovsky, Esq.
Rawle & Henderson, LLP
516-294-2006
Valerie J. Crown.
Re: Scarano v. Anastrassov, M.D., et.al.
Index No.: 805132/2012
Attached please find a Stipulation Adjourning the Trail, Kindly so-order
and return. Thank you for giving this matter your prompt attention.
NUMBER OF PAGES (including cover sheet): 3
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